Schedule of Proposed Changes to the Policies Map

Search representations

Results for DG Phillips (Bosham) Ltd and Phillips Build Ltd search

New search New search

Object

Schedule of Proposed Changes to the Policies Map

Schedule of Proposed Changes to the Policies Map

Representation ID: 5649

Received: 17/03/2023

Respondent: DG Phillips (Bosham) Ltd and Phillips Build Ltd

Agent: Genesis Town Planning Ltd

Legally compliant? No

Sound? No

Duty to co-operate? No

Representation Summary:

The inclusion of land to the north of Brandy Hole Lane and west of Plainwood Close, as set out in Appendix 1 to these submissions, should be secured through an amendment to the settlement boundary on Plan SB1. Further, the site should be allocated as a suitable housing site for up to 300 dwelling units to meet the required housing need for the district.

Full text:

1 INTRODUCTION

1.1 These representations are to the Chichester Local Plan 2021-2039: Proposed Submission (Regulation 19) Consultation (hereafter referred to as the “Reg 19 Plan”). These representations have been prepared by Genesis Town Planning, on behalf of D G Phillips (Bosham) Ltd and Phillips Build Ltd as owners of the site comprising approximately 9ha of agricultural land north of Brandy Hole Lane and to the west of Plainwood Close, Chichester.

1.2 The representations also include at Appendix 1 a plan indicating the proposed amendment to the settlement boundary and the inclusion of the site as a suitable housing allocation for up to 300 dwellings. Such an allocation is proposed to address the Council’s failure to adequately deliver sufficient housing through the Reg 19 Plan. The site is suitable, available and deliverable and complies with the sustainability objectives set out in the Reg 19 Plan and national policy and ensures that sites, adjacent to the primary settlement of Chichester, are appropriately considered as suitable sites to accommodate further housing.

1.3 These representations, in addition to seeking the inclusion of the site as a housing allocation and an amendment to the settlement policy boundary, also seeks to remove the proposed inclusion of the site within a strategic wildlife corridor. The inclusion of the land in such a corridor has no bearing on the characteristics of the site, its agricultural form, the fact that it is separated from the wildlife corridor to the south by Brandy Hole Lane and extensive housing development. This is an illogically thought through designation, which has paid no regard to the site character or its location and has been deliberately imposed to prevent housing development coming forward on the site. There is no wildlife, ecological or environmental features on the site, with the exception of boundary trees and vegetation, that would justify such a designation washing over the site and neighbouring land, which includes a former landfill site and a solar farm.

1.4 Accompanying these representations are the appropriate representation forms in respect of Settlement Map SB1, Map NE4b, Policy S1 and paragraph 3.7, policy H1, and Policy NE4. These forms are to be read in conjunction with this submission.



2 LEGAL COMPLIANCE

2.1 One of the requirements for the preparation of a Local Plan as set in the Planning and Compulsory Purchase Act 2004 and the Town and Country Planning (Local Planning) (England) Regulations 2012, (as amended) is the publication of a Sustainability Appraisal (SA) that shows how the SA has been carried out, the information that is used as part of the process and what the outcomes were. The SA is a tool for assessing how the plan, when judged against other reasonable options will help achieve environmental, economic and social objectives.

2.2 The SA suggests that there is little or no argument for setting a housing requirement above the minimum local housing need of the 638 dwellings per annum (dpa) as set by the standard method (763dpa minus 125dpa for South Downs National Park area). This approach is contrary to paragraph 11a) of the National Planning Policy Framework (NPPF) in that it requires all plans to promote a sustainable pattern of development that seeks to meet the development needs of their area.

2.3 It is noted that paragraph 11b) confirms that strategic policies should, as a minimum, provide for objectively assessed needs for housing and other uses, as well as any needs that cannot be met within neighbouring areas unless this is demonstrated to be unsustainable. The background evidence base for the Reg 19 Plan does not clearly demonstrate the reasons for restricting the overall scale, type and distribution of development in the plan area or that the adverse impacts of doing so would significantly and demonstrably outweigh the benefits.

2.4 It is noted that the standard method requirement of 638dpa for the plan area is arrived at by removing 125dpa for the part of the district that falls within the South Downs National Park. The lack of any meaningful assessment for providing sufficient housing to meet the standard method figure is a significant error. Without such an assessment, the SA disregards the possibility of providing for sustainable development at the outset and does not therefore accord with the regulatory requirements referred to above.

