Relationship with the adopted Chichester Local Plan and the Local Plan Review

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Object

A27 Chichester Bypass Mitigation Supplementary Planning Document - August 2023

Representation ID: 6399

Received: 30/10/2023

Respondent: CEG and the Landowners (D C Heaver and Eurequity IC Limited)

Agent: CEG and the Landowners (D C Heaver and Eurequity IC Limited)

Representation Summary:

- Justification for the financial contributions from development sought by the SPD should be subject to a local plan examination process prior to adoption to ensure robust assessment of the compliance of the proposed planning obligations with the statutory tests.

To ensure proper process the SPD should not be brought into force until the emerging Chichester District Local Plan Review, which provides the basis for the need for the
mitigation, has progressed through its examination.

Full text:

1. On behalf of CEG and the Landowners (D C Heaver and Eurequity Limited), please find enclosed representations to the Chichester District Council (“CDC”) consultation on the Draft A27 Chichester Bypass Mitigation Supplementary Planning Document (“the SPD”). The SPD is subject to consultation between 22nd September 2023 and 3rd November 2023.

2. CEG and the Landowners have land interests within Chichester District, and these representations are made in this context.

Tests for Planning Obligations

3. Regulation 122 (2) of the Community Infrastructure Levy Regulations 2010 (as amended) sets out the statutory tests for imposing planning obligations on development, as follows:

a) “necessary to make the development acceptable in planning terms;
b) directly related to the development; and
c) fairly and reasonably related in scale and kind to the development.”

4. This is reflected at paragraph 57 of the National Planning Policy Framework (“the Framework”).

5. It is against these tests that the suitability of the proposed planning obligations must be considered, and these representations review the requirements of the SPD against the above tests.

6. The National Planning Practice Guidance (“PPG”) note titled ‘Planning Obligations’ provides additional detail in
relation to the imposition of planning obligations. Paragraph ref. ID: 23b-004-20190901 of the PPG reads as
follows:

“Policies for planning obligations should be set out in plans and examined in public. Policy requirements
should be clear so that they can be accurately accounted for in the price paid for land.

Such policies should be informed by evidence of infrastructure and affordable housing need, and a proportionate assessment of viability. This evidence of need can be standardised or formulaic (for example regional cost multipliers for providing school places. See the guidance from the Department for Education on‘Securing developer contributions for education’. However, plan makers should consider how needs and viability may differ between site typologies and may choose to set different policy requirements for different sites or types of development in their plans.

It is not appropriate for plan-makers to set out new formulaic approaches to planning obligations in
supplementary planning documents or supporting evidence base documents, as these would not be subject
to examination. Whilst standardised or formulaic evidence may have informed the identification of needs and costs and the setting of plan policies, the decision maker must still ensure that each planning obligation sought
meets the statutory tests set out in regulation 122. This means that if a formulaic approach to developer
contributions is adopted, the levy can be used to address the cumulative impact of infrastructure in an area,
while planning obligations will be appropriate for funding a project that is directly related to that specific development.

Planning obligations assist in mitigating the impact of development which benefits local communities and
supports the provision of local infrastructure. Local communities should be involved in the setting of policies for contributions expected from development.”

[Emphasis added to attached representation]

Planning Considerations

Timescales of introducing the requirements of the SPD

7. Having regard to the requirements of the PPG, it is essential that the justification for the financial contributions
from development sought by the SPD is subject to a local plan examination process prior to the adoption of the
SPD. This will enable a robust assessment of the compliance of the proposed planning obligations with the
statutory tests and is required to be undertaken prior to SPD coming into force. Failure to do so would mean that
it will not have been demonstrated that the statutory tests are satisfied and would conflict with the requirements
of the PPG.

8. To ensure that a proper process has been undertaken in accordance with, the SPD should not be brought into
force until the emerging Chichester District Local Plan Review, which provides the basis for the need for the
mitigation, has progressed through its examination.

Forms of development that contributions are sought from

9. Notwithstanding this, paragraph 2.2 of the consultation draft of the SPD identifies that mitigation works to the
A27 are required to avoid the additional housing and employment proposed within Chichester District increasing congestion further. However, the SPD is clear that financial contributions towards the mitigation works is only sought from new residential development, with no contributions sought from employment developments.

10. Paragraph 2.15 of the consultation document explains that viability testing to support the emerging Local Plan
considered various scenarios, but this seems to have only related to differing ranges of per-dwelling contributions
with no examination of the viability of securing contributions from employment development. Indeed, paragraph 1.1.21 of the Chichester District Council Local Plan 2021-2039 Viability Assessment – Stage 2 (January 2023) explains that the viability assessment has focused on residential development. Such an approach is inconsistent with the PPG.

11. It is clear that the traffic impacts on the A27 are caused by both residential and employment development, and it is therefore disproportionate to seek for the full-scale of additional funding required to be provided for by
residential development alone. Such an approach is inconsistent with criteria b) and c) of the Regulation 122(2)
tests.

