S/RRP: Policy areas in the rest of the rural area

Showing comments and forms 1 to 23 of 23

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 56588

Received: 25/11/2021

Respondent: Gamlingay Parish Council

Representation Summary:

Support for the policy areas

Full text:

Support for the policy areas

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 56876

Received: 08/12/2021

Respondent: Bassingbourn-cum-Kneesworth Parish Council

Representation Summary:

We agree that the areas designated in the 2018 Local Plan should be carried forward into the new Local Plan.

Full text:

We agree that the areas designated in the 2018 Local Plan should be carried forward into the new Local Plan.

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 56943

Received: 09/12/2021

Respondent: Cambridgeshire County Council

Representation Summary:

(Minerals and Waste) S/RRP/L – Only very small part at east of site within a MSA for sand & gravel.

Full text:

(Minerals and Waste) S/RRP/L – Only very small part at east of site within a MSA for sand & gravel.

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 57003

Received: 09/12/2021

Respondent: Dr Philip Coldrick

Representation Summary:

S/RRP/L East of bypass, Longstanton

The revised proposal for the area East of Bypass, Longstanton to no longer provide an employment area is very good but I question the need for housing. The whole area outlined in red could be used for recreation and open space. Sheltered housing and older persons' housing is not appropriate as it is too far from local facilities and not on any bus route. The area is on the approach to Longstanton Village and as such it should have a welcoming feel to it with community facilities rather than housing.

Full text:

The revised proposal for the area East of Bypass, Longstanton to no longer provide an employment area is very good but I question the need for housing. The whole area outlined in red could be used for recreation and open space. Sheltered housing and older persons' housing is not appropriate as it is too far from local facilities and not on any bus route. The area is on the approach to Longstanton Village and as such it should have a welcoming feel to it with community facilities rather than housing.

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 57363

Received: 10/12/2021

Respondent: Huntingdonshire District Council

Representation Summary:

Huntingdonshire District Council support policy S/RRP/L and the policy related to Fen Drayton Former Land Settlement Association Estate S/RRP/H/5.
The Council support the proposed policy S/RRP/E/6: Papworth Hospital, however given the size and nature of the site it should be ensured that the policy is flexible enough to allow for mix-use developments should healthcare and general employment not be successfully attracted to the site. This will allow for greater certainty of redevelopment to perpetuate the sustainability of the village.

Full text:

Huntingdonshire District Council support the proposed policy S/RRP/L: East of bypass, Longstanton to provide new open space, community facilities and affordable housing.

Huntingdonshire District Council support the proposed policy S/RRP/E/6: Papworth Hospital which will guide the redevelopment and re-use of the former Papworth Hospital site. This would include a “sequential approach to finding replacement uses for the site beginning with healthcare, and then more general employment uses, with residential limited to conversions of character buildings where it would be the most appropriate use.” Given the size and nature of the site that the policy is flexible enough to allow for mix-use developments should healthcare and general employment not be successfully attracted to the site. This will allow for greater certainty of redevelopment to perpetuate the sustainability of the village.

Huntingdonshire District Council have no objection to carrying forward the policy related to Fen Drayton Former Land Settlement Association Estate (S/RRP/H/5) which promotes the legacy of the network of smallholdings and sustainable living.

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 57466

Received: 10/12/2021

Respondent: Longstanton Parish Council

Representation Summary:

S/RRP/L: East of bypass, Longstanton

Longstanton Parish Council wishes to make comment on S/RRP/L: East of bypass, Longstanton.

Longstanton supports the use of the land for use for assisted living, which there is a shortage of in the village, but not for general affordable housing.
The Parish Council would like to see suitable infrastructure improvements as part of the plan.

Full text:

Longstanton Parish Council wishes to make comment on S/RRP/L: East of bypass, Longstanton.

Longstanton supports the use of the land for use for assisted living, which there is a shortage of in the village, but not for general affordable housing.
The Parish Council would like to see suitable infrastructure improvements as part of the plan.

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 57792

Received: 11/12/2021

Respondent: Mr Jon Pavey

Representation Summary:

S/RRP/E/8: Mixed Use Develop in Histon & Impington Station Area

Strongly support S/RRP/E/8: Mixed Use Develop in Histon & Impington Station Area, which was also endorsed by the Neighbourhood Plan which was strongly endorsed in the referendum

Full text:

Strongly support S/RRP/E/8: Mixed Use Develop in Histon & Impington Station Area, which was also endorsed by the Neighbourhood Plan which was strongly endorsed in the referendum

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 57804

Received: 11/12/2021

Respondent: Histon & Impington Parish Council

Representation Summary:

A number of Rural areas already have there own Neighbourhood plans. This should be respected.

Full text:

A number of Rural areas already have there own Neighbourhood plans. This should be respected.

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 57845

Received: 11/12/2021

Respondent: Ms Sally Nickalls

Representation Summary:

I support the proposals which exclude any development in the area of Little Linton.
The settlements of Linton and Little Linton have historically had distinct identities. New development in the area would disrupt the historic open landscape, destroying the separation and damaging the individual character of each settlement. Land in this area is a valuable environmental resource, which should be protected.
I support the retention of the land between Little Linton and Linton within the designated countryside.
The direction of future development to other more sustainable locations is appropriate and will ensure that Little Linton and Linton retain their identity.

Full text:

I support the proposals which exclude any development in the area of Little Linton.
The settlements of Linton and Little Linton have historically had distinct identities. New development in the area would disrupt the historic open landscape, destroying the separation and damaging the individual character of each settlement. Land in this area is a valuable environmental resource, which should be protected.
I support the retention of the land between Little Linton and Linton within the designated countryside.
The direction of future development to other more sustainable locations is appropriate and will ensure that Little Linton and Linton retain their identity.

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 57871

Received: 12/12/2021

Respondent: Mr Antony Nickalls

Representation Summary:

I support the proposals which exclude any development in the area of Little Linton.
The settlements of Linton and Little Linton have historically had distinct identities. New development in the area would disrupt the historic open landscape, destroying the separation and damaging the individual character of each settlement. Land in this area is a valuable environmental resource, which should be protected.
I support the retention of the land between Little Linton and Linton within the designated countryside.
The direction of future development to other more sustainable locations is appropriate and will ensure that Little Linton and Linton retain their identity.

Full text:

I support the proposals which exclude any development in the area of Little Linton.
The settlements of Linton and Little Linton have historically had distinct identities. New development in the area would disrupt the historic open landscape, destroying the separation and damaging the individual character of each settlement. Land in this area is a valuable environmental resource, which should be protected.
I support the retention of the land between Little Linton and Linton within the designated countryside.
The direction of future development to other more sustainable locations is appropriate and will ensure that Little Linton and Linton retain their identity.

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 57910

Received: 12/12/2021

Respondent: Dr Stephen Foulds

Representation Summary:

I support the proposals which exclude any development in the area of Little Linton.

The settlements of Linton and Little Linton have historically had distinct identities. New development in the area would disrupt the historic open landscape, destroying the separation and damaging the individual character of each settlement. Land in this area is a valuable environmental resource, which should be protected.

I support the retention of the land between Little Linton and Linton within the designated countryside.

The direction of future development to other more sustainable locations is appropriate and will ensure that Little Linton and Linton retain their identity.

Full text:

I support the proposals which exclude any development in the area of Little Linton.

The settlements of Linton and Little Linton have historically had distinct identities. New development in the area would disrupt the historic open landscape, destroying the separation and damaging the individual character of each settlement. Land in this area is a valuable environmental resource, which should be protected.

I support the retention of the land between Little Linton and Linton within the designated countryside.

The direction of future development to other more sustainable locations is appropriate and will ensure that Little Linton and Linton retain their identity.

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 57924

Received: 12/12/2021

Respondent: Mrs Helen Lawrence-Foulds

Representation Summary:

I support the proposals to build at existing and forthcoming towns and larger settlements that exclude any development in the area of Little Linton.
New development in this area would disrupt the historic open landscape, destroying the separation and damaging the individual character of each settlement. Land in this area is a valuable environmental resource, which should be protected.
I support the retention of the land between Little Linton and Linton within the designated countryside.
The direction of future development to other more sustainable locations is appropriate and will ensure that Little Linton and Linton retain their identity.

Full text:

I support the proposals to build at existing and forthcoming towns and larger settlements that exclude any development in the area of Little Linton.
New development in this area would disrupt the historic open landscape, destroying the separation and damaging the individual character of each settlement. Land in this area is a valuable environmental resource, which should be protected.
I support the retention of the land between Little Linton and Linton within the designated countryside.
The direction of future development to other more sustainable locations is appropriate and will ensure that Little Linton and Linton retain their identity.

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 57955

Received: 12/12/2021

Respondent: Mr Clifford Mackay

Representation Summary:

I support the proposals which exclude any development in the area of Little Linton. The settlements of Linton and Little Linton have historically had distinct identities. New development in the area would disrupt the historic open landscape, destroying the separation and damaging the individual character of each settlement. Land in this area is a valuable environmental resource, which should be protected.
I support the retention of the land between Little Linton and Linton within the designated countryside.
The decision of future development to other more sustainable locations is appropriate and will ensure that Little Linton and Linton retain their identity.

Full text:

I support the proposals which exclude any development in the area of Little Linton. The settlements of Linton and Little Linton have historically had distinct identities. New development in the area would disrupt the historic open landscape, destroying the separation and damaging the individual character of each settlement. Land in this area is a valuable environmental resource, which should be protected.
I support the retention of the land between Little Linton and Linton within the designated countryside.
The decision of future development to other more sustainable locations is appropriate and will ensure that Little Linton and Linton retain their identity.

