Brentwood Local Plan 2016 - 2033 (Pre-Submission, Regulation 19)

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Brentwood Local Plan 2016 - 2033 (Pre-Submission, Regulation 19)

Responding to Climate Change

Representation ID: 23189

Received: 01/03/2019

Respondent: Environment Agency

Representation Summary:

The plan rightly identifies the potential impact of climate change and contains a number of polices to address these.

Full text:

Thank you for the opportunity to comment on the Brentwood Local Plan - Pre-submission Document. Overall we find the plan sound and are pleased to see that many of our previous comments have been incorporated into the plan. We have provided further advice on certain aspects of the plan where we feel Environmental issues could be enhanced further.
Responding to Climate Change
The plan rightly identifies the potential impact of climate change and contains a number of polices to address these. Whilst we would agree with these policies, we feel that the impact of flooding as a result of climate change should be more prominent. The NPPF states that proactive strategies should be taken to mitigate and adapt to climate change, taking full account of flood risk and coastal change (NPPF, Para. 149).
Water Efficiency
We are pleased to see that the issues of water resources has been addressed in the plan and support the measures to reduce water consumption in new development. Whilst you acknowledge the need to consider waste water and sewage infrastructure we feel this needs to be strengthened. As where sewerage capacity is identified as insufficient, development should only be permitted if it is demonstrated that improvements will be completed prior to occupation of the development. The Brentwood Water Cycle Study (2018) identifies areas where there may be limitations to the waste water infrastructure and therefore where applicants need to carry out
appropriate appraisals to assess whether the proposed development will lead to overloading of existing waste water infrastructure.
Policy BE08: Sustainable drainage
We support this policy and are pleased to see our previous comments have been incorporated into the supporting text.
Policy BE18: Green and Blue Infrastructure
We support this policy and are pleased to see the prominent position given to the water environment. In particular we welcome the desire to protect and enhance the area's rivers, ponds and watercourses. We would reiterate our previous comments in regards to the adequate capacity for waste water infrastructure.
We feel that the supporting text could be enhanced by acknowledging the role played by natural flood management. Reducing flooding by working with natural process, reconnecting watercourses with floodplains to enhance flood storage in times of need, and taking opportunities to restore watercourses to a naturalised state. This should be considered and incorporated into developments wherever opportunities arise. As well as contributing to reducing flood risk, such schemes can enhance the blue infrastructure and contribute to enhancing biodiversity.
We feel the wording in 5.152 could be modified, as it seems to relate to the effect of development on watercourses with either a poor or moderate status, the duty to prevent deterioration of water body status should apply to all water bodies irrespective of their current status.
Policy HP11: Proposals for Gypsies, Travellers and Travelling Showpeople on windfall sites
We would advise that any new policy should contain the need for gypsy and traveller sites to be situated in areas that are low risk from flooding. Caravans, mobile homes and park homes intended for permanent residential use are classed as 'Highly Vulnerable' so are not permitted in Flood Zone 3, and require the exception Test in Flood Zone 2. It is also very difficult to make caravans, mobile homes and park homes safe through raising floor levels. For any caravan site used for short-let or holiday use there should be a reference to the need for any site proposal to provide confirmation that there are adequate warning and evacuation arrangements.
Policy NE06: Flood Risk
We generally support this policy but believe the supporting text should stress that any proposed development should take into consideration the impacts of climate change for the development lifetime. In addition, it could be added that we would object to any new development in Functional floodplain as this would be against policy. Water compatible development can be allowed in Flood Zone 3b if: In accordance with the footnotes of Table 3: Flood risk vulnerability and flood zone 'compatibility' of the PPG, for water compatible development within Flood Zone 3b (functional floodplain), the applicant has designed their development to:
 remain operational and safe for users in times of flood;
 result in no net loss of floodplain storage;
 not impede water flows and not increase flood risk elsewhere.
We trust this information is useful.
Yours faithfully
Mr. Pat Abbott
Planning Advisor

Attachments:

Support

Brentwood Local Plan 2016 - 2033 (Pre-Submission, Regulation 19)

Water Efficiency

Representation ID: 23190

Received: 01/03/2019

Respondent: Environment Agency

Representation Summary:

Support the measures to address the issues of water resources and to reduce water consumption in new development. The need to consider waste water and sewage infrastructure still needs to be strengthened. Where sewerage capacity is identified as insufficient, development should only be permitted if it is demonstrated that improvements will be completed prior to occupation of development. The Brentwood Water Cycle Study (2018) identifies areas where there may be limitations to the waste water infrastructure and therefore where applicants need to carry out appropriate appraisals to assess whether the proposed development will lead to existing waste water infrastructure overloading.

