Question 11: Policy WP2 'Spatial strategy for waste management facilities'

Showing comments and forms 1 to 9 of 9

Comment

Initial Consultation document

Representation ID: 92030

Received: 09/08/2018

Respondent: Borough Council of King's Lynn and West Norfolk

Representation Summary:

* From Policy WP2 it would seem possible to locate waste management facilities away from the broad location that generated the waste. Thus necessitating potentially significant transport movements, and possibly generating resentment from recipient communities.
* Whilst not necessarily inappropriate for all types of waste where specialist facilities are needed, extremely careful thought should be given to general waste or significant quantities requiring movement.
* A better approach would seem to be one where the policy encouraged waste to be dealt with as near to the generating source as possible.

Full text:

* From Policy WP2 it would seem possible to locate waste management facilities away from the broad location that generated the waste. Thus necessitating potentially significant transport movements, and possibly generating resentment from recipient communities.
* Whilst not necessarily inappropriate for all types of waste where specialist facilities are needed, extremely careful thought should be given to general waste or significant quantities requiring movement.
* A better approach would seem to be one where the policy encouraged waste to be dealt with as near to the generating source as possible.

Support

Initial Consultation document

Representation ID: 92077

Received: 13/08/2018

Respondent: Natural England

Representation Summary:

All new or enhanced waste management facilities should be in compliance with the land uses in Policy W3 and the development management criteria set out in Policy MW2.

Currently, it could be read that only the bulleted list of facilities needs to do this.

Full text:

All new or enhanced waste management facilities should be in compliance with the land uses in Policy W3 and the development management criteria set out in Policy MW2.

Currently, it could be read that only the bulleted list of facilities needs to do this.

Comment

Initial Consultation document

Representation ID: 92103

Received: 10/08/2018

Respondent: Broadland District Council

Representation Summary:

The meaning of the first sentence is unclear. It is unlikely that anywhere will be within five miles of more than one urban area or main town, and the reference to "at least one" implies that encouragement is being given to serving more than one area which could put the focus on a mid-point that poorly serves all areas.

Full text:

General point - it is not necessary or desirable for policies to cross-reference to general policy MW2. There is a danger that if you just refer to MW2 this implies that other policies are not relevant, and other policies (e.g. MW 3 and MW4) that might be equally applicable across a range of specific development types may be overlooked .

MW1 - Presumption in favour of sustainable development. This largely duplicates policy contained in the NPPF. As such it is not necessary and conflicts with plan-making guidelines about duplication. It is suggested that it is deleted, and perhaps reworded into appropriate supporting explanatory text.

MW4 - Climate change mitigation and adaption. The wording of this policy is a little unspecific, through the use of "should" and "minimise" and "endeavour", and potentially conflicts with other regimes such as Building Regulations. It is suggested that it is made clear at the beginning of the policy that measures will be encouraged, or expected, to go beyond normal "national" standards if at all feasible, but that this is not a requirement.

MW6 - Agricultural soils. The policy should seek to guide development to the lowest grade of land available, and not lump 3b, 4 and 5 together.

WP2 - Spatial Strategy for waste management facilities. The meaning of the first sentence is unclear. It is unlikely that anywhere will be within five miles of more than one urban area or main town, and the reference to "at least one" implies that encouragement is being given to serving more than one area which could put the focus on a mid-point that poorly serves all areas.

WP3 - Land uses potentially suitable for waste management facilities
The list of potentially suitable land uses, 'within or adjacent to agriculture and forestry buildings' would appear to open up a wide range of sites to possible consideration, although it is understood that sites would need to meet the requirements of the general policies too. Permitted Development also opens up the scope for new build agricultural buildings, with relatively little input from the local planning authority. Consequently, it is suggested that clause d) be caveated 'appropriately located' and 'in established use'.

WP4, WP5, WP7 etc. - a number of policies refer back to WP3 stating that proposals 'may be acceptable on land within the identified uses in', the Policy would be more effective as 'will not be acceptable outside of land identified in'.

WP7 - Household Waste Recycling Centres. The reference to an "appropriate level of developer contributions from new developments will be sought" goes beyond the remit of the Minerals and Waste Local Plan by seeking to be applied to non - mineral or waste development. As such it would make the plan fail the test of legal soundness. Such a policy might be appropriately located within the local Plan of a local planning authority such as a District Council. An example is policy CSU4 in BDC's Development Management DPD 2015.
It would also be difficult to 'retro-fit' new Household Waste Recycling Centres into identified growth locations, if it was not a requirement when those locations were identified. Consideration could be given to allocating sites in the Minerals and Waste Local Plan which have good access to the growth locations.

