AOS I - land to the east of South Runcton

Showing comments and forms 31 to 53 of 53

Object

Preferred Options consultation document

Representation ID: 97968

Received: 28/10/2019

Respondent: Sharon Sandover

Representation Summary:

As a member of the community, I echoed the concerns held by the Ministry of Defence when they objected to these proposals, due to the fact that the plan of a wet working and restoration in close proximity to RAF Marham, well within the statutory 13 kms limit, will increase the risk of "bird strikes" or worst-case scenario, end in an aircraft crash and potential loss of life. The economic cost of such a mishap would be greater than £100M just to replace an F35 Lightning II; add to that the costs for the emergency services and for the immediate and subsequent treatments through the NHS for the physical and mental injuries caused, and the financial costs become an unaffordable risk.
Permanent loss of agricultural land will impact rural Norfolk, its farming jobs, jobs of local employees i.e. British Sugar, including the increased need for home grown food, due to the impact of Brexit.
I object to the negative impact on villagers'/visitors' health. According to Public Health Profile 2018, our villages have higher levels of respiratory problems and reduced respiratory function (Chronic Obstructive Pulmonary Disease, Asthma), silica particles will exacerbate these conditions. Loss of natural spaces has been proven to adversely affect health, mental and physical. This fenland and forest (Shouldham Warren) is our community's public open space, our gym and our sanctuary, hundreds of people use it daily for physical recreation and social wellbeing interactions.
I object to the fact that the plan would ruin the Landscape, Shouldham Warren, the Countryside, including habitats for birds, animals, and insects. The Warren is home to 64 species of conservation concern, including endangered bats, nightjars and woodlarks. We need nature and trees now more than ever to combat pollution and climate change.
I object to the unsustainable use of a finite mineral resource, when the county only recycles a fraction of the glass already in circulation. There are national government policies and guidance including DEFRA and the Dept for Business Energy & Industrial Strategy that are clearly being ignored in order to allow a privately-owned Belgian company to profit from the devastation of our community asset, landscape and environment.
I further object to the worrying possibility of damage to our Public Water. It is very concerning that if quarrying was allowed to take place, whether through wet or dry working, the water supply could be affected, as the whole area of AOS E has very productive to moderately productive aquifers.
A further objection relates to the lack of restoration plans. Any restoration would take in excess of 30 years, until then the community would suffer from a devastated industrial landscape, increased flow of heavy articulated lorries, preventing any appreciation of its landscape and countryside. Sibelco has a poor track record for restoration in the area, and have failed to ensure safety of sites after extraction - its Bawsey site was the cause of deaths by drowning. The company has not been a 'good neighbour' and has done nothing to engage with the community or alleviate residents' concerns.
Lastly, I object to the fact that there would be no benefit to the local community or economy if this proposal goes through. What is clear is that a number of local communities will bear the brunt of a hugely disruptive and harmful industrial process; that a very popular public amenity enjoyed by a much larger section of the population will be permanently lost; and the only beneficiaries of this development will be a few landowners, Norfolk County Council, but principally the private owners of the Belgian company Sibelco.
Given that County Councils are responsible for the provision of public services for taxpayers and community wellbeing, and not the promotion of harmful and irresponsible businesses that present no local benefit, but with multiple risks, dictates that Norfolk County Council should put public interest before private profit.
Please record this as my objection,

* Tottenhill surrounded by Quarries
* No of HGV/Traffic congestion
* Pollution
* Too near Wormegay School
Accident black spot A134/A10 roundabout and Wormegay school.

Full text:

Objections to MIN 74, 76, 77 and 206 in Tottenhill and ASO I and ASO J.
Objection to AOS E - Land Between Marham and Shouldham and includes Shouldham Warren
I object to AOS E, including Shouldham Warren and the overlap with formerly SIL 02, in the Norfolk Minerals and Waste Local Plan. I strongly object to the fact that Norfolk County Council has deliberately misled residents by announcing the removal of SIL 02 when in reality a third of it is now/still included in AOS E.
As a member of the community, I echoed the concerns held by the Ministry of Defence when they objected to these proposals, due to the fact that the plan of a wet working and restoration in close proximity to RAF Marham, well within the statutory 13 kms limit, will increase the risk of "bird strikes" or worst-case scenario, end in an aircraft crash and potential loss of life. The economic cost of such a mishap would be greater than £1 00M just to replace an F35 Lightning II; add to that the costs for the emergency services and for the immediate and subsequent treatments through the NHS for the physical and mental injuries caused, and the financial costs become an unaffordable risk.
Permanent loss of agricultural land will impact rural Norfolk, its farming jobs, jobs of local employees i.e. British Sugar, including the increased need for home grown food, due to the impact of Brexit.
I object to the negative impact on villagers'/visitors' health. According to Public Health Profile 2018, our villages have higher levels of respiratory problems and reduced respiratory function (Chronic Obstructive Pulmonary Disease, Asthma), silica particles will exacerbate these conditions. Loss of natural spaces has been proven to adversely affect health, mental and physical. This fenland and forest (Shouldham Warren) is our community's public open space, our gym and our sanctuary, hundreds of people use it daily for physical recreation and social wellbeing interactions.
I object to the fact that the plan would ruin the Landscape, Shouldham Warren, the Countryside, including habitats for birds, animals, and insects. The Warren is home to 64 species of conservation concern, including endangered bats, nightjars and woodlarks. We need nature and trees now more than ever to combat pollution and climate change.
I object to the unsustainable use of a finite mineral resource, when the county only recycles a fraction of the glass already in circulation. There are national government policies and guidance including DEFRA and the Dept for Business Energy & Industrial Strategy that are clearly being ignored in order to allow a privately-owned Belgian company to profit from the devastation of our community asset, landscape and environment.
I further object to the worrying possibility of damage to our Public Water. It is very concerning that if quarrying was allowed to take place, whether through wet or dry working, the water supply could be affected, as the whole area of AOS E has very productive to moderately productive aquifers.
A further objection relates to the lack of restoration plans. Any restoration would take in excess of 30 years, until then the community would suffer from a devastated industrial landscape, increased flow of heavy articulated lorries, preventing any appreciation of its landscape and countryside. Sibelco has a poor track record for restoration in the area, and have failed to ensure safety of sites after extraction - its Bawsey site was the cause of deaths by drowning. The company has not been a 'good neighbour' and has done nothing to engage with the community or alleviate residents' concerns.
Lastly, I object to the fact that there would be no benefit to the local community or economy if this proposal goes through. What is clear is that a number of local communities will bear the brunt of a hugely disruptive and harmful industrial process; that a very popular public amenity enjoyed by a much larger section of the population will be permanently lost; and the only beneficiaries of this development will be a few landowners, Norfolk County Council, but principally the private owners of the Belgian company Sibelco.
Given that County Councils are responsible for the provision of public services for taxpayers and community wellbeing, and not the promotion of harmful and irresponsible businesses that present no local benefit, but with multiple risks, dictates that Norfolk County Council should put public interest before private profit.
Please record this as my objection,

* Tottenhill surrounded by Quarries
* No of HGV/Traffic congestion
* Pollution
* Too near Wormegay School
Accident black spot A134/A10 roundabout and Wormegay school.

Object

Preferred Options consultation document

Representation ID: 97974

Received: 28/10/2019

Respondent: Mrs J Starr

Representation Summary:

As a member of the community, I echoed the concerns held by the Ministry of Defence when they objected to these proposals, due to the fact that the plan of a wet working and restoration in close proximity to RAF Marham, well within the statutory 13 kms limit, will increase the risk of "bird strikes" or worst-case scenario, end in an aircraft crash and potential loss of life. The economic cost of such a mishap would be greater than £100M just to replace an F35 Lightning II; add to that the costs for the emergency services and for the immediate and subsequent treatments through the NHS for the physical and mental injuries caused, and the financial costs become an unaffordable risk.
Permanent loss of agricultural land will impact rural Norfolk, its farming jobs, jobs of local employees i.e. British Sugar, including the increased need for home grown food, due to the impact of Brexit.
I object to the negative impact on villagers'/visitors' health. According to Public Health Profile 2018, our villages have higher levels of respiratory problems and reduced respiratory function (Chronic Obstructive Pulmonary Disease, Asthma), silica particles will exacerbate these conditions. Loss of natural spaces has been proven to adversely affect health, mental and physical. This fenland and forest (Shouldham Warren) is our community's public open space, our gym and our sanctuary, hundreds of people use it daily for physical recreation and social wellbeing interactions.
I object to the fact that the plan would ruin the Landscape, Shouldham Warren, the Countryside, including habitats for birds, animals, and insects. The Warren is home to 64 species of conservation concern, including endangered bats, nightjars and woodlarks. 100s of birds roost there. We need nature and trees now more than ever to combat pollution and climate change.
I object to the unsustainable use of a finite mineral resource, when the county only recycles a fraction of the glass already in circulation. There are national government policies and guidance including DEFRA and the Dept for Business Energy & Industrial Strategy that are clearly being ignored in order to allow a privately-owned Belgian company to profit from the devastation of our community asset, landscape and environment.
I further object to the worrying possibility of damage to our Public Water. It is very concerning that if quarrying was allowed to take place, whether through wet or dry working, the water supply could be affected, as the whole area of AOS E has very productive to moderately productive aquifers.
A further objection relates to the lack of restoration plans. Any restoration would take in excess of 30 years, until then the community would suffer from a devastated industrial landscape, increased flow of heavy articulated lorries, preventing any appreciation of its landscape and countryside. Sibelco has a poor track record for restoration in the area, and have failed to ensure safety of sites after extraction - its Bawsey site was the cause of deaths by drowning. The company has not been a 'good neighbour' and has done nothing to engage with the community or alleviate residents' concerns.
Lastly, I object to the fact that there would be no benefit to the local community or economy if this proposal goes through. What is clear is that a number of local communities will bear the brunt of a hugely disruptive and harmful industrial process; that a very popular public amenity enjoyed by a much larger section of the population will be permanently lost; and the only beneficiaries of this development will be a few landowners, Norfolk County Council, but principally the private owners of the Belgian company Sibelco.
Given that County Councils are responsible for the provision of public services for taxpayers and community wellbeing, and not the promotion of harmful and irresponsible businesses that present no local benefit, but with multiple risks, dictates that Norfolk County Council should put public interest before private profit.
Please record this as my objection,

* Tottenhill surrounded by Quarries
* No of HGV/Traffic congestion
* Pollution
* Too near Wormegay School
* No other wooded areas nearby
* No footpaths for walking
Accident black spot A134/A10 roundabout and Wormegay school.

Full text:

Objections to MIN 74, 76, 77 and 206 in Tottenhill and ASO I and ASO J.
Objection to AOS E - Land Between Marham and Shouldham and includes Shouldham Warren
I object to AOS E, including Shouldham Warren and the overlap with formerly SIL 02, in the Norfolk Minerals and Waste Local Plan. I strongly object to the fact that Norfolk County Council has deliberately misled residents by announcing the removal of SIL 02 when in reality a third of it is now/still included in AOS E.
As a member of the community, I echoed the concerns held by the Ministry of Defence when they objected to these proposals, due to the fact that the plan of a wet working and restoration in close proximity to RAF Marham, well within the statutory 13 kms limit, will increase the risk of "bird strikes" or worst-case scenario, end in an aircraft crash and potential loss of life. The economic cost of such a mishap would be greater than £100M just to replace an F35 Lightning II; add to that the costs for the emergency services and for the immediate and subsequent treatments through the NHS for the physical and mental injuries caused, and the financial costs become an unaffordable risk.
Permanent loss of agricultural land will impact rural Norfolk, its farming jobs, jobs of local employees i.e. British Sugar, including the increased need for home grown food, due to the impact of Brexit.
I object to the negative impact on villagers'/visitors' health. According to Public Health Profile 2018, our villages have higher levels of respiratory problems and reduced respiratory function (Chronic Obstructive Pulmonary Disease, Asthma), silica particles will exacerbate these conditions. Loss of natural spaces has been proven to adversely affect health, mental and physical. This fenland and forest (Shouldham Warren) is our community's public open space, our gym and our sanctuary, hundreds of people use it daily for physical recreation and social wellbeing interactions.
I object to the fact that the plan would ruin the Landscape, Shouldham Warren, the Countryside, including habitats for birds, animals, and insects. The Warren is home to 64 species of conservation concern, including endangered bats, nightjars and woodlarks. 100s of birds roost there. We need nature and trees now more than ever to combat pollution and climate change.
I object to the unsustainable use of a finite mineral resource, when the county only recycles a fraction of the glass already in circulation. There are national government policies and guidance including DEFRA and the Dept for Business Energy & Industrial Strategy that are clearly being ignored in order to allow a privately-owned Belgian company to profit from the devastation of our community asset, landscape and environment.
I further object to the worrying possibility of damage to our Public Water. It is very concerning that if quarrying was allowed to take place, whether through wet or dry working, the water supply could be affected, as the whole area of AOS E has very productive to moderately productive aquifers.
A further objection relates to the lack of restoration plans. Any restoration would take in excess of 30 years, until then the community would suffer from a devastated industrial landscape, increased flow of heavy articulated lorries, preventing any appreciation of its landscape and countryside. Sibelco has a poor track record for restoration in the area, and have failed to ensure safety of sites after extraction - its Bawsey site was the cause of deaths by drowning. The company has not been a 'good neighbour' and has done nothing to engage with the community or alleviate residents' concerns.
Lastly, I object to the fact that there would be no benefit to the local community or economy if this proposal goes through. What is clear is that a number of local communities will bear the brunt of a hugely disruptive and harmful industrial process; that a very popular public amenity enjoyed by a much larger section of the population will be permanently lost; and the only beneficiaries of this development will be a few landowners, Norfolk County Council, but principally the private owners of the Belgian company Sibelco.
Given that County Councils are responsible for the provision of public services for taxpayers and community wellbeing, and not the promotion of harmful and irresponsible businesses that present no local benefit, but with multiple risks, dictates that Norfolk County Council should put public interest before private profit.

Please record this as my objection,

* Tottenhill surrounded by Quarries
* No of HGV/Traffic congestion
* Pollution
* Too near Wormegay School
* No other wooded areas nearby
* No footpaths for walking
Accident black spot A134/A10 roundabout and Wormegay school.

Object

Preferred Options consultation document

Representation ID: 98300

Received: 14/10/2019

Respondent: Brian Hibberd

Representation Summary:

Please list this as my objection as i cannot see how i can object on your website.
I live only a few hundred metres away from the proposed Minerals and Waste Extraction site in Runcton Road. [redacted text - personal data]. The continued noise and disruption along Runcton Road by HGV's using this outside my front door would [redacted text - personal data]. I have to object strongly to this use.

Full text:

Please list this as my objection as i cannot see how i can object on your website.
I live only a few hundred metres away from the proposed Minerals and Waste Extraction site in Runcton Road. [redacted text - personal data]. The continued noise and disruption along Runcton Road by HGV's using this outside my front door would [redacted text - personal text]. I have to object strongly to this use.

Object

Preferred Options consultation document

Representation ID: 98340

Received: 29/10/2019

Respondent: Edward Zipfell

Representation Summary:

ASO J and A0SI Land to the east of Tottenhill.

OBJECT
Reasons for objection.

J.2 State access from the site could be via the southern track unto A4134 subject to junction improvements, a dedicated access could be created to the A4134 or the A10 with junction improvements. lf the junction unto the A134 is used it will course traffic to back up either side of the junction coursing further congestion and accidents, this road is used by heavy lorry's going to and from the Sugar Beet Factory. Going via the A134 it will be taking traffic by the school junction coursing more risk of accidents happening involving parents and children
Site traffic would go to the A134 and A10 roundabout, at the same time there would be site traffic from the quarry plant and safari park entering the Roundabout coursing more congestion and frustration to motorist.
AOSI Site traffic going via the junction onto the A10 at Thieves Bridge turning right and going through the accident black spot at the junction to Tottenhill and Watlington and onto the roundabout joining the A134 coursing the same situation as stated above.
A footpath going from Deals Lane and up to the A134 to Tottenhill church, this footpath is running through the south side of the proposed site and will be taken if put forward.
Cutting down a complete fir wood losing all the wild life and habitat, moving all the birdlife
Closer to Marham aerodrome This is a 100year old wood.
With these two sites small hamlet of Tottenhill will be surrounded with quarries.

