Showing comments and forms 1 to 30 of 62

Support

Regulation 18 draft Local Plan

Representation ID: 4538

Received: 23/11/2023

Respondent: Stewart MacDonald

Representation Summary:

All housebuilding in the county should be required to meet the highest possible environmental standards. It is perfectly possible to design houses nowadays that are carbon neutral and require minimal energy inputs


Our response:

Support noted for Policy CC2.

Support

Regulation 18 draft Local Plan

Representation ID: 4617

Received: 04/12/2023

Respondent: Mr Nigel Roberts

Representation Summary:

All new buildings should have solar panels, batteries and electric boilers. Designed to make the properties totally net zero. If all houses were built like this the base cost would rapidly decrease and would then make it affordable for all.


Our response:

Support noted. Disagree as it would not be appropriate to require all new houses to have solar panels etc through a prescriptive local plan policy as there are a number of factors that would need to be taken into account such as location, efficiency, viability and whether other forms of renewable energy are more appropriate. Such provision is, however, supported and encouraged in policy documents such as the NPPF and PPG, the National Design Guide (2021), Design Guidelines for Rutland (2021) and Local Plan Policies CC2 and CC4 seek to maximise energy generation from on-site renewable sources.

Support

Regulation 18 draft Local Plan

Representation ID: 4631

Received: 04/12/2023

Respondent: Mr Nigel Webb

Representation Summary:

I wholeheartedly support this policy and look forward to seeing, in the reaction to planning applications for new build particularly, a rigorous interpretation of the phrase 'highest possible standards' Thus I also fully support the Sustainability Appraisal p. 69, para. 9.147, and also 9.148 and 9.149


Our response:

Support noted.

Support

Regulation 18 draft Local Plan

Representation ID: 4751

Received: 13/12/2023

Respondent: Mr Andrew Lunn

Representation Summary:

New housing estates should be made to have roof mounted solar panels included in the design as standard.


Our response:

Support noted. Disagree as it would not be appropriate to mandatorily require all new houses to have solar panels etc through a prescriptive local plan policy as there are a number of factors that would need to be taken into account such as location, efficiency, viability and whether other forms of renewable energy are more appropriate. Such provision is, however, supported and encouraged in policy documents such as the NPPF and PPG, the National Design Guide (2021), Design Guidelines for Rutland (2021) and Local Plan Policy CC2 seeks to maximise energy generation from on-site renewable sources.

Support

Regulation 18 draft Local Plan

Representation ID: 4953

Received: 31/12/2023

Respondent: Mrs Jayne Williams

Representation Summary:

RCC should ensure support through policy and financing for both retrofitting of solar panels and insulation to homes in the county. All new homes should be required to have the most up to date standard of insulation and energy efficient devices. It has been said that this may be too costly for the developer but unless they are compelled then will not conform. Similarly, RCC should encourage the installation of solar panels on commercial buildings and car parks.


Our response:

Support noted. The Local Plan has little, if any, influence over domestic retrofitting, or the financing, of solar panels/insulation where such alterations do not require planning permission. Policy CC2, together with the NPPF and PPG, the National Design Guide (2021) and Design Guidelines for Rutland (2021) all seek to maximise energy efficiency and carbon reduction measures in new homes. Solar panels in car parks would be covered by Policy CC8, and is one of the options considered as part of the Climate Change Evidence Base.

Object

Regulation 18 draft Local Plan

Representation ID: 4983

Received: 02/01/2024

Respondent: Define (on behalf of William Davis Homes)

Representation Summary:

WDH suggests that Policies CC2 and CC4 are removed, and that the RLP takes a more flexible approach to requiring developments to meet national sustainability standards; which would future proof the policy.