Evidencing that contributions are fairly and reasonably related in scale and kind

12. The previous approach taken by CDC in seeking financial contributions towards A27 mitigation works was to base the level of contribution upon the evidenced impact on the A27. This allowed for a case-by-case consideration of each planning application to ensure that contributions sought would be fairly and reasonably related in scale and kind to the development (i.e. criterion c) of the Regulation 122(2) tests).

13. As an example, the per-dwelling contributions sought from the Phase 1 of the Weshampnett and North East
Chichester Sustainable Development Location were notably greater than the per-dwelling contribution sought
from the Phase 2 development. This reflected the conclusions of the respective Transport Assessment submitted as part of the planning applications for these developments, which identified that the Phase 1 development would result in greater traffic generation onto the A27 by virtue of its location in closer proximity of a junction onto the A27.

14. Furthermore, development located within the most sustainable locations in the district (notably at Chichester city) will benefit from a range of sustainable transport modes that will discourage car travel, in accordance with the aspirations of the National Planning Policy Framework (paragraph 105), and will result in less traffic generation
onto the A27. Therefore, the opportunities to utilise sustainable travel modes should also influence the levels of contributions sought from new developments towards transport mitigation to ensure that the SPD meets the CIL
122(2) tests.

15. Accordingly, a blanket dwelling-size approach toward calculating the contributions sought from new
developments towards A27 mitigation works, as proposed by the SPD, does not meet the Regulation 122(2) tests
as it cannot be concluded that, on a case-by-case basis, the level of contributions sought are directly related to
the impacts of the development (criterion b) or reasonably related in scale and kind (criterion c).

16. Indeed, the imposition of a blanket cost per-dwelling size proposed by the SPD is not underpinned by evidence
demonstrating that all new residential developments on land to the south of the South Downs National Park
(where paragraph 4.27 of the consultation document outlines that contributions will be sought) will have an
impact on the A27.

17. The PPG is clear that planning obligations should be informed by evidence. In the absence of such evidence, it is not possible to conclude that the blanket requirements for consistent contributions for all new development to
the south of the South Downs National Park meets the Regulation 122(2) tests.

Summary

18. CEG and the Landowners (D C Heaver and Eurequity Limited) do not object to the principle of seeking contributions from new residential development towards works to mitigate traffic pressures on the A27. However, it is essential that the planning obligations meet the tests outlined at Regulation 122(2) of the Community Infrastructure Levy Regulations 2010 (as amended).

19. It is particularly notable that CDC is seeking to bring forward the SPD in advance of the examination of the
Chichester Local Plan Review, where the evidence underpinning the mitigation sought will be subject to robust scrutiny. The PPG is clear that such an approach would not be appropriate, and it is imperative that the Council waits for the outcome of the Local Plan Review examination before it brings the SPD into force.

20. For the reasons set out earlier in these representations, we do not consider that the proposed means of calculating the contributions from development towards raising the funds needed to put the mitigation in place, as set out within the consultation document, meets the Regulation 122(2) tests.

Object

A27 Chichester Bypass Mitigation Supplementary Planning Document - August 2023

Representation ID: 6425

Received: 03/11/2023

Respondent: lavant parish council

Agent: lavant parish council

Representation Summary:

1.7 The logical approach to mitigation of the traffic congestion at the SRN Chichester A27 junctions is firstly
for National Highways and others to fund and to carry out such work to normalise the current congestion. In addition for CDC with WSCC to source additional funding other than the SRN/ MRN. A “cocktail of funding sources” was promised by WSCC). Developer contributions would then be available for other mitigation issues where developments impact on existing infrastructure.

This “new approach to A27 mitigation” means CDC propose to fund the mitigation of the impact of future
development whilst leaving the current congestion untouched. This ‘kicking the can down the road’ is not a
solution and neither is granting further permissions for housing without dealing with the current infrastructure
deficit.

Full text:

1. Introduction

The proposed Draft SPD re A27Chichester Bypass Mitigation A27 relates to the presumption of future housing developments, their impact on the A27 and related developer contributions to pay for any (unspecified) mitigation measures as a consequence of those developments.

Is the intention of CDC to allocate 100% of Developer contributions for the partial upgrade of some A27
junctions impacted by those developments? How does this ensure that developers pay for a fairer share of affordable housing and other local infrastructure as the Government announced on 17 March 2023?

Setting to one side CDC’s (and WSCC) sorrowful track record of rejecting Central Government's inward investment despite WSCC’s announcement on 25 Jun 2015 (“£350m investment welcomed by WSCC” that
…”confirmed the existing commitment to upgrade the four junctions on the Chichester Bypass”) it was clear that the junction capacity and highway safety issues were known when the funding was on offer from Highways England. Since that time it has become clear that CDC need additional funding to deliver mitigations necessary for the development of a sound Local Plan.

