Schedule of Potential Main Modifications

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Object

Schedule of Potential Main Modifications

MM108

Representation ID: 29597

Received: 04/11/2021

Respondent: Essex County Council

Legally compliant? Yes

Sound? No

Representation Summary:

2. Not Justified

ECC as the Lead Local Flood Authority advises that this site is not identified as being within a Critical Drainage Area (CDA).

In order to ensure factual representation of the current position in respect of flooding Criterion 2. of Policy R26 should be deleted.

Full text:

2. Not Justified

ECC as the Lead Local Flood Authority advises that this site is not identified as being within a Critical Drainage Area (CDA).

In order to ensure factual representation of the current position in respect of flooding Criterion 2. of Policy R26 should be deleted.

Object

Schedule of Potential Main Modifications

MM107

Representation ID: 29598

Received: 04/11/2021

Respondent: Essex County Council

Legally compliant? Yes

Sound? No

Representation Summary:

2. Not Justified
3. Not Effective
4. Not Consistent with National Policy

ECC as Lead Local Flood Authority (LLFA) for BBC consider that the inclusion of site specific text within supporting text of site specific policies, in particular, including links back to sustainable drainage and flood risk policies in the Local Plan, will provide clarity to applicants and decisions makers of need for consideration of flooding matters at the beginning of the planning process.

Insert clarification in respect of Floods and SuDS after paragraph 9.200, in line with paragraphs 159 and 160 of NPPF.

This reflects ECC’s Reg.19 Rep 22487.

Full text:

2. Not Justified
3. Not Effective
4. Not Consistent with National Policy

ECC as Lead Local Flood Authority (LLFA) for BBC consider that the inclusion of site specific text within supporting text of site specific policies, in particular, including links back to sustainable drainage and flood risk policies in the Local Plan, will provide clarity to applicants and decisions makers of need for consideration of flooding matters at the beginning of the planning process.

Insert clarification in respect of Floods and SuDS after paragraph 9.200, in line with paragraphs 159 and 160 of NPPF.

This reflects ECC’s Reg.19 Rep 22487.

Object

Schedule of Potential Main Modifications

MM107

Representation ID: 29599

Received: 04/11/2021

Respondent: Essex County Council

Legally compliant? Yes

Sound? No

Representation Summary:

3.Not Effective

Criterion 1.a. states vehicular access via Redrose Lane or Nine Ashes Road.

ECC as highway and transportation authority has previously advised that vehicular access from Redrose Lane may not be able to meet highway standards, and it could be more appropriate to take access from Nine Ashes Road. It is now understood that a scheme can be achieved on site which provides access from Nine Ashes Road only.

Delete reference to Redrose Lane in criterion 1.a

This reflects ECC’s Reg.19 Rep 22488, paragraph 1.30 of Hearing Statement G7AN, and position in Statement of Common Ground with BBC (F17D).

Full text:

3. Not Effective

Criterion 1.a. of Policy R25 states that vehicular access should be via Redrose Lane or Nine Ashes Road.

ECC as highway and transportation authority has previously advised that vehicular access from Redrose Lane may not be able to meet highway standards, and it could be more appropriate to take access from Nine Ashes Road. It is now understood that a scheme can be achieved on the site which provides access from Nine Ashes Road only.

The policy should therefore be amended to reflect this and delete reference to Redrose Lane.

This reflects ECC’s Reg.19 Rep 22488, paragraph 1.30 of its Hearing Statement G7AN, and the position in the Statement of Common Ground with BBC (F17D).

Object

Schedule of Potential Main Modifications

MM107

Representation ID: 29600

Received: 04/11/2021

Respondent: Essex County Council

Legally compliant? Yes

Sound? No

Representation Summary:

3.Not Effective

Paragraph 9.199 states vehicular access via Redrose Lane or Nine Ashes Road.

ECC as highway and transportation authority has previously advised that vehicular access from Redrose Lane may not be able to meet highway standards, and it could be more appropriate to take access from Nine Ashes Road. It is now understood that a scheme can be achieved on site which provides access from Nine Ashes Road only.

