Spatial Vision and Strategic Objectives

Showing comments and forms 31 to 50 of 50

Object

Local Plan Review: Preferred Approach 2016-2035

Representation ID: 2627

Received: 04/02/2019

Respondent: Mr Mike Dicker

Representation Summary:

No mention of the development opportunities to the North of the city.
Northern considerations will benefit the rural communities.

See attached for full detail.

Full text:

Full detailed submission for the Local Plan and supporting evidence is attached.

The representations attached to this submission reflect a high level summary of the detailed submission and do not contain the full level of detail received.

High level comments received:

a. The transport study conducted by Peter Brett Associates (PBA) is not fit for purpose and needs to be rewritten. The scope set for PBA is far too constraining and counters the democratic process agreed by the council to seek alternative routes.

b. Many of the documents are inconsistent and in their current form smack of inconsistency and bias. Reasons for excluding some strategic sites are not consistently used for other sites.

c. Many of the evidence documents are not present or are not complete for this consultation. These will need to be re consulted when they are complete.

d. CDC should not be accepting the unmet housing need from the South Downs National Park (SDNP). They should also be going back to government to insist that until certainty is provided on the A27 this area can not accommodate future housing and or employment space.

e. The proposed link road was resoundly rejected last time it was proposed by Highways England. CDC need to respect the voices that rejected what is option 2 by stealth. Particularly as the PBA report states that the building of the link road will offer other "strategic options". This will not be tolerated locally.

Attachments:

Support

Local Plan Review: Preferred Approach 2016-2035

Representation ID: 2702

Received: 07/02/2019

Respondent: Gladman

Representation Summary:

Support the Vision and strategic objectives.

Full text:

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Comment

Local Plan Review: Preferred Approach 2016-2035

Representation ID: 2741

Received: 07/02/2019

Respondent: Gleeson Strategic Land

Representation Summary:

Suggest that the vision specifies that more homes will be delivered in the places people want to live.

Full text:

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Comment

Local Plan Review: Preferred Approach 2016-2035

Representation ID: 2815

Received: 07/02/2019

Respondent: MR William Sharp

Representation Summary:

Section 3.2 Existing phrasing is looking complacent in the context of the recent IPCC report predicting 12 years to implement "urgent and unprecedented changes" to keep the global temperature rise down. It is a priority to further downplay the car. The Local Plan should be revised to better support the national commitment to combat climate change.

Full text:

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Comment

Local Plan Review: Preferred Approach 2016-2035

Representation ID: 2817

Received: 07/02/2019

Respondent: MR William Sharp

Representation Summary:

Section 3.4 too economic focussed. Specific mention needed of quality of life issues not accounted for by paid-for activities; notably informal recreation in the rural surrounds and easy (non car-based) access to those surrounds.

Simply stating "other parts of the city" could be taken to imply that wider access beyond the city is not important.

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Object

Local Plan Review: Preferred Approach 2016-2035

Representation ID: 2821

Received: 07/02/2019

Respondent: MR William Sharp

Representation Summary:

Section 3.5 OBJECT to phrasing "Most of the new development will be well located in and around the main settlement of Chichester together with Tangmere and Southbourne" on grounds that Tangmere does not have a railway station and cannot be said to be "well located"; Chichester is a small city - the sheer numbers being tacked on do not make Chichester "well located" for as much development as is proposed.

Full text:

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Comment

Local Plan Review: Preferred Approach 2016-2035

Representation ID: 2823

Received: 07/02/2019

Respondent: MR William Sharp

Representation Summary:

Section 3.6 - The phrase following "whilst" opens the door to much development that is undesirable/inappropriate. The additional underlined text adds some redress; introducing the importance of local character as part of economic development. The areas to the east west and south of the city do not constitute a single "corridor".

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Comment

Local Plan Review: Preferred Approach 2016-2035

Representation ID: 2825

Received: 07/02/2019

Respondent: MR William Sharp

Representation Summary:

3.7 The cavalier treatment of the southern end of Centurion Way provides a salutary lesson of what may happen if the revised Plan fails to specifically mention the importance of green routes between the North and South.

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Object

Local Plan Review: Preferred Approach 2016-2035

Representation ID: 2827

Received: 07/02/2019

Respondent: MR William Sharp

Representation Summary:

3.8 fails to acknowledge that the introduction of (paid for) formal local facilities often come at the loss of (free) informal facilities.