WP15 - Whitlingham Water Recycling Centre. The majority of this policy is not worded as policy for land use and development, and would appear to be requests, for example Anglian Water being strongly encouraged to develop a long-term vision, and suggestions for the local liaison group and working relationships. Reference to these matters could perhaps be included in the supporting text with, possibly, the policy requiring the demonstration of how any improvement proposals fit into a long-term vision eg 'Any proposals for the improvement of WWRC must to be accompanied by a longer-term vision, produced in collaboration with ...' as this would likely be a consideration in the determination of any proposals.
As regards the Local Liaison Group, it might be worthwhile inviting other nearby Parish Councils in addition to the ones listed (eg Postwick and Thorpe St Andrew).

WP16 - Design of Waste Management facilities. This overlaps with MW2 and MW3. Therefore, this policy might be better placed in the General Policies part of the Plan, and used to cover waste and minerals proposals.

Support

Initial Consultation document

Representation ID: 92487

Received: 13/08/2018

Respondent: Anglian Water Services Ltd

Representation Summary:

Anglian Water is generally supportive of the final paragraph of WP2 as drafted. However a distinction needs to be made between Water Recycling Centres which discharge to a watercourses and pumping stations which can convey foul flows between sewers rather than discharge to a watercourse as suggested.

Full text:

Thank you for the opportunity to comment on the Norfolk Minerals and Waste Local Plan Initial consultation. The following comments are submitted on behalf of Anglian Water.

I would be grateful if you could confirm that you have received the following response.

Part 1: Initial consultation policies

Question 11: Policy WP2 'spatial strategy for waste management facilities'

Anglian Water is generally supportive of the final paragraph of WP2 as drafted. However a distinction needs to be made between Water Recycling Centres which discharge to a watercourses and pumping stations which can convey foul flows between sewers rather than discharge to a watercourse as suggested.

Question 12: Policy WP3 'land uses potentially suitable for waste management facilities'

Anglian Water as a sewerage company is generally supportive of the final paragraph of WP3 as drafted. However evidence does not appear to have been provided for the proposal to limit the co-location of waste management uses to composting and anaerobic digestion on water recycling centre sites.

Therefore it is suggested that Policy WP3 should be amended as follows:

'f) water recycling centres; '

Question 23: Policy WP14 'Water Recycling Centres'

Anglian Water is largely supportive of Policy WP14 as drafted but has some comments particularly in relation to making the policy more positive in enabling the continued operation and development of existing water recycling centres) to enable Anglian Water to fulfil our statutory obligations under the Water Industry Act 1991.

It is therefore proposed that the first paragraph of Policy WLP14 be amended as follows:
'New or extended Water Recycling Centres or improvements to existing sites and supporting infrastructure (including renewable energy) will be acceptable in principle where such proposals aim to:
a) treat a greater quantity of wastewater; and/or
b) improve the quality of discharged water; and/or
c) reduce the environmental impact of operation.'

Question 24: Policy WP15 'Whitlingham Water Recycling Centre'

Policy WLP15 appears to be largely a continuation of Policy CS12 of the adopted Norfolk Minerals and Waste Core Strategy. We recognise the importance of Whitlingham Water Recycling Centre as a strategic asset and the need to work with the Greater Norwich authorities to develop an effective to shape operational enhancements from future technologies and planned investment to accommodate further growth.

Reference is made to Anglian Water developing a long term vision for Whitlingham Water Recycling Centre with the Greater Norwich Growth Board and the EA.

Anglian Water has recognised the need to take a long term view in relation to future investment at WRCs and within the foul sewerage network similar to the Water Resource Management Plan. The Minerals and Waste Local Plan Review should have regard to the WRLTP in relation to the planned investment within Norfolk County as part of next business and future business plans.

We are currently in the process of finalising a Water Recycling Long Term Plan (WRLTP) which will set out a long term strategy to identify the need for further investment by Anglian Water at existing Water Recycling Centres or within the foul sewerage catchments to accommodate the anticipated scale and timing of growth in the company area. This document once finalised will be used to inform future business plans including the plan for 2020 to 2025 which is expected to be approved by our economic regulator Ofwat in December 2019.

Policy WLP15 as drafted includes specific criteria which apply to all development proposals at Whitlingham WRC. It is unclear whether this would apply to all development proposals on this site - for example if the proposal did not generate any additional traffic movements. Therefore we would suggest that the wording of policy WLP15 should be reviewed to consider in what circumstances it would be applied and how it relates to Policy WP15 given that the development plan is intended to be read as whole. As part of which consideration should be given to whether there is need for a separate policy as suggested.

