Policy SC4– Pollution control
Support
Regulation 18 draft Local Plan
Representation ID: 4745
Received: 12/12/2023
Respondent: Miss Serena Solanki
I support the policy but this policy is in direct conflict with the housing development proposal sites.
Many of the sites are located near water courses which will lead to pollution of the water courses during construction and after. There hasn't been a thorough assessment for this and needs to be addressed.
Support
Regulation 18 draft Local Plan
Representation ID: 4871
Received: 22/12/2023
Respondent: Burley Parish Meeting
Planning of junctions, traffic lights, needs simple modifications, to improve the flow of traffic. I sometimes wonder if the engineers who design junctions, paint the lines or sequence the lights have ever driven a car or sat in traffic, with engines idling?
Support
Regulation 18 draft Local Plan
Representation ID: 5102
Received: 03/01/2024
Respondent: Natural England
Natural England supports this policy.
Support
Regulation 18 draft Local Plan
Representation ID: 5204
Received: 03/01/2024
Respondent: Mr Frank Brett
Supported, but we do need this policy to be effectively enforced.
Support
Regulation 18 draft Local Plan
Representation ID: 5304
Received: 03/01/2024
Respondent: Mary Cade
This policy should include specifics relating to demolition, with assessments and procedures to be followed if a planning application that involves demolition is approved. These would relate to air, light, noise, dust, land, water or other environmental pollution or harm to amenity, health well-being or safety, caused by the demolition.
Support
Regulation 18 draft Local Plan
Representation ID: 5836
Received: 06/01/2024
Respondent: Braunston-in-Rutland Parish Council
Run off seems to be a problem from many new developments causing flooding to existing houses and roads
Object
Regulation 18 draft Local Plan
Representation ID: 6653
Received: 08/01/2024
Respondent: Distinctive Developments Group Ltd
This policy, as drafted, could mean that valuable brownfield sites may not be brought forward for housing development since viability may be an issue on contaminated sites. Why not just condition any planning consent in relation to contamination, as is currently the case? This policy places an unncessary upfront cost on developers at the planning application stage which again can threaten viability and ultimately housing delivery
Object
Regulation 18 draft Local Plan
Representation ID: 6774
Received: 05/01/2024
Respondent: Barrowden Parish Council
This Policy is inadequate in respect of light pollution. Specific criteria needs to be set, especially in rural communities to protect wildlife such as bats, moths, etc about the style, luminosity and time lights are on.
Object
Regulation 18 draft Local Plan
Representation ID: 7080
Received: 08/01/2024
Respondent: Mr Tony Godwin
Light pollution.
Reference to this was made in the previous plan and is regularly flouted by the current fashion for wall lights as regular intervals on all elevations of houses. Can this be better enforced?
Object
Regulation 18 draft Local Plan
Representation ID: 7367
Received: 08/01/2024
Respondent: The Society of Merchant Venturers
Agent: Savills
Policy SC4 adds that – ‘In achieving this, development should be designed from the outset to improve air,
land and water quality and promote environmental benefits.’ Paragraphs 191 and 194 of the NPPF (2023)
are clear that policies should seek to minimise potential adverse effects and focus on ensuring an
acceptable use of land. The requirement for proposals to ‘improve’ air, land and water quality ‘from the
outset’ therefore does not appear to align with other text in Policy SC4 and goes beyond the overall provisions of the NPPF (2023). It is therefore recommended that the current policy wording is reviewed
and revised accordingly.
Object
Regulation 18 draft Local Plan
Representation ID: 7468
Received: 08/01/2024
Respondent: Clipsham Parish Meeting
This policy is incapable of implementation because of its subjectivity and vagueness. It clearly presents a presumption in favour of development. It is merely a wish list which it is impossible to accomplish. It does not even acknowledge the significant increase in air pollution from additional rural traffic which will undoubtedly be generated from Policy SS4. The policy needs to be re-constructed with a presumption against development and subject to defined and measurable targets to specify defined thresholds of air pollution which need to be guaranteed for development to be approved. These thresholds must not exceed present measured levels of pollution.
Support
Regulation 18 draft Local Plan
Representation ID: 7623
Received: 08/01/2024
Respondent: Environment Agency
We welcome the requirement that ‘development should minimise pollution and where possible contribute to the protection and improvement of the quality of air, land, and water’. We advise that this is secured through a Construction Environment Management Plan which outlines the mitigation measures and how these will manage potential impacts to water quality.
We also welcome the requirement within the policy that developments that would ‘lead to deterioration or may compromise the ability of a water body or underlying groundwater to meet good status standards required by the Water Framework Directive will not be permitted’.
We request that you add reference to our ‘Land contamination: Risk management’ guidance into the policy. This is available at Land contamination risk management (LCRM) - GOV.UK (www.gov.uk) Developers should use land contamination risk management (LCRM) to:
• identify and assess if there is an unacceptable risk
• assess what remediation options are suitable to manage the risk
• plan and carry out remediation
• verify that remediation has worked
Support
Regulation 18 draft Local Plan
Representation ID: 7624
Received: 08/01/2024
Respondent: Environment Agency
We request that the following is added into the policy to make it in line with a good example we have seen within the recently adopted Central Lincolnshire Local Plan.
‘Where development is proposed on a site which is known to be or has the potential to be affected by contamination, a preliminary risk assessment should be undertaken by the developer and submitted to the Local Planning Authority as the first stage in assessing the risk of contamination'.
Finally, the policy does not mention cemeteries. A high priority is placed on protecting groundwater within principal aquifers and groundwater catchments used for drinking water supply, and new larger cemetery developments in such areas might not be appropriate. It is therefore considered that reference should be made to this. More information is contained within the Environment Agency’s approach to groundwater protection.
Object
Regulation 18 draft Local Plan
Representation ID: 7884
Received: 07/01/2024
Respondent: CPRE Rutland
How will potential pollution or proposed mediations be assessed? What if the promised levels are not
achieved in practice? The policy itself should be clear on these issues.
Support
Regulation 18 draft Local Plan
Representation ID: 7937
Received: 08/01/2024
Respondent: Ryhall Parish Council
SC4 Pollution Control - Support