2.5 Table 5.3 of the SA identifies a range of development scenarios with dwelling requirements for the plan area ranging from 567dpa to 606dpa. These figures result in a shortfall of between 32dpa and 71dpa when compared to the standard method requirement of 638 dpa. As neither of these figures is significantly above the standard method figure, it is not unreasonable to expect the SA to also test a housing requirement/scenario of 638dpa, so that it reflects the confirmed minimum housing need of the plan area. This would be a reasonable alternative and should be tested. Only when this has been carried will it be possible to fully understand the likely implications of meeting housing needs in full. In doing this, the Plan will then comply with the Legal and Procedural Requirements.



3 SOUNDNESS

3.1 As set in paragraph 35 of the NPPF when local plans and spatial development strategies are examined they should be prepared in accordance with legal and procedural requirements to ensure that they are sound. It goes on to state that:
“Plans are sound if they are:
a) Positively prepared – providing a strategy which, as minimum, seeks to meet the area’s objectively assessed needs; and is informed by agreements with other authorities, so that unmet need from neighbouring areas is accommodated where it is practical to do so and is consistent with achieving sustainable development;
b) Justified – an appropriate strategy, taking into account the reasonable alternatives, and based on proportionate evidence;
c) Effective – deliverable over the plan period, and based on effective joint working on crossboundary strategic matters that have been dealt with rather than deferred, as evidenced by the statement of common ground; and
d) Consistent with national policy – enabling the delivery of sustainable development in accordance with the policies in this Framework and other statements of national planning policy, where relevant.”

3.2 As set out above, the Reg 19 Plan does not provide a strategy that seeks to meet the area’s objectively assessed housing need, and the SA does not test all the reasonable alternatives. On this basis the plan has not been positively prepared and is not justified. As a result it is contrary to paragraphs 35a) and 35b) of the NPPF.

3.3 In addition to this, there is no clear evidence of effective and on-going working with neighbouring authorities as part of the statutory duty to cooperate. The SoCG should be made publicly available throughout the plan making process to provide transparency. Based on paragraph 1.25 of the Reg 19 Plan this requirement has not been carried out. This confirms that a SoCG is currently being prepared and will be made available for review on the council’s website. As a result, the SoCG should have been made available on the LPA’s website at the time the Reg 19 Plan was published for consultation. This does not appear to have been the case, which means that this part of the plan making process does not meet the requirements set out in paragraphs 27 and 35c) of the NPPF. As such the effectiveness test has not been complied with in full. The lack of a fully detailed SoCG on the Duty to Cooperate is particularly important in Chichester District as there is a substantial unmet need for housing arising in neighbouring authorities and other nearby authorities across the same sub-region. As yet the evidence base of the Reg19 Plan does not explain or demonstrate how the unmet housing need will be met.

3.4 This is an important omission as it does not accord with the procedural requirements. Until the outcome of this process is known and fully understood it is difficult to know if or how the strategy in the Reg 19 Plan is appropriate or needs modification.
4 COMMENTS ON THE REG 19 DRAFT PLAN

Policy H1 – Meeting Housing Needs
4.1 No exceptional circumstances exist in Chichester District to justify an alternative approach that deviates from the standard method figure of 763dpa. Taking account of the South Downs National Park requirement of 125dpa results in a minimum need of 638dpa for Chichester District.

4.2 Furthermore, the housing needs of particular groups are not reflected in the current standard method requirement of 638dpa. These include the following groups:
• Students – which creates a need for an additional 29dpa;
• people who require affordable housing- which generates a need of 433 affordabled pa (based on this figure and the thresholds set out in draft Policy H4: Affordable Housing it would be necessary to deliver 1,083 homes per annum to meet affordable housing need in full); and
• the unmet housing needs of neighbouring authorities and/or authorities in the same subregion, which at best are between 10,141 and 10,620 homes.

4.3 When the needs of students are added to the standard method figure the minimum need dwelling requirement would be 666dpa or 11,988 dwellings over the 18-year plan period 20212039.

4.4 When the full affordable need of 1,083 dpa is factored in this results in a need for at least 19,494 dwellings over the plan period.