Question 26: Policy WP17 'Safeguarding waste management facilities'

Anglian Water as a sewerage company is generally supportive of the final paragraph of W11 as drafted. However the policy should allow for a change of circumstance for example if the relevant sewerage company identifies that existing water recycling asset is no longer required for operational reasons e.g. directing foul flows elsewhere within the public sewerage network.

Also for clarity the policy should refer to 'sewerage company' as opposed to wastewater management company as drafted.

Part 2 - Proposed Mineral extraction sites

It is noted that a number of Anglian Water assets are located within the site boundary for a number of sites identified in Part 2 of the Plan. Therefore we would ask that the policy wording for these sites exclude any existing assets from the proposed working area for mineral extraction to ensure that we can continue to operate and maintain these assets for our customers.

Should you have any queries relating to this response please let me know.

Comment

Initial Consultation document

Representation ID: 92516

Received: 13/08/2018

Respondent: South Norfolk District Council

Representation Summary:

WP2 - it is not entirely clear what the first part of this policy is seeking to achieve; if it is seeking sustainable locations within easy reach of centres of population (particularly those that the proposed facilities are serving), the text may need to be expanded to better reflect this.

Full text:

Thank you for your recent consultation on the above document, South Norfolk Council has the following comments to make.

General comments regarding the format of the policies:
Several policies concerning particular development types refer back to 'General' Policy MW2; whilst the reason for this is understood, there are a number of other general policies (e.g. MW3 and MW4) that might be equally applicable across a range of development types, but may get overlooked when development specific policies just refer back to MW2. As the policies in the plan should be read as a whole, is it necessary to have the references back to the general Development Management policies?
In a number of places policies are worded as aspirations, rather than requirements, consideration should be given to moving such wording to the supporting text, or strengthening the wording in the policy itself.

Comments on specific policies:

MW6 - would be more effective if it set out a hierarchy that sought development on the lowest grade of agricultural land first.

WP2 - it is not entirely clear what the first part of this policy is seeking to achieve; if it is seeking sustainable locations within easy reach of centres of population (particularly those that the proposed facilities are serving), the text may need to be expanded to better reflect this.

WP3 - in the list of potentially suitable land uses, 'within or adjacent to agriculture and forestry buildings' would appear to open up a wide range of sites to possible consideration, although it is understood that sites would need to meet the requirements of the general policies too. Permitted Development also opens up the scope for new build agricultural buildings, with relatively little input from the local planning authority. Consequently, could clause d) be caveated 'appropriately located' and 'in established use'?

WP4, WP5, WP7 etc. - a number of policies refer back to WP3 stating that proposals 'may be acceptable on land within the identified uses in', the Policy could be more effective as 'will not be acceptable outside of land identified in'.

WP7 - Concerned that this may not be legally sound, in that it goes beyond the remit of the Minerals and Waste Local Plan by seeking developer contributions. It would also be difficult to 'retro-fit' new Household Waste Recycling Centres into identified growth locations, if it was not a requirement when those locations were identified. Consideration could be given to allocating sites in the Minerals and Waste Local Plan which have good access to the growth locations.

WP15 - elements of this policy would appear to be requests rather than requirements, for example could 'strong encouragement' to Anglian Water be included in the supporting text, and the policy be reworded to say, 'Any proposals for the improvement of WWRC must to be accompanied by a longer-term vision, produced in collaboration with ...'

WP16 - This seems to overlap with MW2 and MW3; therefore, would this policy be better placed in the General Policies part of the Plan, and used to cover waste and minerals proposals?

Comments on Proposed Minerals Extraction Sites:

MIN25 at Haddiscoe - the site is very close to the nearest dwelling and the village generally, it would seem to be quite a significant site in terms of volume of material to be extracted, number of lorry movements etc. (we note there is a balance to be struck between length of extraction time and daily vehicle movements, to address concerns raised by the previous refusal of permission). Is there any scope to reduce the extent of the site, moving the boundary away from nearby dwellings and/or phasing the extraction as part of any mitigation? This, along with the impact on the Grade I Listed church and the visual impact of the proposed bunding, was a concern that South Norfolk Council raised in respect of the previous application on this site. In addition, the landscape assessment refers to mature screen planting, it would be useful if retention of this was picked up in the Initial Conclusion.

MIN 212 at Mundham - The relationship between the site and the processing plant seems to be quite poor, although it is acknowledged that the number of movements are relatively small and this is an existing route. The proposal includes increased bunding to screen the minerals workings, but doesn't indicate if that would be acceptable in terms of the landscape character type within which the site is located.

I hope you find the above comments useful.

Comment

Initial Consultation document

Representation ID: 92899

Received: 01/09/2018

Respondent: West Winch parish council

Representation Summary:

Distance of Sites
Policy WP2 states that new or enhanced waste management facilities should be located within 5 miles .... Whilst we can understand some reasons for this - as in travelling time, the conflicting effects are major risks to human health being closer to populated areas.

