Sustainability Appraisal and Habitats Regulation Assessment

Showing comments and forms 31 to 45 of 45

Object

Preferred Site Allocations 2018

Representation ID: 19817

Received: 12/03/2018

Respondent: Countryside Properties

Agent: Strutt & Parker LLP

Representation Summary:

In the 2018 Working Draft Green Belt Study, site 030 is within Parcel 14 which is a large area which extends beyond Hutton and is assessed as having a 'high' contribution to the 5 purposes of the Green Belt. The review of Site 030A recognises that this assessment is not necessarily reflective of the qualities of every site within the parcel. There should be a finer grain level of assessment of land within these parcels. There remains small scale opportunities for sustainable development within the wider parcels and the Local Plan should give consideration to the allocation of such sites.

Full text:

Please find attached a representation made on behalf of Countryside Properties for Land at Bayleys Mead, Hutton. The representations consist of the following:
- Representation
- Consultation Form
- Location Plan

Attachments:

Object

Preferred Site Allocations 2018

Representation ID: 19840

Received: 12/03/2018

Respondent: Clearbrook Group Plc

Agent: Strutt & Parker LLP

Representation Summary:

The Sustainability Appraisal (SA) takes a very simplistic approach to assessing the sustainability of potential development sites. The Interim SA Report focuses on physical distance between sites and various designations / facilities. The Interim SA Report also fails to acknowledge the social and economic benefits of providing additional homes for the village, in terms of the helping to sustain local facilities
and services, and its vitality. The Interim SA Report should be updated to
ensure these are given due consideration, particularly for site 146.

Full text:

See attached.

Comment

Preferred Site Allocations 2018

Representation ID: 19858

Received: 12/03/2018

Respondent: Croudace Strategic Ltd

Agent: Strutt & Parker LLP

Representation Summary:

Whilst the SA considers reasonable alternatives, these relate to the distribution
of growth across the Borough with the only variables being the potential strategic allocations. As such, the SA does not provide further assessment or clarity of individual sites.

Full text:

See attached.

Comment

Preferred Site Allocations 2018

Representation ID: 19875

Received: 16/04/2018

Respondent: Natural England

Representation Summary:

Section 4.5 Table 5: Enterprise Park is listed as 1.9-km from Epping Forest, this should be 19km. The other distances for this site and for other allocations are also incorrect and need amending. The effects on designated nature conservation sites (including increased traffic, construction of new roads, and upgrading of existing roads), and the impacts on vulnerable sites from air quality effects on the wider road network can be assessed using traffic projections and the 200m distance criterion followed by local Air Quality modelling where required.

Full text:

Thank you for your consultation on the above which was received by Natural England on 06 March 2018. Natural England is a non-departmental public body. Our statutory purpose is to ensure that the natural environment is conserved, enhanced, and managed for the benefit of present and future generations, thereby contributing to sustainable development. FURTHER INFORMATION REQUIRED Brentwood Draft Local Plan: Preferred Site Allocations As a general principle, allocations should be sited on land of least environmental and amenity value. In particular, they should avoid: designated sites/priority habitats; Best and Most Versatile (BMV) agricultural land; areas at risk of flooding; brownfield sites of high environmental value. There are 3 SSSIs within Brentwood District, namely Thorndon Park SSSI, The Coppice, Kelvedon Hatch SSSI and Curtismill Green SSSI. We have looked the allocations in relation to these SSSIs. Part 2 Preferred Site Allocations There are no allocations directly within or adjacent to SSSIs but the following allocations are within Natural England Impact Risk Zones (IRZs) for residential and/or rural residential development: 81, 117A, 117B, 112A, 112D, 112E, 194, 075B. This means that we would like to be consulted further to ensure that any impacts have been taken into account and mitigation provided if required. It does not mean that we have an outright objection to these allocations. We have a more detailed comment to make on Dunton Hills Garden Village (site ref: 200) as follows: We have no 'in principle' objection to this allocation but we advise that certain mitigation measures will be required to avoid significant adverse impacts to designated sites. Our SSSI risk zones have identified that water supply mechanisms and the method of foul drainage will need confirming before impacts can be ruled out. Potential impacts from surface water runoff on water quality-sensitive designated sites will need consideration; good quality SuDS within the development would help to address this and could also provide biodiversity net gain along with other enhancement mechanisms, such as the provision of ecological linkages to existing habitats of importance and habitat management for S41 biodiversity priority habitats and species. The location falls within a zone of influence for recreational disturbance to internationally designated sites, i.e. it will need to be considered in terms of the emerging Essex Coast Recreational disturbance Avoidance and Mitigation Strategy (RAMS), which Brentwood Borough Council are committed to delivering along with the other relevant Essex authorities. For large developments, such as this Garden Village, we consider that mitigation of increased recreational disturbance impacts usually requires more than one type of approach, typically involving a combination of 'onsite' informal open space provision and promotion (i.e. in and around the development site) and 'offsite' visitor access management measures (i.e. at the designated site(s) likely to be affected). In terms of nationally designated sites, the development will also need to consider increased recreational pressure to the nearby Thorndon Park SSSI and Basildon Meadows SSSI (and any potential changes to the boundary of the SSSI; in Basildon District) and any mitigation measures that might be required. Habitats Regulations Assessment of Brentwood District Council Draft Local Plan: Preferred Site Allocations Section 4.5 Table 5: Screening Assessment of Employment Site Allocations: Brentwood Enterprise Park is listed as 1.9 km from Epping Forest, this should be 19km. The other distances for this site and for other allocations mentioned are also incorrect and need amending. Epping Forest SAC Note that recent studies have identified a new housing zone of influence around Epping Forest SAC to be a distance of 6.2km from the SAC; this may be subject to revision. However, we agree provisionally that impacts arising from increased recreational pressure from Brentwood's allocations can be ruled out given that none is within 6.2km from the SAC. Para 5.10. We agree that 'At this early stage in the Plan development (i.e. Reg. 18) it is appropriate that both traffic modelling and air quality modelling are undertaken to confirm Brentwood's contribution to traffic flows (and thus atmospheric pollution contributions) within Epping Forest SAC to inform future iterations of the Plan. The effects on designated nature conservation sites (including increased traffic, construction of new roads, and upgrading of existing roads), and the impacts on vulnerable sites from air quality effects on the wider road network in the area can be assessed using traffic projections and the 200m distance criterion followed by local Air Quality modelling where required. We consider that the designated sites at risk from local impacts are those within 200m of a road with increased traffic, which feature habitats that are vulnerable to nitrogen deposition/acidification. Regarding effects on general air quality (regional or national), we advise that in addition to assessing local air quality effects, consideration should also be given to national air quality impacts resulting from diffuse pollution over a greater area. The UK Government has international commitments to reduce national emissions of pollutants and consideration should be given to impacts that occur on a regional, national and international scale and which also contribute to background concentrations. Essex Coastal European Sites Para 6.2: We agree that Essex Estuaries SAC and Thames Estuary and Marshes SPA/Ramsar are scoped in for recreational disturbance impacts. Para 6.4: We note that 4 allocations are located within 10km of Thames Estuary and Marshes SPA/Ramsar, including Dunton Hills Garden Village. Para 6.6: We note that All residential site allocations in Brentwood are located within 24km of the Essex Estuaries SAC. Para 6.8: We agree that Brentwood should adhere to the interim guidance that we have recommended in order to avoid adverse effects on these sites until the Essex RAMS is finalised with up-to-date evidence. Visitor survey have been undertaken for a number of European sites in the RAMS project and as such the zones of influence for recreational disturbance impacts are currently being considered by partners. The HRA may therefore need to reflect these zones of influence should they change from the current interim zones of influence. Para 6.14: We agree that the Council prepare their Plan in consultation with Thames Water and Anglian Water to ensure that development is delivered in locations that can accommodate increased sewage inputs. We agree with the findings of the Conclusions that further information and studies are required before the final assessment of impact on internationally designated sites can be made. Interim Sustainability Appraisal (SA) of Brentwood Local Plan Table 4.1: We support the objectives for biodiversity and suggest that an objective is included to ensure development delivers a net gain in biodiversity. Decisions about 'Areas that are home to declining species or habitats should be a particular target for protection and ecological restoration' should be made on up-to-date information and evidence. Chapter 7 Appraisal of reasonable alternatives: We have no further comments to make on the alternatives. Chapter 8 Developing the preferred approach: We note that Option 3 which involves Dunton Hills Garden Village in addition to other sites which are a 'constant' is the preferred approach. 10.3. Biodiversity: We note the review of allocations which includes reference to Thorndon Park SSSI and The Coppice, Kelvedon Hatch SSSI. If it is likely that there will be impacts on SSSIs, we advise that the SA should undertake more detailed assessments and recommend any site specific mitigation that is required to inform the site allocation policies. 10.10 Landscape: We note the review of allocations which includes reference to highly valued rural landscapes. 10.11 Soil and contamination: We note that the current soil data does not allow an assessment of BMV land. We advise that further agricultural land classification surveys are required to inform decision-making. Section 13 Monitoring: Whilst it is not Natural England's role to prescribe what indicators should be adopted, the following indicators may be appropriate. Biodiversity: Number of planning approvals that generated any adverse impacts on sites of acknowledged biodiversity importance; Percentage of major developments generating overall biodiversity enhancement; Hectares of biodiversity habitat delivered through strategic site allocations. Green infrastructure: Percentage of the city's population having access to a natural greenspace within 400 metres of their home; Length of greenways constructed; Hectares of accessible open space per 1000 population. APPENDIX III - SITE OPTIONS APPRAISAL Table B: Site appraisal criteria with performance categories: Natural England has defined SSSI Impact Risk Zones for the three SSSIs present in the Borough. Impact Risk Zones relating to residential developments of 100 residential units or more tend to extend to 2km from the SSSIs' boundaries. However a further criterion of 800m has been included to reflect the number of sites within this Impact Risk Zone. (Note it should be Site of Special Scientific Interest). Natural England is unclear as to how the 800m criterion has been derived and we would like further clarification of this. We would be happy to comment further should the need arise but if in the meantime you have any queries please do not hesitate to contact us.