So why in ?2017 did CDC/WSCC inexplicably request the A286 South of Chichester to be removed from available funding from the Major Road Network MRN? Indeed there is no convincing evidence within this SPD which confirms that the Department for Transport has been requested by CDC/WSCC for the A286 South of Chichester be once again included in the MRN funding scheme. By so doing WSCC would play their part in assisting CDC in delivering a robust Local Plan for the benefit of the whole Chichester
Community.

Without any evidence of seeking and securing alternative funding sources the Chichester community are now being asked to accept that additional funding for infrastructure upgrade is to be funded by future housing developments but only in respect of the impact of those developments. The impact of course will simply add to the infrastructure deficit that has now reached its nadir in the Chichester area.

There needs to be a clear correlation between the capacity of the landscape to absorb new housing numbers, certainty from National Highways, MRN and others in relation to funding improvements to alleviate the current congestion and certainty from Southern Water as to when their improvements are to be completed to the sewerage infrastructure.

We object to the proposed draft SPD because the infrastructure remains deficient to support more housing
and secondly CDC would forever be indebted to the commercial vagaries of developers set against a moving target of viability tests with new more affordable housing models. It is entirely dependent on the granting of planning approvals and potential developer funding.

This is not a sustainable solution and the draft mitigation SPD should therefore be dismissed.

OTHER RELATED MATTERS

1. Ministerial comments from the Secretary of State for Levelling-up, Housing and Communities (Housing Today 27 June 2023) and the letter sent to MPs state that the Levelling-up and Regeneration Bill would be amended to abolish local mandatory house building targets as
"there is no truly objective way of calculating how many new homes are needed in an area".

2. This change makes the centrally determined target a "starting point", with councils able to propose building fewer homes if they faced "genuine constraints" or would have to build at a density that would "significantly change the character of their area”.

3. The Secretary of State has also been quoted as saying that the planning system is "not working as it should" and that new development must have "the support of the local communities" and added that it must be accompanied by the right infrastructure.

4. Constraints to more housing development are manifest and include the erosion of the character of our erstwhile rural Sussex and losing some of the most productive and versatile land for agriculture.

5. Some development allocations in the draft Local Plan do not meet the criterion of being remotely acceptable to the local population who despair regarding infrastructure deficit whilst housing proliferates. Further depletion of our green fields coupled with new housing adding to the already outdated and failing sewage system detract from the area as a tourist destination and the discharges of raw sewage into our rivers and sea are hitting the local economy.

6. The draft SPD provides no funding for upgrading the A27 junctions to alleviate the current congestion. Such future developments as proposed should therefore be disallowed until such time as the A27 upgrade has been implemented to cater for the existing traffic issues.

7. There is a lack of certainty that the developer contributions sums will not be adjusted downwards as the result of developers contesting the viability studies. At the very least the quantum of affordable houses are likely to be reduced.

8. With the uncertain UK economic environment due in part only to climate change which will affect what and where we build there is no guarantee that this proposal will be realised as envisaged. The proposed SPD is not therefore a sound basis for the upgrading of the
infrastructure to meet any agreed future housing needs.

9. Local residents in general feel there needs to be a moratorium on large scale development that do not address local housing needs until the sewage and roads issues are resolved. In terms of future housing, we need to prioritise social housing and low-cost starter homes as these are needed by local people in a low wage economy. It would help greatly to have a housing target that is both realistic and recognises local need.

1.7 The logical approach to mitigation of the traffic congestion at the SRN Chichester A27 junctions is firstly
for National Highways and others to fund and to carry out such work to normalise the current congestion. In addition for CDC with WSCC to source additional funding other than the SRN/ MRN. A “cocktail of funding sources” was promised by WSCC). Developer contributions would then be available for other mitigation issues where developments impact on existing infrastructure.

This “new approach to A27 mitigation” means CDC propose to fund the mitigation of the impact of future
development whilst leaving the current congestion untouched. This ‘kicking the can down the road’ is not a
solution and neither is granting further permissions for housing without dealing with the current infrastructure
deficit.

2. Background

2.6 The improvement works to the Fishbourne, Bognor, Stockbridge and Whyke junctions were all included in the HE funding offer rejected by CDC and WSCC in ?2018 Thus there was not an “absence of Government funding” (ref4,1). It would never (despite inflation and cost escalation) have been affordable from developer contributions.

2.7 It is an egregious error to claim that no funding was available from central government over the past decade. The absence of Government funding was due to the decision by CDC and WSCC not to accept what was on offer.

Have CDC/WSCC followed funding from the MRN programme. It is understood that this was also turned
down by WSCC in?2018. Can it be rejuvenated for the A286 south of Chichester? Is the Bognor road junction a candidate?

2.15 The viability was presumably based on the historical housing models so favoured by developers to maximise their profits. In future the housing models need to change because affordability will become a major criterion for purchasers. This will lead to different types of housing that are affordable and therefore challenge the historical viability studies.

4. Planning Contributions

4.1 There is little evidence to provide confidence that funding sources from Government and others have
been robustly pursued.

