Support
Regulation 19 Rutland Local Plan
Representation ID: 8156
Received: 29/11/2024
Respondent: Mr Ian Briggs
Support
Heidelberg Materials supports this policy as it maintains Ketton Cement Works as a nationally significant facility for the use of alternative fuels.
Positively Prepared and Justified
The policy approach is positive and justified based on the evidence regarding the Ketton Cement Works use of alternative fuels.
Support
Regulation 19 Rutland Local Plan
Representation ID: 8389
Received: 02/12/2024
Respondent: South Kesteven District Council
The Council acknowledges that Rutland County Council is a waste and minerals planning authority. Policy WST1 specifically mentions that the proposed development on the edge of Stamford would be considered for waste related development where consistent with the role of the locale in accordance with the spatial strategy and hierarchy.
The Council expects Lincolnshire County Council to be consulted on the proposal and any comments to be taken into account.
Object
Regulation 19 Rutland Local Plan
Representation ID: 8658
Received: 01/12/2024
Respondent: CPRE Rutland
Legally compliant? Not specified
Sound? Not specified
Duty to co-operate? Not specified
Should nuclear reactors be sited in
the county in order to meet future energy needs, there might then be a need to dispose of radioactive waste
CPRE Rutland considers that a significant number of elements of the draft Reg 19 plan are unsound or in breach of national requirements.
Such are the extent of the deficiencies that this structured and compartmentalised plan response framework does not facilitate the detailed consultation reply necessary. This has therefore been submitted by email as a separate pdf.
Object
Regulation 19 Rutland Local Plan
Representation ID: 8677
Received: 02/12/2024
Respondent: Anglian Water
Legally compliant? Not specified
Sound? Not specified
Duty to co-operate? Not specified
AWS notes there is no reference to wastewater/ water recycling in Policy WST1. As planning applications for environmental improvements or upgrades in capacity would be determined by RCC this is a significant omission which goes to the soundness of the Plan and its positive
preparation. The omission from WST1 may mean then Plan is not proportionate or effective. There is a
single word reference to wastewater in RCC’s April 2024 Local Waste Needs Assessment.