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 58015

Received: 12/12/2021

Respondent: Imperial War Museum/Gonville and Caius College

Agent: Tulley Bunting

Representation Summary:

(Duxford AvTech 1 and Duxford Avtech 2) (HELAA Site 40095)
S/RRP/E/7

IWM and Caius responded to the 2019 and 2020 “call for sites” (Site reference 40095) which included IWM Duxford. This further submission expands on the earlier submissions and specifically requests the extension of special policy area S/RRP/E/7. The call for sites 2020 submissions are attached for convenience.

Full text:

see attached

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 58516

Received: 13/12/2021

Respondent: Dencora

Agent: Carter Jonas

Representation Summary:

Flint Cross, A505, south of Melbourn (HELAA site 59402)

We propose to provide a new policy framework or site allocation for future development at the Flint Cross site. The emerging local plan promotes a range of existing policy areas within the rest of the rural area outside of the rural southern clusters.

A vision statement considers the provision of a Petrol Filling Station (PFS) and EV charging, and motor side services including a drive through coffee shop and small scale retail and employment development, together with associated vehicular access (including the provision of a new roundabout) and parking provision on land north of the A505 at Flint Cross.

Full text:

GREATER CAMBRIDGE LOCAL PLAN PREFERRED OPTIONS
REG.18 CONSULTATION – NOVEMBER TO DECEMBER 2021
DENCORA DRAFT REPRESENTATIONS

INTRODUCTION
Consultation on Preferred Options for the Greater Cambridge Local Plan is taking place until 13th December 2021. This document sets out draft representations to the consultation. The final version of the representations will be uploaded to the Councils online consultation system in due course.

REPRESENTATIONS TO PREFERRED OPTIONS GCLP
On behalf of Dencora
Object:

Policy S/RRP: Policy areas in the rest of the rural area

We propose to provide a new policy framework or site allocation for future development at the Flint Cross site. The emerging local plan promotes a range of existing policy areas within the rest of the rural area outside of the rural southern cluster, which provide context for the development of specific locations responding to specific local circumstances.

A vision statement considers the provision of a Petrol Filling Station (PFS) and EV charging (Sui Generis), and motor side services including a drive through coffee shop (Use Class E) and small scale retail and employment development, together with associated vehicular access (including the provision of a new roundabout) and parking provision on land north of the A505 at Flint Cross. This will be promoted as part of the fourth coming Local Plan review.

The A505 has also been identified as being of importance when considering the Uttlesford Local Plan review with a report being prepared back in 2018 by the WYG (having been commissioned by Uttlesford District Council). This considered the A505 between its junction with the A10 at Royston in Hertfordshire and the A11 at Abington in Cambridgeshire and possible options to improve the safety of the link. This document clearly references Flint Cross as being a problem junction of significance.

The development site will therefore comprise: -

• The provision of a Petrol Filling Station (PFS) and associated retail facilities including Drive thru coffee shop.
• EV charging provision.
• Vehicular entry from an estate road connecting the A505 and the B1368 London Road with a new roundabout on the A505 and vehicular exit to the B1368 London Road to the north of the site.
• The stopping up of the existing highway to the west of the site and the provision of a roundabout to provide safe access into the site and help address an existing accident history associated with the A505 and B1368 and improve highway safety.
• Additional future employment land to help support the viability of the proposed development given the sizeable infrastructure costs
• Open space and landscaping and biodiversity enhancement

The site is located at the junction of the A505 and the B1368; and provides a unique opportunity to provide highway safety improvement, through significant works to the A505 and the provision of a new roundabout and associated infrastructure works at a cost of around £2,000,000. This is only deliverable through the provision of an employment led development. The A505 has a very poor accident history, which has resulted in a number of fatalities and series serious accidents over the years. This scheme will help facilitate the provision of a new roundabout and stopping up the existing B1368/A505 junction.

The existing A505 / B1368 London Road priority junction, which is currently substandard with highway safety issues, would be replaced by a roundabout which would result in reduced approach speeds; thereby improving highway safety records and reducing the risk of PIAs. Furthermore, the new highway layout arrangement includes improved road signage and street lighting to support the new layout and aid drivers, minimising the human factor element that contributes to most PIAs.



Proposed highway layout


Highway Safety improvements
a) The A505 Corridor Improvement Feasibility Study: A10 to the A11 (Uttlesford District Council, 2018) highlights that along the entirety of the A505, recorded accidents (January 2013 to December 2017) are not distributed evenly but are concentrated in a relatively small number of locations, including through Flint Cross. Furthermore, accident data records for the highway network surrounding the proposed development site, obtained from Cambridgeshire County Council (CCC) for the five-year period covering January 2013 to April 2018, demonstrate the out of 20 Personal Injury Accidents (PIA) recorded, 18 (11 of slight severity, six serious in nature and one which was fatal) were recorded on the A505, indicating that highway safety is an area of potential concern.

b) The A505 has a very poor accident history, which has resulted in a number of fatalities and series accidents over the years. This scheme will help facilitate the provision of a new roundabout and stopping up the existing B1368/A505 junction. There is a considerable infrastructure costs associated with such works, with WSP advising that such highway costs could be in the order of £2,000,000. This will need to comprise both a PFS and associated support facilities and some new employment development.

c) WSP have modelled the roundabout junction based on PFS and Drive Through Coffee Shop. From the discussions that WSP have had with CCC providing a roundabout would be viewed very positively, as would closing the existing road B1368 London Road which is an access hot spot. A Stage 1 Safety Audit has been completed. It should be noted that CCC are not keen on traffic signals on their road network. This development must absorb the costs associated with the roundabout and the stopping up of the existing dangerous junction, together with more general development costs.

Roadside services, EV charging and PFS
d) Roadside Services: the closest roadside services to Flint Cross are located on the A1 (Astwick – east), the M11 (Birchanger Green – south) and the A14 (Cambridge Services – north; and Newmarket – west). The Department for Transport’s (DfT) Circular 02/2013 indicates that the primary function of roadside facilities is to support the safety and welfare of the road user, and recommends that there should be no more than 28-miles or 30-minutes travelling time between such facilities. Whilst there is a PFS on the westbound carriageway on the A505, currently there are limited roadside facilities that support the welfare (toilets / refreshments) and safety (appropriate parking facilities to allow for drivers to rest) of road users along the A505 corridor, and there is no identified EV charging. As such, the nature of the proposed development will further support safety on the wider network whilst also providing welfare benefits to road users.

Employment Development
e) The National Planning Policy Framework (NPPF) is an important material consideration. Paragraph 80 of the NPPF states that ‘planning policies and decisions should help create the conditions in which businesses can invest, expand and adapt. Significant weight should be placed on the need to support economic growth and productivity, considering both local business needs and wider opportunities for development. The approach taken should allow each area to build on its strengths, counter any weaknesses and address the challenges of the future. The existing Local Plan is also supportive of employment development. The scheme is designed to target specific businesses through business SIC codes, in this instance the R&D / science sector and manufacturing would be targeted first before targeting more traditional industrial occupiers as well as through our own internal database. There is a strong market need for this scale of development to continue to support employment growth within South Cambridge as without this more consented land occupiers will be forced to consider alternative out of the region.

Visual Impact
f) Although the scheme is to be developed in detail, as referenced in the design report there is considerable potential to develop the site without adversely affecting the visual amenity of the Countryside regarding scale, character and appearance of new buildings and/or changes of use of land. The existing site is formed by mature landscaping and trees to the site perimeter. Substantial landscaping and bunding provides the site with a very good level of existing screening, which can be supplemented further. The submission is supported by a LVIA provided by LizLake to help assess the visual impact of the development. Overall, the Site and surrounding landscape has capacity to absorb a development of this nature and scale with only limited local effects on landscape character and visual amenity.

g) The proposed development site is not located in an isolated location and is very well screened. Although further work is required, it is our view that there is the basis for significant and compelling material considerations as expressed above that outweigh the general presumption against development in the Countryside. There is good reason to support a site allocation of reference a potential opportunity area to help facilitate the highway safety improvements.

Attachments:

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 58985

Received: 13/12/2021

Respondent: Woodland Trust

Representation Summary:

S/RRP/E/6 Papworth Hospital Papworth Everard Proposed Special Policy Area 5.31 Ha
We have concerns about possible development at this site as our research shows that it is adjacent to an area of ancient woodland known as Papworth Wood at TL29116299 (8.5 Ha). We would therefore like to see a suitable buffering strip put in place to protect this woodland if development takes place on the site

Full text:

S/RRP/E/6 Papworth Hospital Papworth Everard Proposed Special Policy Area 5.31 Ha
We have concerns about possible development at this site as our research shows that it is adjacent to an area of ancient woodland known as Papworth Wood at TL29116299 (8.5 Ha). We would therefore like to see a suitable buffering strip put in place to protect this woodland if development takes place on the site

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 59663

Received: 13/12/2021

Respondent: Historic England

Representation Summary:

S/RRP/E/7 Imperial War Museum, Duxford

There are multiple designated assets on this site including Duxford Airfield Conservation Area, five grade II* listed buildings and over 20 grade II listed buildings. The Conservation Area is on the Heritage at Risk Register. Often the best use for an asset is its original use. However, this clearly has implications for development in the surrounding area. Development in this policy area has the potential to impact these designated heritage assets and their settings. Therefore, we recommend you prepare an HIA. The recommendations of the HIA should then be used to inform the policy wording. The HIA could draw upon the Conservation Management Plan and emerging masterplan for the site. Reference should be made in the policy and supporting text to these heritage assets and the need to conserve/sustain or where appropriate enhance the significance of heritage assets (noting that significance may be harmed by development within the setting of an asset). Any required mitigation should be included within the policy wording.