Full text:

Thank you for the opportunity to comment on the Brentwood Local Plan - Pre-submission Document. Overall we find the plan sound and are pleased to see that many of our previous comments have been incorporated into the plan. We have provided further advice on certain aspects of the plan where we feel Environmental issues could be enhanced further.
Responding to Climate Change
The plan rightly identifies the potential impact of climate change and contains a number of polices to address these. Whilst we would agree with these policies, we feel that the impact of flooding as a result of climate change should be more prominent. The NPPF states that proactive strategies should be taken to mitigate and adapt to climate change, taking full account of flood risk and coastal change (NPPF, Para. 149).
Water Efficiency
We are pleased to see that the issues of water resources has been addressed in the plan and support the measures to reduce water consumption in new development. Whilst you acknowledge the need to consider waste water and sewage infrastructure we feel this needs to be strengthened. As where sewerage capacity is identified as insufficient, development should only be permitted if it is demonstrated that improvements will be completed prior to occupation of the development. The Brentwood Water Cycle Study (2018) identifies areas where there may be limitations to the waste water infrastructure and therefore where applicants need to carry out
appropriate appraisals to assess whether the proposed development will lead to overloading of existing waste water infrastructure.
Policy BE08: Sustainable drainage
We support this policy and are pleased to see our previous comments have been incorporated into the supporting text.
Policy BE18: Green and Blue Infrastructure
We support this policy and are pleased to see the prominent position given to the water environment. In particular we welcome the desire to protect and enhance the area's rivers, ponds and watercourses. We would reiterate our previous comments in regards to the adequate capacity for waste water infrastructure.
We feel that the supporting text could be enhanced by acknowledging the role played by natural flood management. Reducing flooding by working with natural process, reconnecting watercourses with floodplains to enhance flood storage in times of need, and taking opportunities to restore watercourses to a naturalised state. This should be considered and incorporated into developments wherever opportunities arise. As well as contributing to reducing flood risk, such schemes can enhance the blue infrastructure and contribute to enhancing biodiversity.
We feel the wording in 5.152 could be modified, as it seems to relate to the effect of development on watercourses with either a poor or moderate status, the duty to prevent deterioration of water body status should apply to all water bodies irrespective of their current status.
Policy HP11: Proposals for Gypsies, Travellers and Travelling Showpeople on windfall sites
We would advise that any new policy should contain the need for gypsy and traveller sites to be situated in areas that are low risk from flooding. Caravans, mobile homes and park homes intended for permanent residential use are classed as 'Highly Vulnerable' so are not permitted in Flood Zone 3, and require the exception Test in Flood Zone 2. It is also very difficult to make caravans, mobile homes and park homes safe through raising floor levels. For any caravan site used for short-let or holiday use there should be a reference to the need for any site proposal to provide confirmation that there are adequate warning and evacuation arrangements.
Policy NE06: Flood Risk
We generally support this policy but believe the supporting text should stress that any proposed development should take into consideration the impacts of climate change for the development lifetime. In addition, it could be added that we would object to any new development in Functional floodplain as this would be against policy. Water compatible development can be allowed in Flood Zone 3b if: In accordance with the footnotes of Table 3: Flood risk vulnerability and flood zone 'compatibility' of the PPG, for water compatible development within Flood Zone 3b (functional floodplain), the applicant has designed their development to:
 remain operational and safe for users in times of flood;
 result in no net loss of floodplain storage;
 not impede water flows and not increase flood risk elsewhere.
We trust this information is useful.
Yours faithfully
Mr. Pat Abbott
Planning Advisor

Attachments:

Support

Brentwood Local Plan 2016 - 2033 (Pre-Submission, Regulation 19)

POLICY BE08: SUSTAINABLE DRAINAGE

Representation ID: 23191

Received: 01/03/2019

Respondent: Environment Agency

Representation Summary:

We support this policy and are pleased to see our previous comments have been incorporated into the supporting text.