Transport Network
Ways of delivering goods and shopping are changing. Transport on our roads gets heavier every day, including huge HGVs. The road network in Norfolk is often congested and poorly maintained. It must be strongly stressed that impact on communities in unsuitable waste site locations for transport links should definitely be avoided.

Full text:

Annual Growth Rate of Waste
Statistics of how many people are in the UK are taken from out of date surveys. The Policies are allowing for 1% - 1.5% annual growth rate of waste. Will this be sufficient in the light of Government Policies on reduction of plastic use, etc. People will be disposing of all items made of these materials. Plastic bottles could potentially be changed to glass in the future. Glass needs more protection with potentially more recycling material at the initial stage of transport to and from shops. Has this been taken into account with provision of adequate facilities. More needs to be done to collect and dispose of hard plastic. The Recycling Centre at King's Lynn had this facility which is no longer available.

Waste Reduction at Source
Work needs to be done with Suppliers of goods to avoid unnecessary waste in the first place. A start has been made with alternative packaging but this should be intensified.

UK and the European Union
If the UK leaves the European Union, has the full impact of import/export of waste been taken into account and the practical and financial effects.

Development Wording - Presumption in Favour
Development presumption must not be 'in favour' when there are obvious reasons to object. The wording gives developers advantage over local issues.

Public Education on Waste Issues
Education for the Public in clear and simple messages needs to be addressed. A lot of people are confused. For instance, we have heard in the past - it does not matter about washing items. Some people think if waste items are washed it wastes the resource of water. A lot of households tend to have dishwashers and not bowls of washing-up water which can be used to wash items. Bottle and jar tops - some leave them on, some leave them off.

Water Resources
Norfolk is the driest County in the UK for water resources. Cumulative usage totals must be taken into account in any planning.

Recreation
Would you need to include the fact (just for information) that there is a Public Consultation process on anything which would affect Public Rights of Way (PROWs).

Land and Soil Resources
Stronger wording and protection must be given to Grade 1, 2 and 3a land classification. Norfolk is an agricultural and rural County. It will be crucial for growing our own food in the future - more so, if we leave the European Union. Also, the UK may need to be more self-sufficient with food growing.

Policy WP3
Land allocated for B2 and B8 uses may be situated near to populated areas where there are health risks to residents. These sites must not be assumed to be suitable.

Transport Network
Ways of delivering goods and shopping are changing. Transport on our roads gets heavier every day, including huge HGVs. The road network in Norfolk is often congested and poorly maintained. It must be strongly stressed that impact on communities in unsuitable waste site locations for transport links should definitely be avoided.

Distance of Sites
Policy WP2 states that new or enhanced waste management facilities should be located within 5 miles .... Whilst we can understand some reasons for this - as in travelling time, the conflicting effects are major risks to human health being closer to populated areas.

Human Health Risks
Human health risks must be a major consideration in waste development as the eventual cost to the NHS and UK is huge. Health effects can be disastrous. Robust Health Policies must be in place.

Incinerators and Similar Projects
Any Policies referring to larger facilities must have stronger wording to protect the Public from harmful emissions and effects. They should not be situated within populated urban areas. Cumulative emissions from all surrounding other activities must be taken into account.

Object

Initial Consultation document

Representation ID: 92948

Received: 31/08/2018

Respondent: Historic England

Representation Summary:

We are concerned that change from allocating sites for waste management to a criteria-based policy makes the impact on the historic environment hard to assess. Given the lack of historic environment policy to support this approach and a lack of evidence of the impact of this policy on the historic environment we currently cannot support this approach.

Full text:

As the Government's adviser on the historic environment Historic England is keen to ensure that the protection of the historic environment is fully taken into account at all stages and levels of the local planning process. Our comments below should be read with our detailed comments in the attached table.

Summary
At this early stage in the plan process, we have identified in detail in the attached table the changes that we recommend. However, looked at as a whole we have identified two key issues to address for the next iteration of the plan, which we summarise below:

a) Evidence-based allocations: the aim should be to avoid harm in the first instance before minimising or mitigating (Planning Practice Guidance, paragraph 019 reference ID 18a-019-20140306 revision date 06 03 2014). A proposed allocation needs to be based on evidence and should seek to avoid harm to heritage assets in the first instance, then set out how it could be mitigated against if the harm is unavoidable and the public benefits justify that harm under paragraphs 194, 195, or 196 of the National Planning Policy Framework. The following sites do not meet that threshold: MIN 79 and 80, SIL 02, MIN 40, MIN 32, MIN 19 and 205, MIN 48 and MIN 116. Of those, SIL 02 (a large preferred area immediately abutting a complex of highly graded heritage assets) along with AOS E, MIN 19 and MIN 205; MIN 48 (which incorporates a scheduled monument) and MIN 79 (with other development considerations) are most concerning. We would expect some level of heritage impact assessment to be done on the most sensitive sites in order for them to be allocated.