Our response:

Disagree that CC2 should be deleted. LPAs have the power under the Planning and Energy Act 2008 to adopt planning policies that set higher targets for energy performance standards for development in their area than the national baseline providing that they are reasonable, comply with the usual plan-making requirements and do not affect the viability of new development to an unreasonable extent. A number of development plan documents have passed examination which have successfully included energy efficiency and/or other emissions reduction requirements beyond those of the Building Regulations. Such policies allow LPAs to meet the obligation on them to ensure development plan documents include policies designed to secure that development of land in the local authority’s area ‘contribute to the mitigation of, and adaption to, climate change’. The Future Homes and Buildings Standards (which aims to improve the energy efficiency and carbon emissions of new homes and non-residential buildings through the Building Regulations system) should take effect in 2025. With such regulations still being debated and no legal guarantee that they will come into effect in 2025, and recognising that buildings are the UK’s second-highest emitting sector, the Local Plan sets out a positive strategy through the Climate Change policies for carbon reduction and to mitigate against the impact of climate change. The Plan does, however, acknowledge that a key consideration for Policy CC2: Design Principles for Energy Efficient Buildings is its impact on the viability of new developments. It is intended that further work to update the cost evidence for a number of options for the wording of CC2 will be undertaken to inform the next stage of the local plan. This will build on the Whole Plan Viability Assessment (2023). Any changes to the draft policies arising from consultation responses and/or new evidence on viability in relation to the climate change policies will be consulted on through the Reg 19 consultation.

Support

Regulation 18 draft Local Plan

Representation ID: 5059

Received: 02/01/2024

Respondent: Mary Cade

Representation Summary:

What are these 'highest possible energy efficiency standards' ? can they be measured? What expertise is required? All new buildings, domestic and commercial, should be required to fit roof mounted solar panels and a battery. If this was a requirement then the overall costs would eventually decrease, and it would be a 'level playing field' for all developers.


Our response:

LPAs must meet the obligation on them to ensure development plan documents include policies designed to secure that development of land in the local authority’s area ‘contribute to the mitigation of, and adaption to, climate change’ and Policy CC2 contributes towards this. The Future Homes and Buildings Standards (which aims to improve the energy efficiency and carbon emissions of new homes and non-residential buildings through the Building Regulations system) should take effect in 2025. With such regulations still being debated and no legal guarantee that they will come into effect in 2025, and recognising that buildings are the UK’s second-highest emitting sector, the Local Plan sets out a positive strategy through the Climate Change policies for carbon reduction and to mitigate against the impact of climate change. The Plan does, however, acknowledge that a key consideration for Policy CC2: Design Principles for Energy Efficient Buildings is its impact on the viability of new developments. It is intended that further work to update the cost evidence for a number of options for the wording of CC2 will be undertaken to inform the next stage of the local plan. This will build on the Whole Plan Viability Assessment (2023). Any changes to the draft policies arising from consultation responses and/or new evidence on viability in relation to the climate change policies will be consulted on through the Reg 19 consultation.
Disagree as it would not be appropriate to require all new buildings to have solar panels etc through a prescriptive local plan policy as there are a number of factors that would need to be taken into account such as location, efficiency, viability and whether other forms of renewable energy are more appropriate. Such provision is, however, supported and encouraged in policy documents such as the NPPF and PPG, the National Design Guide (2021), Design Guidelines for Rutland (2021) and Local Plan Policies CC2 and CC4 seeks to maximise energy generation from on-site renewable sources.

Support

Regulation 18 draft Local Plan

Representation ID: 5316

Received: 01/01/2024

Respondent: Ms Ann Lewis

Representation Summary:

I have looked at all the new developments currently being built and have attempted to find out how these houses are heated. There is no specific information about this on their websites. They claim to be building using eco-friendly materials and lowering heating bills reducing carbon footprint but there are no specific details about whether they are installing conventional gas boilers, for instance. Perhaps RCC could be more proactive in demanding that new developments move away from conventional heating which will ultimately be obsolete.


Our response:

Policy CC2 sets out a number of design principles for ensuring energy efficient buildings, including heating supply and maximizing the generation of energy from renewable sources on-site. Such provision is also supported and encouraged in policy documents such as the NPPF and PPG, the National Design Guide (2021) and Design Guidelines for Rutland (2021).