Have CDC/WSCC fully explored funding via the MRN (funding stream remote from RIS) which they had
previously rejected despite being available for the A286?

Object

A27 Chichester Bypass Mitigation Supplementary Planning Document - August 2023

Representation ID: 6438

Received: 08/11/2023

Respondent: Barratt David Wilson Homes

Agent: Henry Adams LLP

Representation Summary:

- The emerging Local Plan is not yet adopted and the current Local Plan remains in force;
- It is accepted that the SPD formula for contributions requires updating to account for inflation;
- Without a proper formula that is robust, subject to examination (as per CIL) and based on industry standard calculation, it is considered that the proposed formula is premature and requires further scrutiny.

Full text:

Introduction

1.1 This representation provides a response to the A27 Chichester Bypass Mitigation Supplementary Planning Document (SPD) Consultation on behalf of our client Barratt David Wilson. The representation is a general submission and is not site specific, although it is relevant to all sites promoted by BDW in the District.

1.2 This representation provides a written response in relation to the proposal to introduce a new charging schedule in respect of contributions towards improvements to the A27. The proposed charging schedule sits outside of the Council’s adopted CIL charging schedule and seeks to replace an existing adopted infrastructure SPD.

2. Background & Policy Guidance

2.1 The Council are looking to replace part of their existing Planning Obligations and Affordable Housing Supplementary Planning Document (2016) specifically in relation to financial contributions towards A27 highway improvements. It is important to note that this results in deletion of part of the 2016 SPD and its replacement, which is confirmed at paragraph 1.4 of the consultation document.

2.2 As stated within the introductory section of the consultation draft SPD, it is noted that the technical evidence base covering the impact of new development in the south of the District on the A27 Chichester Bypass, and the mitigation required to address this, has been updated. As such, is it noted that Chichester District Council (CDC) takes the position that its previous approach to securing development contributions towards future mitigation of the A27 Chichester Bypass, in accordance with its 2016 adopted SPD ‘Approach for securing development contributions to mitigate additional traffic impacts on the A27 Chichester Bypass’, is no longer sufficient, which has led to the preparation of the new (consultation draft) SPD, to respond to the evidence base and update the approach.

2.3 The A27 Chichester Bypass is a Trunk Road, forming part of the national Strategic Road Network (SRN) which is managed by National Highways (NH) on behalf of the Secretary of State. Noting this, we are also aware of a recent letter from NH, to CDC in the context of a recent planning appeal and dated 11 September 2023, which provides some clarification on NH’s position with regards to the previous SPD.

2.4 The basis of the new SPD is the emerging Chichester Local Plan 2021 - 2039 and specifically the requirements of Policy T1 of this document. This is a document that is subject to a significant level of objection and is yet to be tested at Examination. A host of recent appeal decisions have confirmed that the emerging Local Plan carries limited weight given its stage of preparation. These decisions are summarised below:

 Appeal Ref: APP/L3815/W/21/3274502 – Hambrook – dated: 4 November 2021.

Paragraph 10 confirms that the allocation of 500 houses in the draft Local Plan can be given little weight at the present time. The Inspector didn’t expand on their
conclusion on this matter.

 Appeal Ref: APP/L3815/W/21/3284653 – Lavant – dated: 11 April 2022. The Inspector confirms at paragraph 2 that the Local Plan review is at an early stage and subject to further consultation and revisions. The Inspector therefore afforded it only minimal weight in the decision.

 Appeal Ref: APP/L3815/W/21/3286315 – West Wittering – dated: 22 April 2022. The Inspector concludes at paragraph 17 that the Chichester Local Plan Review is at an early stage of preparation, as the Regulation 19 had yet to be published and no fixed date for consultation.

 Appeal Ref: APP/L3815/W/21/3270721 – Westhampnett – dated: 27 May 2022. Confirmed early stages of production of the Plan and due to the need for extensive public consultation and likely to be subject of modifications before adoption, it carries limited weight.

 Appeal A Ref: APP/L3815/W/22/3295000 & Appeal B Ref: APP/L3815/W/22/3295004 –
Nutbourne & Chidham – dated 29 August 2023. This decision is post the January –March consultation on the pre-submission Local Plan and the inspector has
concluded that the emerging Local Plan can only be given very limited weight in paragraph 13 of the decision.

2.5 There is also a significant level of objection to the Plan generally and specifically in relation to Policy T1, which is the basis for the proposed new SPD. Contrary to the suggestions at paragraph 1.7 of the SPD document, the Local Plan Review is not at an advanced stage.

2.6 Whilst Policy T1 in the emerging Local Plan introduces the suggestion for an updated charging methodology, the SPD refers to existing policies in the out of date Local Plan
(2014-2029), in particular policies 8 and 9. The adopted policy relies on the 2013 Transport Study, however, the funding sought via the draft SPD relies upon the evidence base to the emerging Local Plan.