When areas are included in allocations, preferred areas or areas of search which cannot be developed adds confusion and complexity to the planning system. Once the principle of development is established through inclusion within a site allocation, preferred area or area of search, it is more difficult to rebut the presumption in favour of development owing to the assumption that, in an evidence and plan-led system, these aspects are factored into the allocation. As such all sensitive sites should be assessed and the results of that assessment inform whether or not there is an allocation, preferred area or area of search; what size and location it can be and what policy requirements, including mitigation measures, need to be embedded to conserve or enhance the historic environment.

b) Lack of specific local historic environment policy protection: policy MW2 is too generic to provide specific local criteria and/or requirements against which planning applications will be assessed. This could be addressed through an historic environment policy or through specific site allocation policies that specify requirements such as impact assessments, avoidance and mitigation measures, archaeological investigation, progressive working, and aftercare requirements. Many of these already have been identified in the Sustainability Appraisal Annex B. This particularly affects sites MIN 35, MIN 38, and MIN 203, though we have identified where many more proposed allocations should incorporate this information.

Conclusion
As you develop the minerals and waste plan, we would welcome discussing further the points raised in our representations.

In preparation of the forthcoming minerals and waste local plan, we encourage you to draw on the knowledge of local conservation officers, the county archaeologist and local heritage groups.

Please note that absence of a comment on an allocation or document in this letter does not mean that Historic England is content that the allocation or document forms part of a positive strategy for the conservation and enjoyment of the historic environment or is devoid of historic environment issues.

Finally, we should like to stress that this opinion is based on the information provided by the Council in its consultation. To avoid any doubt, this does not affect our obligation to provide further advice and, potentially, object to specific proposals, which may subsequently arise where we consider that these would have an adverse effect upon the historic environment.

Comment

Initial Consultation document

Representation ID: 93039

Received: 31/08/2018

Respondent: Norfolk County Council - Waste Disposal Authority

Representation Summary:

We do not have any specific drafting to put forward as an alternative but would comment as follows.

The consideration of proximity to urban settlements is, on the face of it, in the combined interests of the WDA and Norfolk's WCAs. In theory, this should reduce transportation costs for the WDA and increase the efficiency of collection rounds for the WCA. However, where waste treatment facilities operate at a more industrial scale (higher than 75,000 being an example given in the consultation document), waste will often travel from considerably further afield and be drawn from a far wider area than the immediate locality.

We would therefore caution against the policy creating an unintended constraint on the development of waste treatment capacity at a larger scale. In general, sourcing a site that is available and suitable for a larger waste facility is more difficult than for smaller facilities and the WDA would want to see that there remains sufficient flexibility in this policy to ensure that the waste management industry has a wide enough range of options when considering sites suitable for such a facility.

Full text:

Minerals and Waste Local Plan Review - Consultation response from the Waste Disposal Authority

Introduction
This consultation response is an internal response by Officers of the County Council in its capacity as the Waste Disposal Authority (WDA) for Norfolk. It has therefore focussed exclusively on policies relating specifically to waste management and there are no comments on those elements of the review relating to Minerals.

Waste Management specific policies

Policy WP1 - Waste Management capacity to be provided

Question 10a
There is little to pick between the Norfolk SHMA and ONS projections in numerical terms and both can be argued to be realistic. However, the SHMA takes a reasonable and realistic view of the local picture on household growth. It appears the more appropriate tool in terms of the principles on which it is established and its projections seem sensible and realistic.

The general approach of linking waste growth to growth in households is the most appropriate. The LACW figures from 2007/08 onwards as set out in the Waste Management capacity assessment look across the whole of Norfolk and show both increases and decreases between years. This highlights the inherent difficulty and uncertainty in attempting to establish an appropriate waste growth pattern using historical waste data that contains year on year fluctuations.

Some limited analysis by the WDA has shown that waste per household levels tend to remain relatively static over longer periods of time even if they can be subject to short term fluctuations. It is reasonable to assume that it is the number of households that is fundamentally driving longer term trends in levels of waste. On that basis, using household growth is an appropriate principle.

Question 10b
The WDA is less well placed to comment on forecasting commercial and industrial waste because it does not have the statutory responsibility for dealing with it or to compile data on it.

Question 11
We do not have any specific drafting to put forward as an alternative but would comment as follows.

