Aylesbury Vale Area

VALP Proposed Submission

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Object

VALP Proposed Submission

S2 Spatial Strategy for Growth

Representation ID: 1122

Received: 14/12/2017

Respondent: Catesby Estates Limited

Agent: Barton Willmore

Legally compliant? Not specified

Sound? No

Duty to co-operate? Not specified

Representation Summary:

The note explains that the HEDNA Update contains a number of fundamental flaws which mean that
it does not form a sound, robust evidence base suitable for underpinning the emerging VALP.

Full text:

Please find enclosed a copy of our representations to the VALP proposed submission consultation, submitted on behalf of Catesby Estates Limited.

Object

VALP Proposed Submission

S8 Neighbourhood plans

Representation ID: 1529

Received: 14/12/2017

Respondent: Catesby Estates Limited

Agent: Barton Willmore

Legally compliant? Not specified

Sound? No

Duty to co-operate? Not specified

Representation Summary:

it is considered that the supporting paragraphs to draft Policy S8 should clarify that the
BNDP does not allocate sufficient housing to meet the District Council's OAHN and that any shortfall
will be addressed through additional allocations within the VALP. Otherwise, it may not be sufficiently
clear from the reading of draft Policy S8 that additional housing is required above the allocations set out within the 'made' BNDP. Indeed, adoption of the VALP would mean that the BNDP was out-of-date
in respect of housing supply and would require revision.

Full text:

Please find enclosed a copy of our representations to the VALP proposed submission consultation, submitted on behalf of Catesby Estates Limited.

Object

VALP Proposed Submission

D2 Proposals for non-allocated sites at strategic settlements, larger villages and medium villages

Representation ID: 1530

Received: 14/12/2017

Respondent: Catesby Estates Limited

Agent: Barton Willmore

Legally compliant? Not specified

Sound? No

Duty to co-operate? Not specified

Representation Summary:

This approach is not however considered to accord with the requirements of the NPPF for a Local Plan
to be 'positively prepared' and should be considered unsound. Indeed, as currently drafted, Policy D2
would restrict housing insofar that it does not allow for a balanced judgement to be made when
assessing the suitability of individual development proposals. Instead, draft Policy D2 simply aligns
itself to the delivery of allocated sites within the emerging VALP.

No definition or guidance is
provided by the Council as to what will be regarded as a 'timely manner'.

Full text:

Please find enclosed a copy of our representations to the VALP proposed submission consultation, submitted on behalf of Catesby Estates Limited.

Object

VALP Proposed Submission

4.126

Representation ID: 1531

Received: 14/12/2017

Respondent: Catesby Estates Limited

Agent: Barton Willmore

Legally compliant? Not specified

Sound? No

Duty to co-operate? Not specified

Representation Summary:

As such, it is considered that the proposed allocations at Buckingham are not 'justified' as required by
paragraph 182 of the NPPF as AVDC have not suitably considered the reasonable alternatives. This
assessment should include a review of the Site as an extension to Buckingham, rather than Maids
Moreton. Furthermore, it is unclear as to how the strategy could be regarded as 'effective' given that
an application for up to 130 dwellings at Site BUC043 has been dismissed by the Secretary of State.
Moreover, insufficient supporting evidence has been provided to demonstrate that Site BUC051 is
deliverable

Full text:

Please find enclosed a copy of our representations to the VALP proposed submission consultation, submitted on behalf of Catesby Estates Limited.

Object

VALP Proposed Submission

H5 Self/custom build housing

Representation ID: 1532

Received: 14/12/2017

Respondent: Catesby Estates Limited

Agent: Barton Willmore

Legally compliant? Not specified

Sound? No

Duty to co-operate? Not specified

Representation Summary:

We however object to the inclusion of this requirement as the District Council have provided no
evidence to justify that such an approach would be appropriate. information has not been made publically available. As such, whilst it is noted that
paragraph 5.53 of the draft VALP refers to paragraph 50 of the NPPF, there is no District-specific
evidence available to justify such a need. In the absence of any such evidence, it is considered that
the Policy should be deleted in its entirety.

Full text:

Please find enclosed a copy of our representations to the VALP proposed submission consultation, submitted on behalf of Catesby Estates Limited.

Object

VALP Proposed Submission

H6 Housing Mix

Representation ID: 1533

Received: 14/12/2017

Respondent: Catesby Estates Limited

Agent: Barton Willmore

Legally compliant? Not specified

Sound? No

Duty to co-operate? Not specified

Representation Summary:

However, it is considered that the first paragraph to draft Policy H6 is inflexible as it does not take
into account viability or site specific circumstances.

Full text:

Please find enclosed a copy of our representations to the VALP proposed submission consultation, submitted on behalf of Catesby Estates Limited.

Object

VALP Proposed Submission

NE2 Biodiversity and geodiversity

Representation ID: 1534

Received: 14/12/2017

Respondent: Catesby Estates Limited

Agent: Barton Willmore

Legally compliant? Not specified

Sound? No

Duty to co-operate? Not specified

Representation Summary:

does not accord with Paragraph 109 of the NPPF, which sets out that the
planning system should contribute to enhance the natural and local environment by minimising impacts
on biodiversity and providing net gains in biodiversity 'where possible'.

Full text:

Please find enclosed a copy of our representations to the VALP proposed submission consultation, submitted on behalf of Catesby Estates Limited.

Object

VALP Proposed Submission

NE8 Best and most versatile agricultural land

Representation ID: 1535

Received: 14/12/2017

Respondent: Catesby Estates Limited

Agent: Barton Willmore

Legally compliant? Not specified

Sound? No

Duty to co-operate? Not specified

Representation Summary:

The approach put forward by the District Council at draft Policy NE8 is not however considered to be
consistent with national policy - namely paragraph 112 of the NPPF. There is therefore no requirement for development proposals to be designed so that BMV land is
maintained as green open space.

Full text:

Please find enclosed a copy of our representations to the VALP proposed submission consultation, submitted on behalf of Catesby Estates Limited.

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