Full text:

Thank you for the opportunity to comment on the Brentwood Local Plan - Pre-submission Document. Overall we find the plan sound and are pleased to see that many of our previous comments have been incorporated into the plan. We have provided further advice on certain aspects of the plan where we feel Environmental issues could be enhanced further.
Responding to Climate Change
The plan rightly identifies the potential impact of climate change and contains a number of polices to address these. Whilst we would agree with these policies, we feel that the impact of flooding as a result of climate change should be more prominent. The NPPF states that proactive strategies should be taken to mitigate and adapt to climate change, taking full account of flood risk and coastal change (NPPF, Para. 149).
Water Efficiency
We are pleased to see that the issues of water resources has been addressed in the plan and support the measures to reduce water consumption in new development. Whilst you acknowledge the need to consider waste water and sewage infrastructure we feel this needs to be strengthened. As where sewerage capacity is identified as insufficient, development should only be permitted if it is demonstrated that improvements will be completed prior to occupation of the development. The Brentwood Water Cycle Study (2018) identifies areas where there may be limitations to the waste water infrastructure and therefore where applicants need to carry out
appropriate appraisals to assess whether the proposed development will lead to overloading of existing waste water infrastructure.
Policy BE08: Sustainable drainage
We support this policy and are pleased to see our previous comments have been incorporated into the supporting text.
Policy BE18: Green and Blue Infrastructure
We support this policy and are pleased to see the prominent position given to the water environment. In particular we welcome the desire to protect and enhance the area's rivers, ponds and watercourses. We would reiterate our previous comments in regards to the adequate capacity for waste water infrastructure.
We feel that the supporting text could be enhanced by acknowledging the role played by natural flood management. Reducing flooding by working with natural process, reconnecting watercourses with floodplains to enhance flood storage in times of need, and taking opportunities to restore watercourses to a naturalised state. This should be considered and incorporated into developments wherever opportunities arise. As well as contributing to reducing flood risk, such schemes can enhance the blue infrastructure and contribute to enhancing biodiversity.
We feel the wording in 5.152 could be modified, as it seems to relate to the effect of development on watercourses with either a poor or moderate status, the duty to prevent deterioration of water body status should apply to all water bodies irrespective of their current status.
Policy HP11: Proposals for Gypsies, Travellers and Travelling Showpeople on windfall sites
We would advise that any new policy should contain the need for gypsy and traveller sites to be situated in areas that are low risk from flooding. Caravans, mobile homes and park homes intended for permanent residential use are classed as 'Highly Vulnerable' so are not permitted in Flood Zone 3, and require the exception Test in Flood Zone 2. It is also very difficult to make caravans, mobile homes and park homes safe through raising floor levels. For any caravan site used for short-let or holiday use there should be a reference to the need for any site proposal to provide confirmation that there are adequate warning and evacuation arrangements.
Policy NE06: Flood Risk
We generally support this policy but believe the supporting text should stress that any proposed development should take into consideration the impacts of climate change for the development lifetime. In addition, it could be added that we would object to any new development in Functional floodplain as this would be against policy. Water compatible development can be allowed in Flood Zone 3b if: In accordance with the footnotes of Table 3: Flood risk vulnerability and flood zone 'compatibility' of the PPG, for water compatible development within Flood Zone 3b (functional floodplain), the applicant has designed their development to:
 remain operational and safe for users in times of flood;
 result in no net loss of floodplain storage;
 not impede water flows and not increase flood risk elsewhere.
We trust this information is useful.
Yours faithfully
Mr. Pat Abbott
Planning Advisor

Attachments:

Support

Brentwood Local Plan 2016 - 2033 (Pre-Submission, Regulation 19)

POLICY BE18: GREEN AND BLUE INFRASTRUCTURE

Representation ID: 23192

Received: 01/03/2019

Respondent: Environment Agency

Representation Summary:

Support this policy and pleased to see the prominent position given to the water environment. We feel that the supporting text could be enhanced by acknowledging the role of natural flood management: reducing flooding by working with natural process, reconnecting watercourses with floodplains to enhance flood storage in times of need, and taking opportunities to restore watercourses to a naturalised state. This should be considered and incorporated into developments wherever opportunities arise. As well as contributing to reducing flood risk, such schemes can enhance the blue infrastructure and contribute to enhancing biodiversity.