Full text:

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Object

Local Plan Review: Preferred Approach 2016-2035

Representation ID: 2831

Received: 07/02/2019

Respondent: MR William Sharp

Representation Summary:

Nothing wrong with vision but much wrong with proposed implementation. Some of the bridges do not even qualify as cycleways, as they are designed only to footbridge standards.

Full text:

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Comment

Local Plan Review: Preferred Approach 2016-2035

Representation ID: 2832

Received: 07/02/2019

Respondent: MR William Sharp

Representation Summary:

3.12 - The term "regeneration" is too often used to promote inappropriate development. Clarity is needed that only sensitive regeneration is being looked for.

Full text:

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Comment

Local Plan Review: Preferred Approach 2016-2035

Representation ID: 2842

Received: 07/02/2019

Respondent: Sussex Wildlife Trust

Representation Summary:

Section 3.1 does not show a strong enough commitment to the natural environment as required by the revised NPPF, which is much more progressive in its approach. The term supporting should be strengthened to reflect the need to protect, conserve and enhance the natural environment.

Section 3.2 includes the vision and we are pleased to see biodiversity and the wider natural environment recognised within this. Further opportunity to include net gains to Natural Capital and recognise the need for climate change resilience.

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Comment

Local Plan Review: Preferred Approach 2016-2035

Representation ID: 2853

Received: 07/02/2019

Respondent: Sussex Wildlife Trust

Representation Summary:

Section 3.3 of the PAP refers to good access to a range of employment opportunities and affordable housing, we seek clarity on what good access means? Does this vision reflect the requirement for development to be sustainable and in particular planning which limits the need to travel and offers a genuine choice of transport modes (NPPF paragraph 103)?
A large amount of development is focused on the East-West corridor. No acknowledgement of the need for protection and likely need for growth of area's natural capital in order to deliver the ecosystem services required to support development.

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Comment

Local Plan Review: Preferred Approach 2016-2035

Representation ID: 2854

Received: 07/02/2019

Respondent: Sussex Wildlife Trust

Representation Summary:

Manhood Peninsula
SWT welcomes the amendments that have been made to this section of the plan following our 2017 comments. As a result the 'rural hinterland' is now included alongside the coast and surrounding countryside for protection.

We still suggest that there is an opportunity to reflect the area's value in terms of ecosystem services delivery, in particular in relation to flood resilience.

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Comment

Local Plan Review: Preferred Approach 2016-2035

Representation ID: 2976

Received: 04/02/2019

Respondent: Mrs Sarah Sharp

Representation Summary:

Justification for suggested change to 3.2: IPCC report. Bullet point 10 - without more safe segregated cycle paths this vision will not be realised.

Plan should draw upon ongoing work of Cycle Forum and the Chemroute's proposals and be coordinated with WSCC with the goal of introducing high quality and separated cycle links between villages along the A259 and between Westhampnett and Tangmere and Chichester.

3.10 Timing of the 700 bus have been reduced from every 10 minutes to every 20 minutes - not reliable enough to provide an alternative to the private car.

Full text:

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Object

Local Plan Review: Preferred Approach 2016-2035

Representation ID: 2977

Received: 04/02/2019

Respondent: Mrs Sarah Sharp

Representation Summary:

Section 3.17 Need to include another Strategic Objective - Justification for this is IPPC report .

Strategic Objective 5: Mitigating and Adapting to Climate Change

Full text:

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Comment

Local Plan Review: Preferred Approach 2016-2035

Representation ID: 3065

Received: 06/02/2019

Respondent: Chichester Harbour Conservancy

Representation Summary:

Page 24, 3.7 The East-West Corridor:
"The relationship between the National Park and significant natural areas to the south, especially Chichester Harbour Area of Outstanding Natural Beauty, will be carefully managed by maintaining and enhancing the countryside between settlements."

This aspiration is not reflected in the policies in the Local Plan, with large development schemes proposed at Apuldram, Bosham, Fishbourne, Chidham & Hambrook and Southbourne.

Full text:

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Comment

Local Plan Review: Preferred Approach 2016-2035

Representation ID: 3066

Received: 06/02/2019

Respondent: Chichester Harbour Conservancy

Representation Summary:

Page 25, 3.13 Manhood Peninsula:
"Local industries such as horticulture, agriculture, fishing and tourism will flourish with a particular focus on local food production."

