Black Country Core Strategy Issue and Option Report

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Comment

Black Country Core Strategy Issue and Option Report

Question 33 - Is there more that the Core Strategy can do to address health and wellbeing issues in the Black Country? Yes/No; If yes, is a new policy needed to address such issues for example?

Representation ID: 1406

Received: 08/09/2017

Respondent: HIMOR (Land) Ltd

Agent: Turley Associates

Representation Summary:

Please refer to our response to Q34b.

Attachments:

Support

Black Country Core Strategy Issue and Option Report

Question 34b - What design features do you think are key to ensuring new development encourages healthy living, which could be assessed through the HIA process?

Representation ID: 1407

Received: 08/09/2017

Respondent: HIMOR (Land) Ltd

Agent: Turley Associates

Representation Summary:

We support the strategy to incorporate health and wellbeing issues in the BCCS Review. Health and wellbeing underpin sustainable planning and creating places where people want to live.

The Health and Wellbeing Technical Paper (June 2017) emphasises the importance of integrating health and wellbeing into all policies, including those of the emerging BCCS Review.

Attachments:

Comment

Black Country Core Strategy Issue and Option Report

Question 35 - Do you support the proposed approach to housing land supply? Yes/No; If no, please explain why.

Representation ID: 1408

Received: 08/09/2017

Respondent: HIMOR (Land) Ltd

Agent: Turley Associates

Representation Summary:

The BCCS Review proposes at paragraph 6.30 to 'update' Policy HOU1. As set out in our response to Q1 a full review of the Plan is necessary given there are now greater housing needs, the NPPF has been published and the WMRSS has been revoked, and the adopted BCCS has not been delivering the required level of growth. As such the approach to housing land supply should be reviewed in full also.

Attachments:

Comment

Black Country Core Strategy Issue and Option Report

Question 36 - Do you think that the current accessibility and density standards set out in Policy HOU2 and Table 8 should be changed? Yes/No; If yes, what standards should be applied instead, for exam

Representation ID: 1409

Received: 08/09/2017

Respondent: HIMOR (Land) Ltd

Agent: Turley Associates

Representation Summary:

Please refer to our response to Q42.

Attachments:

Comment

Black Country Core Strategy Issue and Option Report

Question 40 - Do you agree that the 2017 SHMA findings should be used to set general house type targets for the Plan period? Yes/No; If no, please explain why.

Representation ID: 1410

Received: 08/09/2017

Respondent: HIMOR (Land) Ltd

Agent: Turley Associates

Representation Summary:

Please refer to our response to Q42.

Attachments:

Comment

Black Country Core Strategy Issue and Option Report

Question 42 - Do you agree that the annual affordable homes target should be increased to reflect the 2017 Black Country Strategic Housing Market Assessment? Yes/No; If no, please explain why.

Representation ID: 1411

Received: 08/09/2017

Respondent: HIMOR (Land) Ltd

Agent: Turley Associates

Representation Summary:

The NPPG states that wherever possible, local needs assessments should be informed by the latest available information and the government's official population and household projections are generally updated every two years.

The affordable housing requirement; preferred housing mix; housing types; and density standards for the Black Country therefore need to remain fluid in order to respond to the most up to date evidence and market conditions. The BCCS Review should not comprise policies that set standards for the whole Plan Period. The standards set out in Policy HOU2 should be reviewed in full to ensure they comply with the NPPF, PPG and the most up to date guidance.

Attachments:

Comment

Black Country Core Strategy Issue and Option Report

Question 50a - Do you think that the Core Strategy should continue to set a target for the total employment land stock in Policy EMP1? Yes/No; Please explain why.

Representation ID: 1412

Received: 08/09/2017

Respondent: HIMOR (Land) Ltd

Agent: Turley Associates

Representation Summary:

The NPPG sets out that Local Planning Authorities are required to publish information at least annually that shows progress with Local Plan preparation. The Core Strategy should therefore continue to set a target for the total employment land stock to ensure the Annual Monitoring Report can be measured against a specified target.

Considering there is a surplus in local quality employment land (146ha) and a deficit of 218ha in high quality employment land, the Core Strategy should continue to distinguish between strategic high quality employment areas and local quality employment areas. This distinguished employment land stock should be informed by the evidence base supporting the BCCS Review and as has been undertaken to a certain extent to inform the I&O Report.

Attachments:

Support

Black Country Core Strategy Issue and Option Report

Question 54 - Do you agree that the current approach in Policy EMP4 is no longer fit for purpose and should be amended to reflect a portfolio based approach? Yes/No; If no, what alternative approaches

Representation ID: 1413

Received: 08/09/2017

Respondent: HIMOR (Land) Ltd

Agent: Turley Associates

Representation Summary:

As per our response to Q1, a full review of the BCCS is essential to ensure the plan is prepared in the current planning context, all policies are consistent with national planning policy and it comprises a strategy that will deliver against identified needs.

Policy EMP4 is therefore no longer fit for purpose and should be replaced within the emerging BCCS Review.

Attachments:

Support

Black Country Core Strategy Issue and Option Report

Question 46 - Do you agree with the proposed new gypsy, traveller and travelling showpeople accommodation targets? Yes/No; If no, please explain why.

Representation ID: 1414

Received: 08/09/2017

Respondent: HIMOR (Land) Ltd

Agent: Turley Associates

Representation Summary:

Policy EMP5 seeks to improve access to the labour market and will ultimately present opportunities for creating jobs in new and existing sectors of the economy. The principle of this policy can be utilised and made available to as many existing and future residents as possible. The principle of Policy EMP5 is therefore supported in order to improve job creation in the region.

Attachments:

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