Attachments:

Comment

Preferred Site Allocations 2018

Representation ID: 19876

Received: 16/04/2018

Respondent: Natural England

Representation Summary:

SA: 10.3. Biodiversity: We note the review of allocations which includes reference to Thorndon Park SSSI and The Coppice, Kelvedon Hatch SSSI. If it is likely that there will be impacts on SSSIs, we advise that the SA should undertake more detailed assessments and recommend any site specific mitigation that is required to inform the site allocation policies. Soil and contamination: We note that the current soil data does not allow an assessment of BMV land. We advise that further agricultural land classification surveys are required to inform decision-making.

Full text:

Thank you for your consultation on the above which was received by Natural England on 06 March 2018. Natural England is a non-departmental public body. Our statutory purpose is to ensure that the natural environment is conserved, enhanced, and managed for the benefit of present and future generations, thereby contributing to sustainable development. FURTHER INFORMATION REQUIRED Brentwood Draft Local Plan: Preferred Site Allocations As a general principle, allocations should be sited on land of least environmental and amenity value. In particular, they should avoid: designated sites/priority habitats; Best and Most Versatile (BMV) agricultural land; areas at risk of flooding; brownfield sites of high environmental value. There are 3 SSSIs within Brentwood District, namely Thorndon Park SSSI, The Coppice, Kelvedon Hatch SSSI and Curtismill Green SSSI. We have looked the allocations in relation to these SSSIs. Part 2 Preferred Site Allocations There are no allocations directly within or adjacent to SSSIs but the following allocations are within Natural England Impact Risk Zones (IRZs) for residential and/or rural residential development: 81, 117A, 117B, 112A, 112D, 112E, 194, 075B. This means that we would like to be consulted further to ensure that any impacts have been taken into account and mitigation provided if required. It does not mean that we have an outright objection to these allocations. We have a more detailed comment to make on Dunton Hills Garden Village (site ref: 200) as follows: We have no 'in principle' objection to this allocation but we advise that certain mitigation measures will be required to avoid significant adverse impacts to designated sites. Our SSSI risk zones have identified that water supply mechanisms and the method of foul drainage will need confirming before impacts can be ruled out. Potential impacts from surface water runoff on water quality-sensitive designated sites will need consideration; good quality SuDS within the development would help to address this and could also provide biodiversity net gain along with other enhancement mechanisms, such as the provision of ecological linkages to existing habitats of importance and habitat management for S41 biodiversity priority habitats and species. The location falls within a zone of influence for recreational disturbance to internationally designated sites, i.e. it will need to be considered in terms of the emerging Essex Coast Recreational disturbance Avoidance and Mitigation Strategy (RAMS), which Brentwood Borough Council are committed to delivering along with the other relevant Essex authorities. For large developments, such as this Garden Village, we consider that mitigation of increased recreational disturbance impacts usually requires more than one type of approach, typically involving a combination of 'onsite' informal open space provision and promotion (i.e. in and around the development site) and 'offsite' visitor access management measures (i.e. at the designated site(s) likely to be affected). In terms of nationally designated sites, the development will also need to consider increased recreational pressure to the nearby Thorndon Park SSSI and Basildon Meadows SSSI (and any potential changes to the boundary of the SSSI; in Basildon District) and any mitigation measures that might be required. Habitats Regulations Assessment of Brentwood District Council Draft Local Plan: Preferred Site Allocations Section 4.5 Table 5: Screening Assessment of Employment Site Allocations: Brentwood Enterprise Park is listed as 1.9 km from Epping Forest, this should be 19km. The other distances for this site and for other allocations mentioned are also incorrect and need amending. Epping Forest SAC Note that recent studies have identified a new housing zone of influence around Epping Forest SAC to be a distance of 6.2km from the SAC; this may be subject to revision. However, we agree provisionally that impacts arising from increased recreational pressure from Brentwood's allocations can be ruled out given that none is within 6.2km from the SAC. Para 5.10. We agree that 'At this early stage in the Plan development (i.e. Reg. 18) it is appropriate that both traffic modelling and air quality modelling are undertaken to confirm Brentwood's contribution to traffic flows (and thus atmospheric pollution contributions) within Epping Forest SAC to inform future iterations of the Plan. The effects on designated nature