Objections to AOS I
As a member of the community, I echoed the concerns held by the Ministry of Defence when they objected to these proposals, due to the fact that the plan of a wet working and restoration in close proximity to RAF Marham, well within the statutory 13 kms limit, will increase the risk of "bird strikes" or worst-case scenario, end in an aircraft crash and potential loss of life. The economic cost of such a mishap would be greater than £100M just to replace an F35 Lightning II; add to that the costs for the emergency services and for the immediate and subsequent treatments through the NHS for the physical and mental injuries caused, and the financial costs become an unaffordable risk.
Permanent loss of agricultural land will impact rural Norfolk, its farming jobs, jobs of local employees i.e. British Sugar, including the increased need for home grown food, due to the impact of Brexit.
I object to the negative impact on villagers'/visitors' health. According to Public Health Profile 2018, our villages have higher levels of respiratory problems and reduced respiratory function (Chronic Obstructive Pulmonary Disease, Asthma), silica particles will exacerbate these conditions. Loss of natural spaces has been proven to adversely affect health, mental and physical. This fenland and forest (Shouldham Warren) is our community's public open space, our gym and our sanctuary, hundreds of people use it daily for physical recreation and social wellbeing interactions.
I object to the fact that the plan would ruin the Landscape, Shouldham Warren, the Countryside, including habitats for birds, animals, and insects. The Warren is home to 64 species of conservation concern, including endangered bats, nightjars and woodlarks. We need nature and trees now more than ever to combat pollution and climate change.
I object to the unsustainable use of a finite mineral resource, when the county only recycles a fraction of the glass already in circulation. There are national government policies and guidance including DEFRA and the Dept for Business Energy & Industrial Strategy that are clearly being ignored in order to allow a privately-owned Belgian company to profit from the devastation of our community asset, landscape and environment.
I further object to the worrying possibility of damage to our Public Water. It is very concerning that if quarrying was allowed to take place, whether through wet or dry working, the water supply could be affected, as the whole area of AOS E has very productive to moderately productive aquifers.
A further objection relates to the lack of restoration plans. Any restoration would take in excess of 30 years, until then the community would suffer from a devastated industrial landscape, increased flow of heavy articulated lorries, preventing any appreciation of its landscape and countryside. Sibelco has a poor track record for restoration in the area, and have failed to ensure safety of sites after extraction - its Bawsey site was the cause of deaths by drowning. The company has not been a 'good neighbour' and has done nothing to engage with the community or alleviate residents' concerns.
Lastly, I object to the fact that there would be no benefit to the local community or economy if this proposal goes through. What is clear is that a number of local communities will bear the brunt of a hugely disruptive and harmful industrial process; that a very popular public amenity enjoyed by a much larger section of the population will be permanently lost; and the only beneficiaries of this development will be a few landowners, Norfolk County Council, but principally the private owners of the Belgian company Sibelco.
Given that County Councils are responsible for the provision of public services for taxpayers and community wellbeing, and not the promotion of harmful and irresponsible businesses that present no local benefit, but with multiple risks, dictates that Norfolk County Council should put public interest before private profit.
Please record this as my objection,

Objections to AOS I
* Tottenhill surrounded by quarries
* No of HGVs / traffic congestion
* Pollution
* Too near Wormegay school
accident black spot
A134 / A10 roundabout and Wormegay School

Full text:

Proposed Site Min74
OBJECT
Reasons for objecting
M74.L
It states adverse dust impacts are uncommon beyond 250m the nearest property ls within 77m. The impact on the residents will be dust/noise/pollution from machinery. M74.16 States Sand and gravel will be transported by existing conveyor This means transporting materials to the conveyor along the back of all the Properties causing more disturbance pollution noise and dust. The foundations to these properties are minimal and close to the surface, vulnerable to subsidence, due to vibration and the water table dropping which is more noticeable in all of ' Tottenhill This last few years with all the quarrying going on in the area.
A quarry on this site would have an unacceptable impact to the area, the Tottenhill Row residents and residents along the A10 overlooking the site. Bunding would be intrusive to this conservation area.
Traffic going unto the roundabout A10 and A134 plus the private companies Collecting sand and gravel, 80 passes a day to and from safari park all coursing more congestion to these already over loaded roads impacting on the residents and all in the surrounding area who use these roads. Tottenhill Row is a conservation area an area of natural beauty this site would be intrusive. Quarrying in Tottenhill has been going on for a 100years or more the first planning application in the 1990s, 60 years disturbance and disruption in the area.
Taking Arable land out of the food chain which is needed more than ever.
Surly NCC you can see why Tottenhill and its residents have had enough and stop this being put Forward.

PROPOSED Site Min77

OBJECT
Reasons for objection
There are broad leave trees in this wood over 100+years old Cutting this wood down would devastate the area killing or moving all wildlife and habitat. Completely changing the landscape, Ecological impact would be great.
When Min76 came up for planning we asked if the conveyor belt could be moved To the north side of Watlington Road to be further away frbm the residents at Tottenhill Row the answer was no, one of the main reasons it would involve cutting down trees which were mainly saplings, now it is convenient to cut down a mature wood. ln this case the environment and conservation has conveniently been forgot.
We need to keep and maintain all the woodlands to help check pollution. Helping the small birds which are disappearing in the area, and the wildlife.
MIN77.16 It states sand and gravel will be transported to the existing processing plant by conveyor, the conveyor has been moved to Min76 the culvert under the road to the processing plant has been granted planning permission for-trafficking visitors to the Safari Park. Will this mean traffic to the Safari Park will go by road causing more congestion? 40 vehicles a day = 80 passes on the roads a day.
There is no mention how the site will be cleared and managed when cutting and clearing the trees, how hardwood and mature trees will be transported off site Which road and junction will be used. This means very large vehicles using the roads at the same time as vehicles from the plant site and safari park causing congestion on the roads.
M77.19 States the site is proposed to be restored to nature conservation comprising a mixture of ponds. wet woodland, and wet grass land etc., Combined with the vast area of open water we already have in Tottenhill we will lose even more water to open water evaporation, It is stressed we should save all the water we can, in the last few years with all the quarrying the whole area is drying out dropping the water table. The past planning applications for MIN 75 76 the PC has asked for an open water evaporation report. Not seen one to date. Tottenhill is being surrounded with quarries which are being left open and causing loss of water through evaporation and are intrusive to the landscape. lf this site is put forward Tottenhill has another Minimum of thirteen years of traffic/pollution/noiseland disruption on top of the 60 years we have already had, we have given our fair share of aggregates to Norfolk and surrounding counties. Tottenhíll and the residence say Enough ls Enough.


PROPOSED MIN 206
Object
Reasons for objecting
The nearest residents are well within the impact area of dust/ noise
Pollution and vibration, Running alongside Watlington road and the A10
This could course subsidence to properties and the A10
There will be a visual impact from the A10 and the Watlington road.
Whichever way you go from Tottenhill to Watl¡ngton all you can see is intrusive and unsightly earth bunds, screening this site will add even more.
M206.8 There are public footpaths shown on the map going from the 410 through to Tottenhill Row on this site. Have the residents lost this right of way. Planning permission has been granted on the site for car parking to the safari park, where will this parking be located?
M206.12 it states CWS 385 Tottenh¡ll Village Green it is an area of moderately species rich neutral grassland containing three small ponds which seasonally dry. These ponds very really dried up until the last Two to three years of intensive quarrying coursing the water table to drop and the whole area drying out. This site will put more traffic on the roads more pollution/noise dust. Affecting the water table even more, coursing the spring at Tottenhill Row conservation area to stop running and feeding the spring pit and destroy all the wildlife/habitat and plant life.
Tottenhill is virtually surrounded in old and recent quarries left open and not landscaped as planning permission granted Over 60 years of quarrying, Tottenhill has had enough.

ln the EXTRACTS NORFOLK MINERALS LOCAL PLAN policies.
It shows 3 and 4 reasons for each one of the sites Min74 77 and 206 that NCC should reject putting these sites forward for review

ASO J and A05L Land to the east of Tottenhill.

OBJECT
Reasons for objection.
AOSJ J.1 Tottenhill and Wormegay school is close to this site, the prevailing wind blows directly onto the school this could course the children to have breathing and lung problems in the future through dust and pollution blowing from the site onto the school. The noise from machinery coursing distraction in the classroom. This site would have a visual impact on the area from the site access along the A134 and from A134 to Tottenhill. There would be a visual impact along Deals Lane overlooking the site.
J.2 State access from the site could be via the southern track unto A134 subject to junction improvements, a dedicated access could be created to the A134 or the A10 with junction improvements. lf the junction unto the A134 is used it will course traffic to back up either side of the junction coursing further congestion and accidents, this road is used by heavy lorry's going to and from the Sugar Beet Factory. Going via the A134 it will be taking traffic by the school junction coursing more risk of accidents happening involving parents and children
Site traffic would go to the A134 and A10 roundabout, at the same time there would be site traffic from the quarry plant and safari park entering the Roundabout coursing more congestion and frustration to motorist.
AOSI Site traffic going via the junction onto the A10 at Thieves Bridge turning right and going through the accident black spot at the junction to Tottenhill and Watlington and onto the roundabout joining the A134 coursing the same situation as stated above.
A footpath going from Deals Lane and up to the A134 to Tottenhill church, this footpath is running through the south side of the proposed site and will be taken if put forward.
Cutting down a complete fir wood losing all the wild life and habitat, moving all the birdlife
Closer to Marham aerodrome This is a 100year old wood.
With these two sites small hamlet of Tottenhill will be surrounded with quarries.

Objection to AOS E - land between Marham and Shouldham and includes Shouldham Warren

I object to AOS Ë, including Shouldham Wanen and the overlap with formerly SIL 02, in the Norfolk Minerals and Waste Local Plan, I strongly object to the fact that Norfolk County Council has deliberately misled residents by announcing the removal of SIL 02 when in reality a third of it is now/still included in AOS E.
As a member of the community, I echoed the concerns held by the Ministry of Defence when they objected to these proposals, due to the fact that the plan of a wet working and restoration in close proximity to RAF Marham, well within the statutory 13 kms limit, will increase the risk of 'bird strikes' or worst case scenario, end in an aircraft crash and potential loss of life. The economic cost of such a mishap would be greater than £100M just to replace an F35 Lightning ll; add to that the costs for the emergency services and for the immediate and subsequent treatments through the NHS fur the physical and mental injuries caused, and the financial costs become an unaffordable risk.
Permanent loss of agricultural land will impact rural Norfolk, its farming jobs, jobs of local employees i.e. British Sugar, including the increased need for home grown food, due to the impact of Brexit.
I object to the negative impact on villagers visitors' health. According to Public Health Profile 2018, our villages have higher levels of respiratory problems and reduced respiratory function (Chronic Obstructive Pulmonary Disease, Asthma), silica particles will exacerbate these conditions. Loss of natural spaces has been proven to adversely affect health, mental and physical. This fenland and forest (Shouldham Warren) is our community's public open space, our gym and our sanctuary, hundreds of people use it daily for physical recreation and social wellbeing interactions.
I object to the fact that the plan would ruin the Landscape, Shouldham Warren, the Countryside, including habitats for birds, animals, and insects. The Warren is home to 64 species of conservation concern, including endangered bats, nightjars and woodlarks. We need nature and trees now more than ever to combat pollution and climate change.
I object to the unsustainable use of a finite mineral resource, when the county only recycles a fraction of the glass already in circulation, There are national governmental policies and guidance including DEFRA and the Dept for Business Energy & industrial Strategy that are clearly being ignored in order to allow a privately-owned Belgian company to profit from the devastation of our community asset, landscape and environment.
f further object to the worrying possibility of damage to our Public Water. It is very concerning that if quarrying was allowed to take place, whether through wet or dry working, the water supply could be affected, as the whole area of AOS E has very productive to moderately productive aquifers.
A further objection relates to the lack of restoration plans. Any restoration would take in excess of 30 years, until then the community would suffer from a devastated industrial landscape, increased flow of heavy articulated lories, preventing any appreciation of its landscape and countryside. Sibelco has a poor track record for restoration in the area, and have failed to ensure safety of sites after extraction - Its Bawsey site was the cause of deaths by drowning. The company has not been a 'good neighbour' and has done nothing to engage with the community or alleviate residents concerns.
Lastly I object to the fact that there would be no benefit to the local community economy if this proposal goes through. What is clear is that a number of local communities will bear the brunt of a hugely disruptive and harmful industrial process; that a very popular public amenity enjoyed by a much larger section of the population will be permanently lost; and the only beneficiaries of this development will be a few landowners, Norfolk County Council, but principally the private owners of the Belgian company Sibelco.
Given that County Councils are responsible for the provision of public services for taxpayers and community wellbeing, and not the promotion of harmful and irresponsible businesses that present no local benefit, but with multiple risks, dictates that Norfolk County Council should put public interest before private profit
Please record this as my objection

Objections to MIN 74, 76, 77 and 206 in Tottenhill and AOS I and AOS J

* Tottenhill surrounded by quarries
*No of HGV / traffic congestion
* Pollution
*Too near Wormegay school
Accident black spot
A134 / A10 roundabout and Wormegay School

Object

Preferred Options consultation document

Representation ID: 98357

Received: 14/10/2019

Respondent: Owen Dempsey

Representation Summary:

I wish to register an objection to the proposed change to the County Plan regarding mineral extraction in the area around Tottenhill, Wormegay and Shouldham, especially MIN 206 and AOSs E, F, J and I. I live locally and these developments would affect me.

1) This area already has substantial extraction ongoing in the area between Tottenhill and Watlington which has caused loss of vegetation, farmland and tree cover. The new proposals, especially AOS E, involve destroying ancient woodlands and a much-used leisure area. The existing works have negatively affected the local (Tottenhill Row/Tottenhill) water table and the proposed increased works will almost certainly have an increased impact here and in their locality, eg Tottenhill, Shouldham, Wormegay. MIN76 has already recently been approved, for 285,000 tonnes of sand and gravel extraction, which will add to existing traffic etc pressures.

2) Restoration after the extraction has finished will obviously be some years ahead; it must be questionable whether the extraction company/ies can be relied on to do the restoration work ten or twenty years ahead, especially as the proposed areas are so extensive. Any restoration will obviously be new, and not replace ancient woodlands, archaeology etc.

3) Even if "wet" extraction methods are used, there will be large areas of un-vegetated land exposed after the top cover is removed; this will unavoidably dry out and be blown around causing dust problems over the local area. The 250m limit for dust impact is unrealistic given the relatively open aspect of the area. which will become more open as tree cover is destroyed.

4) The transport infrastructure in this part of Norfolk is not well developed; there is no railway link and no dual carriageway road access. All extracted sand, gravel etc will be removed by road, on single-carriageway roads, with several accident blackspots (A134/A10 roundabout, A10 Whin Common Road junction at Tottenhill, A134 Wormegay School, A10/Thieves Bridge Road junction which has had at least two crashes in recent weeks, A134 Stradsett Junction in the immediate area).
This is the only access for all sites involved except AOS E, but public road access is also given as a potential choice for AOS E.

5) There is no obvious benefit for the local community, for example for employment, as there are likely to few jobs created with modern mechanised extraction methods. Transporting the product is likely to be carried out by existing firms, many of which will be national; even if local it is unlikely that any new jobs would result.

Full text:

I wish to register an objection to the proposed change to the County Plan regarding mineral extraction in the area around Tottenhill, Wormegay and Shouldham, especially MIN 206 and AOSs E, F, J and I. I live locally and these developments would affect me.

1) This area already has substantial extraction ongoing in the area between Tottenhill and Watlington which has caused loss of vegetation, farmland and tree cover. The new proposals, especially AOS E, involve destroying ancient woodlands and a much-used leisure area. The existing works have negatively affected the local (Tottenhill Row/Tottenhill) water table and the proposed increased works will almost certainly have an increased impact here and in their locality, eg Tottenhill, Shouldham, Wormegay. MIN76 has already recently been approved, for 285,000 tonnes of sand and gravel extraction, which will add to existing traffic etc pressures.

2) Restoration after the extraction has finished will obviously be some years ahead; it must be questionable whether the extraction company/ies can be relied on to do the restoration work ten or twenty years ahead, especially as the proposed areas are so extensive. Any restoration will obviously be new, and not replace ancient woodlands, archaeology etc.

3) Even if "wet" extraction methods are used, there will be large areas of un-vegetated land exposed after the top cover is removed; this will unavoidably dry out and be blown around causing dust problems over the local area. The 250m limit for dust impact is unrealistic given the relatively open aspect of the area. which will become more open as tree cover is destroyed.

4) The transport infrastructure in this part of Norfolk is not well developed; there is no railway link and no dual carriageway road access. All extracted sand, gravel etc will be removed by road, on single-carriageway roads, with several accident blackspots (A134/A10 roundabout, A10 Whin Common Road junction at Tottenhill, A134 Wormegay School, A10/Thieves Bridge Road junction which has had at least two crashes in recent weeks, A134 Stradsett Junction in the immediate area).
This is the only access for all sites involved except AOS E, but public road access is also given as a potential choice for AOS E.

5) There is no obvious benefit for the local community, for example for employment, as there are likely to few jobs created with modern mechanised extraction methods. Transporting the product is likely to be carried out by existing firms, many of which will be national; even if local it is unlikely that any new jobs would result.

Object

Preferred Options consultation document

Representation ID: 98453

Received: 29/10/2019

Respondent: Tottenhill parish council

Representation Summary:

ASO J and AOS I Land to the east of Tottenhill.
OBJECTION
Reasons for objection.
AOSJ J.1 Tottenhill and Wormegay school is close to this site, the prevailing wind blows directly onto the school this could course the children to have breathing and lung problems in the future through dust and pollution blowing from the site onto the school. The noise from machinery coursing distraction in the classroom. This site would have a visual impact on the area from the site access along the A134 and from A134 to Tottenhill. There would be a visual
impact along Deals Lane overlooking the site.
J.2 State access from the site could be via the southern track unto A134 subject to junction improvements, a dedicated access could be created to the A134 or the A10 with junction improvements. If the junction unto the A134 is used It will course traffic to back up either side of the junction coursing further congestion and accidents, this road is used by heavy lorry's going to and from the Sugar Beet Factory. Going via the A134 it will be taking traffic by the school junction coursing more risk of accidents happening involving parents and children.
Site traffic would go to the A134 and A10 roundabout, at the same time there would be site traffic from the quarry plant and safari park entering the Roundabout coursing more congestion and frustration to motorist.
AOS I Site traffic going via the junction onto the A10 at Thieves Bridge turning right and going through the accident black spot at the junction to Tottenhill and Watlington and onto the roundabout joining the A134 coursing the same situation as stated above.
A footpath going from Deals Lane and up to the A134 to Tottenhill church, This footpath is running through the south side of the proposed site and will be taken if put forward.
Cutting down a complete fir wood losing all the wild life and habitat, this is a 100 year old wood.
With these two sites small hamlet of Tottenhill will be surrounded with quarries.

Full text:

Please find enclosed the comments and objections of Totten hill Parish Council to the proposal of AOS J and I areas of search and to MIN74, 77 and 206, as requested under the Preferred Options Consultation on the Norfolk Minerals and Waste Local Plan (M&WLP).

ASO J and AOS I Land to the east of Tottenhill.
OBJECTION
Reasons for objection.
AOSJ J.1 Tottenhill and Wormegay school is close to this site, the prevailing wind blows directly onto the school this could course the children to have breathing and lung problems in the future through dust and pollution blowing from the site onto the school. The noise from machinery coursing distraction in the classroom. This site would have a visual impact on the area from the site access along the A134 and from A134 to Tottenhill. There would be a visual impact along Deals Lane overlooking the site.
J.2 State access from the site could be via the southern track unto A134 subject to junction improvements, a dedicated access could be created to the A134 or the A10 with junction improvements. If the junction unto the A134 is used It will course traffic to back up either side of the junction coursing further congestion and accidents, this road is used by heavy lorry's going to and from the Sugar Beet Factory. Going via the A134 it will be taking traffic by the school junction coursing more risk of accidents happening involving parents and children.
Site traffic would go to the A134 and A10 roundabout, at the same time there would be site traffic from the quarry plant and safari park entering the Roundabout coursing more congestion and frustration to motorist.
AOS I Site traffic going via the junction onto the A10 at Thieves Bridge turning right and going through the accident black spot at the junction to Tottenhill and Watlington and onto the roundabout joining the A134 coursing the same situation as stated above.
A footpath going from Deals Lane and up to the A134 to Tottenhill church, This footpath is running through the south side of the proposed site and will be taken if put forward.
Cutting down a complete fir wood losing all the wild life and habitat, this is a 100 year old wood.
With these two sites small hamlet of Tottenhill will be surrounded with quarries.

