Comment

Strategic Growth Options

Representation ID: 11786

Received: 15/02/2015

Respondent: CEG Land Promotions Limited

Agent: CODE Development Planners Ltd

Representation Summary:

Paragraph 3.12 of the SOCG rightly identifies a potential housing site option at Dunton. This option is considered in more detail within the interim SA. In our view, this option should more accurately be described as a mixed use development option. The economies of scale and location with existing access to the major junctions of the A127 afford it the opportunity to make a major and unique contribution to achieving the three dimensions of sustainable development noted in the NPPF - economic, social and environmental. Appendix A represents an early and more detailed assessment of the potential delivery advantages of development at Dunton.

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