Full text:

Thank you for the opportunity to comment on the Brentwood Local Plan - Pre-submission Document. Overall we find the plan sound and are pleased to see that many of our previous comments have been incorporated into the plan. We have provided further advice on certain aspects of the plan where we feel Environmental issues could be enhanced further.
Responding to Climate Change
The plan rightly identifies the potential impact of climate change and contains a number of polices to address these. Whilst we would agree with these policies, we feel that the impact of flooding as a result of climate change should be more prominent. The NPPF states that proactive strategies should be taken to mitigate and adapt to climate change, taking full account of flood risk and coastal change (NPPF, Para. 149).
Water Efficiency
We are pleased to see that the issues of water resources has been addressed in the plan and support the measures to reduce water consumption in new development. Whilst you acknowledge the need to consider waste water and sewage infrastructure we feel this needs to be strengthened. As where sewerage capacity is identified as insufficient, development should only be permitted if it is demonstrated that improvements will be completed prior to occupation of the development. The Brentwood Water Cycle Study (2018) identifies areas where there may be limitations to the waste water infrastructure and therefore where applicants need to carry out
appropriate appraisals to assess whether the proposed development will lead to overloading of existing waste water infrastructure.
Policy BE08: Sustainable drainage
We support this policy and are pleased to see our previous comments have been incorporated into the supporting text.
Policy BE18: Green and Blue Infrastructure
We support this policy and are pleased to see the prominent position given to the water environment. In particular we welcome the desire to protect and enhance the area's rivers, ponds and watercourses. We would reiterate our previous comments in regards to the adequate capacity for waste water infrastructure.
We feel that the supporting text could be enhanced by acknowledging the role played by natural flood management. Reducing flooding by working with natural process, reconnecting watercourses with floodplains to enhance flood storage in times of need, and taking opportunities to restore watercourses to a naturalised state. This should be considered and incorporated into developments wherever opportunities arise. As well as contributing to reducing flood risk, such schemes can enhance the blue infrastructure and contribute to enhancing biodiversity.
We feel the wording in 5.152 could be modified, as it seems to relate to the effect of development on watercourses with either a poor or moderate status, the duty to prevent deterioration of water body status should apply to all water bodies irrespective of their current status.
Policy HP11: Proposals for Gypsies, Travellers and Travelling Showpeople on windfall sites
We would advise that any new policy should contain the need for gypsy and traveller sites to be situated in areas that are low risk from flooding. Caravans, mobile homes and park homes intended for permanent residential use are classed as 'Highly Vulnerable' so are not permitted in Flood Zone 3, and require the exception Test in Flood Zone 2. It is also very difficult to make caravans, mobile homes and park homes safe through raising floor levels. For any caravan site used for short-let or holiday use there should be a reference to the need for any site proposal to provide confirmation that there are adequate warning and evacuation arrangements.
Policy NE06: Flood Risk
We generally support this policy but believe the supporting text should stress that any proposed development should take into consideration the impacts of climate change for the development lifetime. In addition, it could be added that we would object to any new development in Functional floodplain as this would be against policy. Water compatible development can be allowed in Flood Zone 3b if: In accordance with the footnotes of Table 3: Flood risk vulnerability and flood zone 'compatibility' of the PPG, for water compatible development within Flood Zone 3b (functional floodplain), the applicant has designed their development to:
 remain operational and safe for users in times of flood;
 result in no net loss of floodplain storage;
 not impede water flows and not increase flood risk elsewhere.
We trust this information is useful.
Yours faithfully
Mr. Pat Abbott
Planning Advisor

Attachments:

Support

Brentwood Local Plan 2016 - 2033 (Pre-Submission, Regulation 19)

5.152

Representation ID: 23193

Received: 01/03/2019

Respondent: Environment Agency

Representation Summary:

We feel the wording in 5.152 could be modified, as it seems to relate to the effect of development on watercourses with either a poor or moderate status, the duty to prevent deterioration of water body status should apply to all water bodies irrespective of their current status.