Object

Regulation 18 draft Local Plan

Representation ID: 5408

Received: 04/01/2024

Respondent: North Luffenham Parish Council

Representation Summary:

"Highest Possible Standards" would mean that all development has to be to to Passivhaus standards : https://bregroup.com/a-z/the-passivhaus-standard/
If an application complies with latest Building Regulations with regard to materials used, insulation values etc, this is not the "Highest Possible Standard" and so would fail this Policy? Policy will therefore be ineffective in application


Our response:

LPAs must meet the obligation on them to ensure development plan documents include policies designed to secure that development of land in the local authority’s area ‘contribute to the mitigation of, and adaption to, climate change’ and Policy CC2 contributes towards this. The Future Homes and Buildings Standards (which aims to improve the energy efficiency and carbon emissions of new homes and non-residential buildings through the Building Regulations system) should take effect in 2025. With such regulations still being debated and no legal guarantee that they will come into effect in 2025, and recognising that buildings are the UK’s second-highest emitting sector, the Local Plan sets out a positive strategy through the Climate Change policies for carbon reduction and to mitigate against the impact of climate change. The Plan does, however, acknowledge that a key consideration for Policy CC2: Design Principles for Energy Efficient Buildings is its impact on the viability of new developments. It is intended that further work to update the cost evidence for a number of options for the wording of CC2 will be undertaken to inform the next stage of the local plan. This will build on the Whole Plan Viability Assessment (2023). Any changes to the draft policies arising from consultation responses and/or new evidence on viability in relation to the climate change policies will be consulted on through the Reg 19 consultation.

Support

Regulation 18 draft Local Plan

Representation ID: 5469

Received: 05/01/2024

Respondent: Ms Janet Taylor

Representation Summary:

All new houses should be built to at least EPC A standards. Restrictions in conservation areas should be lifted so that good design is not hampered by being deemed ‘inappropriate’ ( e.g. insisting on inefficient conservation rooflights instead of efficient Velux type roof windows )


Our response:

The Plan acknowledges that a key consideration for Policy CC2: Design Principles for Energy Efficient Buildings is its impact on the viability of new developments. It is intended that further work to update the cost evidence for a number of options for the wording of CC2 will be undertaken to inform the next stage of the local plan. This will build on the Whole Plan Viability Assessment (2023). Any changes to the draft policies, such as setting standards for energy efficiency, arising from consultation responses and/or new evidence on viability in relation to the climate change policies will be consulted on through the Reg 19 consultation.
Where alterations to buildings in conservation areas require planning permission some weight will normally be given to the benefits of improving the building’s energy efficiency as well as the impact on the heritage asset.

Object

Regulation 18 draft Local Plan

Representation ID: 5498

Received: 05/01/2024

Respondent: Francis Jackson Homes Ltd

Representation Summary:

We have serious concerns over the phrase "Highest possible energy efficiency standards" - as this will have massive impacts on development viability and land coming forward if this is carried forward as drafted. How will this be measured? Will Affordable Housing schemes have to provide the same standard as market housing?


Our response:

The Plan acknowledges that a key consideration for Policy CC2: Design Principles for Energy Efficient Buildings is its impact on the viability of new developments. It is intended that further work to update the cost evidence for a number of options for the wording of CC2 will be undertaken to inform the next stage of the local plan. This will build on the Whole Plan Viability Assessment (2023). Any changes to the draft policies, such as setting standards for energy efficiency, arising from consultation responses and/or new evidence on viability in relation to the climate change policies will be consulted on through the Reg 19 consultation.

Object

Regulation 18 draft Local Plan

Representation ID: 5500

Received: 05/01/2024

Respondent: Francis Jackson Homes Ltd

Representation Summary:

This policy, as read in isolation, fails to square with all the other policies about locally distinctive, high-quality design, character, etc. Not all houses can face the "right" way to benefit from solar gain, as they would be lined up like panels in a solar farm. These key objectives, which are supported in principle, need to be balanced with those about making successful places, respecting the character of streets, villages, Conservation Areas, etc. Layouts need to be able to be more nuanced than just providing a development to maximise solar gain! Also, is any heat supply genuinely net zero?


Our response:

Disagree. Policy CC2, as with other local plan policies, should not be read in isolation and the principles in the policy would only form part of the content of the DAS/Energy Statement. Consideration of other design principles, such as set out in NPPF and PPG, the National Design Guide (2021) and Design Guidelines for Rutland (2021), would form part of the rationale behind the design of a new development. It is possible to achieve a net zero carbon heating supply from renewables, either on-site or from an energy supplier.

