Policy EN13: Protecting heritage assets
Support
Regulation 18 draft Local Plan
Representation ID: 4615
Received: 04/12/2023
Respondent: Mr Nigel Roberts
Agree
Object
Regulation 18 draft Local Plan
Representation ID: 5220
Received: 03/01/2024
Respondent: Mr Frank Brett
In ‘what you told us’:
“The Issues and Options consultation also highlighted a need to ensure that the support for; sympathetic upgrading of Listed Buildings and historic assets to become more energy efficient and sustainable.”
And yet there is no mention of this in the Policy. In particular it would seem essential during a Climate Emergency to support such measures as roof-mounted Solar PV in Conservation Areas as there are so many buildings within CAs in Rutland.
Under Point 5. Surely there is no good reason to disallow sensitive conversion to residential in this period of housing shortage.
Support
Regulation 18 draft Local Plan
Representation ID: 5464
Received: 04/01/2024
Respondent: Mary Cade
2c) should emphasise the conservation of traditional features such as kerbstones, and limestone walls - these should be retained, and replaced as necessary in Conservation Areas.
2e) should 'protect trees', not 'aim to protect'.
Object
Regulation 18 draft Local Plan
Representation ID: 5536
Received: 05/01/2024
Respondent: Tim Allen
Overall, the principle of a policy such as this is supported, as it strikes a balance between protection and the criteria against which development in conservation areas is to be considered. But the operation of it must be questioned, and especially in the context of the NPPF. Section 5 seems to be unnecessarily prescriptive, the next favoured uses seems a limited list of uses, especially in the context that the renovation and rescue of degraded heritage assets is likely to be very costly.
Support
Regulation 18 draft Local Plan
Representation ID: 5721
Received: 06/01/2024
Respondent: Braunston-in-Rutland Parish Council
Support
Support
Regulation 18 draft Local Plan
Representation ID: 5865
Received: 06/01/2024
Respondent: Braunston-in-Rutland Parish Council
Support
Support
Regulation 18 draft Local Plan
Representation ID: 5868
Received: 06/01/2024
Respondent: RCC Expert Panel on Carbon Reduction
2. Conservation Areas
Section c) should emphasise the conservation of traditional features such as kerbstones and limestone walls which should be retained and replaced if necessary, as key features of the Conservation Area.
Section e) should replace “aim to protect trees...” with “protect trees ...”.
Support
Regulation 18 draft Local Plan
Representation ID: 6360
Received: 08/01/2024
Respondent: Mr Chris Read
Generally supported, but again I think this could go further - particularly under 3. Archaeology.
Where the preservation of archaeological remains in-situ cannot be guaranteed - then it should be demonstrated that the development can't be undertaken in a different location.
Object
Regulation 18 draft Local Plan
Representation ID: 6619
Received: 08/01/2024
Respondent: Defence Infrastructure Organisation (DIO)
Agent: Montagu Evans LLP
Comments made on behalf of the DIO as part of a full written response to Rutland Council. Representations should be read in context and not in isolation.
Please see DIO comments in respect of Policy EN12. It is suggested that Policies EN12 and EM13 could be combined into one single policy.
Support
Regulation 18 draft Local Plan
Representation ID: 6777
Received: 05/01/2024
Respondent: Barrowden Parish Council
We would support a review of the Conservation Area in Barrowden as there are a number of parts of the village where it is not appropriate to have them so designated.
Object
Regulation 18 draft Local Plan
Representation ID: 7106
Received: 02/01/2024
Respondent: Stamford Civic Society
Any development in North Stamford is likely to impact on Stamford Historic Town Centre – the first conservation area in the country. It will also impact on the Northfields Conservation Area, as people travelling from North Stamford to the Town Centre or to retails parks on the east side of the Town, may pass through it. The Town Centre is already subject to considerable traffic congestion and a lack of sufficient car-parking spaces. This is likely to have a serious impact on the Town Centre creating the risk of further damage to the historic environment.
Object
Regulation 18 draft Local Plan
Representation ID: 7149
Received: 08/01/2024
Respondent: Distinctive Developments Group Ltd
We object to this policy as it seems unnecessarily restrictive. If we are to protect and maintain historic buildings which become unsuitable for their current use or which have been disused for some time, the property owner should have the freedom to bring that building back into whatever use most suits their requirements. An owner may not wish to start a tourism or recreation business or rent the space out to another business and a residential use may be the most suitable use of their building whilst serving a housing need and freeing up an existing home for another occupier. Eg some property owners such as the elderly may need a more suitable home to meet their changing needs which they can’t find elsewhere in the village and they may not wish to leave the village if they still enjoy living there. This policy as drafted is not in the spirit of other policies in the Plan which encourage re-use of existing buildings as it could result in existing buildings not being used and create greater demand for new buildings.
Object
Regulation 18 draft Local Plan
Representation ID: 7297
Received: 08/01/2024
Respondent: Ketton and Tinwell Joint Neighbourhood Plan Steering Group
We welcome the emphasis in this policy on the protection of non-designated heritage assets, for example ridge and furrow. However, EN13 is another policy where the relationship between the Local Plan and local specifications with relevant Neighbourhood Plans could be helpfully reinforced.
Object
Regulation 18 draft Local Plan
Representation ID: 7378
Received: 08/01/2024
Respondent: The Society of Merchant Venturers
Agent: Savills
Whilst the aim to protect designated heritage assets aligns with the provisions of the NPPF (2023), it is important to ensure that the weight applied to the asset’s conservation aligns with the significance of the heritage asset.
The NPPF is clear that plans should set out a ‘positive strategy’ for the conservation of the historic environment and states, for instance, that proposals that make a positive
contribution to the asset should be treated favourably. On this basis, it is important that Policy EN13 is applied positively in order to ensure that appropriate development is not unnecessarily restricted. It is also recommended that Policy EN13 is reviewed to ensure that it is not overly prescriptive to the design of new development and to avoid any unnecessary duplication with other policy guidance (such as the reference to the aim to protect trees).
Support
Regulation 18 draft Local Plan
Representation ID: 7591
Received: 08/01/2024
Respondent: Historic England
This policy is strongly welcomed together with its supporting text.
Support
Regulation 18 draft Local Plan
Representation ID: 7639
Received: 08/01/2024
Respondent: Edward Heckels
It is wonderful that there are more buildings being considered for preservation. However, I believe that the sites considered should be open to the public. It would not be fitting to use public money to renovate private monuments with no public benefit.
Object
Regulation 18 draft Local Plan
Representation ID: 7809
Received: 08/01/2024
Respondent: Edith Weston Parish Council
We note Policies EN12 and EN13. We have some concern over the wording for conservation areas, which sits uncomfortably with the statutory duty for conservation areas under Section 72 of the Planning (Listed Buildings and Conservation Areas) Act 1990.
Object
Regulation 18 draft Local Plan
Representation ID: 7849
Received: 08/01/2024
Respondent: Alicia Kearns
The current section in the Plan on Heritage Assets Protections simply affirms that Rutland will follow national policy. It is vital that Rutland specific policies are added that can be considered for planning applications. Simply affirming that Rutland will adhere to national laws does not allow for the guidance to be used as a determining factor. The lack of definitions and clear policies on what constitutes a heritage asset, when development will be permitted on heritage assets and how much weight heritage assets will have in planning determination must be amended.
Support
Regulation 18 draft Local Plan
Representation ID: 7955
Received: 08/01/2024
Respondent: Ryhall Parish Council
EN13 Protection of Heritage Assets - Support