Full text:

Thank you for consulting Historic England on the First Proposals Public Consultation for the Greater Cambridge Local Plan. As the Government’s adviser on the historic environment Historic England is keen to ensure that the protection of the historic environment is fully considered at all stages and levels of the local planning process.

Cambridge is a beautiful, compact and historic city. It is also an historic seat of learning with a very high concentration of highly graded heritage assets. Much of the city is covered by Conservation Area status. The river corridor, green fingers and open spaces, with cows grazing in meadows even at the heart of the city, shape the character of the townscape and landscape.

Although a relatively flat landscape, the elevated positions to the west and south of the Cambridge afford important views across the city skyline, which is one of extensive tree cover and emerging spires. The flatter Fens landscape to the north and east provides very long-distance views of the City and the big east Anglian skies.

The surrounding rural hinterland of South Cambridgeshire comprises over 100 villages, each with their own unique character and heritage. New settlements are an important feature of the district, with their own special identity and are growing rapidly.

We recognise the area faces intense pressure for growth, driven by both the economic success and the attractiveness of the area, in large part a consequence of

its rich architectural and cultural heritage. This growth must be carefully managed to ensure that the very things that contribute to its success are not harmed in the process.

It is for this reason that Historic England is keen to ensure that the emerging plan gives full consideration to the historic environment, both in the choice of site allocations and policy criteria for sites, as well as through a robust and clear suite of historic environment and other policies that seek to both protect but also enhance the historic environment.

We have reviewed the Draft Plan and consultation material with a view to providing advice on heritage matters.

As a general comment, Historic England welcomes emerging plan and work undertaken to date. We have however identified below some of the key issues to be addressed in progressing the next iteration of the Plan: This should be read in conjunction with Appendix A which provides more detailed comments on these and other more minor issues.

a) Site Assessment and the need for Heritage Impact Assessments

We are pleased to note that a degree of site assessment has already been undertaken in relation to the historic environment. These are set out in the HELAA Report, especially Appendix 4.

To date, the assessment of sites is fairly high level and brief but provides a useful starting point, in particular helping to identify immediate showstoppers. We note that many of the sites are shown as amber.

As we have discussed previously, the need for further assessment of heritage in terms of significance, impact on that significance, potential mitigation and enhancements etc will be needed for the site allocations. There is currently an insufficient evidence base in this regard. We therefore welcome your commitment to undertake Heritage Impact Assessments for site allocations. These should be prepared prior to the next draft of the Local Plan.

This further assessment, known as Heritage Impact Assessment (HIA) should follow the 5 step methodology set out in out in our advice note, HEAN 3 on Site Allocations in Local Plans https://historicengland.org.uk/images- books/publications/historic-environment-and-site-allocations-in-local-plans/.

HIAs should be proportionate (both to the scale of the site and the assets affected). All potential sites will need to be appraised against potential historic environment

impacts. It is imperative to have this robust evidence base in place to ensure the soundness of the Plan. We recommend that the appraisal approach should avoid merely limiting assessment of impact on a heritage asset to its distance from, or inter-visibility with, a potential site.

Site allocations which include a heritage asset (for example a site within a Conservation Area) may offer opportunities for enhancement and tackling heritage at risk, while conversely, an allocation at a considerable distance away from a heritage asset may cause harm to its significance, rendering the site unsuitable.

Impacts on significance are not just based on distance or visual impacts, and assessment requires a careful judgment based on site visits and the available evidence base. Cumulative effects of site options on the historic environment should be considered too.

The following broad steps might be of assistance in terms of assessing sites:

• Identify the heritage assets on or within the vicinity of the potential site allocation at an appropriate scale
• Assess the contribution of the site to the significance of heritage assets on or within its vicinity
• Identify the potential impacts of development upon the significance of heritage asset
• Consider how any harm might be removed or reduced, including reasonable alternatives sites
• Consider how any enhancements could be achieved and maximised
• Consider and set out the public benefits where harm cannot be removed or reduced

The HIAs should assess the suitability of each area for development and the impact on the historic environment. Should the HIA conclude that development in the area could be acceptable and the site be allocated, the findings of the HIA should inform the Local Plan policy including development criteria and a strategy diagram which expresses the development criteria in diagrammatic form.

Which sites require HIA?

Ideally all sites should have an HIA, albeit proportionate to the site and heritage sensitivities.

For existing allocations being carried forward into this Local Plan, the HIA is less about the principle of development (that has already been established through previous plan allocation) and more about exploring capacity, height, density and any heritage mitigation and enhancement opportunities so that these can then be

included in the updated policy wording.

For new allocations, the HIA will be a more holistic view and consider both the principle of development as well as the other matters identified above.

b) Policy Wording for sites

If, having completed the heritage impact assessments, it is concluded that a site is suitable for allocation, we would remind you to include appropriate policy criteria for the historic environment in the policy. Please refer to the advice we give on policy wording in the attached table.

It can be helpful to refer to an HIA in the policy wording. Concept diagrams can also be useful to include in the plan to illustrate key site considerations/ recommendations.

c) Edge of Cambridge sites

The Plan proposes carrying forward a number of partially built out allocations on the edge of the City as well as some minor extensions to these. The Plan also proposes revisiting the dwelling capacity/density for some of these sites e.g. Eddington.

Proposals for North East Cambridge are very high density and also quite tall.

The Plan also includes a very large new allocation at East Cambridge (previously released from the Green Belt and allocated in the 2006 Plan, although not in the 2018 Plan). The number of dwellings now being proposed represents a significant increase in density from the 2006 Plan.

We have some concerns regarding these densities and heights on edge of Cambridge sites. Development at very high densities/heights and the potential impact on the overall setting of this historic city. HIAs should give careful consideration to the issue of development and site capacity and height – we will be looking for evidence in this regard.

d) Historic Environment Policy

We welcome your intention to include a policy for the Historic Environment. This should cover both designated and non-designated heritage assets. Policy wording should be in line with the NPPF but we are also looking for a local flavour.

Policies should be spatially specific, unique to the area, describing the local characteristics of the area and responding accordingly with policies that address the local situation.

You should also include a policy for Heritage at Risk and a policy for historic shopfronts. For further detail see Appendix A.

e) Design Policy

We welcome the proposals for a design policy on the plan. We note that this policy is also intended to address tall buildings. We are concerned that the policy might become overly long and detailed, given it is covering such a wide and important range of issues and wonder whether separating out tall buildings into a separate policy might be helpful?

f) Tall Buildings Study and Policy

Related to the above, given the growth pressures that we would anticipate Cambridge is likely to experience over the coming years, we are pleased to see that the matter of Tall buildings and the skyline will be addressed in policy.

We had understood that you were commissioning a study in relation to tall buildings and the skyline policy. Is this still proposed to inform the policy in the next draft of the Local Plan?

See our advice note HEAN 4 and the consultation draft of HEAN 4. Any policy should indicate what considerations are needed for taller buildings, where buildings may or may not be appropriate etc. and in particular consider in the impact on the historic environment.

We broadly welcome policy 60 and Appendix F of the 2018 Cambridge City Local Plan. However, we consider that this could be further supplemented to indicate which areas may or may not be suited to taller buildings. Our advice note in relation to tall buildings provides further guidance in this respect

We have been having discussions with the team preparing The North East Area Action Plan in relation to tall buildings studies and have provided a detailed advice letter in that regard. Please refer to our advice letters in relation to NEA Action Plan and tall buildings for further information on our position.

g) Other Supporting Evidence

We welcome the preparation of the HELAA although consider that further, more detailed evidence is needed in relation to heritage impact and so welcome your intention to prepare HIAs for site allocations.

We broadly welcome the Strategic Heritage Impact Assessment including the baseline study of the setting of Cambridge. However, we have expressed some concerns regarding some aspects of this baseline, in particular the weighting given to some of the key characteristics and aspects of setting of Cambridge including views. Further detail is given in Appendix A.

We welcome the evidence in relation to landscape character assessment. We do however continue to suggest that it would also be helpful to commission Historic Landscape Characterisation work for inform this Plan and future growth in the area.

We welcome the production of the Sustainability Appraisal. We would comment however that since many of the site allocations are grouping together under particular policies, the different impacts for individual sites are not always drawn out in the assessment tables – this sometimes has the effect of neutralising the scoring.

Historic England – Ox Cam research work

Historic England has commissioned consultants to undertake some work looking at development in the OxCam Arc. ‘Measuring Impact: Managing Change’ looks at the question, ‘How should the form of growth in the Oxford-Cambridge arc positively respond to the Historic Environment’. This research is due to report in the next few months and we hope to be able to share this with you at that time as it may provide useful evidence to inform your Local Plan work.

Other comments

In preparation of the forthcoming Greater Cambridge Local Plan, we encourage you to draw on the knowledge of local conservation officers, archaeologists and local heritage groups.

Please note that absence of a comment on an allocation or document in this letter does not mean that Historic England is content that the allocation or document forms part of a positive strategy for the conservation and enjoyment of the historic environment or is devoid of historic environment issues. Where there are various options proposed for a settlement, identification of heritage issues for a particular

allocation does not automatically correspond to the support for inclusion of the alternative sites, given we have not been able to assess all of the sites.

