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

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Object

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

Policy VC EAR1: Land east of School Road

Representation ID: 3080

Received: 03/03/2023

Respondent: Norfolk County Council - Strategic Planning Team

Legally compliant? Yes

Sound? No

Duty to co-operate? Yes

Representation Summary:

Norfolk County Council in its capacity as the Mineral Planning Authority considers that Policy VC EAR1 is currently unsound; as it is inconsistent with national policy, and the adopted Development Plan in Norfolk, in relation to mineral resource safeguarding. The Mineral Planning Authority recognise that underlain mineral resource has been included in the supporting text; however, we request inclusion of the text in the policy itself. The policy can be made sound by including the wording below.

Change suggested by respondent:

Amend Policy VC EAR1 to add the following wording as a policy requirement:
‘The site is underlain by a defined Mineral Safeguarding Area for sand and gravel. Any future development on this site will need to address the requirements of Norfolk Minerals and Waste Core Strategy Policy CS16 - ‘safeguarding’ (or any successor policy) in relation to mineral resources, to the satisfaction of the Mineral Planning Authority.’

Object

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

Policy VC TAS1: North of Church Road

Representation ID: 3081

Received: 03/03/2023

Respondent: Norfolk County Council - Strategic Planning Team

Legally compliant? Yes

Sound? No

Duty to co-operate? Yes

Representation Summary:

Norfolk County Council in its capacity as the Mineral Planning Authority considers that Policy VC TAS1 is currently unsound; as it is inconsistent with national policy, and the adopted Development Plan in Norfolk, in relation to mineral resource safeguarding. The Mineral Planning Authority recognises that underlain mineral resource has been included in the supporting text; however, we request inclusion of the text in the policy itself. The policy can be made sound by including the wording below.

Change suggested by respondent:

Amend Policy VC TAS1 to add the following wording as a policy requirement:
‘The site is underlain by a defined Mineral Safeguarding Area for sand and gravel. Any future development on this site will need to address the requirements of Norfolk Minerals and Waste Core Strategy Policy CS16 - ‘safeguarding’ (or any successor policy) in relation to mineral resources, to the satisfaction of the Mineral Planning Authority.’

Object

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

Policy VC SWA1: Land off Bobbins Way

Representation ID: 3082

Received: 03/03/2023

Respondent: Norfolk County Council - Strategic Planning Team

Legally compliant? Yes

Sound? No

Duty to co-operate? Yes

Representation Summary:

Norfolk County Council in its capacity as the Mineral Planning Authority considers that Policy VC SWA1 is currently unsound; as it is inconsistent with national policy, and the adopted Development Plan in Norfolk, in relation to mineral resource safeguarding. The Mineral Planning Authority recognises that underlain mineral resource has been included in the supporting text, however, we request inclusion of the text in the policy itself. The policy can be made sound by including the wording below, which was contained in the response by the Mineral Planning Authority, to the Regulation 18 consultation.

Change suggested by respondent:

Amend VC SWA1 to add the following wording as a policy requirement:
'The site is underlain by a defined Mineral Safeguarding Area for sand and gravel. Any future development on this site will need to address the requirements of Norfolk Minerals and Waste Core Strategy Policy CS16 - ‘safeguarding’ (or any successor policy) in relation to mineral resources, to the satisfaction of the Mineral Planning Authority.’

Object

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

Policy VC HAL1: Land off Briar Lane

Representation ID: 3083

Received: 03/03/2023

Respondent: Norfolk County Council - Strategic Planning Team

Legally compliant? Yes

Sound? No

Duty to co-operate? Yes

Representation Summary:

Norfolk County Council in its capacity as the Mineral Planning Authority considers that Policy VC HAL1 is currently unsound; as it is inconsistent with national policy, and the adopted Development Plan in Norfolk, in relation to mineral resource safeguarding. The Mineral Planning Authority recognise that underlain mineral resource has been included in the supporting text; however, we request inclusion of the text in the policy itself. The policy can be made sound by including the wording below, which was contained in the response by the Mineral Planning Authority, to the Regulation 18 consultation.

Change suggested by respondent:

Amend Policy VC HAL1 to add the following wording as a policy requirement:
‘The site is underlain by a defined Mineral Safeguarding Area for sand and gravel. Any future development on this site will need to address the requirements of Norfolk Minerals and Waste Core Strategy Policy CS16 - ‘safeguarding’ (or any successor policy) in relation to mineral resources, to the satisfaction of the Mineral Planning Authority.’

Object

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

Policy VC ELL1: South of Mill Road

Representation ID: 3084

Received: 03/03/2023

Respondent: Norfolk County Council - Strategic Planning Team

Legally compliant? Yes

Sound? No

Duty to co-operate? Yes

Representation Summary:

Norfolk County Council in its capacity as the Mineral Planning Authority considers that Policy VC ELL1 is currently unsound; as it is inconsistent with national policy, and the adopted Development Plan in Norfolk, in relation to mineral resource safeguarding. The Mineral Planning Authority recognise that underlain mineral resource has been included in the supporting text; however, we request inclusion of the text in the policy itself. The policy can be made sound by including the wording below, which was contained in the response by the Mineral Planning Authority, to the Regulation 18 consultation.

