Support
Regulation 18 Draft Local Plan
Representation ID: 229
Received: 10/03/2024
Respondent: Mrs Marie Jackson
No further comment
Object
Regulation 18 Draft Local Plan
Representation ID: 1091
Received: 24/04/2024
Respondent: Dr Ray Butler
Destruction of the countryside will adversely affect wildlife and biodiversity.
Object
Regulation 18 Draft Local Plan
Representation ID: 1484
Received: 25/04/2024
Respondent: Mr Tom Upson
The detrimental impact that the proposed developments of Stamford North and Quarry Farm will have on the local biodiversity is huge. Developers are trying to spin proposals by claiming Biodiversity Net Gain on areas of the site that are already rich in biodiversity. This is just fudging the numbers and not actually delivering a true Net Gain. Developers should be held to account to deliver significant MEASURABLE net gains before any housing development is started, otherwise we fear it will never be delivered.
Object
Regulation 18 Draft Local Plan
Representation ID: 2559
Received: 24/04/2024
Respondent: Mr M J Dickinson
Agent: Robert Doughty Consultancy
Objects to the designation of Land as Green Infrastructure or Biodiversity Opportunity areas without any justification or consultation.
Objects to the use of the Biodiversity Opportunity and Green Infrastructure Maps as the basis for operating policies until:
• The assessment used to justify designation of specific land as BOM is published and is subject to consultation with the public, the development industry, and, significantly, the current owners and users of the land.
• Appendix 1 should be reworded to provide an explanation, rather than act as an additional policy.
The Regulation 18 draft plan also includes policies that impact on the future of the site, whether as a future allocation or for promotion via a planning application. The various mapping exercises which are unjustified and/or inaccurate, and as such should not form the basis of a planning policy.