2.7 In light of the above, it is important to note the Planning Practice Guidance (PPG) in relation
to how and where planning policies seeking planning obligations should be set. This confirms:

Policies for planning obligations should be set out in plans and examined in public. Policy requirements should be clear so that they can be accurately accounted for in
the price paid for land.

Such policies should be informed by evidence of infrastructure and affordable housing need, and a proportionate assessment of viability. This evidence of need can be standardised or formulaic (for example regional cost multipliers for providing school
places. See the guidance from the Department for Education on ‘Securing developer
contributions for education’. However, plan makers should consider how needs and viability may differ between site typologies and may choose to set different policy
requirements for different sites or types of development in their plans.

It is not appropriate for plan-makers to set out new formulaic approaches to planning obligations in supplementary planning documents or supporting
evidence base documents, as these would not be subject to examination. Whilst standardised or formulaic evidence may have informed the identification of
needs and costs and the setting of plan policies, the decision maker must still ensure that each planning obligation sought meets the statutory tests set out in
regulation 122. This means that if a formulaic approach to developer contributions is adopted, the levy can be used to address the cumulative impact of infrastructure in an area, while planning obligations will be appropriate for
funding a project that is directly related to that specific development. (my emphasis)

Planning obligations assist in mitigating the impact of development which benefits local communities and supports the provision of local infrastructure. Local
communities should be involved in the setting of policies for contributions expected from development.

See related guidance: Viability and Plan-making
Paragraph: 004 Reference ID: 23b-004-20190901
Revision date: 01 09 2019

The above confirms that the Council’s approach is contrary national guidance. The SPD seeks to introduce a fixed charging schedule, which does not for example have to consider the tests at paragraphs 110 and 111 of the NPPF. In seeking financial contributions, the decision maker must ensure each obligation complies with Regulation 122 of CIL Regulations. If a fixed rate is set out, without any specific assessment of impact, or indeed
a specific mitigation scheme, the obligation posed would not meet the necessary Regulation 122 tests.

2.9 Whilst our client understands the Councils intentions, the mechanism sought is entirely inappropriate. It is clearly contrary to the PPG and should in fact by met through an
updated CIL charging schedule, but that would require much greater certainty on the costs of the associated works. The Council’s reason for disregarding the PPG and CIL receipts is set out at paragraph 3.4. This states:
The Council has also considered the guidance within the PPG stating that if a formulaic approach to developer contributions is adopted, the levy can be used to address the cumulative impact of infrastructure in an area. The Chichester Community Infrastructure Levy (CIL) has been in place since 2016. However, the funding raised
through CIL is not sufficient to fund the required A27 mitigations works and, in any case, this funding is required for other essential infrastructure and facilities that are needed to mitigate the impact of development, as set out within the Council’s Infrastructure Delivery Plan.

2.10 The failings of the Council to review their Local Plan and CIL charging schedule in a timely manner is not justification to bring forward an unlawful mechanism for securing infrastructure contributions. As confirmed above, the Council should in fact update their CIL charging schedule, which should follow appropriate Examination and adoption.

3. Proposed planning contributions

3.1 Section 4 of the draft SPD sets out the infrastructure improvements sought and potential costs of the works, albeit a very broad range of costs of between £28.9 - £43.3 million. Whilst the Council are yet to finalise those costs, or fully determine deliverability, the contributions sought are in line with the upper end of the range of costs, split between improvements of two roundabouts described at paragraph 4.4.

3.2 The draft SPD then goes on to confirm that a ‘target’ of £27,068,915 is to be secured. Whilst this is a very precise figure, this is not based on a specific scheme.

4. Proposed A27 Chichester Bypass Highway Mitigation

4.1 The consultation draft SPD (with specific reference to Paragraph 2.6, p. 6) states that, “Although the 2016 SPD has been successful in securing more than the target level of developer contributions for A27 improvement works, the remaining improvement works to the Fishbourne, Bognor, Stockbridge and Whyke roundabouts have not been possible to deliver. The main reason for this is that the cost of delivering these improvement works has increased very significantly over the past decade, well beyond the level of funding that has been secured through planning contributions under the 2016 SPD.

4.2 As a result of the above, the consultation draft SPD continues (at Paragraph 4.1, p. 10) and states that, “Therefore, the Council [CDC] has had no option but to propose a reduced mitigation package which will focus on delivering the improvements works to both Fishbourne and Bognor junctions, as described within Section 7 of the Local Plan Transport Assessment (Stantec, January 2023). These junction improvements are also set out within the Infrastructure Delivery Plan and the Infrastructure Business Plan.”

4.3 Paragraph 4.4 of the consultation draft SPD identifies what are understood to be latest available cost estimates for each of the above two junctions, which are stated as being between £9.5 and £12.9 million for the Fishbourne Roundabout (with the Terminus Road Link); and between £19.4 and £30.4 million for the Bognor Road Roundabout (with the Vinnetrow Road Link); a total cost range of between £28.9 million and £43.3 million. As discussed further on within this representation, the consultation draft SPD identifies (at Paragraph 4.23) a contribution rate for developments of £3,049.16 per bedroom. It is unclear how such a precise ‘per bedroom’ contribution rate can be identified, given the estimated costs of the works at the two A27 Chichester Bypass junctions prioritised for
improvements are so wide-ranging – indeed ranges of several million pounds per junction.