The consideration of proximity to urban settlements is, on the face of it, in the combined interests of the WDA and Norfolk's WCAs. In theory, this should reduce transportation costs for the WDA and increase the efficiency of collection rounds for the WCA. However, where waste treatment facilities operate at a more industrial scale (higher than 75,000 being an example given in the consultation document), waste will often travel from considerably further afield and be drawn from a far wider area than the immediate locality.

We would therefore caution against the policy creating an unintended constraint on the development of waste treatment capacity at a larger scale. In general, sourcing a site that is available and suitable for a larger waste facility is more difficult than for smaller facilities and the WDA would want to see that there remains sufficient flexibility in this policy to ensure that the waste management industry has a wide enough range of options when considering sites suitable for such a facility.

Question 11a
On the basis of the above comments, whilst understanding the additional complications it may present from a policy point of view, a principle as set out in alternative options 2 or 3 would reduce the risk of this policy placing undue restrictions on the location of industrial scale facilities.

As respects the provision of Recycling Centres, some of the WDA's facilities are located near Key Service Centres. However, where new facilities have been developed in recent years, the tendency has been to seek sites closer to centres of population.

Question 12
Whilst we would broadly agree with the general thrust of the policy, the WDA see no reason why a site that was formerly a landfill site could only be considered suitable for a waste management facility on a temporary basis (unless this is specifically referring to facilities built directly on the waste burial area). Nationally, there are examples of waste management facilities being developed on a site formerly operated as a landfill site, adjacent to closed landfill cells. The long standing association of the site with a waste management use has been advantageous in a number of ways and has proved a good fit with the broader site continuing to be in use as a waste management site but having changed to a cleaner, more modern method of waste management.

Question 12a
We would agree that the experience of having allocated 29 sites previously, having had none of them developed whilst permissions have been granted on other sites does point away from an approach of allocating sites and towards criteria based policies.

Question 13
On the basis that it does not fall to the WDA to commission services for these sorts of wastes beyond the small amounts collected at our recycling centres (for which existing offtake capacity is used) the WDA is not best placed to offer a useful comment on this question.

Question 14
Our comments concerning this policy are along similar lines to those in question 12 albeit for slightly different reasons in some cases.

Whereas the consideration of the size of the facility in terms of its throughput capacity gave rise to our comments in question 12, here it is the specialist nature of the activities proposed when considering reprocessing of ELVs and WEEE in particular that would lead us to caution against the policy unintentionally constraining the development of these facilities should they be proposed.

As respects the development of MRFs, again, if they are particularly large in scale then we would reiterate our comments from question 12 above.

When considering waste transfer stations however, these issues are of less concern because transfer stations, by their nature, ought to be located close to where concentrations of households are found.

Question 15
We would broadly agree with the proposed policy and have no further comments to make.

Question 16
Policy WP7 offers appropriate additional flexibility to that offered by WP3.

Question 17
We would broadly agree with the proposed policy and have no further comments to make.

Question 18
We would broadly agree with the proposed policy and have no further comments to make.

Question 19
The County Council in its capacity as the WDA, has a policy for the commissioning of residual waste treatment services that precludes the development of facilities in Norfolk that use incineration to treat residual waste in that the County Council as WDA is responsible for.

Our comments here are made in clear recognition that the function of the County Council as a planning authority is separate from its function as a WDA and given in a manner that is neutral about waste treatment technology.

There are few comments to make other than those already made in relation to policy WP3 in the response to question 11 earlier.

We agree that the facilities should only be treating residual waste.

We would agree that any proposed thermal treatment process should recover energy as a minimum and preferably heat also. Incineration without energy recovery would only be appropriate for small scale operations such as pet crematoria or clinical waste incineration, both of which we assume are outside of the scope of this policy.

Question 20
Since the WDA do not routinely commission services for this sort of waste we are not best placed to offer comments.

Question 21
We agree with the proposed policy wording.

Question 22
The wording of the policy is pragmatic and appropriate.

Question 23 & 24
No comments.

Question 25
No further comments

Question 26
No further comments

Further comments on the Waste Management capacity assessment
P6 states that the WDA "maintains detailed records of the amounts of Local Authority Collected Waste that is collected by the Waste Collection Authorities (District, Borough and City Councils)."

This is correct in itself but it would be more accurate to reflect that the records include waste collected by the WDA (at its HWRCs and through the third party recycling credits payments). A simple re-wording would deal with this and it could read: "...maintains detailed records of the amounts of Local Authority Collected Waste collected by the Waste Collection Authorities (District, Borough and City Councils) and by Waste Disposal Authority (the County Council)."

