Support
Schedule of Potential Main Modifications
Representation ID: 29481
Received: 03/11/2021
Respondent: Essex County Council
3. Effective
The Water Framework Directive (WFD) is a driver for the need for water quality improvements. However, the inclusion of the paragraph as originally submitted within the section relating to SuDS was confusing because ECC as LLFA do not use the criteria associated with water body status to assess pollution control delivered by SuDS.
The proposed modifications to paragraph 5.68 are considered acceptable.
This addresses ECC’s Reg.19 Rep 22290 and the position in the Statement of Common Ground (F17D) between BBC and ECC.
3. Effective
The Water Framework Directive (WFD) is a driver for the need for water quality improvements. However, the inclusion of the paragraph as originally submitted within the section relating to SuDS was confusing because ECC as LLFA do not use the criteria associated with water body status to assess pollution control delivered by SuDS.
The proposed modifications to paragraph 5.68 are considered acceptable.
This addresses ECC’s Reg.19 Rep 22290 and the position in the Statement of Common Ground (F17D) between BBC and ECC.