4.5 In addition to the above figures, there is also an unmet need for over 10,000 homes in related authorities over the plan period.

4.6 Based on the above there is clearly a need for significantly more homes than is suggested by the minimum standard method figure.

Infrastructure Capacity
4.7 Whilst it is noted that there are long-standing highway capacity issues on the A27 Chichester Bypass and more intermittent capacity problems with Wastewater Treatment facilities in the southern part of the district, these could be resolved if the emerging Reg 19 Plan made provisions to improve their capacity through proper long-term planning.

4.8 This approach is supported by paragraph 22 of the NPPF which confirms that plan-making should respond to long-term infrastructure requirements; and by paragraph 059 Ref ID 61-059 of the Planning Practice Guidance (PPG) which requires local planning authorities and policies that set out infrastructure deficiencies and how these will be addressed.
4.9 Existing capacity problems on the A27 are referred to throughout the Reg 19 Plan and its evidence base. Paragraph 5.2.11 of the SA refers to the southern plan area (i.e. the east-west corridor and Manhood Peninsula) as being highly constrained by capacity on the A27 and to detailed discussions with National Highways and West Sussex County Council (WSCC) over the course of 2019-2022 that led to a resolution that there is capacity for no more than 535dpa in this area. The background evidence does not, however, make it clear as to how the 535dpa figure was arrived at or the implications/infrastructure improvements that would be required to accommodate a higher dwelling provision in this part of the plan area.

4.10 It is important to note the “Chichester Transport Study - Local Plan Review Transport Assessment” (January 2023) prepared by Stantec is mainly focused on testing a single Local Plan spatial scenario for the period to 2039. Section 5.6 confirms that in addition to testing the 535 dpa in the south of the plan area that a sensitivity test for the delivery of 700 dpa in this part of the plan area was also carried out. Paragraph 5.6.1 confirms that higher levels of Local Plan development would enable higher levels of developer contributions to be raised towards funding the required Local Plan mitigation; and paragraph 5.6.3 comments that generally the proposed Strategic Road Network (SRN) mitigation can accommodate, in the most part, additional increase in development to 700dpa. This is reiterated in paragraph 5.6.5 where it concludes “that in the main, the 70dpa (southern plan area) demands can generally be accommodated by the mitigation proposed for the 535dpa core test although at the Portfield roundabout and Oving junction, capacity issues get worse with the 700dpa demands, with additional mitigation being required”.

4.11 Paragraph 8.5 of the Reg 19 Plan comments that in 2021 National Highways confirmed that the A27 Chichester By-Pass major improvement scheme is included in the Road Investment Strategy Pipeline for the period 2025-30 (RIS3), but at this stage funding is not guaranteed. This situation is not uncommon as are many infrastructure projects which are considered necessary to support the emerging Local Plan. This is demonstrated by Table 3 of the Infrastructure Delivery Plan (January 2023). The fact that the funding has not yet been secured towards certain types of infrastructure, such as healthcare, should not be used as a reason to constrain the level of housing proposed in the emerging Local Plan. This approach also applies to transport infrastructure.

4.12 The approach of the Reg 19 Plan to impose limits on the amount of development over the Plan period because of existing infrastructure capacity issues is inconsistent with the objectives of national policy and could undermine the prospects of securing the funding necessary to improve infrastructure capacity. The approach of the emerging plan is therefore negative worded as it has the effect of constraining the level of housing below the minimum level needed and does not accord with the PPG or the objectives of national policy. A better, and more positive approach would be to plan for the necessary infrastructure, which in turn will maximise the prospects of securing the required infrastructure instead of deferring it.

4.13 The emerging Local Plan advocates a “monitor and manage” approach such that the funding for the necessary improvements to the A27 will be monitored, which itself will jeopardise that funding, and if the funding is secured then presumably the corresponding level of housing will
be released to address some of the housing need. Instead of this approach, the emerging plan should pursue a “plan, monitor and manage” approach to meeting housing needs in full by committing to the delivery of the infrastructure improvements and if necessary, phasing the housing requirements towards the end of the plan period.

The Proposed Housing Requirement
4.14 These submissions confirm that the housing needs of the plan area will not be met by the proposed 10,350 dwelling requirement set out in Policy H1 of the Reg 19 Plan.