conservation sites (including increased traffic, construction of new roads, and upgrading of existing roads), and the impacts on vulnerable sites from air quality effects on the wider road network in the area can be assessed using traffic projections and the 200m distance criterion followed by local Air Quality modelling where required. We consider that the designated sites at risk from local impacts are those within 200m of a road with increased traffic, which feature habitats that are vulnerable to nitrogen deposition/acidification. Regarding effects on general air quality (regional or national), we advise that in addition to assessing local air quality effects, consideration should also be given to national air quality impacts resulting from diffuse pollution over a greater area. The UK Government has international commitments to reduce national emissions of pollutants and consideration should be given to impacts that occur on a regional, national and international scale and which also contribute to background concentrations. Essex Coastal European Sites Para 6.2: We agree that Essex Estuaries SAC and Thames Estuary and Marshes SPA/Ramsar are scoped in for recreational disturbance impacts. Para 6.4: We note that 4 allocations are located within 10km of Thames Estuary and Marshes SPA/Ramsar, including Dunton Hills Garden Village. Para 6.6: We note that All residential site allocations in Brentwood are located within 24km of the Essex Estuaries SAC. Para 6.8: We agree that Brentwood should adhere to the interim guidance that we have recommended in order to avoid adverse effects on these sites until the Essex RAMS is finalised with up-to-date evidence. Visitor survey have been undertaken for a number of European sites in the RAMS project and as such the zones of influence for recreational disturbance impacts are currently being considered by partners. The HRA may therefore need to reflect these zones of influence should they change from the current interim zones of influence. Para 6.14: We agree that the Council prepare their Plan in consultation with Thames Water and Anglian Water to ensure that development is delivered in locations that can accommodate increased sewage inputs. We agree with the findings of the Conclusions that further information and studies are required before the final assessment of impact on internationally designated sites can be made. Interim Sustainability Appraisal (SA) of Brentwood Local Plan Table 4.1: We support the objectives for biodiversity and suggest that an objective is included to ensure development delivers a net gain in biodiversity. Decisions about 'Areas that are home to declining species or habitats should be a particular target for protection and ecological restoration' should be made on up-to-date information and evidence. Chapter 7 Appraisal of reasonable alternatives: We have no further comments to make on the alternatives. Chapter 8 Developing the preferred approach: We note that Option 3 which involves Dunton Hills Garden Village in addition to other sites which are a 'constant' is the preferred approach. 10.3. Biodiversity: We note the review of allocations which includes reference to Thorndon Park SSSI and The Coppice, Kelvedon Hatch SSSI. If it is likely that there will be impacts on SSSIs, we advise that the SA should undertake more detailed assessments and recommend any site specific mitigation that is required to inform the site allocation policies. 10.10 Landscape: We note the review of allocations which includes reference to highly valued rural landscapes. 10.11 Soil and contamination: We note that the current soil data does not allow an assessment of BMV land. We advise that further agricultural land classification surveys are required to inform decision-making. Section 13 Monitoring: Whilst it is not Natural England's role to prescribe what indicators should be adopted, the following indicators may be appropriate. Biodiversity: Number of planning approvals that generated any adverse impacts on sites of acknowledged biodiversity importance; Percentage of major developments generating overall biodiversity enhancement; Hectares of biodiversity habitat delivered through strategic site allocations. Green infrastructure: Percentage of the city's population having access to a natural greenspace within 400 metres of their home; Length of greenways constructed; Hectares of accessible open space per 1000 population. APPENDIX III - SITE OPTIONS APPRAISAL Table B: Site appraisal criteria with performance categories: Natural England has defined SSSI Impact Risk Zones for the three SSSIs present in the Borough. Impact Risk Zones relating to residential developments of 100 residential units or more tend to extend to 2km from the SSSIs' boundaries. However a further criterion of 800m has been included to reflect the number of sites within this Impact Risk Zone. (Note it should be Site of Special Scientific Interest). Natural England is unclear as to how the 800m criterion has been derived and we would like further clarification of this. We would be happy to comment further should the need arise but if in the meantime you have any queries please do not hesitate to contact us.