Proposed site MIN 74 - OBJECTION
Reasons for objecting.
M74.1 It states adverse dust impacts are uncommon beyond 250m the nearest property Is within 77m. The impact on the residents will be dust/ noise/pollution from machinery. M74.16 States Sand and gravel will be transported by existing conveyor This means transporting materials to the
conveyor along the back of all the Properties causing more disturbance pollution noise and dust. The foundations to these properties are minimal and close to the surface, vulnerable to subsidence, due to vibration and the water table dropping which is more noticeable in all of Tottenhill This last few years with all the quarrying going on in the area.
A quarry on this site would have an unacceptable impact to the area, the Tottenhill Row residents and residents along the A10 overlooking the site. Bunding would be intrusive to this conservation area.
Traffic going unto the roundabout A10 and A134 plus the private companies Collecting sand and gravel, 80 passes a day to and from safari park all coursing more congestion to these already over loaded roads impacting on the residents and all in the surrounding area who use these roads. Tottenhill Row is a conservation area an area of natural beauty this site would be intrusive. Quarrying in Tottenhill has been going on for a 100years or more the first planning application in the 1990s, 60 years disturbance and disruption in the area.
Taking Arable land out of the food chain which is needed more than ever.
Surly NCC you can see why Tottenhill and its residents have had enough and stop this being put forward.

PROPOSED Site Min77 - OBJECTION
Reasons for objection
There are broad leave trees in this wood over 100+years old Cutting this wood down would devastate the area killing or moving all wildlife and habitat. Completely changing the landscape, Ecological impact would be great.
When Min76 came up for planning we asked if the conveyor belt could be moved To the north side of Watlington Road to be further away from the residents at Tottenhill Row the answer was no, one of the main reasons it would involve cutting down trees which were mainly saplings, now it is convenient to cut down a mature wood. In this case the environment and conservation has conveniently been forgot.
We need to keep and maintain all the woodlands to help check pollution. Helping the small birds which are disappearing in the area, and the wildlife.
MIN77.16 It states sand and gravel will be transported to the existing processing plant by conveyor, the conveyor has been moved to Min76 the culvert under the road to the processing plant has been granted planning permission for-trafficking visitors to the Safari Park. Will this mean traffic to the Safari Park will go by road causing more congestion? 40 vehicles a day= 80 passes on the roads a day.
There is no mention how the site will be cleared and managed when cutting and clearing the trees, how hardwood and mature trees will be transported off site Which road and junction will be used. This means very large vehicles using the roads at the same time as vehicles from the plant site and safari park causing congestion on the roads.
M77.19 States the site is proposed to be restored to nature conservation comprising a mixture of ponds. wet woodland, and wet grass land etc., Combined with the vast area of open water we already have in Tottenhill we will lose even more water to open water evaporation, ltis stressed we should save all the water we can, in the last few years with all the quarrying the
whole area is drying out dropping the water table. The past planning applications for MIN 75 76 the PC has asked for an open water evaporation report. Not seen one to date. Tottenhill is being surrounded with quarries which are being left open and causing loss of water through evaporation and are intrusive to the landscape. If this site is put forward Tottenhill has another Minimum of thirteen years of traffic/pollution/noise/and disruption on top of the 60 years we have already had, we have given our fair share of aggregates to Norfolk and surrounding counties. Tottenhill and the residence say Enough Is Enough.

PROPOSED MIN 206
OBJECTION
Reasons for objecting
The nearest residents are well within the impact area of dust/ noise
Pollution and vibration, Running alongside Watlington road and the A10
This could course subsidence to properties and the A10
There will be a visual impact from the A10 and the Watlington road.
Whichever way you go from Tottenhill to Watlington all you can see is intrusive and unsightly earth bunds, screening this site will add even more.
M206.8 There are public footpaths shown on the map going from the Al0 through to Tottenhill Row on this site. Planning permission has been granted on the site for car parking to the safari park, where will this parking be located?
M206.12 It states CWS 385 Tottenhill Village Green it is an area of moderately species rich neutral grassland containing three small ponds which seasonally dry. These ponds very really dried up until the last Two to three years of intensive quarrying coursing the water table to drop and the whole area drying out.
This site will put more traffic on the roads more pollution/noise dust.
Affecting the water table even more, And coursing the spring at Tottenhill Row conservation area to stop running and feeding the spring pit.
Tottenhill is virtually surrounded in old and recent quarries left open and not landscaped as planning permission granted Over 60 years of quarrying, Tottenhill has had Enough.
We are asking NCC not to put this site forward for review.
In the EXTRACTS NORFOLK MINERALS LOCAL PLAN policies.
It shows 3 and four reasons for each one of the sites Min74 77 and 206 that NCC should reject putting these sites forward for review.

Object

Preferred Options consultation document

Representation ID: 98464

Received: 26/10/2019

Respondent: The Householder

Representation Summary:

I wish to comment and object to inclusion of mineral sites on the latest review of the NM&WLP
The overall appearance to this area has changed so dramatically the question needs to be asked is continued quarrying sustainable within this location.
I suspect that the amount of quarrying taking place in this immediate area must have an effect on the water table. During the summer months, the well on my property, dried up along with the cessation of the spring feeding the pond known as Spring pit located within the conservation area. These matters cause me concern about subsidence to the properties in the immediate vicinity. This has to be a planning consideration despite the Hydrological reports supplied by the applicants.
I would like to bring your attention to the congestion on the A10 which is now at its highest level. Although the proposed sand and gravel sites sites are supposed to be phased in over the duration of the NM & WLP, the combination of multiple sites, such as Sand and gravel site, local Silica sites and the recently approved Safari park will only create even more of a bottleneck at Oakwood corner roundabout and beyond. The accumulative effect will reduce access onto the roundabout giving rise to stationary traffic for longer periods increasing pollutants
With reference to the proximity of local sites on the map to my home, I can conclude the following;
AOS J /E/1 these are all unsuitable due to the extraordinary uniqueness of this woodland area. The area has great notoriety for families young and old to enjoy outdoor activities. This is immensely invaluable to health and well being. The quarrying in the short term will create more water pits which absorb no Co2 comapred to woodland and vegetation. We all need to believe this is needed for future generations and the future of our planet.
Deep water pits provide no benefit to any of us

Full text:

I wish to comment and object to inclusion of mineral sites on the latest review of the NM&WLP
I have read that MIN 74 and 77 have been considered unsuitable due the location to Tottenhill Row conservation area and negative impact to the landscape.
I agree that any bunding / screening for MIN 74 would be unable to hide the impact on the said area.
However I believe that these statements have been spoken before relating to MIN 75 and 76 when in question.
MIN 76 was taken off the local plan but years later reinstated when MIN 75 was granted planning consent. I therefore fear that history will repeat itself where sites have been claimed to be unsuitable then applied for at a later date.
If the noise and dust experienced from both MIN 75 and 76 are anything to go by, this will be a sad state of affairs if the sites are ever granted permission due to the fact that they are on the Local plan.
The local residents explained their concerns on these previous sites which are so close to the common and houses but these concerns were dismissed.
The overall appearance to this area has changed so dramatically the question needs to be asked is continued quarrying sustainable within this location.
I suspect that the amount of quarrying taking place in this immediate area must have an effect on the water table. During the summer months, the well on my property, dried up along with the cessation of the spring feeding the pond known as Spring pit located within the conservation area. These matters cause me concern about subsidence to the properties in the immediate vicinity. This has to be a planning consideration despite the Hydrological reports supplied by the applicants.
I would like to bring your attention to the congestion on the Al0 which is now at its highest level. Although the proposed sand and gravel sites sites are supposed to be phased in over the duration of the NM & WLP, the combination of multiple sites, such as Sand and gravel site, local Silica sites and the recently approved Safari park will only create even more of a bottleneck at Oakwood corner roundabout and beyond. The accumulative effect will reduce access onto the roundabout giving rise to stationary traffic for longer periods increasing pollutants
With reference to the proximity of local sites on the map to my home, I can conclude the following;
MIN 74 Unsuitable due to the proximity to the houses on Tottenhill Row and conservation area and would be intrusive to the front and rear of this small unique community
MIN 77 is unsuitable due to the devastation of deciduous woodland which has an untold significant biodiversity value to this already decimated area of deep marunade pits
MIN 206 Unsuitable due to the previously oversubscribed amount of quarrying in this community. This area is exhausted and fatigued from quarrying.
AOS J /E/1 these are all unsuitable due to the extraordinary uniqueness of this woodland area. The area has great notoriety for families young and old to enjoy outdoor activities. This is immensely invaluable to health and well being. The quarrying in the short term will create more water pits which absorb no Co2 comapred to woodland and vegetation. We all need to believe this is needed for future generations and the future of our planet.
Deep water pits provide no benefit to any of us

Object

Preferred Options consultation document

Representation ID: 98572

Received: 25/10/2019

Respondent: T Hazleton

Representation Summary:

As a member of the community, I echoed the concerns held by the Ministry of Defence when they objected to these proposals, due to the fact that the plan of a wet working and restoration in close proximity to RAF Marham, well within the statutory 13 kms limit, will increase the risk of "bird strikes" or worst-case scenario, end in an aircraft crash and potential loss of life. The economic cost of such a mishap would be greater than £100M just to replace an F35 Lightning II; add to that the costs for the emergency services and for the immediate and subsequent treatments through the NHS for the physical and mental injuries caused, and the financial costs become an unaffordable risk.
Permanent loss of agricultural land will impact rural Norfolk, its farming jobs, jobs of local employees i.e. British Sugar, including the increased need for home grown food, due to the impact of Brexit.
I object to the negative impact on villagers'/visitors' health. According to Public Health Profile 2018, our villages have higher levels of respiratory problems and reduced respiratory function (Chronic Obstructive Pulmonary Disease, Asthma), silica particles will exacerbate these conditions. Loss of natural spaces has been proven to adversely affect health, mental and physical. This fenland and forest (Shouldham Warren) is our community's public open space, our gym and our sanctuary, hundreds of people use it daily for physical recreation and social wellbeing interactions.
I object to the fact that the plan would ruin the Landscape, Shouldham Warren, the Countryside, including habitats for birds, animals, and insects. The Warren is home to 64 species of conservation concern, including endangered bats, nightjars and woodlarks. We need nature and trees now more than ever to combat pollution and climate change.
I object to the unsustainable use of a finite mineral resource, when the county only recycles a fraction of the glass already in circulation. There are national government policies and guidance including DEFRA and the Dept for Business Energy & Industrial Strategy that are clearly being ignored in order to allow a privately-owned Belgian company to profit from the devastation of our community asset, landscape and environment.
I further object to the worrying possibility of damage to our Public Water. It is very concerning that if quarrying was allowed to take place, whether through wet or dry working, the water supply could be affected, as the whole area of AOS E has very productive to moderately productive aquifers.
A further objection relates to the lack of restoration plans. Any restoration would take in excess of 30 years, until then the community would suffer from a devastated industrial landscape, increased flow of heavy articulated lorries, preventing any appreciation of its landscape and countryside. Sibelco has a poor track record for restoration in the area, and have failed to ensure safety of sites after extraction - its Bawsey site was the cause of deaths by drowning. The company has not been a 'good neighbour' and has done nothing to engage with the community or alleviate residents' concerns.
Lastly, I object to the fact that there would be no benefit to the local community or economy if this proposal goes through. What is clear is that a number of local communities will bear the brunt of a hugely disruptive and harmful industrial process; that a very popular public amenity enjoyed by a much larger section of the population will be permanently lost; and the only beneficiaries of this development will be a few landowners, Norfolk County Council, but principally the private owners of the Belgian company Sibelco.
Given that County Councils are responsible for the provision of public services for taxpayers and community wellbeing, and not the promotion of harmful and irresponsible businesses that present no local benefit, but with multiple risks, dictates that Norfolk County Council should put public interest before private profit.

Tottenhill surrounded by quarries
No of HGV/Traffic congestion
Pollution
Too near Wormegay school
Accident black spot A134/A10 roundabout and Wormegay school
Please record this as my objection

Full text:

Objection to potential silica extraction site. Tottenhill
We are Tottenhill residents of 32 years standing.
We wish to register out joint objections to the proposed potential silica extraction site mostly within Tottenhill civil parish as shown on attached map. Our main reason for objection is the very close proximity of this site to Tottenhill village. Silica extraction on this site will inevitably lead to high levels of noise, dust etc. to the detriment of residents of Tottenhill village.
Additionally extraction from this site will require the creation of a new access onto the A134 at a point close to Wormegay primary school with all the additional stopping and turning of traffic that this will entail. The road network to the immediate west of the proposed site, comprising entirely of single track roads, is wholly inadequate to cater for any additional heavy traffic.
For these reasons we wish to register our objections to mineral extraction from this site.

Objections to MIN 74, 76, 77 and 206 in Tottenhill and AOS E and AOS J
Objection to AOS E - land between Marham and Shouldham and includes Shouldham Warren

I object to AOS E, including Shouldham Warren and the overlap with formerly SIL 02, in the Norfolk Minerals and Waste Local Plan. I strongly object to the fact that Norfolk County Council has deliberately misled residents by announcing the removal of SIL 02 when in reality a third of it is now/still included in AOS E.
As a member of the community, I echoed the concerns held by the Ministry of Defence when they objected to these proposals, due to the fact that the plan of a wet working and restoration in close proximity to RAF Marham, well within the statutory 13 kms limit, will increase the risk of "bird strikes" or worst-case scenario, end in an aircraft crash and potential loss of life. The economic cost of such a mishap would be greater than £100M just to replace an F35 Lightning II; add to that the costs for the emergency services and for the immediate and subsequent treatments through the NHS for the physical and mental injuries caused, and the financial costs become an unaffordable risk.
Permanent loss of agricultural land will impact rural Norfolk, its farming jobs, jobs of local employees i.e. British Sugar, including the increased need for home grown food, due to the impact of Brexit.
I object to the negative impact on villagers'/visitors' health. According to Public Health Profile 2018, our villages have higher levels of respiratory problems and reduced respiratory function (Chronic Obstructive Pulmonary Disease, Asthma), silica particles will exacerbate these conditions. Loss of natural spaces has been proven to adversely affect health, mental and physical. This fenland and forest (Shouldham Warren) is our community's public open space, our gym and our sanctuary, hundreds of people use it daily for physical recreation and social wellbeing interactions.
I object to the fact that the plan would ruin the Landscape, Shouldham Warren, the Countryside, including habitats for birds, animals, and insects. The Warren is home to 64 species of conservation concern, including endangered bats, nightjars and woodlarks. We need nature and trees now more than ever to combat pollution and climate change.
I object to the unsustainable use of a finite mineral resource, when the county only recycles a fraction of the glass already in circulation. There are national government policies and guidance including DEFRA and the Dept for Business Energy & Industrial Strategy that are clearly being ignored in order to allow a privately-owned Belgian company to profit from the devastation of our community asset, landscape and environment.
I further object to the worrying possibility of damage to our Public Water. It is very concerning that if quarrying was allowed to take place, whether through wet or dry working, the water supply could be affected, as the whole area of AOS E has very productive to moderately productive aquifers.
A further objection relates to the lack of restoration plans. Any restoration would take in excess of 30 years, until then the community would suffer from a devastated industrial landscape, increased flow of heavy articulated lorries, preventing any appreciation of its landscape and countryside. Sibelco has a poor track record for restoration in the area, and have failed to ensure safety of sites after extraction - its Bawsey site was the cause of deaths by drowning. The company has not been a 'good neighbour' and has done nothing to engage with the community or alleviate residents' concerns.
Lastly, I object to the fact that there would be no benefit to the local community or economy if this proposal goes through. What is clear is that a number of local communities will bear the brunt of a hugely disruptive and harmful industrial process; that a very popular public amenity enjoyed by a much larger section of the population will be permanently lost; and the only beneficiaries of this development will be a few landowners, Norfolk County Council, but principally the private owners of the Belgian company Sibelco.
Given that County Councils are responsible for the provision of public services for taxpayers and community wellbeing, and not the promotion of harmful and irresponsible businesses that present no local benefit, but with multiple risks, dictates that Norfolk County Council should put public interest before private profit.