Change suggested by respondent:

Amend policy VC ELL1 to add the following wording as a policy requirement:
‘The site is underlain by a defined Mineral Safeguarding Area for sand and gravel. Any future development on this site will need to address the requirements of Norfolk Minerals and Waste Core Strategy Policy CS16 - ‘safeguarding’ (or any successor policy) in relation to mineral resources, to the satisfaction of the Mineral Planning Authority.’

Object

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

Policy VC DIT1: Land at Thwaite's and Tunneys Lane

Representation ID: 3085

Received: 03/03/2023

Respondent: Norfolk County Council - Strategic Planning Team

Legally compliant? Yes

Sound? No

Duty to co-operate? Yes

Representation Summary:

Norfolk County Council in its capacity as the Mineral Planning Authority considers that Policy VC DIT1 is currently unsound; as it is inconsistent with national policy, and the adopted Development Plan in Norfolk, in relation to mineral resource safeguarding. The Mineral Planning Authority recognise that underlain mineral resource has been included in the supporting text; however, we request inclusion of the text in the policy itself. The policy can be made sound by including the wording below, which was contained in the response by the Mineral Planning Authority, to the Regulation 18 consultation.

Change suggested by respondent:

Amend policy VC DIT1 to add the following wording as a policy requirement:
‘The site is underlain by a defined Mineral Safeguarding Area for sand and gravel. Any future development on this site will need to address the requirements of Norfolk Minerals and Waste Core Strategy Policy CS16 - ‘safeguarding’ (or any successor policy) in relation to mineral resources, to the satisfaction of the Mineral Planning Authority.’

Support

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

40.12

Representation ID: 3086

Received: 03/03/2023

Respondent: Norfolk County Council - Strategic Planning Team

Representation Summary:

Norfolk County Council notes that the South Norfolk Village cluster plan has included supporting text regarding safeguarded mineral resources where sites are under the threshold of 1 ha and therefore the Minerals and Waste Policy CS16 (or any successor policy) does not apply. Therefore, the support text referring to "The Minerals and Waste Authority has identified the site as being underlain, or partially underlain, by safeguarded sand and gravel resources. As such development on the site must comply with the relevant minerals and waste safeguarding policy in the Norfolk Minerals and Waste Local Plan" can be removed from this

Change suggested by respondent:

Remove "The Minerals and Waste Authority has identified the site as being underlain, or partially underlain, by safeguarded sand and gravel resources. As such development on the site must comply with the relevant minerals and waste safeguarding policy in the Norfolk Minerals and Waste Local Plan" from the supporting text.

Support

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

40.18

Representation ID: 3087

Received: 03/03/2023

Respondent: Norfolk County Council - Strategic Planning Team

Representation Summary:

Norfolk County Council notes that the South Norfolk Village cluster plan has included supporting text regarding safeguarded mineral resources where sites are under the threshold of 1 ha and therefore the Minerals and Waste Policy CS16 (or any successor policy) does not apply. Therefore, the support text referring to "The Minerals and Waste Authority has identified the site as being underlain, or partially underlain, by safeguarded sand and gravel resources. As such development on the site must comply with the relevant minerals and waste safeguarding policy in the Norfolk Minerals and Waste Local Plan" can be removed from this paragraph.

Change suggested by respondent:

Remove "The Minerals and Waste Authority has identified the site as being underlain, or partially underlain, by safeguarded sand and gravel resources. As such development on the site must comply with the relevant minerals and waste safeguarding policy in the Norfolk Minerals and Waste Local Plan" from the supporting text.

Support

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

22.16

Representation ID: 3088

Received: 03/03/2023

Respondent: Norfolk County Council - Strategic Planning Team

Representation Summary:

Norfolk County Council notes that the South Norfolk Village cluster plan has included supporting text regarding safeguarded mineral resources where sites are under the threshold of 1 ha and therefore the Minerals and Waste Policy CS16 (or any successor policy) does not apply. Therefore, the support text referring to "The Minerals and Waste Authority has identified the site as being underlain, or partially underlain, by safeguarded sand and gravel resources. As such development on the site must comply with the relevant minerals and waste safeguarding policy in the Norfolk Minerals and Waste Local Plan" can be removed from this paragraph.

Change suggested by respondent:

Remove "The Minerals and Waste Authority has identified the site as being underlain, or partially underlain, by safeguarded sand and gravel resources. As such development on the site must comply with the relevant minerals and waste safeguarding policy in the Norfolk Minerals and Waste Local Plan" from the supporting text.

Support

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

25.19

Representation ID: 3089

Received: 03/03/2023

Respondent: Norfolk County Council - Strategic Planning Team

Representation Summary:

Norfolk County Council notes that the South Norfolk Village cluster plan has included supporting text regarding safeguarded mineral resources where sites are under the threshold of 1 ha and therefore the Minerals and Waste Policy CS16 (or any successor policy) does not apply. Therefore, the support text referring to "The Minerals and Waste Authority has identified the site as being underlain, or partially underlain, by safeguarded sand and gravel resources. As such development on the site must comply with the relevant minerals and waste safeguarding policy in the Norfolk Minerals and Waste Local Plan" can be removed from this paragraph.

Change suggested by respondent:

Remove "The Minerals and Waste Authority has identified the site as being underlain, or partially underlain, by safeguarded sand and gravel resources. As such development on the site must comply with the relevant minerals and waste safeguarding policy in the Norfolk Minerals and Waste Local Plan" from the supporting text.

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