Change suggested by respondent:

Wording in 5.152 could be modified so that the duty to prevent deterioration of water body status should apply to all water bodies irrespective of their current status.

Full text:

Thank you for the opportunity to comment on the Brentwood Local Plan - Pre-submission Document. Overall we find the plan sound and are pleased to see that many of our previous comments have been incorporated into the plan. We have provided further advice on certain aspects of the plan where we feel Environmental issues could be enhanced further.
Responding to Climate Change
The plan rightly identifies the potential impact of climate change and contains a number of polices to address these. Whilst we would agree with these policies, we feel that the impact of flooding as a result of climate change should be more prominent. The NPPF states that proactive strategies should be taken to mitigate and adapt to climate change, taking full account of flood risk and coastal change (NPPF, Para. 149).
Water Efficiency
We are pleased to see that the issues of water resources has been addressed in the plan and support the measures to reduce water consumption in new development. Whilst you acknowledge the need to consider waste water and sewage infrastructure we feel this needs to be strengthened. As where sewerage capacity is identified as insufficient, development should only be permitted if it is demonstrated that improvements will be completed prior to occupation of the development. The Brentwood Water Cycle Study (2018) identifies areas where there may be limitations to the waste water infrastructure and therefore where applicants need to carry out
appropriate appraisals to assess whether the proposed development will lead to overloading of existing waste water infrastructure.
Policy BE08: Sustainable drainage
We support this policy and are pleased to see our previous comments have been incorporated into the supporting text.
Policy BE18: Green and Blue Infrastructure
We support this policy and are pleased to see the prominent position given to the water environment. In particular we welcome the desire to protect and enhance the area's rivers, ponds and watercourses. We would reiterate our previous comments in regards to the adequate capacity for waste water infrastructure.
We feel that the supporting text could be enhanced by acknowledging the role played by natural flood management. Reducing flooding by working with natural process, reconnecting watercourses with floodplains to enhance flood storage in times of need, and taking opportunities to restore watercourses to a naturalised state. This should be considered and incorporated into developments wherever opportunities arise. As well as contributing to reducing flood risk, such schemes can enhance the blue infrastructure and contribute to enhancing biodiversity.
We feel the wording in 5.152 could be modified, as it seems to relate to the effect of development on watercourses with either a poor or moderate status, the duty to prevent deterioration of water body status should apply to all water bodies irrespective of their current status.
Policy HP11: Proposals for Gypsies, Travellers and Travelling Showpeople on windfall sites
We would advise that any new policy should contain the need for gypsy and traveller sites to be situated in areas that are low risk from flooding. Caravans, mobile homes and park homes intended for permanent residential use are classed as 'Highly Vulnerable' so are not permitted in Flood Zone 3, and require the exception Test in Flood Zone 2. It is also very difficult to make caravans, mobile homes and park homes safe through raising floor levels. For any caravan site used for short-let or holiday use there should be a reference to the need for any site proposal to provide confirmation that there are adequate warning and evacuation arrangements.
Policy NE06: Flood Risk
We generally support this policy but believe the supporting text should stress that any proposed development should take into consideration the impacts of climate change for the development lifetime. In addition, it could be added that we would object to any new development in Functional floodplain as this would be against policy. Water compatible development can be allowed in Flood Zone 3b if: In accordance with the footnotes of Table 3: Flood risk vulnerability and flood zone 'compatibility' of the PPG, for water compatible development within Flood Zone 3b (functional floodplain), the applicant has designed their development to:
 remain operational and safe for users in times of flood;
 result in no net loss of floodplain storage;
 not impede water flows and not increase flood risk elsewhere.
We trust this information is useful.
Yours faithfully
Mr. Pat Abbott
Planning Advisor

Attachments:

Support

Brentwood Local Plan 2016 - 2033 (Pre-Submission, Regulation 19)

POLICY HP11: PROPOSALS FOR GYPSIES, TRAVELLERS AND TRAVELLING SHOWPEOPLE ON WINDFALL SITES

Representation ID: 23194

Received: 01/03/2019

Respondent: Environment Agency

Representation Summary:

Should contain the need for GT sites to be situated in areas that are low risk from flooding. Caravans, mobile homes and park homes intended for permanent residential use are classed as 'Highly Vulnerable' so are not permitted in Flood Zone 3, and require the exception test in Flood Zone 2. It's also very difficult to make caravans, mobile homes and park homes safe through raising floor levels. There should be a reference to the need for any site proposal to provide confirmation that there are adequate warning and evacuation arrangements for caravan sites used for short-let or holiday use.