Tottenhill surrounded by quarries
No of HGV/Traffic congestion
Pollution
Too near Wormegay school
Accident black spot A134/A10 roundabout and Wormegay school
Please record this as my objection

Object

Preferred Options consultation document

Representation ID: 98577

Received: 25/10/2019

Respondent: Nicola Hazleton

Representation Summary:

As a member of the community, I echoed the concerns held by the Ministry of Defence when they objected to these proposals, due to the fact that the plan of a wet working and restoration in close proximity to RAF Marham, well within the statutory 13 kms limit, will increase the risk of "bird strikes" or worst-case scenario, end in an aircraft crash and potential loss of life. The economic cost of such a mishap would be greater than £100M just to replace an F35 Lightning II; add to that the costs for the emergency services and for the immediate and subsequent treatments through the NHS for the physical and mental injuries caused, and the financial costs become an unaffordable risk.
Permanent loss of agricultural land will impact rural Norfolk, its farming jobs, jobs of local employees i.e. British Sugar, including the increased need for home grown food, due to the impact of Brexit.
I object to the negative impact on villagers'/visitors' health. According to Public Health Profile 2018, our villages have higher levels of respiratory problems and reduced respiratory function (Chronic Obstructive Pulmonary Disease, Asthma), silica particles will exacerbate these conditions. Loss of natural spaces has been proven to adversely affect health, mental and physical. This fenland and forest (Shouldham Warren) is our community's public open space, our gym and our sanctuary, hundreds of people use it daily for physical recreation and social wellbeing interactions.
I object to the fact that the plan would ruin the Landscape, Shouldham Warren, the Countryside, including habitats for birds, animals, and insects. The Warren is home to 64 species of conservation concern, including endangered bats, nightjars and woodlarks. We need nature and trees now more than ever to combat pollution and climate change.
I object to the unsustainable use of a finite mineral resource, when the county only recycles a fraction of the glass already in circulation. There are national government policies and guidance including DEFRA and the Dept for Business Energy & Industrial Strategy that are clearly being ignored in order to allow a privately-owned Belgian company to profit from the devastation of our community asset, landscape and environment.
I further object to the worrying possibility of damage to our Public Water. It is very concerning that if quarrying was allowed to take place, whether through wet or dry working, the water supply could be affected, as the whole area of AOS E has very productive to moderately productive aquifers.
A further objection relates to the lack of restoration plans. Any restoration would take in excess of 30 years, until then the community would suffer from a devastated industrial landscape, increased flow of heavy articulated lorries, preventing any appreciation of its landscape and countryside. Sibelco has a poor track record for restoration in the area, and have failed to ensure safety of sites after extraction - its Bawsey site was the cause of deaths by drowning. The company has not been a 'good neighbour' and has done nothing to engage with the community or alleviate residents' concerns.
Lastly, I object to the fact that there would be no benefit to the local community or economy if this proposal goes through. What is clear is that a number of local communities will bear the brunt of a hugely disruptive and harmful industrial process; that a very popular public amenity enjoyed by a much larger section of the population will be permanently lost; and the only beneficiaries of this development will be a few landowners, Norfolk County Council, but principally the private owners of the Belgian company Sibelco.
Given that County Councils are responsible for the provision of public services for taxpayers and community wellbeing, and not the promotion of harmful and irresponsible businesses that present no local benefit, but with multiple risks, dictates that Norfolk County Council should put public interest before private profit.

* Tottenhill surrounded by quarries
* No of HGV/Traffic congestion
* Pollution
* Too near Wormegay school
Accident black spot A134/A10 roundabout and Wormegay school
Please record this as my objection

Full text:

We are Tottenhill residents of 32 years standing.
We wish to register out joint objections to the proposed potential silica extraction site mostly within Tottenhill civil parish as shown on attached map. Our main reason for objection is the very close proximity of this site to Totten hill village. Silica extraction on this site will inevitably lead to high levels of noise, dust etc. to the detriment of residents of Tottenhill village.
Additionally extraction from this site will require the creation of a new access onto the A134 at a point close to Wormegay primary school with all the additional stopping and turning of traffic that this will entail. The road network to the immediate west of the proposed site, comprising entirely of single track roads, is wholly inadequate to cater for any additional heavy traffic.
For these reasons we wish to register our objections to mineral extraction from this site.

Objections to MIN 74, 76, 77 and 206 in Tottenhill and AOS I and AOS J
Objection to AOS E - land between Marham and Shouldham and includes Shouldham Warren

I object to AOS E, including Shouldham Warren and the overlap with formerly SIL 02, in the Norfolk Minerals and Waste Local Plan. I strongly object to the fact that Norfolk County Council has deliberately misled residents by announcing the removal of SIL 02 when in reality a third of it is now/still included in AOS E.
As a member of the community, I echoed the concerns held by the Ministry of Defence when they objected to these proposals, due to the fact that the plan of a wet working and restoration in close proximity to RAF Marham, well within the statutory 13 kms limit, will increase the risk of "bird strikes" or worst-case scenario, end in an aircraft crash and potential loss of life. The economic cost of such a mishap would be greater than £100M just to replace an F35 Lightning II; add to that the costs for the emergency services and for the immediate and subsequent treatments through the NHS for the physical and mental injuries caused, and the financial costs become an unaffordable risk.
Permanent loss of agricultural land will impact rural Norfolk, its farming jobs, jobs of local employees i.e. British Sugar, including the increased need for home grown food, due to the impact of Brexit.
I object to the negative impact on villagers'/visitors' health. According to Public Health Profile 2018, our villages have higher levels of respiratory problems and reduced respiratory function (Chronic Obstructive Pulmonary Disease, Asthma), silica particles will exacerbate these conditions. Loss of natural spaces has been proven to adversely affect health, mental and physical. This fenland and forest (Shouldham Warren) is our community's public open space, our gym and our sanctuary, hundreds of people use it daily for physical recreation and social wellbeing interactions.
I object to the fact that the plan would ruin the Landscape, Shouldham Warren, the Countryside, including habitats for birds, animals, and insects. The Warren is home to 64 species of conservation concern, including endangered bats, nightjars and woodlarks. We need nature and trees now more than ever to combat pollution and climate change.
I object to the unsustainable use of a finite mineral resource, when the county only recycles a fraction of the glass already in circulation. There are national government policies and guidance including DEFRA and the Dept for Business Energy & Industrial Strategy that are clearly being ignored in order to allow a privately-owned Belgian company to profit from the devastation of our community asset, landscape and environment.
I further object to the worrying possibility of damage to our Public Water. It is very concerning that if quarrying was allowed to take place, whether through wet or dry working, the water supply could be affected, as the whole area of AOS E has very productive to moderately productive aquifers.
A further objection relates to the lack of restoration plans. Any restoration would take in excess of 30 years, until then the community would suffer from a devastated industrial landscape, increased flow of heavy articulated lorries, preventing any appreciation of its landscape and countryside. Sibelco has a poor track record for restoration in the area, and have failed to ensure safety of sites after extraction - its Bawsey site was the cause of deaths by drowning. The company has not been a 'good neighbour' and has done nothing to engage with the community or alleviate residents' concerns.
Lastly, I object to the fact that there would be no benefit to the local community or economy if this proposal goes through. What is clear is that a number of local communities will bear the brunt of a hugely disruptive and harmful industrial process; that a very popular public amenity enjoyed by a much larger section of the population will be permanently lost; and the only beneficiaries of this development will be a few landowners, Norfolk County Council, but principally the private owners of the Belgian company Sibelco.
Given that County Councils are responsible for the provision of public services for taxpayers and community wellbeing, and not the promotion of harmful and irresponsible businesses that present no local benefit, but with multiple risks, dictates that Norfolk County Council should put public interest before private profit.

* Tottenhill surrounded by quarries
* No of HGV/Traffic congestion
* Pollution
* Too near Wormegay school
Accident black spot A134/A10 roundabout and Wormegay school
Please record this as my objection

Object

Preferred Options consultation document

Representation ID: 98582

Received: 09/10/2019

Respondent: Keith Wood

Representation Summary:

in addition to the above comments I also object to the proposals as a very local resident who will be affected both directly and indirectly by increases in traffic and noise pollution. currently Tottenhill has sand extraction works to the west which under these proposals would extend to the south and east in effect surrounding a community with potential increases in noise and traffic on all sides. the infrastructure for transporting the proposed extraction is not currently adequate for the traffic levels as is let alone raising this even further. the current area is habitation for deer, nesting birds including nesting buzzard, kit, lesser spotted and greater spotted woodpecker, coal tits, great tits, long tail tit, to name just a few. along with Great crested newts, adders and other vertebrates within this area.
the use that the sand will be put to inevitably destroys a habitat by its very nature but the extraction destroys this one also. the construction industry are actively seeking other ways of building to reduce the carbon footprint that concrete production produces. lets nto add to it by transporting and destroying this local environment.

Full text:

Objection to NCC
To: Caroline Jeffery, Principal Planner (Minerals and Waste Policy) Norfolk County Council Objection to Quarrying in AOS E at Shouldham and Marham, Norfolk I object to silica sand mining taking place in the area of Area Of Search (AOS) E and its surroundings as proposed in the Norfolk County Council Mineral & Waste Local Plan, Preferred Options July 2019. It is used for outdoor exercise by 1000s of people; young and old. The loss of long-established woodlands would be devastating for mental health and physical well-being. It would be a disaster for the biodiversity of flora and fauna supported by that ecosystem. The destruction of woodland, never to be restored, is unacceptable at a time when Govt's policy (Clean Growth Strategy) is to increase the number of trees in the UK - "Establish a new network of forests in England... plant 11 million trees". We are facing a Climate Crisis. Shouldham Warren is one of our precious planet's lungs, capturing 11,000 tonnes of C02 per year. The Warren provides clean air, home to precious biodiversity and valuable educational space for children. The lack of an improved glass recycling plan to increase the amount of glass cullet available to UK glass manufacturers makes further quarrying for silica sand at the current rate morally wrong. "Our environment is our most precious inheritance," says DEFRA, so I urge Norfolk County Council to not allocate the woodlands and agricultural farmland in AOS E and remove AOS E from the Mineral & Waste Local Plan.


Comments
in addition to the above comments I also object to the proposals as a very local resident who will be affected both directly and indirectly by increases in traffic and noise pollution. currently Tottenhill has sand extraction works to the west which under these proposals would extend to the south and east in effect surrounding a community with potential increases in noise and traffic on all sides. the infrastructure for transporting the proposed extraction is not currently adequate for the traffic levels as is let alone raising this even further. the current area is habitation for deer, nesting birds including nesting buzzard, kit, lesser spotted and greater spotted woodpecker, coal tits, great tits, long tail tit, to name just a few. along with Great crested newts, adders and other vertebrates within this area.
the use that the sand will be put to inevitably destroys a habitat by its very nature but the extraction destroys this one also. the construction industry are actively seeking other ways of building to reduce the carbon footprint that concrete production produces. lets nto add to it by transporting and destroying this local environment.

Object

Preferred Options consultation document

Representation ID: 98603

Received: 23/10/2019

Respondent: Mrs T Eves

Representation Summary:

Re: Objections to Min74, 76, 77 and 206 and ASOI and ASOJ
I object to the new quarry plans Norfolk County Council have put forward in the revised Norfolk Minerals and Waste Local Plan which include the above sites.
As a parishioner of Tottenhill I am concerned about the impact these proposals will have upon the village where I have lived for 60 years.
Permanent loss of agricultural land will impact on rural Norfolk at a time when we need to produce more home grown produce. Especially as our population increases and we are told to reduce transportation of produce.
According to Public Health Profile 2018 our villages have higher levels of respiratory problems and reduced respiratory functions. Silica particles in the air will exacerbate these conditions.
We are encouraged to exercise more for our health and wellbeing. As there are no footpaths in the village (apart from a short path on the A134 to the school) people use Deals Lane and Priors Road for walking and exercising their dogs. I regularly use this lane with my husband and grandchildren as recreation. However, the landscape will be destroyed and instead of peace, quiet and birdsong there will be noise and air pollution.
I am also concerned that if the developments are passed there is a lack of restoration plans. This village already has many quarry sites which have resulted in large areas of open water which do not enhance the village in any way. Any future landscaping would take years and the village would suffer a devastating industrial landscape. Sibelco has a poor record of restoration and has failed to ensure safety after extraction - Bawsey, cause of deaths by drowning.
The excess traffic on the A10 will make travelling on this road even worse. I use this road for work which can take me 45 minutes plus to travel 11 miles to work. With extra traffic already earmarked because of the Safari Park and developments at West Winch, not to mention the sugarbeet lorries, the situation would become intolerable. Emergency vehicles already struggle to get through - again what consideration is there for those in need. Also Oakwood Corner and the Wormegay turning at Wormegay School are already known black spots.
There is also great concern for children attending Wormegay School. We are encouraged to walk or cycle instead of using our cars for the school run. Cycling to school is a non starter for those living in Tottenhill as there is a danger of being dragged under lorries travelling on the A10. Also children using the footpath can easily be blown to the side by passing lorries. Just imagine what this is like in inclement weather. I have also witnessed near misses when cars are trying to turn right from the A134 to go to school. Vehicles often have to stand for long periods waiting for passing traffic before they can turn and are vulnerable to traffic from behind. Although there is a speed limit it is often exceeded and there in no crossing for the children to use.
If there proposals go through Tottenhill will be surrounded by quarries. Resident's health and wellbeing will suffer. Although some may want to move, there may be a devaluation of properties and who would want to live in such a village?
On a personal level my family has enjoyed the tranquility of this parish for over 60 years. Four generations have used and still use these lanes for our health and wellbeing. Other footpaths which we had access to were taken away from us by the landowner and now form part of his agricultural land. For somebody who wants to promote the protection of wildlife, what has happened to the protection of our rural communities?
Please record this as my object

Full text:

Re: Objections to Min74, 76, 77 and 206 and ASOI and ASOJ
I object to the new quarry plans Norfolk County Council have put forward in the revised Norfolk Minerals and Waste Local Plan which include the above sites.
As a parishioner of Tottenhill I am concerned about the impact these proposals will have upon the village where I have lived for 60 years.
Permanent loss of agricultural land will impact on rural Norfolk at a time when we need to produce more home grown produce. Especially as our population increases and we are told to reduce transportation of produce.
According to Public Health Profile 2018 our villages have higher levels of respiratory problems and reduced respiratory functions. Silica particles in the air will exacerbate these conditions.
We are encouraged to exercise more for our health and wellbeing. As there are no footpaths in the village (apart from a short path on the A134 to the school) people use Deals Lane and Priors Road for walking and exercising their dogs. I regularly use this lane with my husband and grandchildren as recreation. However, the landscape will be destroyed and instead of peace, quiet and birdsong there will be noise and air pollution.
I am also concerned that if the developments are passed there is a lack of restoration plans. This village already has many quarry sites which have resulted in large areas of open water which do not enhance the village in any way. Any future landscaping would take years and the village would suffer a devastating industrial landscape. Sibelco has a poor record of restoration and has failed to ensure safety after extraction - Bawsey, cause of deaths by drowning.
The excess traffic on the A10 will make travelling on this road even worse. I use this road for work which can take me 45 minutes plus to travel 11 miles to work. With extra traffic already earmarked because of the Safari Park and developments at West Winch, not to mention the sugarbeet lorries, the situation would become intolerable. Emergency vehicles already struggle to get through - again what consideration is there for those in need. Also Oakwood Corner and the Wormegay turning at Wormegay School are already known black spots.
There is also great concern for children attending Wormegay School. We are encouraged to walk or cycle instead of using our cars for the school run. Cycling to school is a non starter for those living in Tottenhill as there is a danger of being dragged under lorries travelling on the A10. Also children using the footpath can easily be blown to the side by passing lorries. Just imagine what this is like in inclement weather. I have also witnessed near misses when cars are trying to turn right from the A134 to go to school. Vehicles often have to stand for long periods waiting for passing traffic before they can turn and are vulnerable to traffic from behind. Although there is a speed limit it is often exceeded and there in no crossing for the children to use.
If there proposals go through Tottenhill will be surrounded by quarries. Resident's health and wellbeing will suffer. Although some may want to move, there may be a devaluation of properties and who would want to live in such a village?
On a personal level my family has enjoyed the tranquility of this parish for over 60 years. Four generations have used and still use these lanes for our health and wellbeing. Other footpaths which we had access to were taken away from us by the landowner and now form part of his agricultural land. For somebody who wants to promote the protection of wildlife, what has happened to the protection of our rural communities?
Please record this as my object

Object

Preferred Options consultation document

Representation ID: 98608

Received: 23/10/2019

Respondent: Mr Frankie Arndt

Representation Summary:

Re: Objections to Min74, 76, 77 and 206 and ASOI and ASOJ
I object to the new quarry plans Norfolk County Council have put forward in the revised Norfolk Minerals and Waste Local Plan which include the above sites.
As a parishioner of Tottenhill I am concerned about the impact these proposals will have upon the village where I have lived for 43 years.
Permanent loss of agricultural land will impact on rural Norfolk at a time when we need to produce more home grown produce. Especially as our population increases and we are told to reduce transportation of produce.
According to Public Health Profile 2018 our villages have higher levels of respiratory problems and reduced respiratory functions. Silica particles in the air will exacerbate these conditions.
We are encouraged to exercise more for our health and wellbeing. As there are no footpaths in the village (apart from a short path on the A134 to the school) people use Deals Lane and Priors Road for walking and exercising their dogs. I regularly use this lane with my husband and grandchildren as recreation. However, the landscape will be destroyed and instead of peace, quiet and birdsong there will be noise and air pollution.
I am also concerned that if the developments are passed there is a lack of restoration plans. This village already has many quarry sites which have resulted in large areas of open water which do not enhance the village in any way. Any future landscaping would take years and the village would suffer a devastating industrial landscape. Sibelco has a poor record of restoration and has failed to ensure safety after extraction - Bawsey, cause of deaths by drowning.
The excess traffic on the A10 will make travelling on this road even worse. I use this road for work which can take me 45 minutes plus to travel 11 miles to work. With extra traffic already earmarked because of the Safari Park and developments at West Winch, not to mention the sugarbeet lorries, the situation would become intolerable. Emergency vehicles already struggle to get through - again what consideration is there for those in need. Also Oakwood Corner and the Wormegay turning at Wormegay School are already known black spots.
There is also great concern for children attending Wormegay School. We are encouraged to walk or cycle instead of using our cars for the school run. Cycling to school is a non starter for those living in Tottenhill as there is a danger of being dragged under lorries travelling on the A10. Also children using the footpath can easily be blown to the side by passing lorries. Just imagine what this is like in inclement weather. I have also witnessed near misses when cars are trying to turn right from the A134 to go to school. Vehicles often have to stand for long periods waiting for passing traffic before they can turn and are vulnerable to traffic from behind. Although there is a speed limit it is often exceeded and there in no crossing for the children to use.
If there proposals go through Tottenhill will be surrounded by quarries. Resident's health and wellbeing will suffer. Although some may want to move, there may be a devaluation of properties and who would want to live in such a village?
On a personal level my family has enjoyed the tranquility of this parish for many years. Four generations have used and still use these lanes for our health and wellbeing. Other footpaths which we had access to were taken away from us by the landowner and now form part of his agricultural land. For somebody who wants to promote the protection of wildlife, what has happened to the protection of our rural communities?
Please record this as my object

Full text:

