Black Country Core Strategy Issue and Option Report

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Object

Black Country Core Strategy Issue and Option Report

Question 95a - Do you think Garden City principles should be applied in the Black Country? Yes/No; If yes, how should they be applied?

Representation ID: 387

Received: 07/09/2017

Respondent: Clowes Developments

Agent: Harris Lamb

Representation Summary:

We would not encourage this as a design approach in the Black Country. Garden City proposals were developed expressly for new settlements. The Black Country has a different history and heritage as do the settlements which are geographically and functionally close to the Black Country. We do not consider that the vernacular of the existing urban area and adjoining settlements is appropriate for Garden City principles.

Object

Black Country Core Strategy Issue and Option Report

Question 96 - Do you support the proposed changes relating to nature conservation? Yes/No; If no, do you think that any other changes should be made to Policy ENV1?

Representation ID: 388

Received: 07/09/2017

Respondent: Clowes Developments

Agent: Harris Lamb

Representation Summary:

It should be noted that the inclusion of new natural green space and new development will have implications for net developable areas and consequently, the amount of land which will need to be identified for development. It will also impact upon the viability of schemes and these factors need to be taken into account when assessing overall development requirements.

Object

Black Country Core Strategy Issue and Option Report

Question 98 - Do you support the proposed changes relating to Design Quality? Yes/No; If you think that any other changes should be made to Policy ENV3 please provide details.

Representation ID: 389

Received: 07/09/2017

Respondent: Clowes Developments

Agent: Harris Lamb

Representation Summary:

The introduction of National Space standard does have implications for viability since it introduces a significant additional cost to new house building without any necessary uplift in values. It can, therefore, have a significant impact upon the delivery of schemes.

Object

Black Country Core Strategy Issue and Option Report

Question 99c - Do you think that national space standards for housing development should be introduced in the Black Country? Yes/No; If yes, please specify what level and percentage would be appropria

Representation ID: 390

Received: 07/09/2017

Respondent: Clowes Developments

Agent: Harris Lamb

Representation Summary:

In the context of our response to Question 98, we do not agree that National Space standards should be introduced.

Object

Black Country Core Strategy Issue and Option Report

Question 99d - Do you think that the standards should be different for brownfield and greenfield sites? Yes/No; If yes, please explain how and why

Representation ID: 391

Received: 07/09/2017

Respondent: Clowes Developments

Agent: Harris Lamb

Representation Summary:

Given that greenfield sites have their own viability concerns, we would not agree that the standards should vary between brownfield and greenfield sites. In any event we do not support the introduction of National Space standards.

Object

Black Country Core Strategy Issue and Option Report

Question 101a - Do you support the proposed changes relating to Flood Risk, Sustainable Drainage and Urban Heat Island effects? Yes/No; Further comments?

Representation ID: 392

Received: 07/09/2017

Respondent: Clowes Developments

Agent: Harris Lamb

Representation Summary:

Whilst we appreciate the need to have regard to new standards regarding SuDS provision, the implications upon site layout and viability do need to be considered. A flexible approach will be required from the Local Authorities when assessing individual schemes. In particular, a joined up approach is needed by strategy undertakers to ensure that SuDS areas will be adopted if they are part of wider open space areas.

Object

Black Country Core Strategy Issue and Option Report

Question 103a - Do you think that Policy ENV7 should be changed to allow increased energy efficiency standards to be accepted in lieu of renewable energy provision for non-domestic buildings? Yes/No;

Representation ID: 393

Received: 07/09/2017

Respondent: Clowes Developments

Agent: Harris Lamb

Representation Summary:

We consider that the benefits of higher energy efficiency, as opposed to renewable energy should be considered in the planning balance, particularly when this has an implication for viability. Although this may not be capable of being a policy requirement there is no reason why it should not be capable of being taken into account. The residential sector has spent a considerable amount of money investing in improved materials which improve the energy efficiency of buildings and these factors need to be taken into account of both domestic and non-domestic schemes.