4.15 According to the standard method the minimum housing need is 11,484 dwellings (638 x 18). When the growth of the student population (28dpa) is factored in the minimum housing need increases to 11,988 homes, and when the full affordable housing needs (433 dpa) are taken into account the overall need increases to at least 19,485 dwellings. Finally, there is a need for excess of 10,000 more homes to address the unmet needs of the sub-region.

Suggested Modification
4.16 Based on the above it is clear that the Policy H1 requirement needs to be reconsidered and increased. This can be achieved if the Local Plan seeks to address infrastructure requirements including the capacity constraints on the A27 as required by paragraph 22 of NPPF.

4.17 In setting a revised housing requirement, the District Council must take into account the needs of particular groups (i.e., students and persons in need of affordable homes) and complete the Duty to Cooperate process by preparing a SoCG in respect of the unmet needs of the sub-region and then consider how/whether the Local Plan can provide for some of these unmet needs. In addition, the Reg 19 Plan should seek to allocate the land the subject of these representations for up to 300 dwellings to make up the shortfall identified.

Policy S1 - Spatial Development Strategy
4.18 Chapter 3 and Policy S1 of the Reg 19 Plan sets out the spatial strategy of the emerging plan.
These seek to disperse development across the plan area by:
1. Focusing the majority of planned sustainable growth at Chichester city and within the eastwest corridor;
2. Reinforcing the role of the Manhood Peninsula as home to existing communities, tourism and agricultural enterprise; and
3. Where opportunities arise, supporting the villages and rural communities in the North of the Plan Area.

4.19 An increased dwelling requirement (as suggested in the context of Policy H1 above) could be accommodated without the need to significantly alter the proposed spatial strategy of the Reg 19 Plan.

4.20 In addition to Chichester city and the east-west corridor being the primary focus of growth, additional development could be accommodated through the re-appraisal of the settlement boundaries, particularly those around Chichester City to include the site subject of these representations.

4.21 In this respect the inclusion of additional land would make a significant contribution towards the delivery of the required housing need for Chichester, providing a flexible approach to housing delivery in a sustainable, planned and progressive way.

Suggested Modification
4.22 The inclusion of land to the north of Brandy Hole Lane and west of Plainwood Close, as set out in Appendix 1 to these submissions, should be secured through an amendment to the settlement boundary on Plan SB1. Further, the site should be allocated as a suitable housing site for up to 300 dwelling units to meet the required housing need for the district.

4.23 In support of this approach the Council undertook an assessment of the site’s suitability for development as part of the HELAA process in 2021. A copy of the HELAA Assessment and associated plan is contained at Appendices 2 and 3. This confirms that the site is in agricultural/ pasture use and is suitable for development subject to consideration of matters such as access, landscape and trees. The assessment goes on to confirm that there are no known constraints that would make the development unachievable in principle.

Policy NE4
4.24 Despite the above assessment, the subject site has been included within proposed Policy NE4 of the Reg 19 Plan as a Wildlife Corridor to function in conjunction with the designation of the land to the west of the strategic allocation which lies to the south of Brandy Hole Lane and the B2178. The site the subject of these representations is fundamentally distinct in character from the wooded areas to the south of the B2178 and to the west of the strategic allocation. These comprise compartmentalised fields and clusters of woodland which frame the field boundaries. In contrast, the subject site comprises agricultural land with a modest treed boundary and is largely open in character, but visually contained. The remainder of the proposed Wildlife Corridor in this location comprises open agricultural fields with limited landscape boundaries, the former landfill site at Hunters Race and the solar farm to the north. None of these areas possess the qualities of the land further to the south to justify being designated a Wildlife Corridor. Such a designation has been imposed merely as a tool to prevent further development of what would otherwise be deemed suitable land for housing.

Suggested Modification
4.25 The proposed Wildlife Corridor to the north of Brandy Hole Lane should be deleted from the Reg 19 Plan and removed from the settlement map NE4b. Furthermore, Policy NE4 requires any development within the designated Wildlife Corridor to be subject to a sequential test which places a significantly higher bar than that set out within the NPPF. The does not comprise a designated landscape, and proposed Policy NE4 fails to identify any special qualities that apply to the designated area in this location.