Re: Objections to Min74, 76, 77 and 206 and ASOI and ASOJ
I object to the new quarry plans Norfolk County Council have put forward in the revised Norfolk Minerals and Waste Local Plan which include the above sites.
As a parishioner of Tottenhill I am concerned about the impact these proposals will have upon the village where I have lived for 43 years.
Permanent loss of agricultural land will impact on rural Norfolk at a time when we need to produce more home grown produce. Especially as our population increases and we are told to reduce transportation of produce.
According to Public Health Profile 2018 our villages have higher levels of respiratory problems and reduced respiratory functions. Silica particles in the air will exacerbate these conditions.
We are encouraged to exercise more for our health and wellbeing. As there are no footpaths in the village (apart from a short path on the A134 to the school) people use Deals Lane and Priors Road for walking and exercising their dogs. I regularly use this lane with my husband and grandchildren as recreation. However, the landscape will be destroyed and instead of peace, quiet and birdsong there will be noise and air pollution.
I am also concerned that if the developments are passed there is a lack of restoration plans. This village already has many quarry sites which have resulted in large areas of open water which do not enhance the village in any way. Any future landscaping would take years and the village would suffer a devastating industrial landscape. Sibelco has a poor record of restoration and has failed to ensure safety after extraction - Bawsey, cause of deaths by drowning.
The excess traffic on the A10 will make travelling on this road even worse. I use this road for work which can take me 45 minutes plus to travel 11 miles to work. With extra traffic already earmarked because of the Safari Park and developments at West Winch, not to mention the sugarbeet lorries, the situation would become intolerable. Emergency vehicles already struggle to get through - again what consideration is there for those in need. Also Oakwood Corner and the Wormegay turning at Wormegay School are already known black spots.
There is also great concern for children attending Wormegay School. We are encouraged to walk or cycle instead of using our cars for the school run. Cycling to school is a non starter for those living in Tottenhill as there is a danger of being dragged under lorries travelling on the A10. Also children using the footpath can easily be blown to the side by passing lorries. Just imagine what this is like in inclement weather. I have also witnessed near misses when cars are trying to turn right from the A134 to go to school. Vehicles often have to stand for long periods waiting for passing traffic before they can turn and are vulnerable to traffic from behind. Although there is a speed limit it is often exceeded and there in no crossing for the children to use.
If there proposals go through Tottenhill will be surrounded by quarries. Resident's health and wellbeing will suffer. Although some may want to move, there may be a devaluation of properties and who would want to live in such a village?
On a personal level my family has enjoyed the tranquility of this parish for many years. Four generations have used and still use these lanes for our health and wellbeing. Other footpaths which we had access to were taken away from us by the landowner and now form part of his agricultural land. For somebody who wants to promote the protection of wildlife, what has happened to the protection of our rural communities?
Please record this as my object

Object

Preferred Options consultation document

Representation ID: 98613

Received: 23/10/2019

Respondent: Mrs Geraldine Arndt

Representation Summary:

Re: Objections to Min74, 76, 77 and 206 and ASOI and ASOJ
I object to the new quarry plans Norfolk County Council have put forward in the revised Norfolk Minerals and Waste Local Plan which include the above sites.
As a parishioner of Tottenhill I am concerned about the impact these proposals will have upon the village where I have lived for 60 years.
Permanent loss of agricultural land will impact on rural Norfolk at a time when we need to produce more home grown produce. Especially as our population increases and we are told to reduce transportation of produce.
According to Public Health Profile 2018 our villages have higher levels of respiratory problems and reduced respiratory functions. Silica particles in the air will exacerbate these conditions.
We are encouraged to exercise more for our health and wellbeing. As there are no footpaths in the village (apart from a short path on the A134 to the school) people use Deals Lane and Priors Road for walking and exercising their dogs. I regularly use this lane with my husband and grandchildren as recreation. However, the landscape will be destroyed and instead of peace, quiet and birdsong there will be noise and air pollution.
I am also concerned that if the developments are passed there is a lack of restoration plans. This village already has many quarry sites which have resulted in large areas of open water which do not enhance the village in any way. Any future landscaping would take years and the village would suffer a devastating industrial landscape. Sibelco has a poor record of restoration and has failed to ensure safety after extraction - Bawsey, cause of deaths by drowning.
The excess traffic on the A10 will make travelling on this road even worse. I use this road for work which can take me 45 minutes plus to travel 11 miles to work. With extra traffic already earmarked because of the Safari Park and developments at West Winch, not to mention the sugarbeet lorries, the situation would become intolerable. Emergency vehicles already struggle to get through - again what consideration is there for those in need. Also Oakwood Corner and the Wormegay turning at Wormegay School are already known black spots.
There is also great concern for children attending Wormegay School. We are encouraged to walk or cycle instead of using our cars for the school run. Cycling to school is a non starter for those living in Tottenhill as there is a danger of being dragged under lorries travelling on the A10. Also children using the footpath can easily be blown to the side by passing lorries. Just imagine what this is like in inclement weather. I have also witnessed near misses when cars are trying to turn right from the A134 to go to school. Vehicles often have to stand for long periods waiting for passing traffic before they can turn and are vulnerable to traffic from behind. Although there is a speed limit it is often exceeded and there in no crossing for the children to use.
If there proposals go through Tottenhill will be surrounded by quarries. Resident's health and wellbeing will suffer. Although some may want to move, there may be a devaluation of properties and who would want to live in such a village?
On a personal level my family has enjoyed the tranquility of this parish for over 60 years. Four generations have used and still use these lanes for our health and wellbeing. Other footpaths which we had access to were taken away from us by the landowner and now form part of his agricultural land. For somebody who wants to promote the protection of wildlife, what has happened to the protection of our rural communities?
Please record this as my object

Full text:

Re: Objections to Min74, 76, 77 and 206 and ASOI and ASOJ
I object to the new quarry plans Norfolk County Council have put forward in the revised Norfolk Minerals and Waste Local Plan which include the above sites.
As a parishioner of Tottenhill I am concerned about the impact these proposals will have upon the village where I have lived for 60 years.
Permanent loss of agricultural land will impact on rural Norfolk at a time when we need to produce more home grown produce. Especially as our population increases and we are told to reduce transportation of produce.
According to Public Health Profile 2018 our villages have higher levels of respiratory problems and reduced respiratory functions. Silica particles in the air will exacerbate these conditions.
We are encouraged to exercise more for our health and wellbeing. As there are no footpaths in the village (apart from a short path on the A134 to the school) people use Deals Lane and Priors Road for walking and exercising their dogs. I regularly use this lane with my husband and grandchildren as recreation. However, the landscape will be destroyed and instead of peace, quiet and birdsong there will be noise and air pollution.
I am also concerned that if the developments are passed there is a lack of restoration plans. This village already has many quarry sites which have resulted in large areas of open water which do not enhance the village in any way. Any future landscaping would take years and the village would suffer a devastating industrial landscape. Sibelco has a poor record of restoration and has failed to ensure safety after extraction - Bawsey, cause of deaths by drowning.
The excess traffic on the A10 will make travelling on this road even worse. I use this road for work which can take me 45 minutes plus to travel 11 miles to work. With extra traffic already earmarked because of the Safari Park and developments at West Winch, not to mention the sugarbeet lorries, the situation would become intolerable. Emergency vehicles already struggle to get through - again what consideration is there for those in need. Also Oakwood Corner and the Wormegay turning at Wormegay School are already known black spots.
There is also great concern for children attending Wormegay School. We are encouraged to walk or cycle instead of using our cars for the school run. Cycling to school is a non starter for those living in Tottenhill as there is a danger of being dragged under lorries travelling on the A10. Also children using the footpath can easily be blown to the side by passing lorries. Just imagine what this is like in inclement weather. I have also witnessed near misses when cars are trying to turn right from the A134 to go to school. Vehicles often have to stand for long periods waiting for passing traffic before they can turn and are vulnerable to traffic from behind. Although there is a speed limit it is often exceeded and there in no crossing for the children to use.
If there proposals go through Tottenhill will be surrounded by quarries. Resident's health and wellbeing will suffer. Although some may want to move, there may be a devaluation of properties and who would want to live in such a village?
On a personal level my family has enjoyed the tranquility of this parish for over 60 years. Four generations have used and still use these lanes for our health and wellbeing. Other footpaths which we had access to were taken away from us by the landowner and now form part of his agricultural land. For somebody who wants to promote the protection of wildlife, what has happened to the protection of our rural communities?
Please record this as my object

Support

Preferred Options consultation document

Representation ID: 98640

Received: 30/10/2019

Respondent: Sibelco UK Limited

Representation Summary:

Sibelco supports the inclusion of Area of Search I.

Full text:

1. Response to Draft Policies
1.1 Strategy - Vision and Objectives
1.1.1 Mineral Safeguarding should refer to paragraph 182 of the revised National Planning Policy Framework (NPPF) such that the applicant for adjacent development ('agent of change') should be required to provide suitable mitigation to take account of existing and allocated development.

1.2 Mineral Strategic Objectives
1.2.1 The Mineral Strategic Objectives should be revised to properly reflect the wording of the NPPF.

1.2.2 MSO2
1.2.3 We suggest that MSO2 is amended to read (new text in CAPITALS):
"To provide a steady and adequate supply of industrial minerals by identifying adequate mineral extraction sites/areas within Norfolk sufficient to meet the forecast need AND STOCKS OF PERMITTED RESERVES OF SILICA SAND OF AT LEAST 10 YEARS PRODUCTION FOR INDIVIDUAL SILICA SITES OR AT LEAST 15 YEARS WHERE SIGNIFICANT NEW CAPITAL IS CAPITAL IS REQUIRED and safeguarding existing infrastructure"

1.2.4 We suggest that MS04 is amended to read:
1.2.5 "To safeguard silica sand, carstone, and sand and gravel resources for future use. Avoiding unnecessary sterilisation by encouraging the extraction of minerals prior to other development taking place where practicable and using minerals in construction on the land from which they are extracted. THE 'AGENT OF CHANGE' PRINCIPLE WILL BE APPLIED TO ANY NEW PROPOSED DEVELOPMENT IMPACTING ON SAFEGUARDED AREAS OR SITES."

1.3 Policy MW3 Transport
1.3.1 Proposed amendment to bullet point 4 under part d) of the policy:
1.3.2 "Where practical and realistic measures to reduce car travel to the site by workers and visitors and encourage walking, cycling and use of public transport."

1.3.3 Policy MW4 Climate Change
1.3.4 Proposed change:
g) incorporate proposals for sustainable travel, including travel plans where PRACTICAL AND appropriate.
1.3.5 Due to the often-isolated nature of mineral workings public transport or cycling are not practical. Therefore, the additional wording is suggested to make the policy effective and preventing unnecessary work for the developer/applicant.

1.4 MW6: Agricultural Soils
1.4.1 This policy should be applied flexibly since minerals can clearly only be worked where they exist and for silica sand for glass making the potential land is further restricted by virtue of the scarcity of this mineral.

1.5 MP1: Provision for minerals extraction
1.5.1 Changes are required to make it clear that the landbanks levels have to be maintained so they are in place at the end of the plan period to make the policy accord with national policy and be effective. In respect of silica sand changes are needed to make the policy accord with NPPF .

1.5.2 Suggested changes as follows;
The strategy for minerals extraction is to allocate sufficient sites to meet the forecast need for both sand & gravel and hard rock (carstone).

For sand and gravel, specific sites to deliver at least 20,313,300 tonnes of resources will be allocated. The sand and gravel landbank will be maintained at a level of at least 7 years supply THROUGHOUT THE PLAN PERIOD (excluding any contribution from borrow pits for major construction projects).

Mineral extraction for sand and gravel outside of allocated sites will be resisted by the Mineral Planning Authority unless the applicant can demonstrate: a) There is an overriding justification and/or overriding benefit for the proposed extraction, and b) The proposal is consistent with all other relevant policies set out in the Development Plan.

For carstone, a site or sites to deliver at least 340,200 tonnes of resources will be allocated.
The landbank for carstone will be maintained at a level of at least 10 years' supply
THROUGHOUT THE PLAN PERIOD.

For silica sand, sufficient sites and/or areas to deliver at least 10,500,000 tonnes of silica sand
will be allocated. The landbank STOCKS OF PERMITTED RESERVES FOR SILICA SAND WILL BE
MAINTAINED AT A LEVEL OF AT LEAST 10 YEARS' SUPPLY PRODUCTION FOR EACH INDIVIDUAL SILICA SAND SITE OR AT LEAST 15 YEARS WHERE SIGNIFICANT NEW CAPITAL IS REQUIRED [DELETE: Where practicable]. Planning applications for silica sand extraction located outside of allocated sites or areas of search, which would address the shortfall in permitted reserves, will be determined on their own merits in accordance with the policies in this Local Plan, including the requirements contained within Policy MP13.

1.6 Policy MP2: Spatial Strategy for mineral extraction - strategic policy

1.6.1 There should be no buffers applied to the so-called planning constraints. The acceptability or not of approaching such constraints will be a matter for the EIA and the development management process. Arbitrary buffers risk the sterilisation of workable mineral when they could be satisfactorily worked without impact.

1.6.2 There is no evidential basis for the buffers and the policy is unsound as it is not effective and is not positive planning.

1.7 Policy MP11: Mineral Safeguarding Areas and Mineral Consultation Areas

1.7.1 The policy wording should be altered to incorporate the 'agent of change' principle:
The County Council will safeguard existing, permitted and allocated mineral extraction sites from inappropriate development proposals. Minerals Consultation Areas are delineated on the Policies Map and extend to 250 metres from each safeguarded site. Development proposals within 250 metres of a safeguarded site should demonstrate that they would not prevent or prejudice the use of the safeguarded site for mineral extraction, AND THE AGENT OF CHANGE PRINCIPLE WILL BE APPLIED IN ALL SUCH CASES. The County Council will object to development proposals which would prevent or prejudice the use of safeguarded sites for mineral extraction.

2. Proposed Mineral Extraction Sites

2.1 MIN 40 land east of Grandcourt Farm, East Winch
2.1.1 Sibelco supports the specific site allocation of MIN 40.
2.1.2 Sibelco submitted a planning application accompanied by an environmental impact assessment which determines that there will be no significant impacts from the continued working of Grandcourt quarry.

2.2 SIL01 land at Mintlyn South, Bawsey
2.2.1 Sibelco supports the specific site allocation of SIL01.

2.3 AOS E land to the north of Shouldham.
2.3.1 Sibelco supports the inclusion of Area of Search E, land to the north of Shouldham.

2.3.2 We disagree with the updated plans of the area which identify an arbitrarily drawn heritage setting standoff. The standoffs are based on a Heritage Impact Assessment (Percival, 2019) which by its own admission is incomplete. There is not 'clear and convincing justification' for these arbitrarily drawn standoffs. Any application forthcoming within the Areas of Search should be determined on its own merits and supported by a detailed environmental impact assessment.

2.4 AOS F land to the north of Stow Bardolph
2.4.1 Sibelco supports the inclusion of Area of Search F.

2.5 AOS I land to the east of South Runcton
2.5.1 Sibelco supports the inclusion of Area of Search I.

2.6 AOS J land to the east of Tottenhill
2.6.1 Sibelco supports the inclusion of Area of Search J.

2.7 Policy MP13: Areas of Search for silica sand extraction
2.7.1 Sibelco supports policy MP13. This policy should be applied flexibly since minerals can clearly only be worked where they exist and for silica sand for glass making the potential land is further restricted by virtue of the scarcity of this mineral.

2.8 SIL02: land at Shouldham and Marham
2.8.1 Sibelco supports the inclusion of SIL02 as an allocated site and would propose that given the promoters knowledge of the local geology, the site should be allocated as a Specific Site.
Further silica sand provision will be required at the end of the Plan period
2.8.2 The National Planning Practice Guidance says:
"designating Specific Sites - where viable mineral resources are known to exist, landowners are supportive of minerals development and the proposal is likely to be acceptable in planning terms..."
2.8.3 This definition applies to SIL02.
2.8.4 The Mineral Planning Authorities conclusion (paragraph 2.28) is subjective. It would be for any planning application coming forward on the site to proposed a method of working and restoration to satisfy concerns regarding bird hazard.
2.8.5 In the context of NPPF paragraph 16 the plan as written is not positively prepared and there remains a significant shortfall in silica sand supply. SIL02 should be allocated as a specific site with any subsequent planning application required to evidence the effective mitigation measure in relation to concerns regarding bird hazard.

Comment

Preferred Options consultation document

Representation ID: 98660

Received: 30/10/2019

Respondent: Ministry Of Defence (Defence Infrastructure Organisation)

Representation Summary:

The sites identified as part of the Norfolk Minerals and Waste Local Plan occupy the statutory birdstrike safeguarding consultation zone surrounding RAF Marham. The MODs main concern regarding mineral schemes is the phased working, proposed restoration and aftercare of the site. As the creation of open water bodies in this area has the potential to increase birdstrike risk to aircraft operations.
The preferred options paper identifies sites deemed viable for sand and gravel extraction. Please note each planning application is assessed on their individual merits at present there is limited information for a full detailed assessment to be carried out. The MODs original representation dated the 10th December remains extant:

AOS I Land to the East of South Runcton
In line with my comments above wet working and restoration at this location would have the potential to attract and support hazardous waterfowl. The MOD is unable to determine the extend of our concerns without knowing the restoration scheme.


AOS E, F, J and I the MOD has concerns and would require further information to determine whether the sites could be managed with design principles and a Bird Management Plan. This is supported by policy MP13 'if a planning application were to be submitted for these sites the applicant must submit a bird hazard management plan and bird hazard assessment'.

Full text:

Thank you for consulting DIO Safeguarding on the Norfolk Minerals and Waste preferred options consultation paper. This office previously commented on the Norfolk Minerals and Waste Local Plan in December 2018.

The sites identified as part of the Norfolk Minerals and Waste Local Plan occupy the statutory birdstrike safeguarding consultation zone surrounding RAF Marham. The MODs main concern regarding mineral schemes is the phased working, proposed restoration and aftercare of the site. As the creation of open water bodies in this area has the potential to increase birdstrike risk to aircraft operations.
The preferred options paper identifies sites deemed viable for sand and gravel extraction. Please note each planning application is assessed on their individual merits at present there is limited information for a full detailed assessment to be carried out. The MODs original representation dated the 10th December remains extant:

MIN 40 - Land East of Grandcourt Farm, East Winch
The MOD commented on this application and the proposed extension to Grandcourt Farm at planning stages. There is an existing BMP in place which includes the extension site. Therefore, the MOD stated no objection subject to the BMP being implemented as part of planning consent.

