Showing comments and forms 1 to 4 of 4

Object

South Norfolk Village Clusters Housing Allocations Plan (Reg. 19 Pre-submission Draft)

Representation ID: 2540

Received: 28/02/2023

Respondent: Silfield Ltd

Legally compliant? No

Sound? No

Duty to co-operate? Yes

Representation Summary:

Whilst I can understand the landscape improvement value to Barford of removing the commercial site, the change of use to housing removes premises for two businesses and employment, without an alternative site allocated in the village. The site is also compromised by the access next to the B1108 junction which is now unsuitable for residential use given the volume of traffic. The development ignores the significant amenity space, improved access for Back Lane and landscaping available from other proposed sites. 20 houses will be on a busy B road with poor access and limited amenity space.

Change suggested by respondent:

The plan should take into account wider benefits to housing development such as provision of green space and improved access where available. These should be considered alongside environmental benefits and and benefits to the wider community. This allocation simply fits 20 houses onto a commercial site, it offers no benefits beyond the housing itself. Landscape improvements are there but limited given the size of the plot and the need for housing, amenity provision and environmental benefit are negligible. I would propose that the commercial site is retained for employment allowing the vacant land south and north of a remodeled Back Lane to provide the housing and green space. This would deliver significantly enhanced amenity land and a safer, improved access for Back Lane onto the B1108 for use by the development and other traffic. The plan must take account of the amenity and environmental benefits available on other available sites.

Full text:

Whilst I can understand the landscape improvement value to Barford of removing the commercial site, the change of use to housing removes premises for two businesses and employment, without an alternative site allocated in the village. The site is also compromised by the access next to the B1108 junction which is now unsuitable for residential use given the volume of traffic. The development ignores the significant amenity space, improved access for Back Lane and landscaping available from other proposed sites. 20 houses will be on a busy B road with poor access and limited amenity space.

Object

South Norfolk Village Clusters Housing Allocations Plan (Reg. 19 Pre-submission Draft)

Representation ID: 2551

Received: 28/02/2023

Respondent: Barford & Wramplingham Parish Council

Legally compliant? No

Sound? No

Duty to co-operate? No

Representation Summary:

- Proposed single access point to Cock St is so close to B1108 that likely to endanger highway safety.
- No reason for pedestrian footway to connect Cock St with Back Lane, which is a narrow rural road. Link would not provide additional access to local footpath network. Back Lane unsuitable for significant pedestrian use.
- Concern over likely damage to heritage assets.
- Wish to see a severe limit on height of any houses to prevent housing from dominating beautiful and ancient centre of village.
- Density of proposed housing considerably greater than at present. This development will badly damage amenity of Barford, particularly on entering from west.
- Any contamination survey should be undertaken before any permissions are granted.
- No consideration given to flood risk associated with run off. Assessment must apply to additional run off into village and valley where flooding of dwellings more likely. Impact on sewage release into gardens and homes must be considered.

Full text:

Specific comments made on specific sentences. See uploaded document.

Attachments:

Support

South Norfolk Village Clusters Housing Allocations Plan (Reg. 19 Pre-submission Draft)

Representation ID: 3143

Received: 03/03/2023

Respondent: Norfolk County Council - Strategic Planning Team

Representation Summary:

Cllr Margaret Dewsbury (Hingham) has indicated that if the development is agreed there would be a need for a reduced speed limit and a pedestrian crossing of some sort.

Full text:

Please see attached for full submission.

Object

South Norfolk Village Clusters Housing Allocations Plan (Reg. 19 Pre-submission Draft)

Representation ID: 3161

Received: 01/03/2023

Respondent: Historic England

Legally compliant? Not specified

Sound? No

Duty to co-operate? Not specified

Representation Summary:

Whilst there are no designated heritage assets within the site boundary, the grade II listed Sayers Farmhouse lies to the south west of the site. There are glimpsed views farmhouse from the site. Any development of the site has the potential to impact on the significance of this listed building.
We welcome the completion of an HIA to consider the impact of development on this asset and the non-designated Cock Inn.
We welcome the reference to Sayers Farm in bullet point 4 and the reference to heritage assets in bullet point 5.
We recommend that Sayers Farmhouse should also be referenced in bullet point 5 in relation to layout and design. The bullet point would read:
‘…given to the setting of Sayers Farmhouse and The Cock Inn.’