Object

Schedule of Proposed Changes to the Policies Map

Schedule of Proposed Changes to the Policies Map

Representation ID: 5650

Received: 17/03/2023

Respondent: DG Phillips (Bosham) Ltd and Phillips Build Ltd

Agent: Genesis Town Planning Ltd

Legally compliant? No

Sound? No

Duty to co-operate? No

Representation Summary:

the subject site has been included within proposed Policy NE4 of the Reg 19 Plan as a Wildlife Corridor to function in conjunction with the designation of the land to the west of the strategic allocation which lies to the south of Brandy Hole Lane and the B2178. The site the subject of these representations is fundamentally distinct in character from the wooded areas to the south of the B2178 and to the west of the strategic allocation.

Change suggested by respondent:

The proposed Wildlife Corridor to the north of Brandy Hole Lane should be deleted from the Reg 19 Plan and removed from the settlement map NE4b.

Full text:

1 INTRODUCTION

1.1 These representations are to the Chichester Local Plan 2021-2039: Proposed Submission (Regulation 19) Consultation (hereafter referred to as the “Reg 19 Plan”). These representations have been prepared by Genesis Town Planning, on behalf of D G Phillips (Bosham) Ltd and Phillips Build Ltd as owners of the site comprising approximately 9ha of agricultural land north of Brandy Hole Lane and to the west of Plainwood Close, Chichester.

1.2 The representations also include at Appendix 1 a plan indicating the proposed amendment to the settlement boundary and the inclusion of the site as a suitable housing allocation for up to 300 dwellings. Such an allocation is proposed to address the Council’s failure to adequately deliver sufficient housing through the Reg 19 Plan. The site is suitable, available and deliverable and complies with the sustainability objectives set out in the Reg 19 Plan and national policy and ensures that sites, adjacent to the primary settlement of Chichester, are appropriately considered as suitable sites to accommodate further housing.

1.3 These representations, in addition to seeking the inclusion of the site as a housing allocation and an amendment to the settlement policy boundary, also seeks to remove the proposed inclusion of the site within a strategic wildlife corridor. The inclusion of the land in such a corridor has no bearing on the characteristics of the site, its agricultural form, the fact that it is separated from the wildlife corridor to the south by Brandy Hole Lane and extensive housing development. This is an illogically thought through designation, which has paid no regard to the site character or its location and has been deliberately imposed to prevent housing development coming forward on the site. There is no wildlife, ecological or environmental features on the site, with the exception of boundary trees and vegetation, that would justify such a designation washing over the site and neighbouring land, which includes a former landfill site and a solar farm.

1.4 Accompanying these representations are the appropriate representation forms in respect of Settlement Map SB1, Map NE4b, Policy S1 and paragraph 3.7, policy H1, and Policy NE4. These forms are to be read in conjunction with this submission.



2 LEGAL COMPLIANCE

2.1 One of the requirements for the preparation of a Local Plan as set in the Planning and Compulsory Purchase Act 2004 and the Town and Country Planning (Local Planning) (England) Regulations 2012, (as amended) is the publication of a Sustainability Appraisal (SA) that shows how the SA has been carried out, the information that is used as part of the process and what the outcomes were. The SA is a tool for assessing how the plan, when judged against other reasonable options will help achieve environmental, economic and social objectives.

2.2 The SA suggests that there is little or no argument for setting a housing requirement above the minimum local housing need of the 638 dwellings per annum (dpa) as set by the standard method (763dpa minus 125dpa for South Downs National Park area). This approach is contrary to paragraph 11a) of the National Planning Policy Framework (NPPF) in that it requires all plans to promote a sustainable pattern of development that seeks to meet the development needs of their area.

2.3 It is noted that paragraph 11b) confirms that strategic policies should, as a minimum, provide for objectively assessed needs for housing and other uses, as well as any needs that cannot be met within neighbouring areas unless this is demonstrated to be unsustainable. The background evidence base for the Reg 19 Plan does not clearly demonstrate the reasons for restricting the overall scale, type and distribution of development in the plan area or that the adverse impacts of doing so would significantly and demonstrably outweigh the benefits.

2.4 It is noted that the standard method requirement of 638dpa for the plan area is arrived at by removing 125dpa for the part of the district that falls within the South Downs National Park. The lack of any meaningful assessment for providing sufficient housing to meet the standard method figure is a significant error. Without such an assessment, the SA disregards the possibility of providing for sustainable development at the outset and does not therefore accord with the regulatory requirements referred to above.