Support

Regulation 18 draft Local Plan

Representation ID: 5559

Received: 05/01/2024

Respondent: Mrs laura alcock

Representation Summary:

Decarbonising existing homes should also be considered.


Our response:

Support noted. The Local Plan has little, if any, influence over domestic retrofitting of the decarbonization of existing homes where such alterations do not require planning permission. Where permission is required it would be supported and encouraged in policy documents such as the NPPF and PPG, the National Design Guide (2021), Design Guidelines for Rutland (2021) and Local Plan Policy CC2 seeks to maximise energy generation from on-site renewable sources.

Support

Regulation 18 draft Local Plan

Representation ID: 5803

Received: 06/01/2024

Respondent: Mrs Sue Scarrott

Representation Summary:

A laudible objective but actually the technology is not yet there.


Our response:

Support noted. Disagree that technological solutions are not available for development to meet high energy efficiency standards and climate change policies seek to ensure such technology forms an essential part of new development.

Support

Regulation 18 draft Local Plan

Representation ID: 5806

Received: 06/01/2024

Respondent: Mrs Sue Scarrott

Representation Summary:

All new buildings should be required to have solar panels. Also retro fitting to existing buildings should be a RCC priority.


Our response:

Support noted. It would not be appropriate to mandatorily require all new buildings to have solar panels through a prescriptive local plan policy as there are a number of factors that would need to be taken into account such as location, efficiency, viability and whether other forms of renewable energy are more appropriate. The Local Plan has very little, if any, influence over domestic retrofitting of solar panels where such alterations do not require planning permission. Policy CC2, together with the NPPF and PPG, the National Design Guide (2021) and Design Guidelines for Rutland (2021) all seek to maximise energy efficiency and carbon reduction measures in new homes. RCC has, however, declared a Climate Crisis and the Corporate Strategy recognises the urgency of reducing the county’s carbon footprint.

Object

Regulation 18 draft Local Plan

Representation ID: 5835

Received: 06/01/2024

Respondent: Mr adam cade

Representation Summary:

The specific, quantitative targets from the earlier draft Local Plan should apply:
Achieve a target average space heating demand for the development site of between 15-20kWh/m2/yr and a site average total energy demand (Energy Use Intensity EUI) of 35 kWh/m2/yr for housing and 55kWh/m2/yr for commercial buildings, through a ‘fabric first’ approach to construction. No single building should have a total energy demand (EUI) in excess of 60 kWh/m2/yr, irrespective of the amount of on-site renewable energy production.


Our response:

Comments noted. The Plan acknowledges that a key consideration for Policy CC2: Design Principles for Energy Efficient Buildings is its impact on the viability of new developments. It is not currently able to set such targets. It is intended that further work to update the cost evidence for a number of options for the wording of CC2 will be undertaken to inform the next stage of the local plan. This will build on the Whole Plan Viability Assessment (2023). Any changes to the draft policies, such as setting standards for energy efficiency, arising from consultation responses and/or new evidence on viability in relation to the climate change policies will be consulted on through the Reg 19 consultation.

Object

Regulation 18 draft Local Plan

Representation ID: 5839

Received: 06/01/2024

Respondent: RCC Expert Panel on Carbon Reduction

Representation Summary:

The phrase “highest possible” is too imprecise. An energy use limit should be included, as in the Central Lincs Local Plan (2023).

The specific, quantitative targets from the earlier draft Local Plan should apply:
Achieve a target average space heating demand for the development site of between 15-20kWh/m2/yr and a site average total energy demand (Energy Use Intensity EUI) of 35 kWh/m2/yr for housing and 55kWh/m2/yr for commercial buildings, through a ‘fabric first’ approach to construction. No single building should have a total energy demand (EUI) in excess of 60 kWh/m2/yr, irrespective of the amount of on-site renewable energy production.

Policy CC2 should set out the specific “high standards for space heating demands and, Energy Use Intensity”, or reference space heating demands or EUI, as in the second sentence of the section Net zero carbon (operational) - What will the policy do?

Equally “residential development” should be replaced by “all building development” as is implied in policy CC2.