Change suggested by respondent:

Amend bullet point 5 to read:
‘…given to the setting of Sayers Farmhouse and The Cock Inn.’

Full text:

Thank you for consulting Historic England on the South Norfolk Village Clusters Local Plan Regulation 19 Draft Consultation. As a statutory consultee, our role is to ensure that the conservation of the historic environment is fully integrated into planning policy and that any policy documents make provision for a positive strategy for the
conservation and enjoyment of the historic environment.
Please also see our detailed comments in the attached table. We provide a summary of the main comments below.
SUMMARY
We very much welcome the completion of the Heritage Impact Assessments for a number of sites. The assessments have helped to inform many of the policies
providing helpful recommendations for mitigation and enhancement which is welcomed.
Whilst we consider many aspects of the plan to be sound, we have identified issues with some of the policies and site allocations which do compromise the overall soundness of the plan.
Under paragraph 35 of the NPPF some aspects of this Plan are unsound as they have not been positively prepared, are not justified, effective, or consistent with
national policy. We have identified below some of the key areas where we find the Plan unsound and what measures are needed to make the Plan sound. In summary we highlight the following four issues.
1. Heritage Impact Assessments
We are delighted to see that Heritage Impact Assessments have been prepared for
many sites. However, there are a few allocations where we recommend the preparation on an HIA now prior to EiP (e.g. VC BRO1 West, VC WOR1). The policy wording should then be amended accordingly. In the absence of an HIA we consider these sites are not sufficiently justified. There are also some settlement limit extensions where an HIA should also be prepared now ahead of EiP (e.g. SN0020SL, SN0588SL). Finally, there are some recommendations in HIAs that have not been incorporated into policy. The policies need to be amended to incorporate these HIA recommendations. This applies to a number of sites as set out in the attached table. Further details of all the relevant sites are given in Appendix A.
2. Settlement Limit extensions
We note that the smaller sites have not been included as allocations but instead the settlement limit has been extended to include that land. However, there are some extensions which would have an impact on the historic
environment and yet, in the absence of a site-specific policy, we are concerned about how the recommendations of the HIAs and any necessary mitigation/enhancement will be secured through an appropriate policy framework. The NPPF (para 16d) makes it clear that Plans should contain policies that are
clearly written and unambiguous, so it is evident how a decision maker should react development proposals. Further advice on the content of policies is given in the PPG at Paragraph: 002 Reference ID: 61-002-20190315 Revision date: 15 03 2019. It states that, ‘Where sites are proposed for allocation, sufficient detail should be given
to provide clarity to developers, local communities and other interested parties about the nature and scale of development’.
3. Archaeology Criterion
Many of the policies include an archaeology criterion which states that ‘The HER should be consulted to determine the need for any archaeological surveys prior to development’. Whilst we welcome the inclusion of a criterion for archaeology, in our view some
assessment is needed to inform any planning application (rather than waiting until after permission is granted but before development). This is consistent with the
policy set out in para 194 of the NPPF. We therefore advise that the archaeology criterion should be amended to read, ‘Planning applications should be supported by archaeological assessment including the results of field evaluation where appropriate.’ This applies to a number of sites in the Plan.
4. Site-Specific Issues
We have raised a number of quite site-specific issues in relation to the Bressingham, Little Melton, Rockland St Mary and Tasburgh sites. See the attached table for
further details of our concerns.
Closing comments
We have suggested a series of other changes to the Plan. Many of these changes suggested do not go to the heart of the Plan’s soundness, but instead are intended to improve upon it. We believe that these comments can be addressed by changes to wording in the plan.
In preparation of the local plan, we encourage you to draw on the knowledge of local conservation officers, the county archaeologist and local heritage groups.
Please note that absence of a comment on a policy, allocation or document in this letter does not mean that Historic England is content that the policy, allocation or
document is devoid of historic environment issues. We should like to stress that this response is based on the information provided by the Council in its consultation. To
avoid any doubt, this does not affect our obligation to provide further advice and, potentially, object to specific proposals, which may subsequently arise as a result of
this plan, where we consider that these would have an adverse effect upon the historic environment.
If you have any questions then please do get back to me. We suggest it would be helpful for us to meet and discuss our comments, resolve any outstanding issues and
begin to prepare a Statement of Common Ground. Please contact us to suggest some possible meeting dates.