Question 41c

Showing comments and forms 1 to 5 of 5

Comment

Cambridge Northern Fringe East AAP - Issues and Options

Representation ID: 29528

Received: 23/01/2015

Respondent: Mrs Hazel Smith

Representation Summary:

I see no mention of stormwater retention, balancing ponds to achieve greenfield runoff (or sewage farm runoff) rates etc. This must be addressed.

Full text:

I see no mention of stormwater retention, balancing ponds to achieve greenfield runoff (or sewage farm runoff) rates etc. This must be addressed.

Comment

Cambridge Northern Fringe East AAP - Issues and Options

Representation ID: 29713

Received: 02/02/2015

Respondent: Brookgate

Agent: Bidwells

Representation Summary:

Due to the constant changes in Building Regulations requirements and with regards to sustainability standards targets are unrealistic at such an early stage of policy formation. The relevant Building Regulations standards will be imposed at the point of delivery on the ground.

Full text:

Due to the constant changes in Building Regulations requirements and with regards to sustainability standards targets are unrealistic at such an early stage of policy formation. The relevant Building Regulations standards will be imposed at the point of delivery on the ground.

Comment

Cambridge Northern Fringe East AAP - Issues and Options

Representation ID: 29946

Received: 02/02/2015

Respondent: Cambridgeshire County Council

Representation Summary:

No comment

Full text:

No comment

Comment

Cambridge Northern Fringe East AAP - Issues and Options

Representation ID: 30293

Received: 02/02/2015

Respondent: Turnstone Estates Limited

Agent: Carter Jonas

Representation Summary:

In summary, Turnstone considers that the AAP should simply rely on Local Plan Policies in the emerging Cambridge Local Plan 2014 (proposed submission), as these will have been subjected to independent scrutiny by the Local Plan Inspector. There is no basis that we can see as to why more exacting standards should be applied in the case of development within the CNFE area.

Full text:

In summary, Turnstone considers that the AAP should simply rely on Local Plan Policies in the emerging Cambridge Local Plan 2014 (proposed submission), as these will have been subjected to independent scrutiny by the Local Plan Inspector. There is no basis that we can see as to why more exacting standards should be applied in the case of development within the CNFE area.

Comment

Cambridge Northern Fringe East AAP - Issues and Options

Representation ID: 30408

Received: 04/02/2015

Respondent: Milton Parish Council

Representation Summary:

d. In view of the low-lying nature of this area and the flood map which shows very flood-prone areas just between here and the river, it is essential that SuDS do NOT discharge water into the ground. There are gravels under the wider area which have been extracted in places, and water runs under the railway and out at ground level on Chesterton Fen in places. As much rainwater as possible to be used on-site.
We see no mention of stormwater retention, balancing ponds to achieve greenfield runoff (or sewage farm runoff) rates etc. This must be addressed.

Full text:

See attached document