Schedule of Proposed Significant Changes

Showing comments and forms 1 to 8 of 8

Comment

Ardleigh Neighbourhood Plan - Focused Consultation

Representation ID: 61

Received: 01/03/2024

Respondent: M Scott Properties Ltd

Representation Summary:

We are surprised that the Examiner considers the deletion of some Local Green Spaces (as mentioned in her August 2023 letter to TDC and the Parish Council) as a minor change which does not warrant any consultation. We do agree with the Examiner’s conclusion that there is a need to delete some of the proposed Local Green Spaces and we maintain that Space 4: Field south of Mary Warner Estate, should be one of the deleted Local Green Spaces.

Comment

Ardleigh Neighbourhood Plan - Focused Consultation

Representation ID: 64

Received: 04/03/2024

Respondent: Parish Clerk

Representation Summary:

Please see attached PDF.

Comment

Ardleigh Neighbourhood Plan - Focused Consultation

Representation ID: 65

Received: 04/03/2024

Respondent: National Highways

Representation Summary:

Plan does not impact a SRN, no comment from highways

Comment

Ardleigh Neighbourhood Plan - Focused Consultation

Representation ID: 66

Received: 04/03/2024

Respondent: Lichfields

Representation Summary:

Whilst Latimer is supportive of the direction of travel of the Examiner’s Schedule of Proposed
Significant Changes to the Ardleigh NP, previous representation concerns remain about the NP not
providing absolute clarity in that is does not apply to the TCBGC. It is Latimer’s view that the changes
do not go far enough. The principle issue is that the NP must be definitive in policy text (not just
supporting text) stating the policies within it do not apply to the TCBGC and that the emerging DPD and
adopted Site Allocation should be the guiding policy framework. Should the Schedule of Proposed
Significant Changes and draft NP be amended in line with the comments above, Latimer’s concerns
would be addressed and in Latimer’s view would bring the NP in line with Basic Condition (e).

Comment

Ardleigh Neighbourhood Plan - Focused Consultation

Representation ID: 67

Received: 04/03/2024

Respondent: Historic England

Representation Summary:

No Comment

Comment

Ardleigh Neighbourhood Plan - Focused Consultation

Representation ID: 71

Received: 04/03/2024

Respondent: Ms Colchester City Council

Representation Summary:

Colchester City Council acknowledge the Proposed Significant Changes - no comments

Comment

Ardleigh Neighbourhood Plan - Focused Consultation

Representation ID: 72

Received: 05/03/2024

Respondent: Natural England

Representation Summary:

Natural England has previously commented on this proposal and made comments to the authority in our response dated 19th December 2023, reference number 457462.

The advice provided in our previous response applies equally to this consultation.

Should the proposal be amended in a way which significantly affects its impact on the natural environment then Natural England should be consulted again. Before sending us the amended consultation, please assess whether the changes proposed will materially affect any of the advice we have previously offered. If they are unlikely to do so, please do not re-consult us.

Comment

Ardleigh Neighbourhood Plan - Focused Consultation

Representation ID: 73

Received: 05/03/2024

Respondent: Anglian Water Services Limited

Representation Summary:

Anglian Water is pleased to note that the SEA recognises the environmental designations for Ardleigh Reservoir (Local Wildlife Sites) and the reference to the Tendring Local Plan Policy PPL 13 Ardleigh Reservoir Catchment Area.

Whilst this consultation is focussed on the SEA/HRA screening, NPPF changes, and the examiner's changes to policies we raise a specific concern regarding Policy LGP Local Green Spaces. The area identified as GS05 adjacent to Ardleigh Reservoir is proposed as local green space and includes land owned by Anglian Water as well as a third party landowner. We object to the proposed GS05 (Map 4) designation and request that the area of land owned by Anglian Water is excluded from the designation.