Change suggested by respondent:

Amend as suggested.

Full text:

Thank you for the opportunity to comment on the Brentwood Local Plan - Pre-submission Document. Overall we find the plan sound and are pleased to see that many of our previous comments have been incorporated into the plan. We have provided further advice on certain aspects of the plan where we feel Environmental issues could be enhanced further.
Responding to Climate Change
The plan rightly identifies the potential impact of climate change and contains a number of polices to address these. Whilst we would agree with these policies, we feel that the impact of flooding as a result of climate change should be more prominent. The NPPF states that proactive strategies should be taken to mitigate and adapt to climate change, taking full account of flood risk and coastal change (NPPF, Para. 149).
Water Efficiency
We are pleased to see that the issues of water resources has been addressed in the plan and support the measures to reduce water consumption in new development. Whilst you acknowledge the need to consider waste water and sewage infrastructure we feel this needs to be strengthened. As where sewerage capacity is identified as insufficient, development should only be permitted if it is demonstrated that improvements will be completed prior to occupation of the development. The Brentwood Water Cycle Study (2018) identifies areas where there may be limitations to the waste water infrastructure and therefore where applicants need to carry out
appropriate appraisals to assess whether the proposed development will lead to overloading of existing waste water infrastructure.
Policy BE08: Sustainable drainage
We support this policy and are pleased to see our previous comments have been incorporated into the supporting text.
Policy BE18: Green and Blue Infrastructure
We support this policy and are pleased to see the prominent position given to the water environment. In particular we welcome the desire to protect and enhance the area's rivers, ponds and watercourses. We would reiterate our previous comments in regards to the adequate capacity for waste water infrastructure.
We feel that the supporting text could be enhanced by acknowledging the role played by natural flood management. Reducing flooding by working with natural process, reconnecting watercourses with floodplains to enhance flood storage in times of need, and taking opportunities to restore watercourses to a naturalised state. This should be considered and incorporated into developments wherever opportunities arise. As well as contributing to reducing flood risk, such schemes can enhance the blue infrastructure and contribute to enhancing biodiversity.
We feel the wording in 5.152 could be modified, as it seems to relate to the effect of development on watercourses with either a poor or moderate status, the duty to prevent deterioration of water body status should apply to all water bodies irrespective of their current status.
Policy HP11: Proposals for Gypsies, Travellers and Travelling Showpeople on windfall sites
We would advise that any new policy should contain the need for gypsy and traveller sites to be situated in areas that are low risk from flooding. Caravans, mobile homes and park homes intended for permanent residential use are classed as 'Highly Vulnerable' so are not permitted in Flood Zone 3, and require the exception Test in Flood Zone 2. It is also very difficult to make caravans, mobile homes and park homes safe through raising floor levels. For any caravan site used for short-let or holiday use there should be a reference to the need for any site proposal to provide confirmation that there are adequate warning and evacuation arrangements.
Policy NE06: Flood Risk
We generally support this policy but believe the supporting text should stress that any proposed development should take into consideration the impacts of climate change for the development lifetime. In addition, it could be added that we would object to any new development in Functional floodplain as this would be against policy. Water compatible development can be allowed in Flood Zone 3b if: In accordance with the footnotes of Table 3: Flood risk vulnerability and flood zone 'compatibility' of the PPG, for water compatible development within Flood Zone 3b (functional floodplain), the applicant has designed their development to:
 remain operational and safe for users in times of flood;
 result in no net loss of floodplain storage;
 not impede water flows and not increase flood risk elsewhere.
We trust this information is useful.
Yours faithfully
Mr. Pat Abbott
Planning Advisor

Attachments:

Support

Brentwood Local Plan 2016 - 2033 (Pre-Submission, Regulation 19)

POLICY NE06: FLOOD RISK

Representation ID: 23196

Received: 01/03/2019

Respondent: Environment Agency

Representation Summary:

Generally support this policy but believe the supporting text should stress that any proposed development should take into consideration the impacts of climate change for the development lifetime.