Finally, we should like to stress that this opinion is based on the information provided by the Council in its consultation. To avoid any doubt, this does not affect our obligation to provide further advice and, potentially, object to specific proposals, which may subsequently arise where we consider that these would have an adverse effect upon the historic environment.

We trust that these comments are helpful to you in developing the Local Plan. Should you have any queries, please do not hesitate to contact us.

We suggest it might be helpful to set up a meeting to discuss our comments and, in particular, heritage impact assessments and policy wording for site allocations.
Please feel free to suggest some dates.

Attachments:

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 59664

Received: 13/12/2021

Respondent: Historic England

Representation Summary:

S/RRP/H/4Papworth Everard West Central

This site includes the part of the Papworth Everard Conservation Area and a pair of listed cottages and 2, Church Lane. Nearby designated heritage assets include the grade II* St Peters Church and Papworth Hall, and several other grade II listed buildings. Development in this policy area has the potential to impact these designated heritage assets and their settings. Therefore, we recommend you prepare an HIA. The recommendations of the HIA should then be used to inform the policy wording. Reference should be made in the policy and supporting text to these heritage assets and the need to conserve/sustain or where appropriate enhance the significance of heritage assets (noting that significance may be harmed by development within the setting of an asset). Any required mitigation should be included within the policy wording. We note that a large permission has been substantially built out in this area. We wonder if it might be appropriate to adjust the boundary of the policy area accordingly?

Full text:

Thank you for consulting Historic England on the First Proposals Public Consultation for the Greater Cambridge Local Plan. As the Government’s adviser on the historic environment Historic England is keen to ensure that the protection of the historic environment is fully considered at all stages and levels of the local planning process.

Cambridge is a beautiful, compact and historic city. It is also an historic seat of learning with a very high concentration of highly graded heritage assets. Much of the city is covered by Conservation Area status. The river corridor, green fingers and open spaces, with cows grazing in meadows even at the heart of the city, shape the character of the townscape and landscape.

Although a relatively flat landscape, the elevated positions to the west and south of the Cambridge afford important views across the city skyline, which is one of extensive tree cover and emerging spires. The flatter Fens landscape to the north and east provides very long-distance views of the City and the big east Anglian skies.

The surrounding rural hinterland of South Cambridgeshire comprises over 100 villages, each with their own unique character and heritage. New settlements are an important feature of the district, with their own special identity and are growing rapidly.

We recognise the area faces intense pressure for growth, driven by both the economic success and the attractiveness of the area, in large part a consequence of

its rich architectural and cultural heritage. This growth must be carefully managed to ensure that the very things that contribute to its success are not harmed in the process.

It is for this reason that Historic England is keen to ensure that the emerging plan gives full consideration to the historic environment, both in the choice of site allocations and policy criteria for sites, as well as through a robust and clear suite of historic environment and other policies that seek to both protect but also enhance the historic environment.

We have reviewed the Draft Plan and consultation material with a view to providing advice on heritage matters.

As a general comment, Historic England welcomes emerging plan and work undertaken to date. We have however identified below some of the key issues to be addressed in progressing the next iteration of the Plan: This should be read in conjunction with Appendix A which provides more detailed comments on these and other more minor issues.

a) Site Assessment and the need for Heritage Impact Assessments

We are pleased to note that a degree of site assessment has already been undertaken in relation to the historic environment. These are set out in the HELAA Report, especially Appendix 4.

To date, the assessment of sites is fairly high level and brief but provides a useful starting point, in particular helping to identify immediate showstoppers. We note that many of the sites are shown as amber.

As we have discussed previously, the need for further assessment of heritage in terms of significance, impact on that significance, potential mitigation and enhancements etc will be needed for the site allocations. There is currently an insufficient evidence base in this regard. We therefore welcome your commitment to undertake Heritage Impact Assessments for site allocations. These should be prepared prior to the next draft of the Local Plan.

This further assessment, known as Heritage Impact Assessment (HIA) should follow the 5 step methodology set out in out in our advice note, HEAN 3 on Site Allocations in Local Plans https://historicengland.org.uk/images- books/publications/historic-environment-and-site-allocations-in-local-plans/.

HIAs should be proportionate (both to the scale of the site and the assets affected). All potential sites will need to be appraised against potential historic environment

impacts. It is imperative to have this robust evidence base in place to ensure the soundness of the Plan. We recommend that the appraisal approach should avoid merely limiting assessment of impact on a heritage asset to its distance from, or inter-visibility with, a potential site.

Site allocations which include a heritage asset (for example a site within a Conservation Area) may offer opportunities for enhancement and tackling heritage at risk, while conversely, an allocation at a considerable distance away from a heritage asset may cause harm to its significance, rendering the site unsuitable.

Impacts on significance are not just based on distance or visual impacts, and assessment requires a careful judgment based on site visits and the available evidence base. Cumulative effects of site options on the historic environment should be considered too.

The following broad steps might be of assistance in terms of assessing sites:

• Identify the heritage assets on or within the vicinity of the potential site allocation at an appropriate scale
• Assess the contribution of the site to the significance of heritage assets on or within its vicinity
• Identify the potential impacts of development upon the significance of heritage asset
• Consider how any harm might be removed or reduced, including reasonable alternatives sites
• Consider how any enhancements could be achieved and maximised
• Consider and set out the public benefits where harm cannot be removed or reduced

The HIAs should assess the suitability of each area for development and the impact on the historic environment. Should the HIA conclude that development in the area could be acceptable and the site be allocated, the findings of the HIA should inform the Local Plan policy including development criteria and a strategy diagram which expresses the development criteria in diagrammatic form.

Which sites require HIA?

Ideally all sites should have an HIA, albeit proportionate to the site and heritage sensitivities.

For existing allocations being carried forward into this Local Plan, the HIA is less about the principle of development (that has already been established through previous plan allocation) and more about exploring capacity, height, density and any heritage mitigation and enhancement opportunities so that these can then be

included in the updated policy wording.

For new allocations, the HIA will be a more holistic view and consider both the principle of development as well as the other matters identified above.

b) Policy Wording for sites

If, having completed the heritage impact assessments, it is concluded that a site is suitable for allocation, we would remind you to include appropriate policy criteria for the historic environment in the policy. Please refer to the advice we give on policy wording in the attached table.

It can be helpful to refer to an HIA in the policy wording. Concept diagrams can also be useful to include in the plan to illustrate key site considerations/ recommendations.

c) Edge of Cambridge sites

The Plan proposes carrying forward a number of partially built out allocations on the edge of the City as well as some minor extensions to these. The Plan also proposes revisiting the dwelling capacity/density for some of these sites e.g. Eddington.

Proposals for North East Cambridge are very high density and also quite tall.

The Plan also includes a very large new allocation at East Cambridge (previously released from the Green Belt and allocated in the 2006 Plan, although not in the 2018 Plan). The number of dwellings now being proposed represents a significant increase in density from the 2006 Plan.

We have some concerns regarding these densities and heights on edge of Cambridge sites. Development at very high densities/heights and the potential impact on the overall setting of this historic city. HIAs should give careful consideration to the issue of development and site capacity and height – we will be looking for evidence in this regard.

d) Historic Environment Policy

We welcome your intention to include a policy for the Historic Environment. This should cover both designated and non-designated heritage assets. Policy wording should be in line with the NPPF but we are also looking for a local flavour.

Policies should be spatially specific, unique to the area, describing the local characteristics of the area and responding accordingly with policies that address the local situation.

You should also include a policy for Heritage at Risk and a policy for historic shopfronts. For further detail see Appendix A.

e) Design Policy

We welcome the proposals for a design policy on the plan. We note that this policy is also intended to address tall buildings. We are concerned that the policy might become overly long and detailed, given it is covering such a wide and important range of issues and wonder whether separating out tall buildings into a separate policy might be helpful?

f) Tall Buildings Study and Policy

Related to the above, given the growth pressures that we would anticipate Cambridge is likely to experience over the coming years, we are pleased to see that the matter of Tall buildings and the skyline will be addressed in policy.

We had understood that you were commissioning a study in relation to tall buildings and the skyline policy. Is this still proposed to inform the policy in the next draft of the Local Plan?

See our advice note HEAN 4 and the consultation draft of HEAN 4. Any policy should indicate what considerations are needed for taller buildings, where buildings may or may not be appropriate etc. and in particular consider in the impact on the historic environment.

We broadly welcome policy 60 and Appendix F of the 2018 Cambridge City Local Plan. However, we consider that this could be further supplemented to indicate which areas may or may not be suited to taller buildings. Our advice note in relation to tall buildings provides further guidance in this respect

We have been having discussions with the team preparing The North East Area Action Plan in relation to tall buildings studies and have provided a detailed advice letter in that regard. Please refer to our advice letters in relation to NEA Action Plan and tall buildings for further information on our position.

g) Other Supporting Evidence

We welcome the preparation of the HELAA although consider that further, more detailed evidence is needed in relation to heritage impact and so welcome your intention to prepare HIAs for site allocations.

We broadly welcome the Strategic Heritage Impact Assessment including the baseline study of the setting of Cambridge. However, we have expressed some concerns regarding some aspects of this baseline, in particular the weighting given to some of the key characteristics and aspects of setting of Cambridge including views. Further detail is given in Appendix A.