MIN 6 - Land East of Winch Road,Mill Drove Middleton
This site occupies the statutory birdstrike safeguarding consultation zone surrounding RAF Marham. The proposed restoration for this site is low level heathland. The MOD has no safeguarding objection to this site being used subject to dry restoration.

SIL 01 Land at Mintlyn South, Bawsey
This site is approximately 12.4km north by north west from RAF Marham, any proposed water bodies would need to be designed to the following principles:
* No islands- as they provide safe predator free environment for roosting and nesting birds
* The bank margins are planted with dense goose proof barrier of emergent vegetation (common reed) or fenced to prevent easy access between open water and nearby short grass areas.
* A BHMP to remove or treat any feral goose nests and eggs to prevent feral geese successfully breeding on site
The above is based on the information available at present.

AOS E Land north of Shouldham
The sites use is already constrained by Historic England. Therefore, the land to the south, east and west of AOS E is being identified for mineral extraction.
The area of search is approximately 6km west from the centre of the main runway at RAF Marham. It is difficult to determine the risk of wet restoration in this location without any plans illustrating the extent and design of open water bodies.
The MOD have safeguarding concerns to the wet working and restoration of this site due to its potential to attract and support hazardous waterfowl closer within critical airspace. Therefore, further information would be required before a definitive response can be made.

AOS J Land east of Tottenhill
In line with my comments above wet working and restoration at this location would have the potential to attract and support hazardous waterfowl. The MOD is unable to determine the extent of our concerns without knowing the restoration scheme.

AOS F Land to the North of Stow Bardolph
In line with my comments above wet working and restoration at this location would have the potential to attract and support hazardous waterfowl. The MOD is unable to determine the extent of our concerns without knowing the restoration scheme.

AOS I Land to the East of South Runcton
In line with my comments above wet working and restoration at this location would have the potential to attract and support hazardous waterfowl. The MOD is unable to determine the extent of our concerns without knowing the restoration scheme.

The MOD note site SIL 02 Land at Shouldham and Marham has been deemed to be an unviable site option. This site is approximately 4.8km north west from RAF Marham. The proposed extraction is a considerable area which is planned to be restored with large areas of open water.

A development of this nature in such proximity to the aerodrome is of great concern to aircraft safety.

Even if the site were to be reduced in scale this would be of serious concern to the MOD. Therefore, we support the removal of this site based on current restoration plans.

In summary, MIN 40 and MIN 6 the MOD has no safeguarding concerns subject to the implementation of a robust Bird Hazard Management Plan approved by the MOD as part of any planning permission granted.

With regards to SIL 01 at present this site is of concern to the MOD. However, due to its location depending on the nature and scale of the restoration should be manageable with the right restoration and a BHMP in place.

AOS E, F, J and I the MOD has concerns and would require further information to determine whether the sites could be managed with design principles and a BMP. This is supported by policy NP13 'if a planning application were to be submitted for these sites the applicant must submit a bird hazard management plan and bird hazard assessment.'

I trust this is clear however should you have any questions please do not hesitate to contact me.

Comment

Preferred Options consultation document

Representation ID: 98732

Received: 30/10/2019

Respondent: Environment Agency

Representation Summary:

The starting position should be not to allow de-watering as outlined in our comments to site allocation MIN40.

If de-watering is not to occur at the silica sand search locations as mentioned in our response above, this can heavily impact on the amount of resource available.

Full text:

Preferred Options Plan
Thank you for the opportunity to comment on the Preferred Options stage of the Norfolk Minerals and Waste Local Plan. We have commented on the policies and allocated sites in the same format as the Local Plan itself below.

The Process so far
We are pleased to see water resources are mentioned in this section. However, this section could be strengthened by making reference to whether working beneath the water table is required and whether dewatering is required. This could potentially pose a challenge to sites moving forward so it should have a stronger mention in this section.

Policy MW2: Development Management Criteria
We are pleased to see that point k in this policy makes reference to the natural and geological environment. This point could be enhanced by also making reference to the hydrogeological environment including maintaining groundwater dependent wetlands, surface water flows, groundwater quantity and flow regime.

The policy makes no reference to local air quality regarding waste developments, be it from gas utilisation units or fugitive emissions from landfilled areas and their perimeter. This is especially key where development is close to sensitive receptors or such receptors are developed close to the sites.

We welcome the inclusion of point D in the policy. This could be enhanced to state
"flood risk TO THOSE WORKING on site or an increase in flood risk elsewhere" (addition in CAPITALS ). The policy could also be improved by requiring a Flood Response Plan to manage the safety of the people on site.

Pollution and Local Amenity Impacts
We agree with the inclusion of paragraph 8.12 that lighting levels should be assessed with consideration given to the impact lighting will have on European Protected species. Mitigation could include limiting the operational hours of the site and using down lighting.

We fully support the protection of Local Wildlife sites (county wildlife sites, local nature reserves and local wildlife sites) highlighted in paragraph 8.20 as well as priority habitats and species. We agree that any proposal should only be permitted where it can be demonstrated that the activities will not significantly harm the site, and will require submission of appropriate ecological surveys, carried out by an appropriately qualified ecologist, at the correct time of year as described in paragraph 8.21. We recommend the rewording of the final sentence of paragraph 8.20 to state "Development that may affect Water Framework Directive waterbodies e.g. rivers, streams, lakes will require a WFD compliance assessment".

Water Framework Directive
The plan should make reference to the fact that any development that could impact the status of a water body, whether WFD or not, should be subject to a WFD assessment.

Flooding, Water resources and water quality
We agree with the reference this section makes to flood risk betterment after restoration, reducing flood risk elsewhere and acknowledgement that climate change needs to be considered. However this section does not refer to ensuring there is no increase in flood risk elsewhere through the duration of the works. In addition there is no mention of the flood risk to people on site and the need for management to ensure their safety with a Flood Response Plan. The plan should therefore be updated to this effect.


It is encouraging to see that paragraph 8.40 makes it clear that dewatering for mineral abstraction purposes requires a water abstraction licence from the Environment Agency. However, it should be noted that an abstraction licence for dewatering may not be granted and it is likely that any de-watering water will need to be returned to the aquifer close to where it is abstracted and in a timely manner after the abstraction takes place. Our current Catchment Area Management Strategy (CAMS) policy for issuing abstraction licences intervening use of this water for activities such as mineral washing and dust suppression which have a consumptive element will not be permitted, this be a challenge for sites going forward if alternative sources of water for associated activities such as mineral washing and dust suppression cannot be found.

Paragraph 8.40 refers to the Water Framework directive. A WFD assessment is a good addition and we welcome the suggestion to protect the designated drinking water source protection zones. We also support the use of pollution prevention measures, to prevent pollution of surface and groundwater. This paragraph should also state that the assessment should determine if there could be a deterioration in WFD status. Activities should not allow any deterioration in any of the WFD elements. Minerals and waste management developments should not cause deterioration or prevent a water body from achieving Good Ecological Status/Potential, and whenever possible, help to implement environmental improvement measures to improve waterbodies.

Policy MW4: Climate Change mitigation and adaptation
Paragraph 10.2 states the need to minimise demands on potable water resources. The sentence should continue by saying 'and water resources in general'. As stated above, we are not issuing new consumptive abstraction licences.

A possible linkage could be made between point's b and c - on site renewable energy (both electricity and hot water) could well be provided from captured landfill gas emissions. Any excess energy could then be fed into the local networks.
It would be beneficial to update the wording of point 3 to state "...including rising sea levels, LARGER RIVER FLOWS, and coastal erosion..." (addition in CAPITALS).

Waste Management Specific Policies
In terms of paragraph W0.3, you should ensure that you plan for sites that will 'Prepare for Re-use' as it has been stated that greater weight is being put to the management methodology at the top of the waste hierarchy.

W1.12
The plan states "The latest Defra estimate of C&I waste growth for England is 0.6% per annum, therefore an alternative option would be to forecast C&I waste growth over the Plan period at 0.6% per annum instead of 1.5% per annum. However, it is considered that it is more appropriate to use the Norfolk specific figure of 12.5% per annum". We are unsure where and how this figure of 12.5% has been calculated and why it is so different to DEFRA's estimate. Sustainable economic growth will need enough commercial and industrial waste processing capacity to deal with this increase in waste generation.

Policy WP2: Spatial Strategy for Waste Management Facilities
We support the policy WP2 regarding the location of Water Recycling Centres. It should be noted that the decision, ultimately, remains with Anglian Water Services.

Policy WP3: Land potentially suitable for waste management facilities
This policy should state that waste management facilities (aggregate recycling) also need to consider consumptive water use and where this water will come from.

Policy WP6: Transfer, Storage, Processing and treatment of hazardous waste
It is highly likely that any proposals for the discharge of hazardous waste to surface water or groundwater will require a discharge permit, if allowed. The policy could be improved by saying that under no circumstances, should there be a discharge of treated hazardous waste/materiel to surface waters or groundwater without prior consultation with the EA.

Policy WP9: Anaerobic Digestion
The policy could be improved by making reference to Emergency Planning. Proposals for Anaerobic Digestion (AD) facilities should include a detailed emergency plan should there be an incident, such as a major leak or fire for example. AD leachate is extremely rich in nutrients, which if entering a watercourse, could cause significant environmental harm. We suggest the emergency pan includes nearby watercourses, overlying geology, depth to water table, detailed site drainage plan for example. If possible, an emergency plan should be provided for the Environment Agency to review.

W12: Non-hazardous and hazardous waste landfill
Along with section 5.35, we question whether allowing planning permission for Blackborough End to become an inert landfill and reducing the county's non-hazardous landfill waste capacity to just 1.53 million cubic metres is sufficient for residual waste disposal over the plan period. It is unclear from the Local Plan what the options for residual waste disposal will actually be, except reliance on Refuse Derived Fuel (RDF) and its export. Bearing in mind NCC are keen for sustainable waste management, then the export of RDF by definition its potential energy, does not appear the best long term option. Although waste management options higher up the waste hierarchy are always preferable, there will always be waste streams that can only be disposed in landfill.

Policy WP13: Landfill Mining and Reclamation
Please note that such a proposal will require detailed input and agreement from the Environment Agency.

Policy WP15: Whitlingham Water Recycling Centre
We have previously provided comments stating that we welcomed that the WRC has a long term policy to ensure that further capacity is provided in line with growth. We continue to support long term plans being developed for Whittingham and other WRCs.
W15.2 mentions the sites location is close to the Broads and the associated 'landscape and flood risk concerns'. The location also means there are concerns for water quality due to the close proximity of sensitive protected sites of conservation importance. A statement to acknowledge that water quality needs to be protected should therefore be added to the plan here or in this policy.

Policy MP2: Spatial Strategy for mineral extraction
Point e makes reference to the hydrological catchment around Roydon Common SSSI and Dersingham Bog SSSI. It should be ensured that it is mentioned that it is the hydrological and hydrogeological catchment around Roydon Common and Dersingham bog which should be avoided.
We support the policy to provide a 250m buffer around ancient woodland and designated sites.

Policy MP5: Core River Valleys
This policy should also include "the impact of mineral development on groundwater and the potential to need to work beneath the water table".
Any proposal for quarrying activity within a core river valley should not be approved unless the applicant can demonstrate no adverse effect on the WFD status of the river water body, or its tributaries. A Full WFD assessment (as outlined above) will be required for any proposal for this activity to be carried out within a floodplain.

Policy MP7: Progressive working, restoration and after-use
We are fully supportive of supporting paragraph 7.3 which states there may be suitable ark sites to protect wild-clawed crayfish. Such sites need to be identified well in advance of de-commissioning to that the site can remain bio-secure.
The first bullet point in policy MP7 refers to BAP habitat. Please note that this has been superseded by Priority Habitat (S41 NERC Act, 2006).

Policy MP12: Conventional and unconventional oil and gas development
Unconventional oil and gas production requires a lot of water to be used so it is likely an abstraction licence will be required. In addition, much of this water ends up as wastewater so the appropriate storage, treatment and disposal methods will be required. Discharge to any surface waters or groundwater will likely require a discharge permit and an application will need to be submitted. Having said this, the local plan indicates it is highly unlikely there will be hydrocarbon exploration in Norfolk in the foreseeable future so these comments may not be necessary at this point in time.

Policy MP13: Areas of search for silica sand extraction
As stated in our previous response, policy MP13 needs to address the need for an FRA. An FRA is vital if any of the allocations are located in Flood Zones.
Site Allocations

MIN38: Land at Waveney Forest, Fritton
Following our previous comments, we are welcome the conclusions drawn in this document which state the allocation is unsuitable for allocation.

MIN200: Land West of Cuckoo Land, Carbrooke
The site allocation text mentions that the site will be worked dry above the water table several times. If this is the case then this would alleviate our concerns on impacts on Scoulton Mere SSSI. This however is not included within the policy on page 124 and must be included.

MIN40: Land East of Grandcourt Farm, East Winch
We have concerns regarding this site. In the existing site, permeant dewatering of Carstone is proposed in restoration which goes against our previously raised comments. We would recommend not allocating this site.
Any depth of extraction should be severely limited to minimise de-watering. This could impact of the amount of mineral which can be recovered. As this is a principal aquifer, any de-watering water would need to be returned to the aquifer from which it is taken. An appropriate hydrogeological impact assessment will be required and it may well be that de-watering is not considered suitable at this site, which could limit the amount of mineral that could be recovered.

MIN35: Land at Heath Road, Quidenham
Our comments that we gave to the 2018 consultation remain valid.We have no concerns as it is proposed to work above the water table. This may need to be a planning condition on any application submitted.

MIN102: Land at North Farm, Snetterton
This site is adjacent to Swangey Fen SSSI. We previously stated that we do not consider the site suitable for mineral extraction. We are therefore supportive of the conclusions drawn in this consultation document stating that it is considered unsuitable for allocation

MIN201: Land at North Farm, Snetterton
This site is adjacent to Swangey Fen SSSI. We previously stated that we do not consider the site suitable for mineral extraction. We are therefore supportive of the conclusions drawn in this consultation document stating that it is considered unsuitable for allocation.

MIN6: Land off East Winch Road, Middleton
We are pleased to see that the specific site allocation policy for MIN 6 states the need to work above the water table. However, a hydrogeological impact assessment (not impact assessment) would be required to establish the depth of working.

Min204: Land off Lodge Road, Feltwell
Our previous comments raised within the issues and options stage of the consultation remain valid.

MIN74: Land at Turf Field, Watlington Road, Tottenhill
We agree with the conclusion that this site is unsuitable to be carried forward. If the site were to be taken forward, we would want to see a suitable hydrogeological impact assessment.

MIN76: Land at West Field, Watlington Road, Tottebhill
We are already aware of the planning application that has been submitted in terms of this application and have no further comments to make.

MIN77: Land at Runns Wood, South of Whin Common, Tottenhill
We agree with the conclusion that this site is unsuitable to be carried forward. If the site were to be taken forward, we would want to see a suitable hydrogeological impact assessment.

MIN206: Land at Oak Field, west of Lynn Road, Tottenhill
We consider this site suitable for sands and gravel extraction. The need for a hydrogeological impact assessment must be included within a bullet point in the specific site allocation policy. It's likely that de-watering will be required here.

MIN32: Land west of Lime Kiln Road, West Dereham
We agree with the conclusion that the site is unsuitable to be carried forward. We would want to see a suitable hydrogeological impact assessment if the site was carried forward and, as it is sands and gravels overlying chalk bedrock, it is possible that de-watering would not be considered a suitable option.

Area of search for AOE E
Given previous issues we have had with silica sand extraction in the vicinity of this site, we would expect all extraction to be above the watertable. This is likely to limit the amount of resource that can be recovered. It should be noted that the silica sand is part of a principal aquifer.


SIL01, AOS F, AOS I and AOSJ
The starting position should be not to allow de-watering as outlined in our comments to site allocation MIN40.

Silica Sand search locations
If de-watering is not to occur at the silica sand search locations as mentioned in our response above, this can heavily impact on the amount of resource available.

We trust this advice is useful.

Comment

Preferred Options consultation document

Representation ID: 98817

Received: 30/10/2019

Respondent: Historic England

Representation Summary:

We have previously reported no immediate concerns regarding this area of search providing it is well contained and does not impact on the setting of any heritage assets, subject to necessary assessment and mitigation. We have identified that this will apply to the setting of the Church of St Andrew (Grade II*), the Church of St Mary the Virgin (Grade II*) and a number of listed buildings together with the setting of the Shouldham Thorpe Conservation Area. Historic England has produced a Good Practice Advice (GPA 3) Note 3 on the setting of heritage assets.
We welcome the reference in paragraphs I4-I6 to the nearby heritage assets and the need to provide a heritage statement to identify appropriate mitigation with any planning application. We also welcome the reference to archaeology requirements in the policy and supporting text.

Full text:

Norfolk Minerals and Waste Local Plan - Preferred Options Draft 2019

Thank you for consulting Historic England on the Norfolk Minerals and Waste Local Plan - Further Consultation Draft. As a statutory consultee, our role is to ensure that the conservation of the historic environment is fully integrated into planning policy and that any policy documents make provision for a positive strategy for the conservation and enjoyment of the historic environment.

Our comments below should be read with reference to our previous comments dated 31st August 2018. Please also see our detailed comments in the attached table, Appendix 1. [ATTACHED]

SUMMARY
Whilst we consider many aspects of the plan to be sound we have identified issues with some of the policies and site allocations which do compromise the overall soundness of the plan.