Change suggested by respondent:

Supporting text should stress that any proposed development should take into consideration the impacts of climate change for the development lifetime.

Full text:

Thank you for the opportunity to comment on the Brentwood Local Plan - Pre-submission Document. Overall we find the plan sound and are pleased to see that many of our previous comments have been incorporated into the plan. We have provided further advice on certain aspects of the plan where we feel Environmental issues could be enhanced further.
Responding to Climate Change
The plan rightly identifies the potential impact of climate change and contains a number of polices to address these. Whilst we would agree with these policies, we feel that the impact of flooding as a result of climate change should be more prominent. The NPPF states that proactive strategies should be taken to mitigate and adapt to climate change, taking full account of flood risk and coastal change (NPPF, Para. 149).
Water Efficiency
We are pleased to see that the issues of water resources has been addressed in the plan and support the measures to reduce water consumption in new development. Whilst you acknowledge the need to consider waste water and sewage infrastructure we feel this needs to be strengthened. As where sewerage capacity is identified as insufficient, development should only be permitted if it is demonstrated that improvements will be completed prior to occupation of the development. The Brentwood Water Cycle Study (2018) identifies areas where there may be limitations to the waste water infrastructure and therefore where applicants need to carry out
appropriate appraisals to assess whether the proposed development will lead to overloading of existing waste water infrastructure.
Policy BE08: Sustainable drainage
We support this policy and are pleased to see our previous comments have been incorporated into the supporting text.
Policy BE18: Green and Blue Infrastructure
We support this policy and are pleased to see the prominent position given to the water environment. In particular we welcome the desire to protect and enhance the area's rivers, ponds and watercourses. We would reiterate our previous comments in regards to the adequate capacity for waste water infrastructure.
We feel that the supporting text could be enhanced by acknowledging the role played by natural flood management. Reducing flooding by working with natural process, reconnecting watercourses with floodplains to enhance flood storage in times of need, and taking opportunities to restore watercourses to a naturalised state. This should be considered and incorporated into developments wherever opportunities arise. As well as contributing to reducing flood risk, such schemes can enhance the blue infrastructure and contribute to enhancing biodiversity.
We feel the wording in 5.152 could be modified, as it seems to relate to the effect of development on watercourses with either a poor or moderate status, the duty to prevent deterioration of water body status should apply to all water bodies irrespective of their current status.
Policy HP11: Proposals for Gypsies, Travellers and Travelling Showpeople on windfall sites
We would advise that any new policy should contain the need for gypsy and traveller sites to be situated in areas that are low risk from flooding. Caravans, mobile homes and park homes intended for permanent residential use are classed as 'Highly Vulnerable' so are not permitted in Flood Zone 3, and require the exception Test in Flood Zone 2. It is also very difficult to make caravans, mobile homes and park homes safe through raising floor levels. For any caravan site used for short-let or holiday use there should be a reference to the need for any site proposal to provide confirmation that there are adequate warning and evacuation arrangements.
Policy NE06: Flood Risk
We generally support this policy but believe the supporting text should stress that any proposed development should take into consideration the impacts of climate change for the development lifetime. In addition, it could be added that we would object to any new development in Functional floodplain as this would be against policy. Water compatible development can be allowed in Flood Zone 3b if: In accordance with the footnotes of Table 3: Flood risk vulnerability and flood zone 'compatibility' of the PPG, for water compatible development within Flood Zone 3b (functional floodplain), the applicant has designed their development to:
 remain operational and safe for users in times of flood;
 result in no net loss of floodplain storage;
 not impede water flows and not increase flood risk elsewhere.
We trust this information is useful.
Yours faithfully
Mr. Pat Abbott
Planning Advisor

Attachments:

Support

Brentwood Local Plan 2016 - 2033 (Pre-Submission, Regulation 19)

POLICY NE06: FLOOD RISK

Representation ID: 23198

Received: 01/03/2019

Respondent: Environment Agency

Representation Summary:

It could be added that we would object to any new development in Functional floodplain (Flood Zone 3b) as this would be against policy. Water compatible development can be allowed in Functional floodplain if, in accordance with the footnotes of Table 3: Flood risk vulnerability and flood zone 'compatibility' of the PPG, for water compatible development within Functional floodplain, the applicant has designed their development to:
- remain operational and safe for users in times of flood;
- result in no net loss of floodplain storage;
- not impede water flows and not increase flood risk elsewhere.

