Draft Black Country Plan

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Object

Draft Black Country Plan

Policy ENV4 – Provision, retention and protection of trees, woodlands and hedgerows

Representation ID: 19414

Received: 11/10/2021

Respondent: L&Q Estates

Agent: Pegasus Group

Representation Summary:

Paragraph 10.10 - Objection identifies that the size and number of replacement trees required to be commensurate with the size, stature, rarity and amenity of the tree to be removed is not practical. Criterion 18 is unreasonable and unjustified.

Comment

Draft Black Country Plan

Policy ENV4 – Provision, retention and protection of trees, woodlands and hedgerows

Representation ID: 19415

Received: 11/10/2021

Respondent: L&Q Estates

Agent: Pegasus Group

Representation Summary:

Paragraph 10.11 - Both criterion 22 and 23 may not be enforceable and trees may be difficult to resource during the planting season.

Support

Draft Black Country Plan

Policy ENV4 – Provision, retention and protection of trees, woodlands and hedgerows

Representation ID: 20676

Received: 11/10/2021

Respondent: L&Q Estates

Agent: Pegasus Group

Representation Summary:

Paragraph 10.12 - The principle of protecting hedges is supported.

Object

Draft Black Country Plan

Policy ENV4 – Provision, retention and protection of trees, woodlands and hedgerows

Representation ID: 20677

Received: 11/10/2021

Respondent: L&Q Estates

Agent: Pegasus Group

Representation Summary:

Paragraph 10.12 - Criterion 24 should be amended because "it is inevitable that some hedgerows will need
to be removed to facilitate other requirements such as access, circulation routes, drainages etc" " to reflect that there are occasions where hedgerows can legitimately be removed to secure other planning objectives."

Object

Draft Black Country Plan

Policy ENV4 – Provision, retention and protection of trees, woodlands and hedgerows

Representation ID: 20822

Received: 11/10/2021

Respondent: L&Q Estates

Agent: Pegasus Group

Representation Summary:

Paragraph 10.12 - Criterion 27 seeks hedgerows as part of site layouts and landscaping schemes however this should be revised as this would not be suitable for all sites, for instance urban/town sites.

Object

Draft Black Country Plan

Policy ENV 5 - Historic Character and Local Distinctiveness of the Black Country

Representation ID: 20823

Received: 11/10/2021

Respondent: L&Q Estates

Agent: Pegasus Group

Representation Summary:

paragraph 10.13 - Policy ENV5 should make a distinction between local character and historic environment.

Comment

Draft Black Country Plan

Policy ENV7 – Canals

Representation ID: 20826

Received: 11/10/2021

Respondent: L&Q Estates

Agent: Pegasus Group

Representation Summary:

Paragraph 10.14 - "It is suggested that rather than referring to 'enhance' and 'promote' the policy should look to 'protect and where possible enhance'. By utilising the term ‘enhance/ promote’ provides the same test as would apply to a Conservation Area."

Comment

Draft Black Country Plan

Policy ENV7 – Canals

Representation ID: 20827

Received: 11/10/2021

Respondent: L&Q Estates

Agent: Pegasus Group

Representation Summary:

Paragraph 10.15 - Criterion 5 "should be amended to make clear that where canals have been entirely removed or where there is no realistic prospect of them being reinstated" protection will not be sought.

Object

Draft Black Country Plan

Policy ENV9 – Design Quality

Representation ID: 20828

Received: 11/10/2021

Respondent: L&Q Estates

Agent: Pegasus Group

Representation Summary:

Paragraph 10.16 to 10.18 - A list of design considerations from ENV9 are challenged on the basis they are outside of planning legislation.

Support

Draft Black Country Plan

Policy CC1 – Increasing efficiency and resilience

Representation ID: 20830

Received: 11/10/2021

Respondent: L&Q Estates

Agent: Pegasus Group

Representation Summary:

Paragraph 10.19 to 10.21 - L&Q Estates support the principles set out in Policy CC1 as being an appropriate
response to climate change.

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