Attachments:

Comment

Preferred Site Allocations 2018

Representation ID: 19902

Received: 26/03/2018

Respondent: Environment Agency

Representation Summary:

The Local Plan is very land centric and only mentions water bodies or waterways in passing. It is disappointing to see no specific mention of rivers and waterways in the biodiversity section of the SA. We would like to see further detail regarding the rivers and specifically the headwaters of the Rivers Wid and Mardyke. This could be addressed through a completely separate policy, addressing water quality and WFD and RBMP objectives. A new policy on provision of ecological buffer strips and corridors, native tree planting and the new wetland areas to help manage flood risk and reduce diffuse pollution.

Full text:

See attached.

Attachments:

Comment

Preferred Site Allocations 2018

Representation ID: 19913

Received: 26/03/2018

Respondent: Environment Agency

Representation Summary:

We welcome the inclusion in the SA of the appraisal of the 2016 Draft Plan, regarding the issue of waste water capacity at Ingatestone and Doddinghurst. It should be ensured that there is capacity for the disposal of treated effluent. We would place caution on development proposed in the catchments of Ingatestone and Doddinghurst Water Recycling Centres (WRCs), unless Anglian Water agree to accommodate further growth in these catchments.

Full text:

See attached.

Attachments:

Comment

Preferred Site Allocations 2018

Representation ID: 19951

Received: 26/03/2018

Respondent: Historic England

Representation Summary:

We would recommend that the term "historic environment" is used instead as it encompasses all aspects of cultural heritage and would achieve a more robust assessment of impact to a wider spectrum of relevant variables. The Interim SA contains no information on monitoring and indicators. In preparation of the forthcoming local plan, we encourage you to draw on the knowledge of local conservation officers, the county archaeologist and local heritage groups.

Full text:

See attached.

Attachments:

Object

Preferred Site Allocations 2018

Representation ID: 19970

Received: 12/03/2018

Respondent: Basildon Borough Council

Representation Summary:

SA needs to address the following: highlights the importance of functional linkages currently fail to address this linkage in a planned fashion; It is concerning that in the Interim SA, the level of local support appears to have been factored into the SA, as this is inappropriate; Section 7.2.1 covers Air Quality and incorrectly informs the Local Plan that there are no air quality issues on the A127 - the approach to the Fortune of War junction, 1-1.5km to the east of the edge of the location for DHGV is identified within the UK Plan: 'Tackling Roadside Nitrogen Dioxide Concentrations'

Full text:

See attached.

Attachments:

Comment

Preferred Site Allocations 2018

Representation ID: 19971

Received: 12/03/2018

Respondent: Basildon Borough Council

Representation Summary:

HRA: It should however be noted that the assessment does identify the potential for growth in Brentwood Borough to cause recreational disturbance to European sites on the Essex Coast. Brentwood Borough Council, like Basildon Borough Council, has signed the Memorandum of Understanding for the Essex Recreational Disturbance Avoidance and Mitigation Strategy (RAMS), and is therefore actively engaged in the Essex wide project to address this issue. Basildon Borough Council welcomes the positive working arrangement that now exists in relation to the Essex Coast RAMS.

Full text:

See attached.

Attachments:

Object

Preferred Site Allocations 2018

Representation ID: 20015

Received: 28/03/2018

Respondent: Thurrock Borough Council

Representation Summary:

Thurrock Council considers the approach set out in the Sustainability Appraisal is flawed and that a number of assumptions on the way that options have been scored is not supported by the available evidence. The SA appraises and scores 10 options for the location of development with the assumption that most development would be located in one of the locations and with a strategic scale development at Dunton Hills. The information comparing options is limited as presented in the report and Thurrock Council would request more detail including a comparison table of scores for each option against the themes.