We welcome the evidence in relation to landscape character assessment. We do however continue to suggest that it would also be helpful to commission Historic Landscape Characterisation work for inform this Plan and future growth in the area.

We welcome the production of the Sustainability Appraisal. We would comment however that since many of the site allocations are grouping together under particular policies, the different impacts for individual sites are not always drawn out in the assessment tables – this sometimes has the effect of neutralising the scoring.

Historic England – Ox Cam research work

Historic England has commissioned consultants to undertake some work looking at development in the OxCam Arc. ‘Measuring Impact: Managing Change’ looks at the question, ‘How should the form of growth in the Oxford-Cambridge arc positively respond to the Historic Environment’. This research is due to report in the next few months and we hope to be able to share this with you at that time as it may provide useful evidence to inform your Local Plan work.

Other comments

In preparation of the forthcoming Greater Cambridge Local Plan, we encourage you to draw on the knowledge of local conservation officers, archaeologists and local heritage groups.

Please note that absence of a comment on an allocation or document in this letter does not mean that Historic England is content that the allocation or document forms part of a positive strategy for the conservation and enjoyment of the historic environment or is devoid of historic environment issues. Where there are various options proposed for a settlement, identification of heritage issues for a particular

allocation does not automatically correspond to the support for inclusion of the alternative sites, given we have not been able to assess all of the sites.

Finally, we should like to stress that this opinion is based on the information provided by the Council in its consultation. To avoid any doubt, this does not affect our obligation to provide further advice and, potentially, object to specific proposals, which may subsequently arise where we consider that these would have an adverse effect upon the historic environment.

We trust that these comments are helpful to you in developing the Local Plan. Should you have any queries, please do not hesitate to contact us.

We suggest it might be helpful to set up a meeting to discuss our comments and, in particular, heritage impact assessments and policy wording for site allocations.
Please feel free to suggest some dates.

Attachments:

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 59665

Received: 13/12/2021

Respondent: Historic England

Representation Summary:

S/RRP/E/6 Papworth Hospital
This site includes the part of the Papworth Everard Conservation Area and lies adjacent to and in the setting of the grade II* listed Papworth Hall, scheduled monument moated site and close to the grade II listed Lodge. Development in this policy area has the potential to impact these designated heritage assets and their settings. Therefore, we recommend you prepare an HIA. The recommendations of the HIA should then be used to inform the policy wording. Reference should be made in the policy and supporting text to these heritage assets and the need to conserve/sustain or where appropriate enhance the significance of heritage assets (noting that significance may be harmed by development within the setting of an asset). Any required mitigation should be included within the policy wording. As previously discussed, we are keen to work with the Council in preparing a Design Guide SPD for this site to ensure that full consideration is given to the conservation and enhancement of the historic environment on this important brownfield site. The concluding recommendations of an HIA would also help to refine the content of the design code.

Full text:

Thank you for consulting Historic England on the First Proposals Public Consultation for the Greater Cambridge Local Plan. As the Government’s adviser on the historic environment Historic England is keen to ensure that the protection of the historic environment is fully considered at all stages and levels of the local planning process.

Cambridge is a beautiful, compact and historic city. It is also an historic seat of learning with a very high concentration of highly graded heritage assets. Much of the city is covered by Conservation Area status. The river corridor, green fingers and open spaces, with cows grazing in meadows even at the heart of the city, shape the character of the townscape and landscape.

Although a relatively flat landscape, the elevated positions to the west and south of the Cambridge afford important views across the city skyline, which is one of extensive tree cover and emerging spires. The flatter Fens landscape to the north and east provides very long-distance views of the City and the big east Anglian skies.

The surrounding rural hinterland of South Cambridgeshire comprises over 100 villages, each with their own unique character and heritage. New settlements are an important feature of the district, with their own special identity and are growing rapidly.

We recognise the area faces intense pressure for growth, driven by both the economic success and the attractiveness of the area, in large part a consequence of

its rich architectural and cultural heritage. This growth must be carefully managed to ensure that the very things that contribute to its success are not harmed in the process.

It is for this reason that Historic England is keen to ensure that the emerging plan gives full consideration to the historic environment, both in the choice of site allocations and policy criteria for sites, as well as through a robust and clear suite of historic environment and other policies that seek to both protect but also enhance the historic environment.

We have reviewed the Draft Plan and consultation material with a view to providing advice on heritage matters.

As a general comment, Historic England welcomes emerging plan and work undertaken to date. We have however identified below some of the key issues to be addressed in progressing the next iteration of the Plan: This should be read in conjunction with Appendix A which provides more detailed comments on these and other more minor issues.

a) Site Assessment and the need for Heritage Impact Assessments

We are pleased to note that a degree of site assessment has already been undertaken in relation to the historic environment. These are set out in the HELAA Report, especially Appendix 4.

To date, the assessment of sites is fairly high level and brief but provides a useful starting point, in particular helping to identify immediate showstoppers. We note that many of the sites are shown as amber.

As we have discussed previously, the need for further assessment of heritage in terms of significance, impact on that significance, potential mitigation and enhancements etc will be needed for the site allocations. There is currently an insufficient evidence base in this regard. We therefore welcome your commitment to undertake Heritage Impact Assessments for site allocations. These should be prepared prior to the next draft of the Local Plan.

This further assessment, known as Heritage Impact Assessment (HIA) should follow the 5 step methodology set out in out in our advice note, HEAN 3 on Site Allocations in Local Plans https://historicengland.org.uk/images- books/publications/historic-environment-and-site-allocations-in-local-plans/.

HIAs should be proportionate (both to the scale of the site and the assets affected). All potential sites will need to be appraised against potential historic environment

impacts. It is imperative to have this robust evidence base in place to ensure the soundness of the Plan. We recommend that the appraisal approach should avoid merely limiting assessment of impact on a heritage asset to its distance from, or inter-visibility with, a potential site.

Site allocations which include a heritage asset (for example a site within a Conservation Area) may offer opportunities for enhancement and tackling heritage at risk, while conversely, an allocation at a considerable distance away from a heritage asset may cause harm to its significance, rendering the site unsuitable.

Impacts on significance are not just based on distance or visual impacts, and assessment requires a careful judgment based on site visits and the available evidence base. Cumulative effects of site options on the historic environment should be considered too.

The following broad steps might be of assistance in terms of assessing sites:

• Identify the heritage assets on or within the vicinity of the potential site allocation at an appropriate scale
• Assess the contribution of the site to the significance of heritage assets on or within its vicinity
• Identify the potential impacts of development upon the significance of heritage asset
• Consider how any harm might be removed or reduced, including reasonable alternatives sites
• Consider how any enhancements could be achieved and maximised
• Consider and set out the public benefits where harm cannot be removed or reduced

The HIAs should assess the suitability of each area for development and the impact on the historic environment. Should the HIA conclude that development in the area could be acceptable and the site be allocated, the findings of the HIA should inform the Local Plan policy including development criteria and a strategy diagram which expresses the development criteria in diagrammatic form.

Which sites require HIA?

Ideally all sites should have an HIA, albeit proportionate to the site and heritage sensitivities.

For existing allocations being carried forward into this Local Plan, the HIA is less about the principle of development (that has already been established through previous plan allocation) and more about exploring capacity, height, density and any heritage mitigation and enhancement opportunities so that these can then be

included in the updated policy wording.

For new allocations, the HIA will be a more holistic view and consider both the principle of development as well as the other matters identified above.

b) Policy Wording for sites

If, having completed the heritage impact assessments, it is concluded that a site is suitable for allocation, we would remind you to include appropriate policy criteria for the historic environment in the policy. Please refer to the advice we give on policy wording in the attached table.

It can be helpful to refer to an HIA in the policy wording. Concept diagrams can also be useful to include in the plan to illustrate key site considerations/ recommendations.

c) Edge of Cambridge sites

The Plan proposes carrying forward a number of partially built out allocations on the edge of the City as well as some minor extensions to these. The Plan also proposes revisiting the dwelling capacity/density for some of these sites e.g. Eddington.

Proposals for North East Cambridge are very high density and also quite tall.

The Plan also includes a very large new allocation at East Cambridge (previously released from the Green Belt and allocated in the 2006 Plan, although not in the 2018 Plan). The number of dwellings now being proposed represents a significant increase in density from the 2006 Plan.

We have some concerns regarding these densities and heights on edge of Cambridge sites. Development at very high densities/heights and the potential impact on the overall setting of this historic city. HIAs should give careful consideration to the issue of development and site capacity and height – we will be looking for evidence in this regard.

d) Historic Environment Policy

We welcome your intention to include a policy for the Historic Environment. This should cover both designated and non-designated heritage assets. Policy wording should be in line with the NPPF but we are also looking for a local flavour.

Policies should be spatially specific, unique to the area, describing the local characteristics of the area and responding accordingly with policies that address the local situation.

You should also include a policy for Heritage at Risk and a policy for historic shopfronts. For further detail see Appendix A.

e) Design Policy

We welcome the proposals for a design policy on the plan. We note that this policy is also intended to address tall buildings. We are concerned that the policy might become overly long and detailed, given it is covering such a wide and important range of issues and wonder whether separating out tall buildings into a separate policy might be helpful?

f) Tall Buildings Study and Policy

Related to the above, given the growth pressures that we would anticipate Cambridge is likely to experience over the coming years, we are pleased to see that the matter of Tall buildings and the skyline will be addressed in policy.