4.4 Furthermore, as discussed at the recent planning appeal for BDW Southampton’s proposed development for 300 dwellings at ‘Land at Highgrove Farm, Main Road Bosham, PO18 8EH (CDC planning application reference: 21/00571/FUL; The Planning Inspectorate appeal reference: APP/L3815/W/23/3322020) (heard by way of a public inquiry between 3 and 10 October 2023), it is noted that the technical evidence base that it is understood
underpins the consultation draft SPD remains a ‘work in progress’. The identification of such a precise ‘per bedroom’ contribution amount is therefore considered to be premature at this stage.

5 Contribution Rate Formula

5.1 It is further noted that the previous SPD set out a formula for calculating the required development contributions, based on the number of dwellings proposed. It is noted that the ‘per dwelling’ amount varied depending on where in the District the proposed developments were located, with proposed developments within geographical areas closer to the A27 Chichester Bypass generally attracting a higher ‘per dwelling’ contribution than proposed developments within geographical areas further away. It is our view that this previous approach was largely sufficiently robust and logical, accepting that proposed
developments located within closer proximity to the A27 Chichester Bypass are typically expected to have a greater ‘per dwelling’ traffic impact on it, compared with proposed developments located further away. However, we would add that any approach should also reflect the extent to which car trips from a development are shifted onto sustainable transport modes.

5.2 The consultation draft SPD identifies a ‘per bedroom’ contribution rate (£3,049.16 per
bedroom), which would therefore result in the contribution per dwelling varying depending on the number of bedrooms it comprises. However, it is noted that there is no variation in the contribution rate as a result of geographical location or proximity to the A27 Chichester Bypass, or indeed the role of sustainable travel.

5.3 Whilst it is accepted that the traffic impact of a dwelling may vary depending on the number of bedrooms it comprises, because in turn it could be assumed, for example, that the greater number of bedrooms a dwelling comprises, the more occupants it has and therefore the greater the level of car ownership and/or traffic generation (for example, the number of car trips per day), it is concerning that there appears to no longer be any variation in the contribution rate, due to the geographical proximity of the proposed development site to the A27 Chichester Bypass. It is surmised that the consultation draft SPD simply requires a certain size dwelling to pay the same contribution, regardless of its location within the District and proximity to the A27 Chichester Bypass – this omission, it is considered, is fundamentally flawed and unfair to proposed developments situated further away from the A27 Chichester Bypass, which would logically have a lesser traffic impact on it, compared with proposed developments situated further away.

5.4 Additionally, this ‘per dwelling’ approach does not account for different levels of traffic generation, determined by other factors including the promotion of effective sustainable (e.g. walking, cycling and public transport) transport measures at a development site.

6 Consideration of the Strategic Role of the A27 Chichester Bypass

6.1 As detailed with Section 9.9 ‘Apportionment of A27 Scheme Costs’ of the January 2023 Stantec Transport Study, a ‘SATURN’ area-wide strategic traffic model was used to estimate traffic demands impacting the SRN A27 Chichester Bypass, split into Local Planning Review and
committed development, and background traffic growth. Paragraph 9.9.4 states that, “an assessment was undertaken at each of Fishbourne, Bognor, Whyke and Stockbridge Roundabouts on the SRN. For each junction, the assessment (2 way by direction) was undertaken
for each approach arm in the 2014 Base Model and in the 535 DPA scenario Plan Year model (assumed to be 2039). This was used to estimate growth due to CDC proposed development and due to background growth. This also included an analysis of through traffic on the A27 by
undertaking the appropriate assessment.”

6.2 In order to circumvent modelling limitations such as suppressed trips in the more congested AM and PM peak hours, the flow analysis was undertaken at Annual Average Daily Traffic (AADT) flow level by converting model AM and PM peak flows accordingly.

6.3 The results of the model demonstrated that developments within Chichester District are forecast to contribute 28% of the growth at the A27 Chichester Bypass Fishbourne and Bognor Road roundabouts between base year 2014 and Local Plan year 2038. As
referenced in Paragraph 9.9.6, “The results indicate that at Fishbourne junction, Chichester development contribute only 28% of the growth at the junction between 2014 Base Year and 2038 Local Plan year. At Bognor Junction this figure is also estimated at 28%. The figures at Stockbridge and Whyke Roundabouts are 14% and 18% respectively. This will be proportionately less when considering only new development proposed by the emerging Local
Plan (i.e. that which is not already committed), which is approximately a third of the overall development envisaged by the Plan.”

