Schedule of Potential Main Modifications
Search representations
Results for Essex County Council search
New searchSupport
Schedule of Potential Main Modifications
MM2
Representation ID: 29479
Received: 03/11/2021
Respondent: Essex County Council
4. Consistent with National Policy
The modifications proposed to paragraph 3.19 SO4 ensure conformity with Paragraph 179 b) of the NPPF.
This reflects ECC’s Reg.19 Rep 22279 and the position in the Statement of Common Ground (F17D) between BBC and ECC.
4. Consistent with National Policy
The modifications proposed to paragraph 3.19 SO4 ensure conformity with Paragraph 179 b) of the NPPF.
This reflects ECC’s Reg.19 Rep 22279 and the position in the Statement of Common Ground (F17D) between BBC and ECC.
Support
Schedule of Potential Main Modifications
MM7
Representation ID: 29480
Received: 03/11/2021
Respondent: Essex County Council
4. Consistent with National Policy
The proposed modifications to Policy SP04 and its supporting text are considered to be consistent with national policy, including paragraphs 20 and 34 of the NPPF.
This modification addresses ECC’s Reg.19 Rep 22283 and position as set out in its Hearing Statement F120B.
4. Consistent with National Policy
The proposed modifications to Policy SP04 and its supporting text are considered to be consistent with national policy, including paragraphs 20 and 34 of the NPPF.
This modification addresses ECC’s Reg.19 Rep 22283 and position as set out in its Hearing Statement F120B.
Support
Schedule of Potential Main Modifications
MM19
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.
Support
Schedule of Potential Main Modifications
MM22
Representation ID: 29483
Received: 03/11/2021
Respondent: Essex County Council
3. Effective
The inclusion of the additional wording in paragraph 5.92 ensures the current situation is reflected. Both stations have existing forecourts, and the policy should be seeking to improve these.
This modification addresses ECC’s Reg.19 Rep 22348 and the position in the Statement of Common Ground (F17D) between BBC and ECC.
3. Effective
The inclusion of the additional wording in paragraph 5.92 ensures the current situation is reflected. Both stations have existing forecourts, and the policy should be seeking to improve these.
This modification addresses ECC’s Reg.19 Rep 22348 and the position in the Statement of Common Ground (F17D) between BBC and ECC.
Support
Schedule of Potential Main Modifications
MM22
Representation ID: 29485
Received: 03/11/2021
Respondent: Essex County Council
3. Effective
The inclusion of the additional wording at the end of paragraph 5.96 point b. ensures the proposed improvements can be appropriately funded.
3. Effective
The inclusion of the additional wording at the end of paragraph 5.96 point b. ensures the proposed improvements can be appropriately funded.
Support
Schedule of Potential Main Modifications
MM23
Representation ID: 29486
Received: 03/11/2021
Respondent: Essex County Council
3. Effective
4. Consistent with National Policy
ECC as highway and transportation authority is satisfied that the ambition of offering a choice of travel modes and reducing the dependency on car use can be addressed through Policies BE13 and BE17.
The modification to delete this policy and move its supporting text to Policy BE17 – Parking Standards addresses ECC’s Reg.19 Rep 22374 and the position in the Statement of Common Ground (F17D) between BBC and ECC.
3. Effective
4. Consistent with National Policy
ECC as highway and transportation authority is satisfied that the ambition of offering a choice of travel modes and reducing the dependency on car use can be addressed through Policies BE13 and BE17.
The modification to delete this policy and move its supporting text to Policy BE17 – Parking Standards addresses ECC’s Reg.19 Rep 22374 and the position in the Statement of Common Ground (F17D) between BBC and ECC.
Support
Schedule of Potential Main Modifications
MM24
Representation ID: 29487
Received: 03/11/2021
Respondent: Essex County Council
3. Effective
The inclusion of the additional wording to criterion B.b. ensures it is clear to applicants and decision makers the distinction between new and existing development and terminology to correctly refer to passenger transport.
This modification addresses ECC’s Reg.19 Rep 22376 and the position in the Statement of Common Ground (F17D) between BBC and ECC.
3. Effective
The inclusion of the additional wording to criterion B.b. ensures it is clear to applicants and decision makers the distinction between new and existing development and terminology to correctly refer to passenger transport.
This modification addresses ECC’s Reg.19 Rep 22376 and the position in the Statement of Common Ground (F17D) between BBC and ECC.
Support
Schedule of Potential Main Modifications
MM29
Representation ID: 29488
Received: 03/11/2021
Respondent: Essex County Council
4. Consistent with National Policy
The proposed modifications to the Green and Blue Infrastructure policy are considered in principle to be consistent with paragraphs 20, 92, 54 and 175 of the NPPF.
4. Consistent with National Policy
The proposed modifications to the Green and Blue Infrastructure policy are considered in principle to be consistent with paragraphs 20, 92, 54 and 175 of the NPPF.
Support
Schedule of Potential Main Modifications
MM40
Representation ID: 29501
Received: 04/11/2021
Respondent: Essex County Council
3. Effective
The proposed modification to paragraph 6.50 provides the factual representation of the Essex Design Guide.
This modification addresses ECC’s Reg.19 Rep 22393 and the position in the Statement of Common Ground (F17D) between BBC and ECC.
3. Effective
The proposed modification to paragraph 6.50 provides the factual representation of the Essex Design Guide.
This modification addresses ECC’s Reg.19 Rep 22393 and the position in the Statement of Common Ground (F17D) between BBC and ECC.
Support
Schedule of Potential Main Modifications
MM51
Representation ID: 29502
Received: 04/11/2021
Respondent: Essex County Council
4. Consistent with National Policy
The inclusion of the additional wording in paragraph 6.125 ensures the full range of non-designated heritage assets are identified and considered.
This modification addresses ECC’s Reg.19 Rep 22398 and the position in the Statement of Common Ground (F17D) between BBC and ECC.
4. Consistent with National Policy
The inclusion of the additional wording in paragraph 6.125 ensures the full range of non-designated heritage assets are identified and considered.
This modification addresses ECC’s Reg.19 Rep 22398 and the position in the Statement of Common Ground (F17D) between BBC and ECC.