Comment

Initial Consultation document

Representation ID: 93164

Received: 20/07/2018

Respondent: Broads Authority

Representation Summary:

Page 45: what is 'appropriate transport infrastructure'?
Page 45: is the five mile requirement as the crow flies or by road/path etc?

Full text:

Today Planning Committee endorsed the response below to the Norfolk Minerals and Waste Local Plan Issues and Options consultation.

I hope this is helpful and I am happy to clarify any points if needed.


Main document
* The Broads has been identified by Historic England as an area with exceptional potential for waterlogged archaeology. Any excavation within or close to the executive area will require particularly robust archaeological evaluation prior to consenting and not rely on a brief desk based evaluation and conditions.
* For the avoidance of doubt, perhaps say that this covers the entire county of Norfolk.
* Perhaps something about how it fits with our Local Plans? Something about how Authorities consulted if application in or near to area? We would like to understand how our special qualities and our policies that could be of relevance would be considered in decision making.
* Page 16, 28 - the Broads has a status equivalent to a national park.
* Page 23 - suggest A3 landscape.
* Page 28: Typographical error: 'Landscape Character Assessments have been carried by the Local Planning Authorities in for Norfolk and they consider where locally designated landscapes of importance are situated'.
* Page 39: Typographical error: 'and/or the volumes of waste in each area so low that it would be unviable for a full range of waste management facilities to exist in every area'.
* Page 41: Typographical error: 'end-of-live vehicles' - should this be 'life'?
* Page 46: Typographical error: '...have similar locational requirements due to their potential to impact on local amenity and the environmental'.
* Page 49: Typographical error: 'of waste electronic electrical and electronic equipment (WEEE)'
* WP17 and MP10 and MP11 - will you provide GIS layers of these facilities and consultation zones?
* Page 61: Typographical error: 'the most recently available date'
* The areas on page 67 - the Broads is not mentioned. Presumably this is because silica sand only occurs in West Norfolk Borough?
* Page 77: Typographical error: 'will be made by on a case by case basis'.
* Page 78: Typographical error: 'Carstone is also a scare resource in Norfolk and therefore it is appropriate for the entire carstone resource to be safeguarded as part of the MSA'
* Page 78 - reference to peat. Whilst extraction is not supported in the NPPF, what about the removal of peat as part of the development related to minerals and waste? Peat has many important qualities and the Authority has a policy relating to peat. How will this be used in determining applications in the Broads? As well as that, you may wish to look at policies relating to peat in terms of its removal and how it is to be treated in relation to its properties.
* Page 81 - are there any areas in Norfolk that could be investigated for unconventional hydrocarbons/fracking?
* Appendix 4: What about moorings and river bank stabilisation and other such applications that occur in the Broads but probably not elsewhere in Norfolk?
* General comment: headers and paragraph numbering would make the document easier to read - pages of text with no breaks was difficult to read.

Question 5: MW2
* Page 26, MW2 could mention dark skies. You could refer to the CPRE Night Blight data as well as our dark skies policy and zones.
* Page 27: Dark skies are important in the Broads and elsewhere. Perhaps more could be said about lighting: directing lighting downwards and away from properties and only lighting if needed and temporary versus permanent illumination.
* Page 27: 'A baseline ecological survey will be necessary where biodiversity features are present on a proposed site. Such surveys are essential in identifying what exists on a proposed mineral or waste management site and establishing whether such features should be retained and managed'. This is a bit confusing and seems to say that a survey would be needed to see if there are biodiversity features on a proposed site to then need a survey? We recommend that all sites would require baseline ecological survey and assessment of the presence of rare and protected species.
* Page 28: 'Local recreation assets, including Public Open Space and other outdoor facilities such as country parks, are protected in District, Borough and City Local Plans'. Also protected in the Local Plan for the Broads.
* Page 29: 'whilst others designated at a local level are subject to protection through District, Borough and City Local Plans'. Also mention the Local Plan for the Broads.

Question 6: MW3
* Page 33: 'All proposals for minerals development or waste management facilities must assess and consider positively the potential for non-HGV transportation of materials to and from the facilities, principally by rail or water'. Perhaps you might want to require an assessment that looks into this and shows their considerations? As written, an applicant does not seem to be required to do anything other than think about it.
* Page 33: 'The County Council will consider minerals and waste development proposals to be satisfactory in terms of access where anticipated HGV movements, taking into account any mitigation measures proposed, do not generate'. Wonder if this could be worded in a more simple way?

Question 7: MW4
* Uses the word 'should' which is quite weak term. A stronger term similar to that uses in other policies (like will need to, must, is required to) might be better.
* Some aspects repeat MW2 - does that matter?

Question 9: MW6
* Does MW6 repeats MW2?
* See previous comment about peat. Should peat be mentioned in this policy?