2.5 Table 5.3 of the SA identifies a range of development scenarios with dwelling requirements for the plan area ranging from 567dpa to 606dpa. These figures result in a shortfall of between 32dpa and 71dpa when compared to the standard method requirement of 638 dpa. As neither of these figures is significantly above the standard method figure, it is not unreasonable to expect the SA to also test a housing requirement/scenario of 638dpa, so that it reflects the confirmed minimum housing need of the plan area. This would be a reasonable alternative and should be tested. Only when this has been carried will it be possible to fully understand the likely implications of meeting housing needs in full. In doing this, the Plan will then comply with the Legal and Procedural Requirements.



3 SOUNDNESS

3.1 As set in paragraph 35 of the NPPF when local plans and spatial development strategies are examined they should be prepared in accordance with legal and procedural requirements to ensure that they are sound. It goes on to state that:
“Plans are sound if they are:
a) Positively prepared – providing a strategy which, as minimum, seeks to meet the area’s objectively assessed needs; and is informed by agreements with other authorities, so that unmet need from neighbouring areas is accommodated where it is practical to do so and is consistent with achieving sustainable development;
b) Justified – an appropriate strategy, taking into account the reasonable alternatives, and based on proportionate evidence;
c) Effective – deliverable over the plan period, and based on effective joint working on crossboundary strategic matters that have been dealt with rather than deferred, as evidenced by the statement of common ground; and
d) Consistent with national policy – enabling the delivery of sustainable development in accordance with the policies in this Framework and other statements of national planning policy, where relevant.”

3.2 As set out above, the Reg 19 Plan does not provide a strategy that seeks to meet the area’s objectively assessed housing need, and the SA does not test all the reasonable alternatives. On this basis the plan has not been positively prepared and is not justified. As a result it is contrary to paragraphs 35a) and 35b) of the NPPF.

3.3 In addition to this, there is no clear evidence of effective and on-going working with neighbouring authorities as part of the statutory duty to cooperate. The SoCG should be made publicly available throughout the plan making process to provide transparency. Based on paragraph 1.25 of the Reg 19 Plan this requirement has not been carried out. This confirms that a SoCG is currently being prepared and will be made available for review on the council’s website. As a result, the SoCG should have been made available on the LPA’s website at the time the Reg 19 Plan was published for consultation. This does not appear to have been the case, which means that this part of the plan making process does not meet the requirements set out in paragraphs 27 and 35c) of the NPPF. As such the effectiveness test has not been complied with in full. The lack of a fully detailed SoCG on the Duty to Cooperate is particularly important in Chichester District as there is a substantial unmet need for housing arising in neighbouring authorities and other nearby authorities across the same sub-region. As yet the evidence base of the Reg19 Plan does not explain or demonstrate how the unmet housing need will be met.

3.4 This is an important omission as it does not accord with the procedural requirements. Until the outcome of this process is known and fully understood it is difficult to know if or how the strategy in the Reg 19 Plan is appropriate or needs modification.
4 COMMENTS ON THE REG 19 DRAFT PLAN

Policy H1 – Meeting Housing Needs
4.1 No exceptional circumstances exist in Chichester District to justify an alternative approach that deviates from the standard method figure of 763dpa. Taking account of the South Downs National Park requirement of 125dpa results in a minimum need of 638dpa for Chichester District.

4.2 Furthermore, the housing needs of particular groups are not reflected in the current standard method requirement of 638dpa. These include the following groups:
• Students – which creates a need for an additional 29dpa;
• people who require affordable housing- which generates a need of 433 affordabled pa (based on this figure and the thresholds set out in draft Policy H4: Affordable Housing it would be necessary to deliver 1,083 homes per annum to meet affordable housing need in full); and
• the unmet housing needs of neighbouring authorities and/or authorities in the same subregion, which at best are between 10,141 and 10,620 homes.

4.3 When the needs of students are added to the standard method figure the minimum need dwelling requirement would be 666dpa or 11,988 dwellings over the 18-year plan period 20212039.

4.4 When the full affordable need of 1,083 dpa is factored in this results in a need for at least 19,494 dwellings over the plan period.