Change suggested by respondent:

Add to policy or supporting text as advised.

Full text:

Thank you for the opportunity to comment on the Brentwood Local Plan - Pre-submission Document. Overall we find the plan sound and are pleased to see that many of our previous comments have been incorporated into the plan. We have provided further advice on certain aspects of the plan where we feel Environmental issues could be enhanced further.
Responding to Climate Change
The plan rightly identifies the potential impact of climate change and contains a number of polices to address these. Whilst we would agree with these policies, we feel that the impact of flooding as a result of climate change should be more prominent. The NPPF states that proactive strategies should be taken to mitigate and adapt to climate change, taking full account of flood risk and coastal change (NPPF, Para. 149).
Water Efficiency
We are pleased to see that the issues of water resources has been addressed in the plan and support the measures to reduce water consumption in new development. Whilst you acknowledge the need to consider waste water and sewage infrastructure we feel this needs to be strengthened. As where sewerage capacity is identified as insufficient, development should only be permitted if it is demonstrated that improvements will be completed prior to occupation of the development. The Brentwood Water Cycle Study (2018) identifies areas where there may be limitations to the waste water infrastructure and therefore where applicants need to carry out
appropriate appraisals to assess whether the proposed development will lead to overloading of existing waste water infrastructure.
Policy BE08: Sustainable drainage
We support this policy and are pleased to see our previous comments have been incorporated into the supporting text.
Policy BE18: Green and Blue Infrastructure
We support this policy and are pleased to see the prominent position given to the water environment. In particular we welcome the desire to protect and enhance the area's rivers, ponds and watercourses. We would reiterate our previous comments in regards to the adequate capacity for waste water infrastructure.
We feel that the supporting text could be enhanced by acknowledging the role played by natural flood management. Reducing flooding by working with natural process, reconnecting watercourses with floodplains to enhance flood storage in times of need, and taking opportunities to restore watercourses to a naturalised state. This should be considered and incorporated into developments wherever opportunities arise. As well as contributing to reducing flood risk, such schemes can enhance the blue infrastructure and contribute to enhancing biodiversity.
We feel the wording in 5.152 could be modified, as it seems to relate to the effect of development on watercourses with either a poor or moderate status, the duty to prevent deterioration of water body status should apply to all water bodies irrespective of their current status.
Policy HP11: Proposals for Gypsies, Travellers and Travelling Showpeople on windfall sites
We would advise that any new policy should contain the need for gypsy and traveller sites to be situated in areas that are low risk from flooding. Caravans, mobile homes and park homes intended for permanent residential use are classed as 'Highly Vulnerable' so are not permitted in Flood Zone 3, and require the exception Test in Flood Zone 2. It is also very difficult to make caravans, mobile homes and park homes safe through raising floor levels. For any caravan site used for short-let or holiday use there should be a reference to the need for any site proposal to provide confirmation that there are adequate warning and evacuation arrangements.
Policy NE06: Flood Risk
We generally support this policy but believe the supporting text should stress that any proposed development should take into consideration the impacts of climate change for the development lifetime. In addition, it could be added that we would object to any new development in Functional floodplain as this would be against policy. Water compatible development can be allowed in Flood Zone 3b if: In accordance with the footnotes of Table 3: Flood risk vulnerability and flood zone 'compatibility' of the PPG, for water compatible development within Flood Zone 3b (functional floodplain), the applicant has designed their development to:
 remain operational and safe for users in times of flood;
 result in no net loss of floodplain storage;
 not impede water flows and not increase flood risk elsewhere.
We trust this information is useful.
Yours faithfully
Mr. Pat Abbott
Planning Advisor

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