3.13 does not make sense. There is no evidence that building more dwellings will result in these industries flourishing.

Full text:

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Object

Local Plan Review: Preferred Approach 2016-2035

Representation ID: 3476

Received: 06/02/2019

Respondent: Mr Colin Hammerton

Representation Summary:

Para 3.17. Object to allocation of 41 homes from SDNP.

Full text:

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Comment

Local Plan Review: Preferred Approach 2016-2035

Representation ID: 3517

Received: 06/02/2019

Respondent: HMPC Ltd

Representation Summary:

A sound planning strategy can deliver ample development land within the district that will meet housing and employment needs while protecting the important transitional relationship offered by land between the urban edge and the SDNP boundary. This will involve being focussed more on evolving settlement hubs on good transport routes and allowing appropriate scales of development to sustain rural settlements. This will involve an on-going dialogue with adjoining authorities under the duty to co-operate to ensure future development is located in sustainable locations where it is most appropriate.

Full text:

The Goodwood Estates Ltd welcomes the opportunity to again participating in shaping the future of the District through this review of the local plan. The authority will be well aware of the Estate's firm view on the future scale, shape and form of Chichester to ensure that it retains the very special characteristics that underlie its economic success.

Development to meet the growing needs of the City and its environs must be accommodated if the District is to prosper and grow, but this should not mean a "free-hand" for developers on each and every undeveloped 'greenfield' around the City. Development of the next area of undeveloped land adjacent to the city's existing boundaries does not mean it is the most sustainable approach for the community as a whole. It is all too easy for landowners, at a time of acute housing demand, to promote sites as the next closest to available services (often 'as the crow flies') providing housing quickly to meet that undeniable need. The north and north-eastern edges of the city are vulnerable in this regard, an area for which the maintenance of openness is essential for the sustainable and sound interrelationship of Chichester with the neighbouring national park.

Up and down the country, the negative effects of suburban housing growth promoted on that basis are experienced; often without a true recognition of infrastructure needs and a consequential increase in car borne journeys and loss of greenspace. Equally the often, bland design and over-developed sub-urban layouts, tacked on to urban edges, may mathematically meet local needs and offer people an opportunity to own or rent a home, but consequentially erode the community and character of locations to the long-term detriment of its economic base, identity and community distinctiveness; this is particularly true of cities such as Chichester, where the overall character and ambience underpins much of its economic success.

The authority will be well aware of the "Cathedral Cities Initiative", which seeks to recognise the economic and heritage importance of protecting the form and context of the country's important cathedral cities and historic market towns. By providing clear, precise and 'joined up' planning policy protection, that directs new development and associated infrastructure appropriately to sites best able to accommodate it in terms of benefits to the community as a whole (offering benefits in excess of the provision of additional homes and not just the individual interests of the landowner 'dressed up' as offering wider local benefit) it will prevent inappropriate inner-urban and sub-urban development that will cumulatively destroy the true character and distinctiveness of the city.

Chichester is used as an exemplar in the Cathedral Cities initiative, promoted initially at the time of formulating the last local plan for the District, where there was a real threat unchecked urban expansion would undermine the very essence of the District's local economy. That threat has been reduced through this local plan by changes to strategic allocations, but the threat remains from unscrupulous developers and landowners who will continue to exploit the 'loop hole' provided by a lack of housing supply or incomplete planning policy position (potentially an acute situation until this plan is adopted). It is essential this plan not only makes provision to meet objectively assessed housing and employment needs but equally ensures that essential open areas, around and within the city, which contribute positively to its setting, character and economic vitality are given long-term protection through specific policy designation.

The NPPF is explicit that sustainability is a true balance of social, economic and environmental considerations. This means the plan must represent a true reflection of the suitability of a location to accommodate additional growth in a meaningful way. It must not apply the over simplified, developer led approach that the next piece of available land nearest the centre must be sustainable and developed for housing. A robust strategy will look at all sites within the district making use of all appropriate and available land within urban areas, surrounding settlements and along transport corridors, as well as the "easy pickings" on the urban edges. Development sites further from the city centre ,can often prove more sustainable in terms of the NPPF sustainability balance than sites that comprise the next undeveloped site on the urban edge. Any development promoted must, as a minimum, ensure that it demonstrates a positive response to the sustainability balance, not just meeting a mathematical housing need, and provide appropriately, not only for the infrastructure needs of the housing to be provided , but also for the community as a whole; too many development proposals focus simply on the needs of the individual site giving rise to the many real concerns of local people that the community does not have the capacity to absorb additional housing.