Object

Black Country Core Strategy Issue and Option Report

Question 1 - Do you agree that the Core Strategy review should be a partial review, retaining and stretching the existing spatial strategy and updating existing policies? Yes/No; If not, what do you

Representation ID: 1929

Received: 08/09/2017

Respondent: Clowes Developments

Agent: Harris Lamb

Representation Summary:

Consider that a full review should be undertaken. The respondent support the housing and employment growth which emphasises on regeneration, however consider that this approach has failed due to reasons relating to ownership, viability, market perceptions and suitability etc.
The CS approach is based on the revoked West Midlands Regional Spatial Strategy and was produced before the NPPF materialised. The Black Country needs to respond to the significant shift that has occurred in terms of amount of housing and employment land. Due to the different economic climate the respondent's consider that a new approach is needed for the Core Strategy review.
The adopted Core Strategy seeks to deliver the majority of the housing and employment through a "Growth Network" focussed on Regeneration Corridors. However section 2.5 -2.11 consider that the level of concentration in the growth corridors is "less than expected". This is due to the fact that more windfall sites will come forward than expected out of the Growth Corridor.
Appendix C-Black Country Monitoring Summary advises that there is currently a shortfall of 3,039 dwellings in the Black Country to meet the housing requirement for the plan period.
The Growth Network and Regeneration Corridor approach in the Core Strategy is based on the delivery of significant amount of housing on the employment land. However paragraph 2.5 of the emerging document considers that there is not much surplus land suitable for housing. This could be due to the improvements in the economy or sites being constrained due to various factors.
The current approach in the Core Strategy to provide new residential development on poor quality employment land will not deliver the housing numbers required.
The new evidence suggest that significant amount of additional employment land will be needed. Therefore the emerging Core Strategy should not rely heavily on employment land for the delivery of housing numbers.
The trajectory of the current plan will not be met due to its reliance on windfall sites, some of which may not suit market requirements or subject to contribution and viability problems.
A new Strategy is needed which provides opportunities on brownfield and greenfield (Green Belt) to enable housing delivery whilst being attractive to the market.
A portfolio of new strategic sites accommodation 150-500 units should be identified in the emerging Strategy which are more likely to be delivered. The respondent has suggested an opportunity for a major mixed use urban to the south west of Junction 3 of the M5.
The identification of the range of sites will ensure adequate supply and will avoid reliance on major urban extensions which may have constraints in terms of funding and delivery.
A more realistic approach needs to be considered for sites coming forward and a "non implementation" rate needs to be identified with respect to windfall element of housing delivery. This is because the review acknowledges the problems associated with bringing the brownfield sites forward.

The Strategy needs to have discussions with neighbouring authorities i.e. South Staffordshire, Wyre Forest and Bromsgrove and others which share functional and geographical linkages.
The Green Belt release should be considered at early stages of the plan process to ensure that a mix of sites is made available to meet the market needs. This will not only help with the early delivery of sites but will also ensure five housing supply in accordance with paragraph 47 of the NPPF. This will also be consistent with the requirements of NPPF footnotes 11 and 12 that require housing sites to be "deliverable and available" in order to be allocated. The employment led regeneration approach seems to have failed this test to some degree.
Higher levels of windfall development do not give accurate picture of the housing delivery. Many large housing sites concentrated in the Growth Network have multiple constraints and will require financial contributions to be delivered as is suggested by paragraph 2.10 of the emerging Strategy. This approach highlights issues of viability due to cost of land assembly, business relocation and land remediation requiring large sums of external funding to be delivered. These sites cannot be considered to be "deliverable" or "developable" with respect to paragraph 47 of the NPPF.
To be considered to be de deliverable the site should be available with a realistic housing delivery options.
To be considered to be developable the site should be in a suitable location and there should be a reasonable prospect for the site to be delivered. Majority of the employment sites do not fulfil the criteria of being "deliverable" or "developable".
The respondent considers that a more robust SHMA should be undertaken by the Black Country authorities. The housing market area should not be restricted to the Black Country administrative boundaries.

