Policy T4 Parking Provision

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Support

Chichester Local Plan 2021 - 2039: Proposed Submission

Representation ID: 4589

Received: 16/03/2023

Respondent: Wisborough Green Parish Council

Representation Summary:

WGPC supports this policy.

Full text:

WGPC supports this policy.

Object

Chichester Local Plan 2021 - 2039: Proposed Submission

Representation ID: 4700

Received: 17/03/2023

Respondent: Rolls-Royce Motor Cars Limited

Agent: David Lock Associates

Legally compliant? Not specified

Sound? No

Duty to co-operate? Not specified

Representation Summary:

Draft Policy T4 requires development to deliver parking in accordance with the West Sussex Parking Standards Guidance.

While the principle of this approach is recognised, it is important that the Local Plan clearly sets out that the adopted Parking Standards should be seen as a starting point for assessing parking needs in a development. R-RMC suggests that the draft policy is amended to more clearly support flexibility in individual circumstances where the adopted Parking Standards may not be the most appropriate solution.

Change suggested by respondent:

Amend policy to more clearly support flexibility in individual circumstances where the adopted parking standards may not be the most appropriate solution.

Full text:

Rolls-Royce Motor Cars (R-RMC) supports the Council’s commitment to securing adequate car and cycle parking provision from development in the district. Draft Policy T4 (Parking Provision) requires development to deliver parking in accordance with the West Sussex Parking Standards Guidance (2020) or any subsequent standards.

While the principle of this approach is recognised, it is important that the Local Plan clearly sets out that the adopted Parking Standards should be seen as a starting point for assessing parking needs in a development. It is acknowledged that the Parking Standards guidance sets out they are an “initial guide for developers (paragraph 6.3 West Sussex Guidance on Parking at New Developments September 2020) and the Local plan policy should align with this approach. It is also important that the policy retains some flexibility to account for individual circumstances and nature of operations where a different approach is more appropriate. This may include circumstances such as the delivery of the bespoke R-RMC expansion site, where parking provision for specific employment needs may differ. This would not negate the requirement to prepare and provide a Travel Plan as appropriate.

R-RMC suggests that the draft policy is amended to more clearly support flexibility in individual circumstances where the adopted Parking Standards may not be the most appropriate solution. This would make the draft policy effective and sound.

Object

Chichester Local Plan 2021 - 2039: Proposed Submission

Representation ID: 5478

Received: 17/03/2023

Respondent: Mayday! Action Group

Number of people: 8

Legally compliant? Not specified

Sound? Not specified

Duty to co-operate? Not specified

Representation Summary:

There is a great deal of land in and around the City of Chichester which is given over to car parking, none of which is underground or located underneath other office or residential buildings. Parking in Chichester is ever more expensive but increasing prices will not drive people from their cars – BECAUSE THE CURRENT TRAIN AND BUS OPTIONS ARE TOTALLY INADEQUATE. It is cheaper to drive into Chichester and park than take the bus.

Change suggested by respondent:

The harsh fact is that the Vision for Chichester needs urgent and rapid revision and the ideas of those with experience in actually designing and delivering on time and on budget major big picture urban regeneration schemes has to be taken forward, urgently.

Fewer small car parks and a daily Park and Ride (using electric or hydrogen buses supplied by CDC) facility is surely envisage-able. As the take-up of electric cars develops, underground car parking for non-hydrocarbon fuelled vehicles should be envisaged.

Full text:

Executive Summary

The Local Plan as written lacks ambition and vision, and will be detrimental to the landscape within which the district lies. It is a plan borne out of a need to produce a legal document which will satisfy the regulatory authorities. In terms of Urban Planning it fails “To meet the needs of the present without compromising the ability of future generations to meet their own needs” (NPPF).

The development that will consequentially arise from the deployment of such a made Local Plan is not sustainable. It will adversely affect the Character, Amenity and Safety of the built environment, throughout our district.

In particular, the Local Plan is inadequate for the needs of the people in the district both at present and in the future because –

1. It has been written in advance of the District having a properly formed and agreed Climate Emergency Action Plan. It is inconceivable that such a key document will not shape our Local Plan. It is this Action Plan that is needed first in order to provide the long-term strategic view as to how and what the District will look like in the future; this, in turn, will help form and shape the policies outlined in any prospective, Local Plan. The Plan as proposed is moribund, as a result of “cart before the horse” thinking.

