Publication Plan November 2022
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Publication Plan November 2022
Policy NB6: Sustainable construction
Representation ID: 5188
Received: 22/12/2022
Respondent: Richborough Estates
Agent: Pegasus Group
Legally compliant? Not specified
Sound? No
Duty to co-operate? Not specified
Concern regarding clause 3 of NB6 regarding introduction of a monitoring regime. Once sold the properties will be the responsibility of their owners and mortgagees. There are issues of data protection and consent surrounding the recording and sharing with a third party of energy use, air quality and overheating data. How will it be possible to ensure that all devices installed for monitoring will remain active. No indication council have considered GDPR implications, effect on mortgage-ability or effect on sales. Wired properties would presumably be less attractive in the market place.
Requirement for developments to demonstrate a minimum of 63% reduction in carbon emissions, and at least a 10% improvement on Part L 2021 target. We feel this may be an unnecessary early step, though would support early improvements once further details are available within the market to achieve high standards without unintended consequences for air tightness/efficiency.
Support
Publication Plan November 2022
Policy NB6: Sustainable construction
Representation ID: 5189
Received: 22/12/2022
Respondent: Richborough Estates
Agent: Pegasus Group
Support target of 110l/p/d water efficiency target.
Object
Publication Plan November 2022
3.8
Representation ID: 5190
Received: 22/12/2022
Respondent: Richborough Estates
Agent: Pegasus Group
Legally compliant? Not specified
Sound? Not specified
Duty to co-operate? Not specified
EDNA underestimates job growth.
Support
Publication Plan November 2022
Policy SA5: Housing Allocations
Representation ID: 5191
Received: 22/12/2022
Respondent: Richborough Estates
Agent: Pegasus Group
Support allocation of Land at Boscomoor Lane (006).
Object
Publication Plan November 2022
Policy SA5: Housing Allocations
Representation ID: 5192
Received: 22/12/2022
Respondent: Richborough Estates
Agent: Pegasus Group
Legally compliant? Not specified
Sound? Not specified
Duty to co-operate? Not specified
Land at Boscomoor Lane (006) Appendix C
Site boundary should follow the line of Boscomoor Lane and include existing properties. Should the boundary be amended the minimum housing capacity should be increased.
Proforma should be amended to read ‘Existing tree and hedgerow boundaries should be retained where possible and reinforced to protect the Canal Conservation Area and the setting of the local listed Lyne Hill Bridge in line with the HESA – stage 2 (2022) recommendations for this site.’
Support
Publication Plan November 2022
3.10
Representation ID: 5193
Received: 22/12/2022
Respondent: Richborough Estates
Agent: Pegasus Group
Support the findings of the SA in relation to site 006 Boscomoor Lane.
Object
Publication Plan November 2022
3.8
Representation ID: 5194
Received: 22/12/2022
Respondent: Richborough Estates
Agent: Pegasus Group
Legally compliant? Not specified
Sound? Not specified
Duty to co-operate? Not specified
Site 006 Boscomoor Lane
Green Belt Study
Change P3 rating from Strong to Moderate as the site is surrounded on three sides by the built envelope,
Change P5 rating from strong to moderate, site and immediate area does not contain brownfield land, allocation would not therefore significantly prevent the recycling of derelict land.
Support
Publication Plan November 2022
3.8
Representation ID: 5195
Received: 22/12/2022
Respondent: Richborough Estates
Agent: Pegasus Group
Site 006 Boscomoor Lane
Support the overall Green Belt harm conclusion of ‘low-moderate’ harm. However the Green Belt boundary should be amended to follow the line of Boscomoor Lane.
Object
Publication Plan November 2022
3.8
Representation ID: 5196
Received: 22/12/2022
Respondent: Richborough Estates
Agent: Pegasus Group
Legally compliant? Not specified
Sound? Not specified
Duty to co-operate? Not specified
Site 006 Boscomoor Lane
Landscape Sensitivity Study
Sensitivity of the site should be reduced to ‘low-moderate’, the site is enveloped on three sides by built form thus reducing sensitivity. The site comprises two irregular fields separated by a gappy hedgerow.
Support
Publication Plan November 2022
3.8
Representation ID: 5197
Received: 22/12/2022
Respondent: Richborough Estates
Agent: Pegasus Group
Site 006 Boscomoor Lane
Rural Services and Facilities Audit
Support the findings of the Rural Services and Facilities Audit in relation to Penkridge.