Question 11: WP2
* Page 45: what is 'appropriate transport infrastructure'?
* Page 45: is the five mile requirement as the crow flies or by road/path etc?

Question 12: WP3
* Page 46: 'Policy WP3: Land uses potentially suitable for waste management facilities'. This does not seem an ideal title for the policy; the policy seems to be more about where waste management facilities can go. Not all of the areas listed in the criteria are land uses in the typical sense; they are areas to which such facilities are directed towards.
* Page 46, do criteria d, e, f apply even if the proposal is not within 5 miles of a town as talked about in the previous policy? How do WP2 and WP3 work together?

Question 16: WP7
* WP7: regarding the location, these could be away from urban areas according to some criteria in WP3. Should these be located near to larger urban areas (i.e. near to the source of the waste)?

Question 22: WP13
* Are the areas of these landfills identified and are any in the Broads?

Question 25: WP16
* Should this include reference to MW2? That seems to have relevant and detailed criteria.

Question 28: Policy MP2
* The Broads, which has a status equivalent to a national park, may need to be listed as a planning constraint

Question 29: MP3
* There is no mention of the requirement for restoration.
* In other policies you cross refer to a more detailed policy, but not in this policy. Presumably policy MW2 is of relevance and could be cross referred to?

Question 31: MP5
* Who does the assessment? Does that need to be handed in with the planning application? How will you liaise with the Broads Authority if proposals come forward in the river valleys in the Broads rather than just consult? Why is the Broads not included in the core river valleys? Is a separate policy on the Broads required? Or is it the case that the Broads is not covered by this policy as the Broads Authority Executive Area is shown on the policies map as a landscape designation and so rivers and broads within the BEA not included under core river valleys policy, potentially affording greater protection i.e. development could be acceptable in Core River Valleys? This could usefully be clarified.
* In other policies you cross refer to a more detailed policy, but not in this policy. Presumably policy MW2 is of relevance and could be cross referred to?
Question 32: MP6
* What are the criteria or is there a checklist that helps ascertain if cumulative impacts are unacceptable?

Question 33: MP7
* As well as GI, ecological networks? There is ecological network work underway for the entire county which could be of relevance.
* The last part says 'The Green infrastructure Strategy' - which strategy is this? The strategy of the district in which the proposal is located?
* There is also a Norfolk-wide habitats map that could be of relevance.

Question 34: Policy MP8
* To gain the ecological benefits outlined for many of the sites an outline aftercare strategy for a minimum of ten years, rather than five years is required prior to the determination of the planning application

Question 35: MP9
* It is not clear if the works then need to be removed and form part of the restoration works or are moth-balled. This could usefully be clarified.

Sites Document
* MIN 38 - land at Waveney Forest, Fritton - the Authority supports the conclusion that this should not be allocated for the reasons as set out in the assessment. Page 169 - the landscape character assessment is also relevant: http://www.broads-authority.gov.uk/news-and-publications/publications-and-reports/planning-publications-and-reports/landscape-character-assessments. Broads Landscape Character Assessment 2016; Land considered as heathland Landscape Character Type (LCT) within the St Olaves to Burgh Castle Landscape Character Area (LCA). Land to the north and west considered to be estuarine marshland LCT within the same LCA. Haddiscoe Island LCA beyond river. The Authority strongly requests that Norfolk County Council liaise with us regarding this site and any future policy prior to the next version of the Local Plan. Strongly support this conclusion and the reasons for it. The current commercial forest operation, whilst not ideal in terms of the HE features within it, offers a degree of continued protection to those features. Page 169 Typographical error: "although food practice for tree felling" presumably should read good practice.

* MIN65; support submission of Heritage statement

* MIN 209, 210, 211; For information, the Broads Landscape Character Assessment 2016 says that this area is LCA Outney Common and Bath Hills, Industrial / Early post-industrial LCT boarders MIN 211. The Authority strongly requests that Norfolk County Council liaise with us regarding this site and the policy prior to the next version of the Local Plan. Support removal of plant site from BA executive area. What will go in its place?

* MIN 25; Broads Landscape Character Assessment 2016; Norton Marshes to Haddiscoe Dismantled Railway LCA immediately NE. Adjacent LCT is settlement fringe which would be covered in time by the Broads settlement fringe policy. Support submission of Heritage statement.Whilst this is not within the Broads, the Authority strongly requests that Norfolk County Council liaise with us regarding this site and the policy prior to the next version of the Local Plan.

MIN 92; Broads Landscape Character Assessment 2016; Chet Valley LCA, Carr woodland LCT to west and upland LCT to the north and south. Recommended not to support this site going forward (in terms of landscape) for reasons as set out in the supporting text under 'landscape'.