Our response:

Comments noted. The Plan acknowledges that a key consideration for Policy CC2: Design Principles for Energy Efficient Buildings is its impact on the viability of new developments. It is not currently able to set such targets. It is intended that further work to update the cost evidence for a number of options for the wording of CC2 will be undertaken to inform the next stage of the local plan. This will build on the Whole Plan Viability Assessment (2023). Any changes to the draft policies, such as setting standards for energy efficiency, arising from consultation responses and/or new evidence on viability in relation to the climate change policies will be consulted on through the Reg 19 consultation. Following this work there may be sufficient, robust evidence to set an energy use limit such as that used in other adopted local plans.
Disagree on taking out (where appropriate) in criteria d) as heat recovery from outgoing air and/or wastewater would only be achievable on larger scale commercial or residential developments.

Object

Regulation 18 draft Local Plan

Representation ID: 6025

Received: 07/01/2024

Respondent: Mr Roderick Morgan

Representation Summary:

There is no mention of solar generation of heat or electricity from roof panels. This should be a mandatory design feature for all domestic and commercial buildings, or renovations. Even heritage buildings should consider these (e.g. King's College Chapel, Cambridge.)


Our response:

Disagree as it would not be appropriate to mandatorily require all new buildings to have solar panels through a prescriptive local plan policy as there are a number of factors that would need to be taken into account such as location, efficiency, viability and whether other forms of renewable energy are more appropriate. Such provision is, however, supported and encouraged in policy documents such as the NPPF and PPG, the National Design Guide (2021), Design Guidelines for Rutland (2021) and Local Plan Policies CC2 and CC4 seeks to maximise energy generation from on-site renewable sources. The policy, as worded, would not necessarily exclude panels on heritage assets.

Object

Regulation 18 draft Local Plan

Representation ID: 6030

Received: 07/01/2024

Respondent: Mr Richard Bonser

Representation Summary:

With the continuing push for electric vehicles I do not see any suggestion within this Plan for changes to planning applications/approvals for more parking in front of new houses on the property owners land to allow EV charging. An example of this is the current planning application for the Officer's Mess at Edith Weston (2023/0822/OUT). The constant wish to squeeze more housing on the same area of land reduces the opportunity for EV charging. Most houses will have more than one car and in time both will be electric.


Our response:

Policy CC13 covers the provision of designing for EV charging points in relation to new development where the provision of parking spaces is included. The Officers’ Mess application at Edith Weston was assessed against the policies of Adopted Local Plan that does not include any policies on provision of EV charging points.

Support

Regulation 18 draft Local Plan

Representation ID: 6046

Received: 07/01/2024

Respondent: Mr David Lewis

Representation Summary:

I agree with the policy proposal that all new developments should meet the highest possible energy efficiency standards. However, the guidance should be stronger. For example all new houses should be required to be fitted with solar panels and a battery. Defining the requirements clearly will enable developers to consider carbon saving measures when calculating the value of land, ensuring they do not overpay for land.


Our response:

Support noted. It would not be appropriate to mandatorily require all new buildings to have solar panels through a prescriptive local plan policy as there are a number of factors that would need to be taken into account such as location, efficiency, viability and whether other forms of renewable energy are more appropriate. Such provision is, however, supported and encouraged in policy documents such as the NPPF and PPG, the National Design Guide (2021), Design Guidelines for Rutland (2021) and Local Plan Policies CC2 and CC4 seeks to maximise energy generation from on-site renewable sources.

Support

Regulation 18 draft Local Plan

Representation ID: 6283

Received: 07/01/2024

Respondent: Mr Chris Read

Representation Summary:

Agree. But why is this not happening now?


Our response:

Support noted. RCC has declared a Climate Crisis and the Corporate Strategy recognises the urgency of reducing the county’s carbon footprint. A regulatory framework is also required, including through the planning and building regulations systems, and progress is being made with the proposed climate change policies in the local plan and the Future Homes and Buildings Standards currently being drawn up.

Support

Regulation 18 draft Local Plan

Representation ID: 6369

Received: 08/01/2024

Respondent: Bill Deayton

Representation Summary:

No new planning should be approved unless sustainable sources of heating and lighting are included. It is scandalous that planning applications for housing have been approved which include fossil fuel energy sources. The availability and proven reliability of heat pumps and insulation should make them obligatory for any new planning proposal.