2. The Local Plan as written does not adequately address how infrastructure, transport and services are going to be materially and strategically improved to meet the predicted growth and shift to a significantly ageing population. There is presently insufficient capacity to supply services and to have adequate people and environmentally friendly connectivity, as a direct result of decades of neglect towards investing in infrastructure and services to meet the needs of the District’s population. We are led to believe that developers through increased levies in order to gain permission to build will fulfil this need, but all that this will result in is an uncoordinated, dysfunctional mess completely lacking in any future-proof master planning approach. We contend that this will do nothing for the quality of life of Chichester District residents and it will create a vacuum whereby few if indeed any can be held accountable or indeed found liable for shortcomings in the future.

3. The Local Plan as written does not state how it will go about addressing the need to create affordable homes. The District Council’s record on this matter since the last made plan has been inadequate and now the creation of affordable homes has become urgent as political/economic/social factors drive an ever increasing rate of change within the District.

4. Flood risks assessments used in forming the Plan are out of date (last completed in 2018) and any decision to allocate sites is contrary to Environment Agency policy. Additionally, since March 2021 Natural England established a position in relationship to ‘Hold the Line’ vs. ‘Managed Retreat’ in environmentally sensitive areas, of which the Chichester Harbour AONB is a significant example. CDC have failed to set out an appropriate policy within the proposed Local Plan that addresses this requirement.

5. The A27 needs significant investment in order to yield significant benefits for those travelling through the East-West corridor; this is unfunded. Essential improvements to the A27 are key to the success of any Local Plan particularly as the city’s ambitions are to expand significantly in the next two decades. But any ambitions will fall flat if the A27 is not improved before such plans are implemented.. The A259 is an increasingly dangerous so-called ‘resilient road’ with a significant increase in accidents and fatalities in recent years. In 2011, the BBC named the road as the “most crash prone A road” in the UK. There is nothing in the Local Plan that addresses this issue. There is no capacity within the strategic road network serving our district to accommodate the increase in housing planned, and the Local Plan does not guarantee it.

6. There is insufficient wastewater treatment capacity in the District to support the current houses let alone more. The tankering of wastewater from recent developments that Southern Water has not been able to connect to their network and in recent months the required emergency use of tankers to pump out overflowing sewers within our City/District reflects the gross weakness of short-termism dominated thinking at its worst and is an indictment of how broken our water system is. The provision of wastewater treatment is absolutely critical and essential to the well-being of all our residents and the long-term safety of our built environment. The abdication by those in authority, whether that be nationally, regionally or locally, is causing serious harm to the people to whom those in power owe a duty of care and their lack of urgency in dealing properly with this issue is seriously jeopardizing the environment in which we and all wildlife co-exist.

7. Settlement Boundaries should be left to the determination of Parish Councils to make and nobody else. The proposed policy outlined in the Local Plan to allow development on plots of land adjacent to existing settlement boundaries is ill-conceived and will lead to coalescence which is in contradiction of Policy NE3.

8. All the sites allocated in the Strategic Area Based Policies appear to be in the majority of cases Greenfield Sites. The plan makes little, if any reference to the development of Brownfield sites. In fact, there is not a Policy that relates to this source of land within the Local Plan as proposed. Whilst in the 2021 HELAA Report sites identified as being suitable for development in the District as being Brownfield sites were predicted to yield over 4000 new dwellings. Why would our Local Plan not seek to develop these sites ahead of Greenfield sites?

9. The Local Plan does not define the minimum size that a wildlife corridor should be in width. What does close proximity to a wildlife corridor mean? How can you have a policy (NE 4) that suggests you can have development within a wildlife corridor? These exceptions need to have clear measures and accountability for providing evidence of no adverse impact on the wildlife corridor where a development is proposed. Our view is quite clear. Wildlife and indeed nature in the UK is under serious and in the case of far too many species, potentially terminal threat. Natural England has suggested that a Wildlife Corridor should not be less than 100metres wide. The proposed Wildlife Corridors agreed to by CDC must be enlarged and fully protected from any development. This is essential and urgent for those Wildlife Corridors which allow wildlife to achieve essential connectivity between the Chichester Harbour AONB and the South Downs National Park.

10. Biodiversity Policy NE5 - This is an absolute nonsense. If biodiversity is going to be harmed there should be no ability to mitigate or for developers to be able to buy their way out of this situation. This mindset is exactly why we are seeing a significant decline in biodiversity in the District which should be a rich in biodiversity area and why the World Economic Forum Report (2023) cites the UK as one of the worst countries in the world for destroying its biodiversity.