4.5 In addition to the above figures, there is also an unmet need for over 10,000 homes in related authorities over the plan period.

4.6 Based on the above there is clearly a need for significantly more homes than is suggested by the minimum standard method figure.

Infrastructure Capacity
4.7 Whilst it is noted that there are long-standing highway capacity issues on the A27 Chichester Bypass and more intermittent capacity problems with Wastewater Treatment facilities in the southern part of the district, these could be resolved if the emerging Reg 19 Plan made provisions to improve their capacity through proper long-term planning.

4.8 This approach is supported by paragraph 22 of the NPPF which confirms that plan-making should respond to long-term infrastructure requirements; and by paragraph 059 Ref ID 61-059 of the Planning Practice Guidance (PPG) which requires local planning authorities and policies that set out infrastructure deficiencies and how these will be addressed.
4.9 Existing capacity problems on the A27 are referred to throughout the Reg 19 Plan and its evidence base. Paragraph 5.2.11 of the SA refers to the southern plan area (i.e. the east-west corridor and Manhood Peninsula) as being highly constrained by capacity on the A27 and to detailed discussions with National Highways and West Sussex County Council (WSCC) over the course of 2019-2022 that led to a resolution that there is capacity for no more than 535dpa in this area. The background evidence does not, however, make it clear as to how the 535dpa figure was arrived at or the implications/infrastructure improvements that would be required to accommodate a higher dwelling provision in this part of the plan area.

4.10 It is important to note the “Chichester Transport Study - Local Plan Review Transport Assessment” (January 2023) prepared by Stantec is mainly focused on testing a single Local Plan spatial scenario for the period to 2039. Section 5.6 confirms that in addition to testing the 535 dpa in the south of the plan area that a sensitivity test for the delivery of 700 dpa in this part of the plan area was also carried out. Paragraph 5.6.1 confirms that higher levels of Local Plan development would enable higher levels of developer contributions to be raised towards funding the required Local Plan mitigation; and paragraph 5.6.3 comments that generally the proposed Strategic Road Network (SRN) mitigation can accommodate, in the most part, additional increase in development to 700dpa. This is reiterated in paragraph 5.6.5 where it concludes “that in the main, the 70dpa (southern plan area) demands can generally be accommodated by the mitigation proposed for the 535dpa core test although at the Portfield roundabout and Oving junction, capacity issues get worse with the 700dpa demands, with additional mitigation being required”.

4.11 Paragraph 8.5 of the Reg 19 Plan comments that in 2021 National Highways confirmed that the A27 Chichester By-Pass major improvement scheme is included in the Road Investment Strategy Pipeline for the period 2025-30 (RIS3), but at this stage funding is not guaranteed. This situation is not uncommon as are many infrastructure projects which are considered necessary to support the emerging Local Plan. This is demonstrated by Table 3 of the Infrastructure Delivery Plan (January 2023). The fact that the funding has not yet been secured towards certain types of infrastructure, such as healthcare, should not be used as a reason to constrain the level of housing proposed in the emerging Local Plan. This approach also applies to transport infrastructure.

4.12 The approach of the Reg 19 Plan to impose limits on the amount of development over the Plan period because of existing infrastructure capacity issues is inconsistent with the objectives of national policy and could undermine the prospects of securing the funding necessary to improve infrastructure capacity. The approach of the emerging plan is therefore negative worded as it has the effect of constraining the level of housing below the minimum level needed and does not accord with the PPG or the objectives of national policy. A better, and more positive approach would be to plan for the necessary infrastructure, which in turn will maximise the prospects of securing the required infrastructure instead of deferring it.

4.13 The emerging Local Plan advocates a “monitor and manage” approach such that the funding for the necessary improvements to the A27 will be monitored, which itself will jeopardise that funding, and if the funding is secured then presumably the corresponding level of housing will
be released to address some of the housing need. Instead of this approach, the emerging plan should pursue a “plan, monitor and manage” approach to meeting housing needs in full by committing to the delivery of the infrastructure improvements and if necessary, phasing the housing requirements towards the end of the plan period.

The Proposed Housing Requirement
4.14 These submissions confirm that the housing needs of the plan area will not be met by the proposed 10,350 dwelling requirement set out in Policy H1 of the Reg 19 Plan.