We had understood that you were commissioning a study in relation to tall buildings and the skyline policy. Is this still proposed to inform the policy in the next draft of the Local Plan?

See our advice note HEAN 4 and the consultation draft of HEAN 4. Any policy should indicate what considerations are needed for taller buildings, where buildings may or may not be appropriate etc. and in particular consider in the impact on the historic environment.

We broadly welcome policy 60 and Appendix F of the 2018 Cambridge City Local Plan. However, we consider that this could be further supplemented to indicate which areas may or may not be suited to taller buildings. Our advice note in relation to tall buildings provides further guidance in this respect

We have been having discussions with the team preparing The North East Area Action Plan in relation to tall buildings studies and have provided a detailed advice letter in that regard. Please refer to our advice letters in relation to NEA Action Plan and tall buildings for further information on our position.

g) Other Supporting Evidence

We welcome the preparation of the HELAA although consider that further, more detailed evidence is needed in relation to heritage impact and so welcome your intention to prepare HIAs for site allocations.

We broadly welcome the Strategic Heritage Impact Assessment including the baseline study of the setting of Cambridge. However, we have expressed some concerns regarding some aspects of this baseline, in particular the weighting given to some of the key characteristics and aspects of setting of Cambridge including views. Further detail is given in Appendix A.

We welcome the evidence in relation to landscape character assessment. We do however continue to suggest that it would also be helpful to commission Historic Landscape Characterisation work for inform this Plan and future growth in the area.

We welcome the production of the Sustainability Appraisal. We would comment however that since many of the site allocations are grouping together under particular policies, the different impacts for individual sites are not always drawn out in the assessment tables – this sometimes has the effect of neutralising the scoring.

Historic England – Ox Cam research work

Historic England has commissioned consultants to undertake some work looking at development in the OxCam Arc. ‘Measuring Impact: Managing Change’ looks at the question, ‘How should the form of growth in the Oxford-Cambridge arc positively respond to the Historic Environment’. This research is due to report in the next few months and we hope to be able to share this with you at that time as it may provide useful evidence to inform your Local Plan work.

Other comments

In preparation of the forthcoming Greater Cambridge Local Plan, we encourage you to draw on the knowledge of local conservation officers, archaeologists and local heritage groups.

Please note that absence of a comment on an allocation or document in this letter does not mean that Historic England is content that the allocation or document forms part of a positive strategy for the conservation and enjoyment of the historic environment or is devoid of historic environment issues. Where there are various options proposed for a settlement, identification of heritage issues for a particular

allocation does not automatically correspond to the support for inclusion of the alternative sites, given we have not been able to assess all of the sites.

Finally, we should like to stress that this opinion is based on the information provided by the Council in its consultation. To avoid any doubt, this does not affect our obligation to provide further advice and, potentially, object to specific proposals, which may subsequently arise where we consider that these would have an adverse effect upon the historic environment.

We trust that these comments are helpful to you in developing the Local Plan. Should you have any queries, please do not hesitate to contact us.

We suggest it might be helpful to set up a meeting to discuss our comments and, in particular, heritage impact assessments and policy wording for site allocations.
Please feel free to suggest some dates.

Attachments:

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 59666

Received: 13/12/2021

Respondent: Historic England

Representation Summary:

S/RRP/E/5 Fen Drayton Former Land Settlement Association Estate

The Fen Drayton Conservation area and associated listed buildings lies to the east of the site. Any development of the site has the potential to impact these designated heritage assets and their settings. Therefore, we recommend you prepare an HIA. The recommendations of the HIA should then be used to inform the policy wording. Reference should be made in the policy and supporting text to these heritage assets and the need to conserve/sustain or where appropriate enhance the significance of heritage assets (noting that significance may be harmed by development within the setting of an asset). Any required mitigation should be included within the policy wording.

Full text:

Thank you for consulting Historic England on the First Proposals Public Consultation for the Greater Cambridge Local Plan. As the Government’s adviser on the historic environment Historic England is keen to ensure that the protection of the historic environment is fully considered at all stages and levels of the local planning process.

Cambridge is a beautiful, compact and historic city. It is also an historic seat of learning with a very high concentration of highly graded heritage assets. Much of the city is covered by Conservation Area status. The river corridor, green fingers and open spaces, with cows grazing in meadows even at the heart of the city, shape the character of the townscape and landscape.

Although a relatively flat landscape, the elevated positions to the west and south of the Cambridge afford important views across the city skyline, which is one of extensive tree cover and emerging spires. The flatter Fens landscape to the north and east provides very long-distance views of the City and the big east Anglian skies.

The surrounding rural hinterland of South Cambridgeshire comprises over 100 villages, each with their own unique character and heritage. New settlements are an important feature of the district, with their own special identity and are growing rapidly.

We recognise the area faces intense pressure for growth, driven by both the economic success and the attractiveness of the area, in large part a consequence of

its rich architectural and cultural heritage. This growth must be carefully managed to ensure that the very things that contribute to its success are not harmed in the process.

It is for this reason that Historic England is keen to ensure that the emerging plan gives full consideration to the historic environment, both in the choice of site allocations and policy criteria for sites, as well as through a robust and clear suite of historic environment and other policies that seek to both protect but also enhance the historic environment.

We have reviewed the Draft Plan and consultation material with a view to providing advice on heritage matters.

As a general comment, Historic England welcomes emerging plan and work undertaken to date. We have however identified below some of the key issues to be addressed in progressing the next iteration of the Plan: This should be read in conjunction with Appendix A which provides more detailed comments on these and other more minor issues.

a) Site Assessment and the need for Heritage Impact Assessments

We are pleased to note that a degree of site assessment has already been undertaken in relation to the historic environment. These are set out in the HELAA Report, especially Appendix 4.

To date, the assessment of sites is fairly high level and brief but provides a useful starting point, in particular helping to identify immediate showstoppers. We note that many of the sites are shown as amber.

As we have discussed previously, the need for further assessment of heritage in terms of significance, impact on that significance, potential mitigation and enhancements etc will be needed for the site allocations. There is currently an insufficient evidence base in this regard. We therefore welcome your commitment to undertake Heritage Impact Assessments for site allocations. These should be prepared prior to the next draft of the Local Plan.

This further assessment, known as Heritage Impact Assessment (HIA) should follow the 5 step methodology set out in out in our advice note, HEAN 3 on Site Allocations in Local Plans https://historicengland.org.uk/images- books/publications/historic-environment-and-site-allocations-in-local-plans/.

HIAs should be proportionate (both to the scale of the site and the assets affected). All potential sites will need to be appraised against potential historic environment

impacts. It is imperative to have this robust evidence base in place to ensure the soundness of the Plan. We recommend that the appraisal approach should avoid merely limiting assessment of impact on a heritage asset to its distance from, or inter-visibility with, a potential site.

Site allocations which include a heritage asset (for example a site within a Conservation Area) may offer opportunities for enhancement and tackling heritage at risk, while conversely, an allocation at a considerable distance away from a heritage asset may cause harm to its significance, rendering the site unsuitable.

Impacts on significance are not just based on distance or visual impacts, and assessment requires a careful judgment based on site visits and the available evidence base. Cumulative effects of site options on the historic environment should be considered too.

The following broad steps might be of assistance in terms of assessing sites:

• Identify the heritage assets on or within the vicinity of the potential site allocation at an appropriate scale
• Assess the contribution of the site to the significance of heritage assets on or within its vicinity
• Identify the potential impacts of development upon the significance of heritage asset
• Consider how any harm might be removed or reduced, including reasonable alternatives sites
• Consider how any enhancements could be achieved and maximised
• Consider and set out the public benefits where harm cannot be removed or reduced

The HIAs should assess the suitability of each area for development and the impact on the historic environment. Should the HIA conclude that development in the area could be acceptable and the site be allocated, the findings of the HIA should inform the Local Plan policy including development criteria and a strategy diagram which expresses the development criteria in diagrammatic form.

Which sites require HIA?

Ideally all sites should have an HIA, albeit proportionate to the site and heritage sensitivities.

For existing allocations being carried forward into this Local Plan, the HIA is less about the principle of development (that has already been established through previous plan allocation) and more about exploring capacity, height, density and any heritage mitigation and enhancement opportunities so that these can then be

included in the updated policy wording.

For new allocations, the HIA will be a more holistic view and consider both the principle of development as well as the other matters identified above.

b) Policy Wording for sites

If, having completed the heritage impact assessments, it is concluded that a site is suitable for allocation, we would remind you to include appropriate policy criteria for the historic environment in the policy. Please refer to the advice we give on policy wording in the attached table.

It can be helpful to refer to an HIA in the policy wording. Concept diagrams can also be useful to include in the plan to illustrate key site considerations/ recommendations.

c) Edge of Cambridge sites

The Plan proposes carrying forward a number of partially built out allocations on the edge of the City as well as some minor extensions to these. The Plan also proposes revisiting the dwelling capacity/density for some of these sites e.g. Eddington.

Proposals for North East Cambridge are very high density and also quite tall.

The Plan also includes a very large new allocation at East Cambridge (previously released from the Green Belt and allocated in the 2006 Plan, although not in the 2018 Plan). The number of dwellings now being proposed represents a significant increase in density from the 2006 Plan.

We have some concerns regarding these densities and heights on edge of Cambridge sites. Development at very high densities/heights and the potential impact on the overall setting of this historic city. HIAs should give careful consideration to the issue of development and site capacity and height – we will be looking for evidence in this regard.

d) Historic Environment Policy

We welcome your intention to include a policy for the Historic Environment. This should cover both designated and non-designated heritage assets. Policy wording should be in line with the NPPF but we are also looking for a local flavour.