Delete reference to Redrose Lane in paragraph 9.199

This reflects ECC’s Reg.19 Rep 22489, paragraph 1.30 of Hearing Statement G7AN, and position in Statement of Common Ground with BBC (F17D).

Full text:

3. Not Effective

Paragraph 9.199 makes reference to the main vehicular access for the site to be via Redrose Lane or Nine Ashes Road.

ECC as highway and transportation authority has previously advised that vehicular access from Redrose Lane may not be able to meet highway standards, and it could be more appropriate to take access from Nine Ashes Road. It is now understood that a scheme can be achieved on the site which provides access from Nine Ashes Road only.

The supporting text should therefore be amended to reflect this and delete reference to Redrose Lane.

This reflects ECC’s Reg.19 Rep 22489 and paragraph 1.30 of its Hearing Statement G7AN, and the position in the Statement of Common Ground with BBC (F17D).

Object

Schedule of Potential Main Modifications

MM108

Representation ID: 29601

Received: 04/11/2021

Respondent: Essex County Council

Legally compliant? Yes

Sound? No

Representation Summary:

3. Not Effective

Criterion 1. a. of Policy R26 states that vehicular access should be via Redrose Lane, Orchard Piece or Fingrith Hall Lane.

ECC as highway and transportation authority have previously advised that vehicular access from Redrose Lane may not be able to meet highway standards. It would be more appropriate to take access from Orchard Piece, or after further consideration Fingrith Hall Road.

The policy should therefore be amended to reflect this and delete reference to Redrose Lane.

This reflects ECC’s Reg.19 Rep 22492.

Full text:

3. Not Effective

Criterion 1. a. of Policy R26 states that vehicular access should be via Redrose Lane, Orchard Piece or Fingrith Hall Lane.

ECC as highway and transportation authority have previously advised that vehicular access from Redrose Lane may not be able to meet highway standards. It would be more appropriate to take access from Orchard Piece, or after further consideration Fingrith Hall Road.

The policy should therefore be amended to reflect this and delete reference to Redrose Lane.

This reflects ECC’s Reg.19 Rep 22492.

Object

Schedule of Potential Main Modifications

MM108

Representation ID: 29602

Received: 04/11/2021

Respondent: Essex County Council

Legally compliant? Yes

Sound? No

Representation Summary:

3. Not Effective

Paragraph 9.203 makes reference to the main vehicular access for the site to be via Redrose Lane, Orchard Piece or Fingrith Hall Lane.

ECC as highway and transportation authority have previously advised that vehicular access from Redrose Lane may not be able to meet highway standards. It would be more appropriate to take access from Orchard Piece, or after further consideration Fingrith Hall Road.

The paragraph should therefore be amended to reflect this and delete reference to Redrose Lane.

This reflects ECC’s Reg.19 Rep 22494.

Full text:

3. Not Effective

Paragraph 9.203 makes reference to the main vehicular access for the site to be via Redrose Lane, Orchard Piece or Fingrith Hall Lane.

ECC as highway and transportation authority have previously advised that vehicular access from Redrose Lane may not be able to meet highway standards. It would be more appropriate to take access from Orchard Piece, or after further consideration Fingrith Hall Road.

The paragraph should therefore be amended to reflect this and delete reference to Redrose Lane.

This reflects ECC’s Reg.19 Rep 22494.

Object

Schedule of Potential Main Modifications

MM108

Representation ID: 29603

Received: 04/11/2021

Respondent: Essex County Council

Legally compliant? Yes

Sound? No

Representation Summary:

2.Not Justified
3.Not Effective
4.Not Consistent with National Policy

ECC as Lead Local Flood Authority for BBC consider inclusion of supporting text for site specific policies, including reference to potential risk of flooding, and links to sustainable drainage and flood risk Local Plan policies, provides clarity to applicants/decisions makers of need for consideration of flooding matters at beginning of planning process.

Insert additional wording after para.9.204 to ensure factual representation of current flooding position, in line with paragraphs 159 and 160 of NPPF.

Reflects ECC’s Reg.19 Rep 22491 and Statement of Common Ground (F17D) position between BBC and ECC.