Our response:

Support noted. It would not be appropriate to mandatorily require all new buildings to have ASHPs through a prescriptive local plan policy as there are a number of factors that would need to be taken into account such as location, efficiency, viability and whether other forms of renewable energy are more appropriate. Such provision is, however, supported and encouraged in policy documents such as the NPPF and PPG, the National Design Guide (2021), Design Guidelines for Rutland (2021) and Local Plan Policy CC2.

Support

Regulation 18 draft Local Plan

Representation ID: 6473

Received: 08/01/2024

Respondent: Ms Jo Carr

Representation Summary:

This needs to happen far faster than it is. We have wasted precious time when we could have been making small but significant investments.


Our response:

Support noted. RCC has declared a Climate Crisis and the Corporate Strategy recognises the urgency of reducing the county’s carbon footprint. A regulatory framework is also required, including through the planning and building regulations systems, and progress is being made with the proposed climate change policies in the local plan and the Future Homes and Buildings Standards and Future Buildings currently being drawn up.

Object

Regulation 18 draft Local Plan

Representation ID: 6550

Received: 08/01/2024

Respondent: Defence Infrastructure Organisation (DIO)

Agent: Montagu Evans LLP

Representation Summary:

Comments made on behalf of the Defence Infrastructure Organisation (DIO) as part of a full written response to Rutland Council. Representations should be read in context and not in isolation.

The DIO are of the opinion that there are points of detail within the Policy which should be reviewed to avoid duplication. For example Policy CC2 makes reference to there being no mains-gas connection in new development, which is already prohibited from 2025 under the Future Homes Standard.


Our response:

Support noted. RCC has declared a Climate Crisis and the Corporate Strategy recognises the urgency of reducing the county’s carbon footprint. A regulatory framework is also required, including through the planning and building regulations systems, and progress is being made with the proposed climate change policies in the local plan and the Future Homes and Buildings Standards currently being drawn up.

Object

Regulation 18 draft Local Plan

Representation ID: 6574

Received: 08/01/2024

Respondent: Distinctive Developments Group Ltd

Representation Summary:

The solar gain measures proposed in this policy are not consistent with current BRegs provisions.
Surely there is no need to repeat the BRegs provisions within planning policy?
Imposing all these measures will have an impact on viability and could result in fewer homes, particularly affordable homes, being delivered.


Our response:

Agree part a) may contribute towards overheating: suggest changing to ‘such as to manage’ in place of 'to optimise'.
It is acknowledged that the Government is committed to improving the energy efficiency of new homes through the Building Regulations system under the Future Homes and Buildings Standards which is due to take effect in 2025. Thiss still being debated, however, and there is no legal guarantee of that date being met. Recognising that buildings are the UK’s second-highest emitting sector, and that it is significantly cheaper and easier to install energy efficiency and low carbon heating measures when building from scratch rather than retrofitting them afterwards, Policy CC2 sets out a series of design principles for new energy efficient buildings. The Plan acknowledges that a key consideration for Policy CC2 is its impact on the viability of new developments (that would include affordable housing). It is intended that further work to update the cost evidence will be undertaken to inform the next stage of the local plan. This will build on the Whole Plan Viability Assessment (2023) and will inform the policies at the next stage of the local plan. Any changes to the draft policies, such as setting standards for energy efficiency, arising from consultation responses and/or new evidence on viability in relation to the climate change policies will be consulted on through the Reg 19 consultation. Following this work there may be sufficient, robust evidence to set an energy use limit such as that used in other adopted local plans.
Policy CC2 should not be read in isolation regarding design and the text accompanying the policy sets out the supporting documents and policies that consider design principles.