Object

Black Country Core Strategy Issue and Option Report

Question 2 - Do you think that the key evidence set out in Table 1 is sufficient to support the key stages of the Core Strategy review? Yes/No; If not, what further evidence is required and, if there

Representation ID: 1930

Received: 08/09/2017

Respondent: Clowes Developments

Agent: Harris Lamb

Representation Summary:

The respondent considers that a more robust and in-depth analysis needs to be undertaken of the brownfield sites that make up the housing supply, particularly their ability to come forward.
It is not clear to the development industry that given the rates of completions and need for significantly more delivery targets that adequate amount of windfall sites will come forward. A further study needs to be undertaken of the realistic capacity which can be obtained from brownfield windfalls. This will help to identify any non-completion allowance.
As responded previously to question 1 SHMA needs to be reviewed to follow housing market area and not restricting to local authority administrative boundaries.
Support paragraph 3.11 which looks to explore new means of housing provision beyond the housing market area used by the review where there are clear migration or commuting links with the local authorities. This strengthens the argument that SHLAA will have to be reviewed due to the linkages with neighbouring authorities.
There is no acknowledgement of the current shortfall provision of 3000 units taken into account in the housing requirement figure. Black Country Green Belt review should be prioritised. The respondent notes that the greenbelt review will not be completed until mid 2018 whereas the Preferred Options consultation will be undertaken in September 2018.
Green Belt sites will be needed to deliver the housing requirements. Respondent has expressed concerns that there will not be sufficient time for the authorities to properly assess green belt study findings o inform the consultation document. Further research needs to be undertaken regarding the effect of the Government grant regimes in bringing forward sites.
They consider that these programmes can be time consuming, costly and have limited benefit towards increasing supply for housing needs.

Object

Black Country Core Strategy Issue and Option Report

Question 3 - Do you agree that the housing need identified for the Black Country over the period 2014-36 in the SHMA, and the anticipated amount of supply, are appropriate and in line with national gu

Representation ID: 1931

Received: 08/09/2017

Respondent: Clowes Developments

Agent: Harris Lamb

Representation Summary:

As stated previously the respondent considers that SHMA needs to be reviewed and could lead to increase in the overall requirement for the Black Country authorities. They expressed concerns regarding the approach taken by SHMA towards the HMA. They consider that SHM should not follow HMA but build on the work undertaken by Greater Birmingham HMA as a part of the Birmingham Development Plan.
The HMA for Birmingham will not be the same as for the Black Country authorities. The emerging SHMA has failed to reassess the HMA boundary to test whether it is valid for assessment purposes.
SHMA does not fully address the affordable housing requirements. Paragraphs 7.26-7.29 of the SHMA confirm that the NPPG requires a "policy" on calculating housing needs for certain groups of people. Affordable housing is not a direct component of the objectively assessed needs assessment. An updated calculation is not included in the SHMA. It is for the authorities to consider whether more new homes over and above the objectively assessed need to be identified in the SHMA to address more affordable housing needs.
It therefore does not provide an accurate housing need of the authorities and is not in accordance with the national guidance set out in paragraph 159 of the NPPF.
SHMA needs to include additional information on affordable housing to establish accurate objectively assessed housing needs figure.
It should be noted that there is difference between objectively assessed housing needs figure and amount of housing allocated in the Plan as not all the allocated sites will come forward as expected.
There is uncertainty regarding significant number of housing sites identified on the existing employment land by the current development plan documents.
Black Country has undelivered its housing requirement by 11.6% and the objectively assessed needs figure should be increased by a minimum of 11.6%. The current completion rates are significantly lower than what is required by approximately 3,690 units per annum. Even if the requirement is 78,190 units over the plan period requires 3,554 units to be provided annually which is a lot higher than what is actually delivered in the Black Country authorities.
Believe that there will be greater reliance on Greenfield/Green Belt sites which will exceed 25,000 that are identified.
The oversupply seems to depend on around 42,507 units from existing sites and 8,335 from existing employment sites. Also consider that the local plan relies on 65% provision on urban brownfield /windfall sites which is unrealistic and unachievable. The problem in terms of release of employment land is acknowledged in paragraph 3.16 and 2.5 of the document.
The respondent has highlighted that there is a big gap between what is required and what is being supplied. The requirement is 2,569 units based on total of 56, 520 units whereas only 2,325 are being supplied leaving a gap of 244 units per annum.
The contribution from brownfield sites should be reduced by some 25% and much larger contribution should be sought from Greenfield/greenbelt sites. These sites should not be confined to local authority administrative boundaries.

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