MM13
Support
Schedule of Potential Main Modifications
Representation ID: 29871
Received: 25/11/2021
Respondent: Land North of Shenfield Developer Group
Number of people: 4
Agent: Barton Willmore
Revised policy acknowledges that the requirement for a minimum of 10% of predicted energy needs of a development to be from renewable energy may not be possible or appropriate on site, and therefore allows for flexibility to be provided off site or funded through a s106. The Developer Group supports this approach
See attached
Support
Schedule of Potential Main Modifications
Representation ID: 29876
Received: 26/11/2021
Respondent: Stonebond Properties Ltd
Agent: Phase 2 Planning and Development Ltd
Supports the modification to part B (renewable energy) which recognises that it will not be possible in all major
development to provide 10% of the energy demands of the development from renewable energy, and that any
shortfall against target can be met through S106 or CIL contributions or an off site provision.
See attached