Support

Regulation 18 draft Local Plan

Representation ID: 6701

Received: 05/01/2024

Respondent: Mr David Holland

Representation Summary:

Solar panels should be a mandatory requirement for all new dwellings and industrial buildings


Our response:

Disagree. Sites that are potentially suitable for ground mounted solar energy schemes are identified on the Local Plan proposals map. These are on the basis of evidence set out in the supporting renewable energy documents. The issue of their siting on BMV agricultural land is set out in Policy CC8. It would not be appropriate to mandatorily require all new buildings to have solar panels through a prescriptive local plan policy as there are a number of factors that would need to be taken into account such as location, efficiency, viability and whether other forms of renewable energy are more appropriate. Such provision is, however, supported and encouraged in policy documents such as the NPPF and PPG, the National Design Guide (2021), Design Guidelines for Rutland (2021) and Local Plan Policies CC2 and CC4 seeks to maximise energy generation from on-site renewable sources.

Support

Regulation 18 draft Local Plan

Representation ID: 6705

Received: 06/01/2024

Respondent: Ian Newsham

Representation Summary:

I believe solar panels should be a mandatory requirement on all new dwellings


Our response:

Disagree. It would not be appropriate to mandatorily require all new buildings to have solar panels through a prescriptive local plan policy as there are a number of factors that would need to be taken into account such as location, efficiency, viability and whether other forms of renewable energy are more appropriate. Such provision is, however, supported and encouraged in policy documents such as the NPPF and PPG, the National Design Guide (2021), Design Guidelines for Rutland (2021) and Local Plan Policies CC2 and CC4 seeks to maximise energy generation from on-site renewable sources. The Local Plan has little, if any, influence over domestic retrofitting, or the financing, of solar panels where such alterations do not require planning permission.

Support

Regulation 18 draft Local Plan

Representation ID: 6707

Received: 06/01/2024

Respondent: Tracey Blackmore

Representation Summary:

Solar panels should be installed on all industrial, public and commercial buildings, and encouraged on private residential properties


Our response:

It would not be appropriate to mandatorily require all new buildings to have solar panels through a prescriptive local plan policy as there are a number of factors that would need to be taken into account such as location, efficiency, viability and whether other forms of renewable energy are more appropriate. Such provision is, however, supported and encouraged in policy documents such as the NPPF and PPG, the National Design Guide (2021), Design Guidelines for Rutland (2021) and Local Plan Policies CC2 and CC4 seeks to maximise energy generation from on-site renewable sources. The Local Plan has little, if any, influence over domestic or commercial retrofitting, or the financing, of solar panels where such alterations do not require planning permission.

Support

Regulation 18 draft Local Plan

Representation ID: 6709

Received: 06/01/2024

Respondent: Mr Andrew Leech

Representation Summary:

Solar panels should be a mandatory requirement for all new dwellings and industrial buildings


Our response:

Disagree. Sites that are potentially suitable for ground mounted solar energy schemes are identified on the Local Plan proposals map. These are on the basis of evidence set out in the supporting renewable energy documents. The issue of their siting on BMV agricultural land is set out in Policy CC8. It would not be appropriate to mandatorily require all new buildings to have solar panels through a prescriptive local plan policy as there are a number of factors that would need to be taken into account such as location, efficiency, viability and whether other forms of renewable energy are more appropriate. Such provision is, however, supported and encouraged in policy documents such as the NPPF and PPG, the National Design Guide (2021), Design Guidelines for Rutland (2021) and Local Plan Policies CC2 and CC4 seeks to maximise energy generation from on-site renewable sources. The Local Plan has little, if any, influence over domestic or commercial retrofitting, or the financing, of solar panels where such alterations do not require planning permission.

Support

Regulation 18 draft Local Plan

Representation ID: 6712

Received: 07/01/2024

Respondent: Steven Tattersall

Representation Summary:

Solar panels should be should be mandatory for all new dwellings and commercial buildings


Our response:

It would not be appropriate to mandatorily require all new buildings to have solar panels through a prescriptive local plan policy as there are a number of factors that would need to be taken into account such as location, efficiency, viability and whether other forms of renewable energy are more appropriate. Such provision is, however, supported and encouraged in policy documents such as the NPPF and PPG, the National Design Guide (2021), Design Guidelines for Rutland (2021) and Local Plan Policies CC2 and CC4 seeks to maximise energy generation from on-site renewable sources. The Local Plan has little, if any, influence over domestic or commercial retrofitting of solar panels where such alterations do not require planning permission.