Greater Cambridge Local Plan Preferred Options

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Comment

Greater Cambridge Local Plan Preferred Options

CC/NZ: Net zero carbon new buildings

Representation ID: 59542

Received: 13/12/2021

Respondent: Countryside Properties - Bourn Airfield

Agent: Turley

Representation Summary:

Countryside support the strategic objective of the GCLP to positively address climate change through progressive policies in the plan. We are concerned however that the policies as they stand are unsound as they propose to introduce some of the highest sustainability requirements in the country without a complete evidence base. In order to make this policy sound and facilitate the delivery of much needed high-quality affordable and private housing we recommend the following amendments to Policy CC/ NZ:
• Publication of a complete and full evidence base for stakeholder comments before these draft policies are developed further.
• Adoption of the FHS as the energy efficiency target for new housing and remove the requirement for additional renewable energy deployment.
• Allow flexibility with respect to the use of gas in new developments where gas use is necessary for health/ occupant wellbeing.

Comment

Greater Cambridge Local Plan Preferred Options

CC/NZ: Net zero carbon new buildings

Representation ID: 59544

Received: 13/12/2021

Respondent: Countryside Properties - Bourn Airfield

Agent: Turley

Representation Summary:

For draft Policy CC/NZ, a more detailed review of the full evidence is not possible as only the non-technical summary has been published and therefore Countryside reserve the right to amend our representations once this material has been reviewed.

Comment

Greater Cambridge Local Plan Preferred Options

CC/WE: Water efficiency in new developments

Representation ID: 59546

Received: 13/12/2021

Respondent: Countryside Properties - Bourn Airfield

Agent: Turley

Representation Summary:

Countryside acknowledge that the Greater Cambridge area is under water stress and there is a strong encouragement for all new development to improve water efficiency however we have the following comments:
Both rainwater harvesting and/ or greywater recycling systems introduce significant maintenance requirements (and therefore cost) for homeowners and introduce technology that has not been tested ‘en-masse’. Countryside’s experience of trialling grey water recycling is that it is unreliable and likely to cause maintenance issues for homeowners.
Greater Cambridge is already one of the driest areas in the UK and climate change is predicated to reduce rainfall in Greater Cambridge by 47% therefore it is highly likely that rainwater harvesting will not capture sufficient rain to meet the policy target and will therefore be ineffective.
Countryside believe that the GCLP should implement the Government’s technical standard for water efficiency which is 110 lpppd. This would be viable, deliverable and achievable for all new dwellings within GC. Should technology such as grey water recycling become viable during the lifetime of the plan then this could be considered as a means to improve water efficiency beyond the target of 110 lpppd.

Comment

Greater Cambridge Local Plan Preferred Options

CC/DC: Designing for a changing climate

Representation ID: 59547

Received: 13/12/2021

Respondent: Countryside Properties - Bourn Airfield

Agent: Turley

Representation Summary:

Countryside recognise the fact that all buildings will need to be designed to adapt to a warming climate and that, depending on the building type and location, this may necessitate the use of a range of measures such as shading, thermal mass and different modes of ventilation. In January 2021, the Government confirmed the introduction of the FHS and also consulted on the introduction of a range of new building regulation requirements one of which was the introduction of an overheating testing requirement for residential development. As this requirement is proposed to be introduced with the revised changes to the Building Regulation in 2022, Countryside believes that the policy would be unsound on the basis that it is introducing an unnecessary additional burden on development given that it duplicates the requirement of the building regulations. Countryside believe that Policy CC/ DC should be deleted on the grounds that its objectives will be required via Building Regulations.

Comment

Greater Cambridge Local Plan Preferred Options

CC/CE: Reducing waste and supporting the circular economy

Representation ID: 59549

Received: 13/12/2021

Respondent: Countryside Properties - Bourn Airfield

Agent: Turley

Representation Summary:

Countryside fully support the objectives to reduce waste and, perhaps more importantly, encourage circular economy principles in development. We fully support the requirement to submit a CEMP for our sites as this is something that we already commit to as part of our best practice approach to waste management and environmental protection. Countryside agree that the correct storage and handling of waste and raw materials is a critical step to responsible management of materials and the prevention of pollution. All of our construction sites deploy best practice measures for the prevention of pollution and provide facilities for the separation and recycling of waste. We would ask that the policy recognises that large housebuilders such as Countryside with large and efficient supply chains may use bespoke techniques and practices on site which are not referenced in any guidance but which fully comply with all legislation and best practice. With respect to the submission of a circular economy statement, Countryside are happy to provide such information with an application although we would request that this is proportionate to the size and scale of the development in question.

Comment

Greater Cambridge Local Plan Preferred Options

CC/CS: Supporting land-based carbon sequestration

Representation ID: 59550

Received: 13/12/2021

Respondent: Countryside Properties - Bourn Airfield

Agent: Turley

Representation Summary:

We recognise the importance of peatlands and woodland to carbon sequestration and agree that these should be protected where possible. It is important to note however that with respect to new development, there can often be many carbon sequestration benefits associated with the creation of multi-functional green infrastructure and on-site planting which should be recognised when considering the overall ‘carbon performance’ of new development.
Countryside therefore believe that the draft policy should contain text to support new development if it can be demonstrated that the green infrastructure and woodland it provides will sequester carbon. We believe this should be recognised as one of the many environmental benefits that new development can provide.

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