4.15 According to the standard method the minimum housing need is 11,484 dwellings (638 x 18). When the growth of the student population (28dpa) is factored in the minimum housing need increases to 11,988 homes, and when the full affordable housing needs (433 dpa) are taken into account the overall need increases to at least 19,485 dwellings. Finally, there is a need for excess of 10,000 more homes to address the unmet needs of the sub-region.

Suggested Modification
4.16 Based on the above it is clear that the Policy H1 requirement needs to be reconsidered and increased. This can be achieved if the Local Plan seeks to address infrastructure requirements including the capacity constraints on the A27 as required by paragraph 22 of NPPF.

4.17 In setting a revised housing requirement, the District Council must take into account the needs of particular groups (i.e., students and persons in need of affordable homes) and complete the Duty to Cooperate process by preparing a SoCG in respect of the unmet needs of the sub-region and then consider how/whether the Local Plan can provide for some of these unmet needs. In addition, the Reg 19 Plan should seek to allocate the land the subject of these representations for up to 300 dwellings to make up the shortfall identified.

Policy S1 - Spatial Development Strategy
4.18 Chapter 3 and Policy S1 of the Reg 19 Plan sets out the spatial strategy of the emerging plan.
These seek to disperse development across the plan area by:
1. Focusing the majority of planned sustainable growth at Chichester city and within the eastwest corridor;
2. Reinforcing the role of the Manhood Peninsula as home to existing communities, tourism and agricultural enterprise; and
3. Where opportunities arise, supporting the villages and rural communities in the North of the Plan Area.

4.19 An increased dwelling requirement (as suggested in the context of Policy H1 above) could be accommodated without the need to significantly alter the proposed spatial strategy of the Reg 19 Plan.

4.20 In addition to Chichester city and the east-west corridor being the primary focus of growth, additional development could be accommodated through the re-appraisal of the settlement boundaries, particularly those around Chichester City to include the site subject of these representations.

4.21 In this respect the inclusion of additional land would make a significant contribution towards the delivery of the required housing need for Chichester, providing a flexible approach to housing delivery in a sustainable, planned and progressive way.

Suggested Modification
4.22 The inclusion of land to the north of Brandy Hole Lane and west of Plainwood Close, as set out in Appendix 1 to these submissions, should be secured through an amendment to the settlement boundary on Plan SB1. Further, the site should be allocated as a suitable housing site for up to 300 dwelling units to meet the required housing need for the district.

4.23 In support of this approach the Council undertook an assessment of the site’s suitability for development as part of the HELAA process in 2021. A copy of the HELAA Assessment and associated plan is contained at Appendices 2 and 3. This confirms that the site is in agricultural/ pasture use and is suitable for development subject to consideration of matters such as access, landscape and trees. The assessment goes on to confirm that there are no known constraints that would make the development unachievable in principle.

Policy NE4
4.24 Despite the above assessment, the subject site has been included within proposed Policy NE4 of the Reg 19 Plan as a Wildlife Corridor to function in conjunction with the designation of the land to the west of the strategic allocation which lies to the south of Brandy Hole Lane and the B2178. The site the subject of these representations is fundamentally distinct in character from the wooded areas to the south of the B2178 and to the west of the strategic allocation. These comprise compartmentalised fields and clusters of woodland which frame the field boundaries. In contrast, the subject site comprises agricultural land with a modest treed boundary and is largely open in character, but visually contained. The remainder of the proposed Wildlife Corridor in this location comprises open agricultural fields with limited landscape boundaries, the former landfill site at Hunters Race and the solar farm to the north. None of these areas possess the qualities of the land further to the south to justify being designated a Wildlife Corridor. Such a designation has been imposed merely as a tool to prevent further development of what would otherwise be deemed suitable land for housing.

Suggested Modification
4.25 The proposed Wildlife Corridor to the north of Brandy Hole Lane should be deleted from the Reg 19 Plan and removed from the settlement map NE4b. Furthermore, Policy NE4 requires any development within the designated Wildlife Corridor to be subject to a sequential test which places a significantly higher bar than that set out within the NPPF. The does not comprise a designated landscape, and proposed Policy NE4 fails to identify any special qualities that apply to the designated area in this location.

For instructions on how to use the system and make comments, please see our help guide.