The Estate is therefore heartened to see the council taking a bold step through this Local Plan Review to reconsider previous development scenarios, while ensuring that a true level of housing need is accommodated. Paragraphs 4.30 to 4.33 recognise it is not sustainable to continue to rely on past sources of supply. We support this stance fully and encourage the council to take the initiative forward even at this early stage. As stated in the draft plan, there is a long lead in time to such a fundamental and complex change of direction in strategic development, but without a meaningful start now old habits will continue, resulting in an increasing unsustainable City and loss of the very factors that undermine its economic success. There is an inevitability that developers and landowners affected by the changes, will, through planning applications and appeals, do their utmost to ensure their individual interests are protected, over and above the long-term impacts of inappropriate developments on the community as a whole. To counter such proposals in the short term, this plan must set out a logical, precise and robust strategy that follows all up to date Government advice in a positive and sustainable manner

The Estate believes a sound planning strategy set out in this local plan review can deliver ample development land within the district in a manner that will meet housing and employment needs while protecting the very important transitional relationship offered by land between the urban edge and the SDNP boundary. This will involve a step change from past trends of allocating the next area of land as development locations, to be focussed more on evolving settlement hubs on good transport routes, such as around Tangmere, and allowing appropriate scales of development to sustain rural settlements that have to date be excluded from growth considerations. This will involve an on-going dialogue with adjoining authorities under the duty to co-operate to ensure future development is located in sustainable locations where it is most appropriate and not simply in locations of least (often political or subjective) resistance. The Estate will support the council in its emerging strategy and looks forward to working alongside it in the pursuit of a sustainable social, economic and environmental future.

The district is both fortunate but equally unfortunate to have a large part of its area within the National Park, a similarity it shares with the Estate. The purpose and objectives of the Park are acknowledged and supported, and the Estate continues to work with SDNP to establish a planning regime that recognises the true role of landed estates in establishing the character and form of the National Park. This includes the generation of planning policy and proposals through the emerging National Park Local Plan, that recognise the importance of allowing estates to continue to evolve such that the character of the National Park can be sustained. This includes an appropriate planning approach that allows justified estate development, which may at times appear 'at odds' with general national park objectives.

It is the Estate's belief the Park has not considered the true development capacity of its area and this will have unintended consequences on communities, not only within the Park itself, but also within surrounding districts. If the Park is to avoid development up to its boundary, in part a response to its own displaced needs, it is important the District retains existing open land to the north and north east of the city, permitting only new development and activity that are appropriate to a rural area, complement existing land uses and or which maintain the essential openness of the area.

Land between the city and National Park is an area that must be governed by landscape priorities that provide a crucial open, and where deliverable, accessible green space to the city community, but equally provides
(a) clear linkages to the national park,
(b) protects the integrity of the National Park boundary, and
(c) protects the important relationship and setting of city and Park.
Definition of the City Boundary (Plan SB1) should not simply be a red line on a plan, but supported by clear policies and proposals to encourage the boundary to be enhanced and defended.

The Estate owns a significant "buffer" area between the National Park and City (Goodwood Estate Plan 1) and will continue to work closely with both the Council and the SDNPA to achieve such an objective; to establish an appropriate planning policy regime for land between the city edge and National Park. A sound planning approach to the use of land south of Lavant Straight, between the A285 and A286, will ensure policy objectives within that area are complementary, and do not detract from the setting of either the historic city or national park. The land should be kept open primarily with the exception of appropriate development around the settlements of Westhampnett, Westerton, Strettington, and at Goodwood Aerodrome and Motor Circuit (as more specifically controlled through other policies of the plan). The land should be used for agriculture, countryside, forestry, public access and other landscape purposes.

Through representations to this local plan, set out in individual comments to policies and sections, the Estate seeks to demonstrate its commitment to the future sustainability of Chichester and its community through appropriate use of this "buffer area."

New policies proposed through the Local Plan, such as those proposed for the Goodwood Motor Circuit and Aerodrome, provide a positive response to the above objectives and are to be supported. Provision of a "Whole Estate Plan" for Goodwood as required by policies contained in the emerging National Park Local Plan, will provide a planning policy context that straddles the District/National Park boundary. The District Local Plan should acknowledge this approach and ensure that its policies do not conflict.