Full text:

2. Not Justified
3. Not Effective
4.Not Consistent with National Policy

ECC as the Lead Local Flood Authority (LLFA) for BBC consider that the inclusion of supporting text for the site specific policies, in particular, including reference to the potential risk of flooding, and links back to the sustainable drainage and flood risk policies in the Local Plan, will provide clarity to applicants and decisions makers of the need for consideration of flooding matters at the beginning of the planning process.

An additional paragraph after paragraph 9.204 should be inserted to ensure factual representation of the current position in respect of flooding, in line with paragraphs 159 and 160 of the NPPF.

This reflects ECC’s Reg.19 Rep 22491.

Object

Schedule of Potential Main Modifications

MM109

Representation ID: 29604

Received: 04/11/2021

Respondent: Essex County Council

Legally compliant? Yes

Sound? No

Representation Summary:

2.Not Justified
3.Not Effective
4.Not Consistent with National Policy

ECC as Lead Local Flood Authority for BBC consider inclusion of supporting text for site specific policies, including reference to potential risk of flooding, and links to sustainable drainage and flood risk Local Plan policies, provides clarity to applicants/decisions makers of need for consideration of flooding matters at beginning of planning process.

Insert additional wording after para.9.210 to ensure factual representation of current flooding position, in line with NPPF paragraphs 159, 160.

Reflects ECC’s Reg.19 Rep 22499, position in Statement of Common Ground (F17D) between BBC and ECC, Hearing Statement G7AN–paragraph1.42.

Full text:

2. Not Justified
3. Not Effective
4. Not Consistent with National Policy

ECC as the Lead Local Flood Authority (LLFA) for BBC consider that the inclusion of supporting text for the site specific policies, in particular, including reference to the potential risk of flooding, and links back to the sustainable drainage and flood risk policies in the Local Plan, will provide clarity to applicants and decisions makers of the need for consideration of flooding matters at the beginning of the planning process.

An additional paragraph after paragraph 9.210 needs to be inserted to ensure factual representation of the current position in respect of flooding, in line with paragraphs 159 and 160 of the NPPF.

This reflects ECC’s Reg.19 Rep 22499, the position in the Statement of Common Ground (F17D) between BBC and ECC, and the position in its Hearing Statement G7AN – paragraph 1.42.

Object

Schedule of Potential Main Modifications

MM113

Representation ID: 29605

Received: 04/11/2021

Respondent: Essex County Council

Legally compliant? Yes

Sound? No

Representation Summary:

3. Not Effective
4. Not Consistent with National Policy

ECC as the Lead Local Flood Authority has identified this site as being within a Critical Drainage Area (CDA).

In order to ensure consistency, with the other policies for site allocations located in CDA’s, an additional criterion needs to be inserted into Policy E08 to reflect this position.

Full text:

3. Not Effective
4. Not Consistent with National Policy

ECC as the Lead Local Flood Authority has identified this site as being within a Critical Drainage Area (CDA).

In order to ensure consistency, with the other policies for site allocations located in CDA’s, an additional criterion needs to be inserted into Policy E08 to reflect this position.

Object

Schedule of Potential Main Modifications

MM117

Representation ID: 29617

Received: 08/11/2021

Respondent: Essex County Council

Legally compliant? Yes

Sound? No

Representation Summary:

BE13 (now BE09) - Sustainable Means of Travel and Walkable Streets

3. Not Effective

Point of clarity - Indicator should read ‘developments’ not ‘develops’.

Delivery of appropriate sustainable transport infrastructure is key to mitigating the growth proposed in the Local Plan. Alternative options for delivery need to be considered rather than simply reviewing the policy. The Action should be amended to reflect this.

Full text:

BE13 (now BE09) - Sustainable Means of Travel and Walkable Streets

3. Not Effective

Point of clarity - Indicator should read ‘developments’ not ‘develops’.

Delivery of appropriate sustainable transport infrastructure is key to mitigating the growth proposed in the Local Plan. Alternative options for delivery need to be considered rather than simply reviewing the policy. The Action should be amended to reflect this.

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