Under paragraph 35 of the NPPF some aspects of this Plan are unsound as they have not been positively prepared, are not justified, effective, or consistent with national policy. We have identified below some of the key areas where we find the Plan unsound and what measures are needed to make the Plan sound. In summary we highlight the following issues:

a) Insufficient Historic Environment Policy
It is our view that there is currently insufficient policy provision for the historic environment in the Plan. We note that the historic environment is addressed in bullet point l of policy MW2. We remain very concerned that criterion l does not provide sufficient protection for the historic environment. Normally we would expect to see a specific separate policy for the historic environment in a Minerals and Waste Local Plan. This policy is insufficient as it stands. Further detail is set out in the attached table.

b) AOS E and SIL2 - HIA
Whilst we welcome the completion of an HIA for AOSE and site SIL2, we have identified a number of shortcomings in the assessment, particularly the need to address non-designated heritage assets and the wider historic environment and inter-relationship between the various assets in this complex medieval landscape. Our concerns are set out in more detail in the attached table. We suggest that the HIA is revised accordingly to provide a robust evidence base for the Plan. We also suggest that the Plan should not simply mark areas with purple hatching that have been identified by the HIA as unsuitable for extraction, but actually delete those areas from the areas of search and site allocation in the Plan altogether.

c) Other allocations requiring further assessment/proportionate evidence
We have identified a number of site allocations where we continue to have concerns regarding the potential impact on the historic environment, perhaps due to proximity of heritage assets or the highly graded nature of some of these assets. These sites are set out in the attached table and include MIN65, MIN96, MIN213, MIN 209/10/11, MIN25 AND MIN40. For these sites we recommend an HIA is prepared now in advance of the next draft of the Plan. This should provide a robust evidence base for the plan. Any evidence needs to be proportionate, and need not necessarily be particularly onerous. .For most of these sites a fairly brief HIA will suffice. Our site allocations advice note <https://historicengland.org.uk/images-books/publications/historic-environment-and-site-allocations-in-local-plans/> provides further advice in this respect and we would be happy to discuss the matter further and advise on a suitable way forward.

d) MIN 207 Land at Pinkney Field, Briston
We recommend that site is deleted from the Plan due to the impact on the historic environment.

Further details of each of these main areas are set out in the attached table.
We have suggested a series of other changes to the Plan. Many of these changes do not go to the heart of the Plan's soundness, but instead are intended to improve upon it. We believe that these comments can be addressed by changes to wording in the plan.

Sustainability Appraisal
We do not have the capacity to review the Sustainability Appraisal report in any detail but did note on quickly skimming the report some surprising conclusions in the report. For example in relation to site MIN 40 - land east of Grandcourt Farm, East Winch where it was concluded that there would be 'No effects expected during the extraction phase' despite a grade II* listed church being located just 50m from the site boundary.

We consider that with such proximity there is likely to be some effects on the setting of this asset. On this brief observation we must question the some of the assessment in the SA.

In preparation of the forthcoming 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 a policy, allocation or document in this letter does not mean that Historic England is content that the policy, allocation or document is devoid of historic environment issues. We should like to stress that this response 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 as a result of this plan, where we consider that these would have an adverse effect upon the historic environment.

If you have any questions with regards to the comments made then please do get back to me. In the meantime we look forward to continuing to work with you and your colleagues.

Comment

Preferred Options consultation document

Representation ID: 98855

Received: 30/10/2019

Respondent: Norfolk County Council - Highway Authority

Representation Summary:

Subject to submission of Transport Assessment including delivery of acceptable highway improvements. Runcton Road would require widening along with improvements at its junction with A10, or A134 to include right turn lane. Movement of material using off-highway routes, or conveyor/pipeline etc. preferred. Should material be conveyed by highway, a suitable access to the processing facility shall be provided shall be provided at B1145, to an acceptable standard including visibility. Highways England should be consulted regarding vehicle movements at Hardwick Interchange. Material extraction to be phased such that no more than one Silica site at any one time will transport material by road.

Full text:

Original draft response received 30.10.2019
Revised response received 08.11.2019

Highway Authority comments regarding sites proposed for allocation only

MIN 12 - North of Chapel Lane, Beetley
Acceptable subject to continued use of conveyor

MIN 51 & MIN 13 - West of Bilney Road, Beetley
Acceptable subject to suitable access strategy. MIN51 to be accessed via MIN13

MIN 200 - West of Cuckoo Lane, Carbrooke
Acceptable subject to provision of acceptable access at Mill Lane along with provision of passing places between the site and the B1108. Existing haul route and Mill Lane crossing to processing plant to be utilised, or appropriate alternative to be provided. Routing agreement required along with weight limit to protect Carbrooke settlement north of the site.

MIN 202 - South of Reepham Road, Attlebridge
Acceptable subject to use of existing access at Reepham Road and lorry routing via A1270 Broadland Northway

MIN 37 - Mayton Wood, Coltishall Rd, Buxton
Acceptable subject to provision of satisfactory temporary access at C494 Coltishall Road with acceptable visibility. Local highway improvements including widening required, to be delivered via S278 agreement. Temporary access to be removed on restoration of site. Routing agreement required.

MIN 64 - Grange Farm, Buxton Rd, Horstead
Acceptable subject to provision of satisfactory temporary access at C494 Coltishall Road with acceptable visibility. Local highway improvements including widening required, to be delivered via S278 agreement. Temporary access to be removed on restoration of site. Routing agreement required.

MIN 65 - North of Stanninghall Quary
Acceptable subject to access via existing site and routing agreement.

MIN 96 - Grange Farm (between Spixworth Rd & Coltishall La), Spixworth
Acceptable subject to access via A1270 Broadland Northway roundabout at Norwich Airport. Improvements required at the roundabout to formalise access to site, along with relocation of access gates to provide sufficient space for 2 HGVs to stop clear of the roundabout. Relocation of processing plant to south of C250 Church Lane required. Removal of HGV access at Buxton Road also required.

MIN 213 - Mansom Plantation, Stratton Strawless
Acceptable subject to acceptable access at Shortthorn Road and routing agreement via A140.

MIN 206 - Oak Field west of Lynn Road, Tottenhill
Acceptable subject to access via land to north, then A10. Routing agreement required.

MIN 69 - North of Holt Road, Aylmerton
Acceptable subject to provision of right hand turn lane at A148 junction with Briton's Lane, visibility improvements at site access, improvements to Britons Lane and routing agreement, in accordance with the existing allocation.

MIN 115 - Lord Anson's Wood, North Walsham
Acceptable subject to site access being via private haul route to acceptable access at B1150

MIN 207 - Pinkney Field, Briston
Acceptable subject to continuation of existing haul route

MIN 208 - South of Holt Road, East Beckham
Acceptable subject to access via existing right turn facility. Right turn lane to be removed following completion of extraction/restoration.

MIN 209 - Adjacent to A143 (Extension Area 1), Earsham
Acceptable subject to appropriate highway access and local highway improvements at Hall Road

MIN 210 - Adjacent to A143 (Extension Area 2), Earsham
Acceptable subject to site access via Site MIN 209 along with any appropriate improvements to the local highway at Hall Road and the site access. Material conveyor required.

MIN 211 - West of Bath Hills Rd (Extension Area 2), Earsham
Acceptable subject to site access via Site MIN 209 along with any appropriate improvements to the local highway at Hall Road and the site access. Material conveyor required.

MIN 25 - Manor Farm (between Loddon Rd & Thorpe Rd), Haddiscoe
Acceptable subject to suitable access strategy either via Crab Apple Lane, or direct to B1136. Access via Crab Lane would require local highway improvements to include widening to the access and visibility at the B1136 junction in accordance with DMRB. Direct access via B1136 to include visibility in accordance with DMRB.

MIN 212 - Mundham Rd, Mundham
The Highway Authority would not wish to comment regarding the proposed mineral extraction site. However, the location of the processing site is a concern and in particular the routing of HGVs through Trowse village. It would be desirable if the material could be processed at source.

MIN 6 - East Winch Rd, Mill Drove, Middleton
Acceptable subject to use of internal haul route, existing processing facilities, acceptable visibility at access and routing agreement. The allocation would result in a continuation of turning movements at the A47, Highways England should have the opportunity to comment.

MIN 40 - East of Grandcourt Farm, East Winch
Acceptable subject to material processing at existing plant, use of existing internal haul-route required and continued use of rail for material transportation.

SIL 01 - Mintlyn South, Bawsey
Acceptable subject to extraction phased with MIN 40, submission of Transport Assessment with acceptable access strategy. Material transportation to existing processing plant via internal haul route and acceptbale crossing / conveyor of highway and utilise existing rail facilities.

AOS E - North of Shouldham
Subject to submission of Transport Assessment including delivery of acceptable highway improvements. Access to be via A143 with right turn lane with suitable levels of visibility. Access via West Briggs Drove would not be appropriate without significant improvement. Movement of material using off-highway routes, or conveyor/pipeline etc. preferred. Should material be conveyed by highway, a suitable access to the processing facility shall be provided shall be provided at B1145, to an acceptable standard including visibility. Highways England should be consulted regarding vehicle movements at Hardwick Interchange. Material extraction to be phased such that no more than one Silica site at any one time will transport material by road.

AOS F - North of Stow Bardolph
Subject to submission of Transport Assessment including delivery of acceptable highway improvements. Northern site, access via Runcton Road, widening may be required along with improvements at its junction with A10 to include right turn lane. Southern site, access to be via A10 with right turn lane with suitable levels of visibility. Movement of material using off-highway routes, or conveyor/pipeline etc. preferred. Should material be conveyed by highway, a suitable access to the processing facility shall be provided shall be provided at B1145, to an acceptable standard including visibility. Highways England should be consulted regarding vehicle movements at Hardwick Interchange. Material extraction to be phased such that no more than one Silica site at any one time will transport material by road.

AOS I - East of South Runcton
Subject to submission of Transport Assessment including delivery of acceptable highway improvements. Runcton Road would require widening along with improvements at its junction with A10, or A134 to include right turn lane. Movement of material using off-highway routes, or conveyor/pipeline etc. preferred. Should material be conveyed by highway, a suitable access to the processing facility shall be provided shall be provided at B1145, to an acceptable standard including visibility. Highways England should be consulted regarding vehicle movements at Hardwick Interchange. Material extraction to be phased such that no more than one Silica site at any one time will transport material by road.

AOS J - East of Tottenhill
Subject to submission of Transport Assessment including delivery of acceptable highway improvements. Access via A134 to include right turn lane. Movement of material using off-highway routes, or conveyor/pipeline etc. preferred. Should material be conveyed by highway, a suitable access to the processing facility shall be provided shall be provided at B1145, to an acceptable standard including visibility. Highways England should be consulted regarding vehicle movements at Hardwick Interchange. Material extraction to be phased such that no more than one Silica site at any one time will transport material by road.

Support

Preferred Options consultation document

Representation ID: 98913

Received: 25/10/2019

Respondent: Mr & Mrs J Plaxton

Agent: Fisher German LLP

Representation Summary:

It is argued that alternative silica sand extraction sites would be more appropriate to be allocated than the proposed silica extraction site AOS F situated at the land north of Stow Bardolph, which includes a proportion of the Wallington Hall Estate and should be removed from further consideration.

The proposed silica sand extraction site AOS_I land to the east of South Runcton is situated 16km from the processing plant at Leziate, which is 1km closer than the AOS_F allocation. Although this does not seem a significant difference, when the number of HGV movements that will be required to transport the resource between the silica sand extraction site and the processing plant each year is considered, it creates a noticeable increase in impact. This means that the proposed silica sand extraction site AOS_ should be considered a more favourable allocation than the AOS_F land because it is situated in closer proximity to the processing plant at Leziate.
Moreover, the proposed silica sand extraction AOS_I site covers 47 hectares which is over 15 hectares larger than the AOS_F site that incorporates part of the Wallington Hall Estate. This means that the potential resource that could be derived from the AOS_I site is likely to be greater than the AOS_F site. Therefore, the proposed silica sand extraction for AOS_I land to the east of South Runcton is more favourable to be used as a site allocation than the AOS_F land to the north of Stow Bardolph.

Full text:

Response to the Preferred Options Consultation for the Proposed Silica Extraction Site at Land north of Stow Bardolph within the Norfolk Minerals Local Plan Review
October 2019
Prepared by Fisher German LLP on behalf of Mr and Mrs Plaxton

01 Introduction
These representations have been prepared on behalf of Mr and Mrs Plaxton in respect of their land interests at the Wallington Hall Estate. The Wallington Hall Estate is situated within the Borough of Kings Lynn and West Norfolk and is located 8 miles to the south of Kings Lynn town centre. The Estate is situated between South Runcton to the north and Stow Bardolph to the south and is bounded by Lynn Road (A10) to the east and Woodlakes Park to the west.

A proportion of our client's land has been included as an area of search for proposed silica sand extraction within the draft Preferred Options Document produced by Norfolk County Council. The draft Preferred Options document was presented to Norfolk County Council's Cabinet meeting on 5 August 2019 with a recommendation for public consultation to take place between the 18 September 2019 until the 30 October 2019. The recommendation was taken forward and this representation is submitted in response to the Preferred Options document public consultation.
Our clients have not been consulted in any way regarding the proposed inclusion of their land within an area of search for mineral extraction sites by the proposed operator or the County Council. They wish to object to the inclusion of their land, and the wider proposed allocation. This representation proposes that the site referenced as AOS F 'Land north of Stow Bardolph' should be removed as an emerging allocation in the Norfolk Minerals Local Plan. There are specific factors which indicate this site is not suitable and that there are more appropriate site allocations that should be progressed instead that will more than meet the requirements of the Plan.

Site Context
The relevant part of our client's land is shown in Figure 1 [attached] edged red and comprises the Wallington Hall Estate. The black edged plot represents the area of land which has been included as an area of search for minerals extraction.
The plan included at Figure 2 [attached] shows the extent of the proposed area of search (AOS F) which includes land to the north of Stow Bardolph. The parcel affecting our clients land is one of two being considered under this reference and extends to 30 hectares in size. The land comprises a mixture of forestry and agricultural uses and is around 17 kilometres from the Leziate processing plant.
These representations seek to demonstrate that there is compelling justification to remove the AOS F site from further consideration. There are more appropriate options for the proposed silica sand extraction sites that should be investigated further within Norfolk rather than AOS F.

Policy Context
Norfolk County Council are in the process of preparing the Norfolk Minerals and Waste Local Plan Review to consolidate the three adopted Development Plan Documents into one Local Plan in order to extend the plan period to the end of the 2036. It is noted that the Minerals and Waste Local Plan Review is currently at the Preferred Options Public Consultation stage.
The Core Strategy and Minerals and Waste Development Management Policies Development Plan Document (DPD) sets out the Norfolk Minerals and Waste Development Framework for the county. The Mineral Site Specific Allocations Development Plan Document was adopted in 2017 by Norfolk County Council and the Waste Site Specific Allocations Development Plan Document was adopted in October 2013.
The next section of the report provides extensive justification to support the view that Area of Search F should not be taken forward for silica sand extraction site in the Norfolk Minerals and Waste Local Plan review.

02 Area of Search- AOS F Land to the north of Stow Bardolph: Proposed removal of the area for further assessment.
This section of the report sets out the reasoning behind the request for the AOS F removal as an Area of Search for silica sand extraction sites in West Norfolk.
Landowner consent/support

As previously indicated, our client's land constitutes a substantial proportion of the area of search and landowner consent and approval for inclusion as an area of search has not been sought. Our client does not support the inclusion of their land within this area of search and as such extraction in this location is undeliverable. Deliverability is a key test for emerging plan allocations and this area of search fails to meet this test. This area comprises woodland which is valued by the Estate and those in the local area as set out later in this report.

Heritage Impact
There are two Grade I listed buildings situated within 1km of this area of search which importantly includes Wallington Hall, which is located 0.68km from the proposed site, and Church of the Holy Trinity (1km). The Grade I listed Hall is located approximately half a kilometre from the proposed site, and land within the same ownership as the Hall is proposed for inclusion within the area of search. Grade I listed status is particularly special and only buildings which are of exceptional national, architectural or historical importance are designated as Grade I. Such buildings represent only 2.5% of listed buildings. At such close proximity, significant heritage impact is expected if mineral extraction were to occur on land within or adjoining the estate.
The Grade II listed buildings located within 1km of the proposed silica site include the kitchen and service range for Wallington Hall (0.70km), the walled garden to Wallington Hall (0.72km), Almhouses (0.74km), the Cottage (0.74km), the Hare Arms (0.78km), the forecourt wall and gate piers to Wallington Hall enclosing rectangle to south of house (0.79km) and the remains of Church of St Margaret (0.86km). The northern section of the area of search also encroaches within the curtilage of the Wallington Hall Estate. There are a number of listed buildings within close proximity and these would be adversely affected by mineral extraction.
Paragraph 194 of the National Planning Policy Framework (NPPF) states that 'Any harm to, or loss of, the significance of a designated heritage asset (from its alteration or destruction, or from development within its setting), should require clear and convincing justification. Substantial harm to or loss of: a) grade II listed buildings, or grade II registered parks or gardens, should be exceptional; b) assets of the highest significance, notably scheduled monuments, protected wreck sites, registered battlefields, grade I and II* listed buildings, grade I and II* registered parks and gardens, and World Heritage Sites, should be wholly exceptional' . Given the proximity of the area of search to both Grade I and II listed buildings a significant impact would be expected from mineral extraction on the buildings and their setting.

Amenity
Residential amenity is a key issue given that the area of search is located approximately 17 km from the Leziate processing plant which is where extracted silica would need to be transported for processing into a marketable product. Therefore, all the properties within 100m of the 17km road network would be impacted by dust, air quality impacts and noise impacts stemming from the HGV vehicle movements in order to move the extracted silica from the site to the processing plant. This would represent extensive impacts spread over a considerable geographical area and impact upon multiple sensitive receptors and residential areas.

Highway Access:
The highways access route from the proposed silica extraction site to the Silbelco processing Plant at Leziate is 17 km in distance. This means that the proposed silica sand extraction site at the land north of Stow Bardolph is located the second furthest distance away from the processing plant, when compared to the other proposed silica sand extraction sites. Additionally, the volume of traffic on the A10 is likely to increase as a result of the number of HGVs required to transport the silica from the proposed site to the processing plant at Leziate. Paragraph 109 of the NPPF states that development should be prevented if there is an 'unacceptable impact on highway safety'. Local information is that there have been a number of accidents along this section of the A10 in recent years and the additional traffic is likely to increase the risk of this.
This factor has not been adequately considered when proposing the area of search and should mean that the site is not taken forward for further consideration. The processing plant is a considerable distance from the area of search and there are more suitable sites significantly closer. The additional movements would potentially have amenity, highway safety and other adverse impacts on the transport route and adjoining areas which has not been adequately assessed to date. Forecast production of 900,000 tonnes per annum would require over 64,000 HGV movements at the site (assuming an average load of 28t per HGV) or 256 per day (assuming 50 working weeks per annum.) This would place an unacceptable burden on an already busy road.