Policies should be spatially specific, unique to the area, describing the local characteristics of the area and responding accordingly with policies that address the local situation.

You should also include a policy for Heritage at Risk and a policy for historic shopfronts. For further detail see Appendix A.

e) Design Policy

We welcome the proposals for a design policy on the plan. We note that this policy is also intended to address tall buildings. We are concerned that the policy might become overly long and detailed, given it is covering such a wide and important range of issues and wonder whether separating out tall buildings into a separate policy might be helpful?

f) Tall Buildings Study and Policy

Related to the above, given the growth pressures that we would anticipate Cambridge is likely to experience over the coming years, we are pleased to see that the matter of Tall buildings and the skyline will be addressed in policy.

We had understood that you were commissioning a study in relation to tall buildings and the skyline policy. Is this still proposed to inform the policy in the next draft of the Local Plan?

See our advice note HEAN 4 and the consultation draft of HEAN 4. Any policy should indicate what considerations are needed for taller buildings, where buildings may or may not be appropriate etc. and in particular consider in the impact on the historic environment.

We broadly welcome policy 60 and Appendix F of the 2018 Cambridge City Local Plan. However, we consider that this could be further supplemented to indicate which areas may or may not be suited to taller buildings. Our advice note in relation to tall buildings provides further guidance in this respect

We have been having discussions with the team preparing The North East Area Action Plan in relation to tall buildings studies and have provided a detailed advice letter in that regard. Please refer to our advice letters in relation to NEA Action Plan and tall buildings for further information on our position.

g) Other Supporting Evidence

We welcome the preparation of the HELAA although consider that further, more detailed evidence is needed in relation to heritage impact and so welcome your intention to prepare HIAs for site allocations.

We broadly welcome the Strategic Heritage Impact Assessment including the baseline study of the setting of Cambridge. However, we have expressed some concerns regarding some aspects of this baseline, in particular the weighting given to some of the key characteristics and aspects of setting of Cambridge including views. Further detail is given in Appendix A.

We welcome the evidence in relation to landscape character assessment. We do however continue to suggest that it would also be helpful to commission Historic Landscape Characterisation work for inform this Plan and future growth in the area.

We welcome the production of the Sustainability Appraisal. We would comment however that since many of the site allocations are grouping together under particular policies, the different impacts for individual sites are not always drawn out in the assessment tables – this sometimes has the effect of neutralising the scoring.

Historic England – Ox Cam research work

Historic England has commissioned consultants to undertake some work looking at development in the OxCam Arc. ‘Measuring Impact: Managing Change’ looks at the question, ‘How should the form of growth in the Oxford-Cambridge arc positively respond to the Historic Environment’. This research is due to report in the next few months and we hope to be able to share this with you at that time as it may provide useful evidence to inform your Local Plan work.

Other comments

In preparation of the forthcoming Greater Cambridge Local Plan, we encourage you to draw on the knowledge of local conservation officers, archaeologists and local heritage groups.

Please note that absence of a comment on an allocation or document in this letter does not mean that Historic England is content that the allocation or document forms part of a positive strategy for the conservation and enjoyment of the historic environment or is devoid of historic environment issues. Where there are various options proposed for a settlement, identification of heritage issues for a particular

allocation does not automatically correspond to the support for inclusion of the alternative sites, given we have not been able to assess all of the sites.

Finally, we should like to stress that this opinion is based on the information provided by the Council in its consultation. To avoid any doubt, this does not affect our obligation to provide further advice and, potentially, object to specific proposals, which may subsequently arise where we consider that these would have an adverse effect upon the historic environment.

We trust that these comments are helpful to you in developing the Local Plan. Should you have any queries, please do not hesitate to contact us.

We suggest it might be helpful to set up a meeting to discuss our comments and, in particular, heritage impact assessments and policy wording for site allocations.
Please feel free to suggest some dates.

Attachments:

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 59667

Received: 13/12/2021

Respondent: Historic England

Representation Summary:

S/RRP/E/8 Mixed Use Development in Histon and Impington Station Area

There are no designated heritage assets within the site boundary but the Histon and Impington Conservation Area ad associated listed buildings lies to the north of the site. Any development of the site has the potential to impact these designated heritage assets and their settings. Therefore, we recommend you prepare an HIA. The recommendations of the HIA should then be used to inform the policy wording. Reference should be made in the policy and supporting text to these heritage assets and the need to conserve/sustain or where appropriate enhance the significance of heritage assets (noting that significance may be harmed by development within the setting of an asset). Any required mitigation should be included within the policy wording.

Full text:

Thank you for consulting Historic England on the First Proposals Public Consultation for the Greater Cambridge Local Plan. As the Government’s adviser on the historic environment Historic England is keen to ensure that the protection of the historic environment is fully considered at all stages and levels of the local planning process.

Cambridge is a beautiful, compact and historic city. It is also an historic seat of learning with a very high concentration of highly graded heritage assets. Much of the city is covered by Conservation Area status. The river corridor, green fingers and open spaces, with cows grazing in meadows even at the heart of the city, shape the character of the townscape and landscape.

Although a relatively flat landscape, the elevated positions to the west and south of the Cambridge afford important views across the city skyline, which is one of extensive tree cover and emerging spires. The flatter Fens landscape to the north and east provides very long-distance views of the City and the big east Anglian skies.

The surrounding rural hinterland of South Cambridgeshire comprises over 100 villages, each with their own unique character and heritage. New settlements are an important feature of the district, with their own special identity and are growing rapidly.

We recognise the area faces intense pressure for growth, driven by both the economic success and the attractiveness of the area, in large part a consequence of

its rich architectural and cultural heritage. This growth must be carefully managed to ensure that the very things that contribute to its success are not harmed in the process.

It is for this reason that Historic England is keen to ensure that the emerging plan gives full consideration to the historic environment, both in the choice of site allocations and policy criteria for sites, as well as through a robust and clear suite of historic environment and other policies that seek to both protect but also enhance the historic environment.

We have reviewed the Draft Plan and consultation material with a view to providing advice on heritage matters.

As a general comment, Historic England welcomes emerging plan and work undertaken to date. We have however identified below some of the key issues to be addressed in progressing the next iteration of the Plan: This should be read in conjunction with Appendix A which provides more detailed comments on these and other more minor issues.

a) Site Assessment and the need for Heritage Impact Assessments

We are pleased to note that a degree of site assessment has already been undertaken in relation to the historic environment. These are set out in the HELAA Report, especially Appendix 4.

To date, the assessment of sites is fairly high level and brief but provides a useful starting point, in particular helping to identify immediate showstoppers. We note that many of the sites are shown as amber.

As we have discussed previously, the need for further assessment of heritage in terms of significance, impact on that significance, potential mitigation and enhancements etc will be needed for the site allocations. There is currently an insufficient evidence base in this regard. We therefore welcome your commitment to undertake Heritage Impact Assessments for site allocations. These should be prepared prior to the next draft of the Local Plan.

This further assessment, known as Heritage Impact Assessment (HIA) should follow the 5 step methodology set out in out in our advice note, HEAN 3 on Site Allocations in Local Plans https://historicengland.org.uk/images- books/publications/historic-environment-and-site-allocations-in-local-plans/.

HIAs should be proportionate (both to the scale of the site and the assets affected). All potential sites will need to be appraised against potential historic environment

impacts. It is imperative to have this robust evidence base in place to ensure the soundness of the Plan. We recommend that the appraisal approach should avoid merely limiting assessment of impact on a heritage asset to its distance from, or inter-visibility with, a potential site.

Site allocations which include a heritage asset (for example a site within a Conservation Area) may offer opportunities for enhancement and tackling heritage at risk, while conversely, an allocation at a considerable distance away from a heritage asset may cause harm to its significance, rendering the site unsuitable.

Impacts on significance are not just based on distance or visual impacts, and assessment requires a careful judgment based on site visits and the available evidence base. Cumulative effects of site options on the historic environment should be considered too.

The following broad steps might be of assistance in terms of assessing sites:

• Identify the heritage assets on or within the vicinity of the potential site allocation at an appropriate scale
• Assess the contribution of the site to the significance of heritage assets on or within its vicinity
• Identify the potential impacts of development upon the significance of heritage asset
• Consider how any harm might be removed or reduced, including reasonable alternatives sites
• Consider how any enhancements could be achieved and maximised
• Consider and set out the public benefits where harm cannot be removed or reduced

The HIAs should assess the suitability of each area for development and the impact on the historic environment. Should the HIA conclude that development in the area could be acceptable and the site be allocated, the findings of the HIA should inform the Local Plan policy including development criteria and a strategy diagram which expresses the development criteria in diagrammatic form.

Which sites require HIA?

Ideally all sites should have an HIA, albeit proportionate to the site and heritage sensitivities.

For existing allocations being carried forward into this Local Plan, the HIA is less about the principle of development (that has already been established through previous plan allocation) and more about exploring capacity, height, density and any heritage mitigation and enhancement opportunities so that these can then be

included in the updated policy wording.

For new allocations, the HIA will be a more holistic view and consider both the principle of development as well as the other matters identified above.

b) Policy Wording for sites

If, having completed the heritage impact assessments, it is concluded that a site is suitable for allocation, we would remind you to include appropriate policy criteria for the historic environment in the policy. Please refer to the advice we give on policy wording in the attached table.