6.4 Paragraph 9.9.7 states, “All the junctions are shown to be over capacity without the Local Plan traffic added in. Therefore, it is clear that the issues seen at these junctions are not just a result of the Local Plan and committed development traffic, but other background and existing traffic also impact on performance of the junctions.”

6.5 CDC would be expected to contribute these proportions towards scheme mitigation costs, whilst the remaining funding should come from other sources. As noted, the A27 (including the Chichester Bypass) is a Trunk Road forming part of the national SRN. Given
the important role of the A27 Chichester Bypass in facilitating longer distance strategic journeys as well as more local ones, it is considered that funding for junction
improvements along the A27 Chichester Bypass should also come from Central Government level – it should not fall to CDC and developments in the local area to cover
more than their respective impacts.

7 Future Developments Proposed Dwelling ‘Cap’

7.1 The consultation draft SPD proposes the implementation of a ‘cap’ on future housing development in the south of the district, to 3,551 uncommitted dwellings (Paragraph 4.12). The SPD states “a ceiling or cap on the level of new homes coming forward. But that ‘cap’ does
not only apply once the new Local Plan has been adopted. National Highways has indicated that it considers that the ‘baseline’ for assessing the impact on development coming forward on the A27 should start in January 2023, when the Council’s modelling work on traffic impact was
published within the Local Plan Transport Assessment. This means that any new dwellings coming forward now within the south of the District, whether planned or otherwise, will count towards the overall ‘cap’ on new homes.”

7.2 The consultation draft SPD states that viability test has been undertaken which equated to £7,623 per dwelling (Paragraph 4.16). Arriving at this figure is considered to be premature, if impacts from outside Chichester District, including impacts from longer distance strategic journeys, have not been taken into account.

7.3 Furthermore, the very limiting number of dwellings (3,551) left to implement south of the district up to 2029 will have a significant and detrimental impact on housing supply in the district, exacerbating existing housing shortages at a local level.

7.4 The imposition of a cap on the number of dwellings that can be delivered is considered to be fundamentally flawed. This cap does not take account of the varying levels of traffic generation that can come from a development, influenced e.g. by the site’s location and
potential for sustainable travel. It has also been proposed in the context of mitigation schemes that do little for sustainable travel and which are focussed on improving highway capacity. We would assert that no such housing cap should be put in place and, instead, planning applications for developments should continue to be determined based on residual traffic impact and proposed mitigation (including their ability to shift car trips onto
sustainable transport modes).

8 National Highways Position

8.1 A letter, dated 11 September 2023, was sent by NH to CDC, in the context of a recent planning appeal, setting out NH’s position with regards to the adopted CDC SPD. NH states that it is in agreement with “the Council’s [CDC’s] decision to revise and replace the current
SPD to reflect the current and future circumstances including the emerging Local Plan. We [NH] agree that the Council should now lead the collection and governance of developer contributions to fund mitigation measures, including the collection of higher contribution levels, as part of the delivery of the overall Local Plan and its supporting infrastructure and measures; (noting that
some mitigation measures/schemes may not directly include the strategic road network (SRN)).”

8.2 NH states within its letter that it will consider proposals on a ‘case-by-case’ basis and either recommend that planning permission should be refused, or recommend a set of appropriate planning conditions to make the development acceptable, as follows: “So far as future planning applications are concerned any responses from NH will consider proposals
on a case-by-case basis and if, as a result of traffic generated by the development there would
be an unacceptable impact on highway safety, or the residual cumulative impacts on the SRN
would be severe, NH will either recommend that permission should be refused or recommend
appropriate Planning Conditions to make the development acceptable.”

8.3 It is understood, in light of the letter, that NH will continue to work with CDC “to identify measures necessary to mitigate the impact of the Proposed Submission Local Plan on the SRN. NH are supportive in principle of a Monitor & Manage approach that reflects the principles of current policies, including C1/22, subject to the technical and policy details.”

8.4 It is evident from NH’s letter that, whilst it agrees with CDC’s decision to revise and replace the current adopted SPD, it does not endorse the consultation draft SPD nor does it provide a position with regards to the proposed ‘per bedroom’ contribution rate. It remains unclear how NH’s proposed position going forwards, to consider proposals on a ‘case-by-case’ basis, is consistent with CDC’s proposals to continue collecting contributions, albeit at a new higher rate and, it is argued, with less technical robustness.

9 Emerging Draft Local Plan

9.1 The ‘Chichester Local Plan 2021-2039 Proposed Submission (February 2023)’ has not yet been adopted and therefore the current CDC Local Plan still remains in force. It is accepted that the SPD formula for A27 Chichester Bypass mitigation contributions (cost per dwelling) as set out in the adopted SPD (which forms part of the adopted Local Plan) needs to be updated to account for cost inflation. However, without a proper formula that is robust and subject to examination (as would be the case with CIL), and which is based on the use of industry standard calculations, it is considered that the proposed formula put forward is premature and requires further scrutiny.