Full text:

See attached.

Object

Preferred Site Allocations 2018

Representation ID: 20025

Received: 28/03/2018

Respondent: Thurrock Borough Council

Representation Summary:

Sustainability Appraisal: It is unclear that the options and sites have been comprehensively appraised in terms of access and sustainable transport; uncertain whether the benefits of Crossrail and A12 widening are taken into account; the housing appraisal skews the findings towards meeting the OAN but undermines the location of housing; housing along the A127 corridor would not meet housing needs in Brentwood/Shenfield as well as housing located along A12; a new strategic settlement at Dunton Hills would not be a self-sustaining community. There appear to be some value judgement about certain locations such as opposition to development at West Horndon.

Full text:

See attached.

Comment

Preferred Site Allocations 2018

Representation ID: 20122

Received: 30/05/2018

Respondent: Charles Smith

Number of people: 2

Representation Summary:

Plot 250:
1. There has never been any surface flooding nor accumulating/ponding of surface water on site or adjacent properties some 60years. Land is on high ground.
3. The only place flooding has occurred is around the pond some distance away down Chelmsford Rd, much lower land.
5. The stream along Chelmsford Road side of Plot 250 is unmaintained so even if there were any flooding issues, it can be mitigated.
6. It's similar to Proposed plots 076 and 077.
7. The SFRA Report 2011 makes no reference to any flooding in the area.
Plot 250 is suitable for development.

Full text:

Plot 250:

I was born less than 200 yards from this land and was brought up in my birth house in Chelmsford Rd Blackmore. Over the following 65 years I frequently played around and in the land and walked past daily in school days and later when starting work and still pass the land regularly. I can categorically state that the land has never ever flooded or even showed any signs of excess water nor has any nearby land flooded. The land is on high ground.

I refer to your Councils Statement of Reason deeming the Land Unsuitable for Development. You State Discounted - Surface Water Flooding Issues.
I say to my knowledge and belief:

1. I have lived in and been familiar with the area some 60 years.
2. There has never been any surface water flooding nor accumulating/ponding of surface water.
3. The only place flooding has occurred over the years is around the pond some distance away down Chelmsford Rd and much lower land.
4. There has never been any flooding of adjacent properties around Plot 250.
5. The stream running along Chelmsford Road side of Plot 250 is unmaintained so even if there were any flooding issues rectification measures could be carried out.
6. 2 other plots Identified as suitable for development being Orchard Piece/Redrose Lane and Woollard Way/Redrose Lane are totally similar to Plot 250.
7. The Councils Strategic Flood Ask Assessment Report by Entec dated January 2011 makes no reference to any flooding in the area.

For the foregoing reasons I believe Plot 250 is together with the other 2 plots adjoining referred to, totally suitable for development.

Comment

Preferred Site Allocations 2018

Representation ID: 22098

Received: 12/03/2018

Respondent: B. & G. harvey & Pyle

Representation Summary:

The SA should evaluate sites within Ingrave and Herongate. Without the allocation of sites within larger villages we consider the emerging local plan to be unsound.

Full text:

See attached.

Attachments:

Comment

Preferred Site Allocations 2018

Representation ID: 22174

Received: 11/01/2019

Respondent: CODE Development Planners

Representation Summary:

Report considers how the 2018 Interim SA, the Green Belt and the Landscape evidence base relates to Dunton Hills Garden Village

Full text:

Submission of a Green Belt and Landscape Evidence review for Dunton Hills Garden Village. The SA assesses more land than needed for the Garden Village; DHGV can be delivered to respect the landscape and distinctive features,
incorporating measures that would help to mitigate the negative impacts of existing transport infrastructure, whilst strengthening the degraded landscape structure through enhancement of boundaries. This accords with published management guidelines for the Horndon Fenland asset-out in the Mid Essex Landscape Character Assessment that forms part of the Local Plan evidence base; and DHGV has the potential to be delivered as a landscape-led scheme that responds to the topography of the site, provides substantial areas of green infrastructure incorporating accessible multifunctional green space and landscape planting that respects the local character. The containment of the site by the A127, A128 and railway line provide existing robust Green Belt boundaries. Tying-in with the landscape proposals, the eastern boundary can be enhanced with woodland, trees, hedgerows and landscape buffers to provide a robust and defensible new Green Belt boundary that forms a soft transition with the countryside to the east and limits intervisibility with Basildon and West Horndon.