Support

Preferred Options November 2021

Representation ID: 1432

Received: 13/12/2021

Respondent: Barratt West Midlands

Agent: Savills

Representation Summary:

We do not oppose the proposed requirement to provide compensatory improvements but consider that any requirement should accord with the wording of the Planning Practice Guidance (‘PPG’) (Reference ID: 64-002-20190722).
We support the provision of a Green Belt Supplementary Planning Document which we consider should include
more guidance on the provision of compensatory improvements and costs for calculating off-site contributions if improvements cannot be met on-site.