It can be helpful to refer to an HIA in the policy wording. Concept diagrams can also be useful to include in the plan to illustrate key site considerations/ recommendations.

c) Edge of Cambridge sites

The Plan proposes carrying forward a number of partially built out allocations on the edge of the City as well as some minor extensions to these. The Plan also proposes revisiting the dwelling capacity/density for some of these sites e.g. Eddington.

Proposals for North East Cambridge are very high density and also quite tall.

The Plan also includes a very large new allocation at East Cambridge (previously released from the Green Belt and allocated in the 2006 Plan, although not in the 2018 Plan). The number of dwellings now being proposed represents a significant increase in density from the 2006 Plan.

We have some concerns regarding these densities and heights on edge of Cambridge sites. Development at very high densities/heights and the potential impact on the overall setting of this historic city. HIAs should give careful consideration to the issue of development and site capacity and height – we will be looking for evidence in this regard.

d) Historic Environment Policy

We welcome your intention to include a policy for the Historic Environment. This should cover both designated and non-designated heritage assets. Policy wording should be in line with the NPPF but we are also looking for a local flavour.

Policies should be spatially specific, unique to the area, describing the local characteristics of the area and responding accordingly with policies that address the local situation.

You should also include a policy for Heritage at Risk and a policy for historic shopfronts. For further detail see Appendix A.

e) Design Policy

We welcome the proposals for a design policy on the plan. We note that this policy is also intended to address tall buildings. We are concerned that the policy might become overly long and detailed, given it is covering such a wide and important range of issues and wonder whether separating out tall buildings into a separate policy might be helpful?

f) Tall Buildings Study and Policy

Related to the above, given the growth pressures that we would anticipate Cambridge is likely to experience over the coming years, we are pleased to see that the matter of Tall buildings and the skyline will be addressed in policy.

We had understood that you were commissioning a study in relation to tall buildings and the skyline policy. Is this still proposed to inform the policy in the next draft of the Local Plan?

See our advice note HEAN 4 and the consultation draft of HEAN 4. Any policy should indicate what considerations are needed for taller buildings, where buildings may or may not be appropriate etc. and in particular consider in the impact on the historic environment.

We broadly welcome policy 60 and Appendix F of the 2018 Cambridge City Local Plan. However, we consider that this could be further supplemented to indicate which areas may or may not be suited to taller buildings. Our advice note in relation to tall buildings provides further guidance in this respect

We have been having discussions with the team preparing The North East Area Action Plan in relation to tall buildings studies and have provided a detailed advice letter in that regard. Please refer to our advice letters in relation to NEA Action Plan and tall buildings for further information on our position.

g) Other Supporting Evidence

We welcome the preparation of the HELAA although consider that further, more detailed evidence is needed in relation to heritage impact and so welcome your intention to prepare HIAs for site allocations.

We broadly welcome the Strategic Heritage Impact Assessment including the baseline study of the setting of Cambridge. However, we have expressed some concerns regarding some aspects of this baseline, in particular the weighting given to some of the key characteristics and aspects of setting of Cambridge including views. Further detail is given in Appendix A.

We welcome the evidence in relation to landscape character assessment. We do however continue to suggest that it would also be helpful to commission Historic Landscape Characterisation work for inform this Plan and future growth in the area.

We welcome the production of the Sustainability Appraisal. We would comment however that since many of the site allocations are grouping together under particular policies, the different impacts for individual sites are not always drawn out in the assessment tables – this sometimes has the effect of neutralising the scoring.

Historic England – Ox Cam research work

Historic England has commissioned consultants to undertake some work looking at development in the OxCam Arc. ‘Measuring Impact: Managing Change’ looks at the question, ‘How should the form of growth in the Oxford-Cambridge arc positively respond to the Historic Environment’. This research is due to report in the next few months and we hope to be able to share this with you at that time as it may provide useful evidence to inform your Local Plan work.

Other comments

In preparation of the forthcoming Greater Cambridge Local Plan, we encourage you to draw on the knowledge of local conservation officers, archaeologists and local heritage groups.

Please note that absence of a comment on an allocation or document in this letter does not mean that Historic England is content that the allocation or document forms part of a positive strategy for the conservation and enjoyment of the historic environment or is devoid of historic environment issues. Where there are various options proposed for a settlement, identification of heritage issues for a particular

allocation does not automatically correspond to the support for inclusion of the alternative sites, given we have not been able to assess all of the sites.

Finally, we should like to stress that this opinion is based on the information provided by the Council in its consultation. To avoid any doubt, this does not affect our obligation to provide further advice and, potentially, object to specific proposals, which may subsequently arise where we consider that these would have an adverse effect upon the historic environment.

We trust that these comments are helpful to you in developing the Local Plan. Should you have any queries, please do not hesitate to contact us.

We suggest it might be helpful to set up a meeting to discuss our comments and, in particular, heritage impact assessments and policy wording for site allocations.
Please feel free to suggest some dates.

Attachments:

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 59909

Received: 13/12/2021

Respondent: Fen Ditton Parish Council

Representation Summary:

HIGHLY SUPPORTIVE of the exclusion of any sites for development the green belt or village envelope and conservation areas in Fen Ditton parish. The Plan accords with Parish policies on development especially in Green Belt – specifically extant green lungs/corridors including Ditton Meadows, in backland areas and in the adopted Conservation Plan.

Full text:

HIGHLY SUPPORTIVE of the exclusion of any sites for development the green belt or village envelope and conservation areas in Fen Ditton parish. The Plan accords with Parish policies on development especially in Green Belt – specifically extant green lungs/corridors including Ditton Meadows, in backland areas and in the adopted Conservation Plan.

Comment

Greater Cambridge Local Plan Preferred Options

Representation ID: 60620

Received: 13/12/2021

Respondent: Endurance Estates - Orwell site

Agent: Strutt & Parker

Representation Summary:

Land Rear of Fisher’s Lane, Orwell (HELAA site 40496)

GCSPS wants rural villages to thrive and sustain their local services. However, this has not been reflected within policy S/RRA or Policy S/RRP, which proposes a very limited number of allocations. The vast majority villages have had no growth allocated to them at all, which will not assist in thriving or sustaining rural services, nor meet local housing need.
We consider that the strategy needs to be revised, to include appropriate distribution of growth in the villages. The proposed strategy for growth is considered to be over reliant on a few large sites, with which there are associated risks in relation to delivery.
It is worth noting that the St Albans Local Plan was withdrawn following a number of serious concerns raised by the Inspectors which included an overreliance on a small number of large strategic allocations. The findings of the Inspector in the examination of the Uttlesford Local Plan were very similar and also resulted in the local plan being withdrawn.
It is unclear why the GCSPS appear to be adopting a similar approach. It is considered that it would be more sustainable to distribute a wider range of housing growth/allocations across the Greater Cambridge area.

Full text:

The supporting text for policies S/RRA and S/RRP states that the GCSPS wants rural villages to thrive and sustain their local services. However, this unfortunately has not been reflected within policy S/RRA or Policy S/RRP, which proposes a very limited number of allocations. In addition, the vast majority villages have had no growth allocated to them at all, which will not assist in thriving or sustaining rural services, nor meet local housing need.
For reasons outlined above within section 3 we consider that the strategy needs to be revised, to include appropriate distribution of growth in the villages. In particular, this additional growth should be focused on sustainable villages, such as Orwell, which benefit from a range of services and are located outside of the Cambridge Green Belt.
The proposed strategy for growth is considered to be over reliant on a few large sites, with which there are associated risks in relation to delivery. The larger sites are particularly complicated in of the infrastructure requirements, associated with the early stages of delivery. As required by the NPPF 2021, a more balanced approach is urged, which spreads growth more evenly, reducing risk, providing choice and competition for market land, and providing more homes where they are needed.
It is worth noting that recently the St Albans Local Plan was withdrawn in November 2020 following a number of serious concerns raised by the Inspectors which included an overreliance on a small number of large strategic allocations (500 dwellings or more, or over 14 ha) at the expense of smaller scale subareas. The Inspectors noted that such sites, provide choice and flexibility in the housing market and secure affordable housing more immediately as advocated in national planning policy. The findings of the Inspector in 2020, in respect of the examination of the Uttlesford Local Plan were very similar and also resulted in the local plan being withdrawn.
Accounting for the recent decisions on the St Albans and Uttlesford Local Plans, it is unclear why the GCSPS appear to be adopting a similar approach. The current GCSPS housing growth strategy is reliant on a handful of very large allocations to deliver the proposed proportion of the growth in predominantly urban areas. It is considered that it would be more sustainable to distribute a wider range of housing growth/allocations across the Greater Cambridge area, as this will provide sustainable benefits for the existing settlements and communities in terms of existing businesses, facilities, and give people greater choice over where to live. National planning policies recognises that rural communities need to be able to grow and thrive to avoid decline. The inclusion of smaller sites will also aid delivery and more competition in the housing market.
It is important that a range of housing, jobs and facilities are provided within villages as part of new allocations to allow them to thrive and remain vibrant. Endurance Estates are responsible for the promotion of Land Rear of Fisher’s Lane, Orwell and have a track record of promoting high quality housing developments and setting clear parameters for future housebuilders. Endurance Estates are fully committed, to engagement with the Greater Cambridge Shared Planning Service and Orwell Parish Council regarding the mix and type of housing to be delivered on Land Rear of Fisher’s Lane, Orwell. The proposals also include the provision for the delivery of an area of public open space.