Summary and Conclusions

10.1 This representation has been prepared on behalf of BDW Southampton in respect of Chichester District Council’s (CDC’s) ‘Chichester Local Plan 2014-2029: A27 Chichester Bypass Mitigation’ consultation draft SPD, which was issued for consultation in August 2023.

10.2 BDW Southampton is currently promoting a number of residential developments within both Chichester District and neighbouring local authority areas, and therefore has an interest in the status and content of the consultation draft SPD.

10.3 This representation highlights a number of issues and concerns with the consultation draft SPD, as follows:

i. The consultation draft SPD identifies what are understood to be latest available cost estimates for each of the Fishbourne and Bognor Road roundabouts on the A27 Chichester Bypass, which are between £9.5 and £12.9 million for the Fishbourne Roundabout; and between £19.4 and £30.4 million for the Bognor Road Roundabout; a total cost range of between £28.9 million and £43.3 million. However, the consultation draft SPD identifies a contribution rate for developments of £3,049.16 per bedroom. It is unclear how such a precise ‘per bedroom’ contribution rate can be identified, given the estimated costs of the works at the two A27 Chichester Bypass junctions are so wide-ranging – indeed ranges of several million pounds per junction.

ii. It is noted that the technical evidence base that it is understood underpins the consultation draft SPD remains a ‘work in progress’. The identification of such a
precise ‘per bedroom’ contribution amount is therefore considered to be premature at this stage.

iii. The previous SPD set out a formula for calculating the required development contributions, based on the number of dwellings proposed, which varied depending on where in the District the proposed developments were located. It is our view that this previous approach was largely sufficiently robust and logical, accepting that proposed developments located within closer proximity to the A27 Chichester Bypass are typically expected to have a greater ‘per dwelling’ traffic impact on it, compared
with proposed developments located further away. However, we would add that any approach should also reflect the extent to which car trips from a development are shifted onto sustainable transport modes.

iv. Proposal is contrary to the clear Planning Practice Guidance. This states that the approach to affectively create a separate CIL tariff outside of any examination is
appropriate. The correct mechanism, as described above is to review the current CIL charging schedule and up date the associated levy payment.

v. The consultation draft SPD identifies a ‘per bedroom’ contribution rate (£3,049.16 per bedroom), which would therefore result in the contribution per dwelling varying
depending on the number of bedrooms it comprises. However, it is noted that there is no variation in the contribution rate as a result of geographical location or proximity to the A27 Chichester Bypass, or indeed the role of sustainable travel.

vi. The A27 (including the Chichester Bypass) is a Trunk Road forming part of the national SRN. Given the important role of the A27 Chichester Bypass in facilitating longer distance strategic journeys as well as more local ones, it is considered that funding for junction improvements along the A27 Chichester Bypass should also come from Central Government level – it should not fall to CDC and developments in the local area to cover more than their respective impacts.

vii. The consultation draft SPD suggests the implementation of a ‘cap’ on future housing development in the south of the district, to 3,551 uncommitted dwellings. The imposition of cap on the number of dwellings that can be delivered is considered to be fundamentally flawed. This cap does not take account of the varying levels of traffic generation that can come from a development, influenced e.g. by the site’s location
and potential for sustainable travel. It has also been proposed in the context of mitigation schemes that do little for sustainable travel and which are focused on
improving highway capacity. We would assert that no such housing cap should be put in place and, instead, planning applications for developments should continue to be
determined on a case-by-case basis, based on residual traffic impact and proposed mitigation (including their ability to shift car trips onto sustainable transport modes).
It also fails to take account of windfall sites that will occur over the planning period, or for example rural exception housing to meet specific needs.

viii. A letter, dated 11 September 2023, was sent by NH to CDC, in the context of a recent planning appeal, setting out NH’s position with regards to the adopted CDC SPD. NH states within its letter that it will consider proposals on a ‘case-by-case’ basis and either recommend that planning permission should be refused, or recommend a set of appropriate planning conditions to make the development acceptable. It is evident from NH’s letter that, whilst it agrees with CDC’s decision to revise and replace the current adopted SPD, it does not endorse the consultation draft SPD nor does it provide a position with regards to the proposed ‘per bedroom’ contribution rate. It
remains unclear how NH’s proposed position going forwards, to consider proposals on a ‘case-by-case’ basis, is consistent with CDC’s proposals to continue collecting
contributions, albeit at a new higher rate and, it is argued, with less technical robustness.

ix. The 'Chichester Local Plan 2021-2039 Proposed Submission (February 2023)' has not yet been adopted and therefore the current CDC Local Plan still remains in force. It is accepted that the SPD formula for A27 Chichester Bypass mitigation contributions (cost per dwelling) as set out in the adopted SPD (which forms part of the adopted Local Plan) needs to be updated to account for cost inflation. However, without a proper formula that is robust and subject to examination (as would be the case with CIL), and which is based on the use of industry standard calculations, it is considered
that the proposed formula put forward is premature and requires further scrutiny.

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