11. In many cases as set out in the Policies the strategic requirements lack being SMART in nature – particularly the M Measurable. These need to be explicit and clear: “you get what you measure”.

12. 65% of the perimeter of the District of Chichester south of the SDNP is coastal in nature. The remainder being land-facing. Policy NE11 does not sufficiently address the impact of building property in close proximity to the area surrounding the harbour, something acknowledged by the Harbour Conservancy in a published report in 2018 reflecting upon how surrounding the harbour with housing was detrimental to it long-term health. And here we are 5 years on and all of the organizations that CDC are saying that they are working in collaboration with, to remedy the decline in the harbour’s condition, are failing to implement the actions necessary in a reasonable timescale. CDC are following when they should be actually taking the lead on the issue. Being followers rather than leaders makes it easy to abdicate responsibility. There must be full and transparent accountability.

13. The very significant space constraints for the plan area must be taken into account. The standard methodology need no longer apply where there are exceptional circumstances and we are certain that our District should be treated as a special case because of the developable land area is severely reduced by the South Downs National Park (SDNP) to the north and the unique marine AONB of Chichester Harbour to the south. A target of 535dpa is way too high. This number should be reduced to reflect the fact that only 30% of the area can be developed and much of that is rural/semi-rural land which provides essential connectivity for wildlife via a number of wildlife corridors running between the SDNP and the AONB. Excessive housebuilding will do irretrievable damage to the environment and lead to a significant deterioration in quality of life for all who reside within the East / West corridor.

14. Many of the sites identified in the Strategic & Area Based Policies could result in Grade 1 ^ 2 farmland being built upon. The UK is not self-sufficient in our food security. It is short-sighted to expect the world to return to what we have come to expect. Our good quality agricultural land should not all be covered with non-environmentally friendly designed homes.

Attachments:

Object

Chichester Local Plan 2021 - 2039: Proposed Submission

Representation ID: 5921

Received: 17/03/2023

Respondent: GoVia Thameslink Railway

Legally compliant? Not specified

Sound? Not specified

Duty to co-operate? Not specified

Representation Summary:

Add “motor vehicle parking spaces on public roads and in public parking areas will be charged at the economic price for parking spaces.”

Change suggested by respondent:

Add “motor vehicle parking spaces on public roads and in public parking areas will be charged at the economic price for parking spaces.”

Full text:

See attached.

Support

Chichester Local Plan 2021 - 2039: Proposed Submission

Representation ID: 6166

Received: 17/03/2023

Respondent: Rolls-Royce Motor Cars Limited

Agent: David Lock Associates

Representation Summary:

Support in principle.

R-RMC supports the Council’s commitment to securing adequate car and cycle parking provision from development in the district.

Full text:

Rolls-Royce Motor Cars (R-RMC) supports the Council’s commitment to securing adequate car and cycle parking provision from development in the district. Draft Policy T4 (Parking Provision) requires development to deliver parking in accordance with the West Sussex Parking Standards Guidance (2020) or any subsequent standards.

While the principle of this approach is recognised, it is important that the Local Plan clearly sets out that the adopted Parking Standards should be seen as a starting point for assessing parking needs in a development. It is acknowledged that the Parking Standards guidance sets out they are an “initial guide for developers (paragraph 6.3 West Sussex Guidance on Parking at New Developments September 2020) and the Local plan policy should align with this approach. It is also important that the policy retains some flexibility to account for individual circumstances and nature of operations where a different approach is more appropriate. This may include circumstances such as the delivery of the bespoke R-RMC expansion site, where parking provision for specific employment needs may differ. This would not negate the requirement to prepare and provide a Travel Plan as appropriate.

R-RMC suggests that the draft policy is amended to more clearly support flexibility in individual circumstances where the adopted Parking Standards may not be the most appropriate solution. This would make the draft policy effective and sound.

Object

Chichester Local Plan 2021 - 2039: Proposed Submission

Representation ID: 6312

Received: 15/03/2023

Respondent: Chidham and Hambrook Parish Council

Legally compliant? Not specified

Sound? Not specified

Duty to co-operate? Not specified

Representation Summary:

The statistical base used for the number of cars used by homeowners is almost certainly inaccurate as the amount of parking needs to be sufficient to cater for households where there are two or more working family members.

Full text:

The statistical base used for the number of cars used by homeowners is almost certainly inaccurate as the amount of parking needs to be sufficient to cater for households where there are two or more working family members.