Community/Neighbourhood Value
A proportion of the Wallington Estate is currently used for charity work, in providing horse riding activities for people with disabilities through the woodland. These activities are able to take place through the Magpie Centre and are based from Wallington Hall. The charity gives people with disabilities the opportunity to horse ride and has been operating as a dedicated Riding for the Disabled Association Riding Centre for over 30 years Figures 4 and 5 show the horse riding opportunities that take place at Wallington Hall through the Magpie Centre, which operates 5 days per week.
The centre provides 130 riding and carriage driving lessons a week and is supported by over 50 volunteers from the local community who help with the ponies, lessons, field maintenance and fundraising. This shows that the centre is a valued asset to the local community and is a resource used by a significant number of people, including volunteers and people with disabilities. The implementation of the proposed silica sand extraction site would have a detrimental impact on the ability of the horse riding activities for people with disabilities to continue in the future. The mineral extraction site located adjacent to the area of woodland would generate visual, noise and air quality impacts that would adversely affect the environment in which the horses ride, to the detriment of the community that utilise this space. Therefore, the proposed silica site should be removed as an allocation. This is a valued local community use and mineral extraction would render this location no longer suitable and would be to the detriment of the riding school and all those associated with it. This Estate is a special and tranquil environment for the riding school and it is very important that this facility is retained.

Archaeology:
The area is largely unstudied in terms of archaeology and a more detailed assessment of archaeological remains should therefore be undertaken through an archaeological survey. Sites such as the remains of St Margaret's Church situated 0.86km from the proposed silica extraction site show that there could be historic assets that have not yet been uncovered. Planning policy supports the view that a more detailed assessment of the archaeology in King's Lynn and Surrounding Area should be conducted through a heritage assets assessment which includes a review of the submitted information and relevant on-site investigations. Without such information there is uncertainty regarding suitability and deliverability which means that the allocation is potentially unsound as it cannot be taken forward with confidence that archaeology is not present.

Hydrogeology:
A hydrogeological risk assessment is required and has not been undertaken and therefore the potential impact of extraction on local hydrology is completely unknown. Again, this reinforces the point that the proposed area of search has not been investigated sufficiently and without it being considered suitable, developable and deliverable the allocation would be unsound.

Landscape:
Chiswick's Wood is an ancient woodland situated 1.4km to the east and unnamed ancient woodlands are located 1.2km south east and 1.7km north east of the of the proposed silica sand extraction site.
The area of search boundary includes woodland within the Wallington Estate which is valuable to the setting of the Grade I listed Hall and the local area. National policy seeks to protect woodland and in this case the woodland provides a valuable heritage; landscape and community benefit which should be protected from the adverse impacts associated with mineral extraction.

Ecology:
The proposed silica extraction site situated at the land north of Stow Bardolph includes an area of woodland which could have a potential adverse impact on protected species within this habitat. In addition, paragraph 174 part b) of the NPPF states that plans should 'promote the conservation, restoration and enhancement of priority habitats, ecological networks and the protection and recovery of priority species; and identify and pursue opportunities for securing measurable net gains for biodiversity'. In this case, the potential allocation of a substantial area of woodland could have adverse impact contrary to the aims of national policy.

Summary
Overall, there are substantial grounds to justify the removal of the proposed silica sand extraction allocation on land north of Stow Bardolph. These include the adverse heritage impact on the Grade I listed Wallington Hall and surrounding Estate; the loss of the woodland for use by the Riding for the Disabled Association Charity; adverse impacts on potential ecology within the woodland and landscape impacts associated with the loss of the woodland. The loss of the woodland also has impacts on the wider park and setting, as well as the circular routes used by the RDA. Additionally, the potential for archaeology; potential for hydrological impacts and the noise and dust impacts on the amenity of local residents along the 17km route from the area of search to the processing plant shows the impacts on the surrounding area within West Norfolk.

Moreover, the distance between the land at Stow Bardolph and the processing plant at Leziate is 17km and is a greater distance than all but one of the other proposed silica extraction sites. The greater distance required to transport the silica between the extraction site and the processing plant is likely to have a negative impact on the surrounding road network and contribute to increased traffic flow and congestion, because of the number of heavy goods vehicles required to transport the silica between the proposed silica sand extraction site and the processing plant.
The next section of the report identifies other silica sand extraction sites that are more suitable and sequentially preferable to the AOS_F.

03 Other Silica Extraction Site Options
The following section of the report sets out the alternative silica sand extraction site options available within West Norfolk. It is argued that alternative silica sand extraction sites would be more appropriate to be allocated than the proposed silica extraction site AOS F situated at the land north of Stow Bardolph, which includes a proportion of the Wallington Hall Estate and should be removed from further consideration.

MIN40- Land east of Grandcourt Farm, East Winch
The proposed silica extraction site located at land east of Grandcourt Farm is deemed to be more suitable than the land north of Stow Bardolph. The MIN40 allocation is situated only 1.8km from the Leziate processing plant which would make the transportation process of the silica between the extraction site and the processing plant more sustainable and minimise impacts on the highway and amenity of residents. The silica would also be transported by an internal haul route to the processing plant which would avoid any impact on the local roads. In comparison the AOS_F land north of Stow Bardolph is situated 17km from the processing plant at Leziate and is a much greater distance for transportation between the extraction site and processing plant. The proposed transportation route from AOS F would primarily use the A10 and would have greater impacts on the local roads in terms of congestion and traffic.
The MIN40 site has been put forward by Sibelco UK as an extension to an existing silica extraction site. This is not the case for the AOS_F land north of Stow Bardolph which would be a completely new silica sand extraction site.

SIL01- land at Mintlyn South Bawsey
Firstly, the proposed silica extraction site SIL01 land at Mintlyn South Bawsey is part of a former mineral working which was partially extracted. This shows that the area previously has a history of mineral working, which is not the case for the land allocated at AOS_F north of Stow Bardolph which would be a new greenfield location.
Secondly, the allocation at SIL01 is situated only 700m from the processing plant at Leziate and is much closer to the processing plant than the allocation at AOS_F north of Stow Bardolph, which is located 17km away from the processing plant. Therefore, the proposed allocation at SIL01 would be able to be transported by conveyor from the extraction site to the processing plant and would not impact on the local road network at all. Contrastingly the proposed silica extraction site at AOS_F north of Stow Bardolph would have to be transported by road and this would have far greater implications on the road network.
In addition, the Agricultural Land Classification scheme classifies the land at SIL01 Mintlyn, South Bawsey as being in 'Non- Agricultural' use whereas the land at AOS_F north of Stow Bardolph is classified as being in Agricultural use.

AOS_E Land to the north of Shouldham
The area of search covers 815 hectares which is almost 25 times the size of the AOS_F proposed silica sand extraction site allocation to the north of Stow Bardolph,. The proposed mineral extraction sites information produced by Norfolk County Council show that the MIN 40 land east of Grandcourt Farm proposed silica sand extraction site has an estimated resource of 3,000,000 tonnes for a 33 hectare site.
It is evident that no detailed information was put forward regarding the potential yield of AOS E and that estimated mineral tonnages are not able to be extrapolated accurately. However, there is a possibility given the very large area that this designation covers, that the estimated resource that could be derived from the proposed silica sand extraction site at AOS_E could more than satisfy the forecast need of 10,500,000 tonnes of silica sand required during the plan period. This means there is an argument to only allocate the proposed silica sand extraction site AOS_E to the north of Shouldham because it would satisfy the need for the required silica sand needed during the plan period.
The AOS_E site allocation is situated 2km closer to the processing plant at Leziate than the AOS_F site which is another reason why the AOS_E proposed silica extraction site is a more favourable option. In addition, the AOS_E proposed silica sand extraction site is adjacent to previous and current mineral workings and close to a sand and gravel allocation. This means that the AOS_E site could be seen as an extension to existing mineral operations, which the NPPF would prefer to the opening of a new site. In comparison the surrounding land at AOS_F for the land north of Stow Bardolph has no previous history of mineral extraction.

AOS_I Land to the east of South Runcton
The proposed silica sand extraction site AOS_I land to the east of South Runcton is situated 16km from the processing plant at Leziate, which is 1km closer than the AOS_F allocation. Although this does not seem a significant difference, when the number of HGV movements that will be required to transport the resource between the silica sand extraction site and the processing plant each year is considered, it creates a noticeable increase in impact. This means that the proposed silica sand extraction site AOS_ should be considered a more favourable allocation than the AOS_F land because it is situated in closer proximity to the processing plant at Leziate.
Moreover, the proposed silica sand extraction AOS_I site covers 47 hectares which is over 15 hectares larger than the AOS_F site that incorporates part of the Wallington Hall Estate. This means that the potential resource that could be derived from the AOS_I site is likely to be greater than the AOS_F site. Therefore, the proposed silica sand extraction for AOS_I land to the east of South Runcton is more favourable to be used as a site allocation than the AOS_F land to the north of Stow Bardolph.

AOS_J Land to the east of Tottenhill
The proposed silica sand extraction site AOS_J land to the east of Tottenhill is situated 15km from the processing plant at Leziate, which is 2km closer than the distance between the proposed site AOS_F . Similarly to the point in the previous section (AOS_ I land to the east of South Runcton), although this distance does not seem a significant difference, when it is considered the number of HGVs that will be required to transport the resource between the silica sand extraction site and the processing plant each year, the impact is more significant than it may appear. Therefore the distance in the transportation of the silica between the AOS_J site and the processing plant at Leziate makes it a more favourable option than the AOS_F site allocation.

SIL02 Land at Shouldham and Marham
Although this site has not been allocated as a proposed silica sand extraction site by Norfolk County Council it has been considered as a potential 'Preferred Area'. The estimated resource in tonnes for silica that could be extracted from this site is believed to be 16,000,000 tonnes, which could more than satisfy the forecast need of 10,500,000 tonnes of silica sand during the plan period. There is an argument which supports the idea that if the proposed silica sand extraction situated at SIL02 land at Shouldham and Marham was allocated, then the other allocations would not be needed as forecast for the required silica sand within the plan period would already have been met.
However, the proposed silica sand extraction sites in West Norfolk document prepared by Norfolk County Council suggests that the proposer of the site has given a potential start date of 2027 and estimated the extraction rate to be 800,000 to 900,000 tonnes per annum. Using this information, the full mineral resource at Site SIL02 could be extracted within 20 years and means 9,000,000 tonnes could be extracted within the plan period. This means that if the SIL02 site was allocated as a proposed silica sand extraction site it would go a long way towards securing the silica required during the plan period.
Furthermore the SIL02 proposed silica extraction site should be preferred to the AOS_F site because the SIL02 site is situated only 6km from the Leziate processing plant and this enables the mineral to have the potential to be transported by pipeline rather than road. In comparison the AOS_F proposed silica sand extraction site is situated 17km from the Leziate processing plant and would need to be transported by road. For these reasons, it is evident that the SIL02 proposed silica sand extraction is a more favourable allocation than the AOS_F site.

04 Conclusion
To summarise, the preferred option document for the Minerals and Waste Local Plan Review is currently under review. The proposed area of search AOS F for silica sand extraction includes part of the Wallington Hall Estate. These representations seek to remove this area of search entirely from the local plan review process. There are alternative sequentially preferable areas under consideration and potentially significant site specific impacts associated with AOS F which justify its removal. A further point is that the landowner had not been consulted prior to the allocation of AOS F and does not approve of the submission.
Overall, there are substantial grounds in terms of potential impact to justify the removal of the proposed silica sand extraction allocation on land north of Stow Bardolph. These include the adverse heritage impact on the Grade I listed Wallington Hall and surrounding Estate; the loss of the RDA group use of the woodland; adverse impacts on potential ecology within the woodland and landscape impacts associated with the loss of the woodland; the potential for archaeology; potential for hydrological impacts and the noise and dust impacts on the amenity of local residents along the 17km route from the area of search to the processing plant.
It is appropriate to allocate sequentially preferable areas of search instead of area of search F which is not required in the extended plan period for proposed silica sand extraction and because of its size would not make a significant contribution to the tonnage required to meet the Plan's needs. There are sites situated substantially closer to the processing plant at Leziate that have a greater potential to extract a higher tonnage of silica through being larger site allocations in terms of area. Therefore, the proposed silica sand AOS_F extraction site should be removed.

Object

Preferred Options consultation document

Representation ID: 98924

Received: 31/10/2019

Respondent: Miss Tracy Cole

Representation Summary:

I am writing, somewhat belatedly, to lodge my strong objection to to the proposed plans for quarrying in and around Tottenhill. As a resident of Tottenhill I believe the impact any further plans for quarrying in the immediate area will be detrimental to the village and surrounding areas for a number of reasons. My objections are as follows:

1. The area has already been extensively quarried, which still has a daily impact on the area. Further quarrying could destroy this small hamlet of Tottenhill completely - which is already split with the A10 running through it.
2. The road network in and around Tottenhill would not support any additional traffic - there has previously been a number of accidents at the two junctions on the A10, which is a major route into Kings Lynn.
3. There are very few unspoilt areas in Norfolk, without street lighting, like Tottenhill and this should be preserved as far as possible.
4. The watercourse could be affected by additional quarrying, as well as the quality of the water and water table. As a local resident, we regularly have issues with water - many times over the course of a year we lose the water pressure and at other times we lose water altogether.
5. Although Tottenhill now has access to the mains sewer some of the local residents still use septic tanks. Further quarrying could have an impact on the sewage system.
6. Any extracted material, in particular the silica sand, would firstly need to be transported to Leziate, treated and then, as it has historically, been transported mostly by road, to various parts of the country. It will not be used in Norfolk alone, if at all.
7. Tottenhil is an area of natural beauty with many interesting birds and other species. Further quarrying can only have a detrimental effect on the wildlife in the area.
Please listen to the local residents and look at other sites in Norfolk. We are only small and already over-quarried!

Full text:

I am writing, somewhat belatedly, to lodge my strong objection to to the proposed plans for quarrying in and around Tottenhill. As a resident of Tottenhill I believe the impact any further plans for quarrying in the immediate area will be detrimental to the village and surrounding areas for a number of reasons. My objections are as follows:

1. The area has already been extensively quarried, which still has a daily impact on the area. Further quarrying could destroy this small hamlet of Tottenhill completely - which is already split with the A10 running through it.
2. The road network in and around Tottenhill would not support any additional traffic - there has previously been a number of accidents at the two junctions on the A10, which is a major route into Kings Lynn.
3. There are very few unspoilt areas in Norfolk, without street lighting, like Tottenhill and this should be preserved as far as possible.
4. The watercourse could be affected by additional quarrying, as well as the quality of the water and water table. As a local resident, we regularly have issues with water - many times over the course of a year we lose the water pressure and at other times we lose water altogether.
5. Although Tottenhill now has access to the mains sewer some of the local residents still use septic tanks. Further quarrying could have an impact on the sewage system.
6. Any extracted material, in particular the silica sand, would firstly need to be transported to Leziate, treated and then, as it has historically, been transported mostly by road, to various parts of the country. It will not be used in Norfolk alone, if at all.
7. Tottenhil is an area of natural beauty with many interesting birds and other species. Further quarrying can only have a detrimental effect on the wildlife in the area.
Please listen to the local residents and look at other sites in Norfolk. We are only small and already over-quarried!

Object

Preferred Options consultation document

Representation ID: 98928

Received: 31/10/2019

Respondent: Mr Stewart Logan

Representation Summary:

I am writing to object to the proposed plans for quarrying in and around Tottenhill. As a resident of Tottenhill I believe the impact any further plans for quarrying in the immediate area will be detrimental to the area for a number of reasons. My objection is:

* The area has already been extensively quarried, which still has a daily impact on the area. Further quarrying could destroy this small hamlet of Tottenhill completely - which is already split with the A10 running through it.
* Tottenhill is an area of natural beauty with many interesting birds and other species of wildlife. Further quarrying can only have a detrimental effect on the wildlife in the area.
* The road network in and around Tottenhill would not support any additional traffic - there has previously been a number of accidents at the two junctions on the A10, which is a major route into Kings Lynn.
* The noise and dust from proposed quarrying would impact on the wellbeing of the local residents.
* There are very few unspoilt areas in Norfolk, without street lighting, like Tottenhill and this should be preserved as far as possible.
* The watercourse, quality of water and water table may be affected by further quarrying. As a local resident, we regularly have issues with water - many times over the course of a year we lose the water pressure and at other times we lose water altogether.
* Although Tottenhill now has access to the mains sewer some of the local residents still use septic tanks. Further quarrying could have an impact on the sewage system.
* Any extracted mineral, especially the silica sand, would firstly need to be transported to Leziate, where it would be treated and then transported, predominantly by road, to various parts of the country. It will not be used in Norfolk alone, if at all,
Please listen to the local residents and consider other sites in Norfolk where the impact of such quarrying would not have such an effect on the immediate community - we've had enough.

Full text:

I am writing to object to the proposed plans for quarrying in and around Tottenhill. As a resident of Tottenhill I believe the impact any further plans for quarrying in the immediate area will be detrimental to the area for a number of reasons. My objection is:

* The area has already been extensively quarried, which still has a daily impact on the area. Further quarrying could destroy this small hamlet of Tottenhill completely - which is already split with the A10 running through it.
* Tottenhill is an area of natural beauty with many interesting birds and other species of wildlife. Further quarrying can only have a detrimental effect on the wildlife in the area.
* The road network in and around Tottenhill would not support any additional traffic - there has previously been a number of accidents at the two junctions on the A10, which is a major route into Kings Lynn.
* The noise and dust from proposed quarrying would impact on the wellbeing of the local residents.
* There are very few unspoilt areas in Norfolk, without street lighting, like Tottenhill and this should be preserved as far as possible.
* The watercourse, quality of water and water table may be affected by further quarrying. As a local resident, we regularly have issues with water - many times over the course of a year we lose the water pressure and at other times we lose water altogether.
* Although Tottenhill now has access to the mains sewer some of the local residents still use septic tanks. Further quarrying could have an impact on the sewage system.
* Any extracted mineral, especially the silica sand, would firstly need to be transported to Leziate, where it would be treated and then transported, predominantly by road, to various parts of the country. It will not be used in Norfolk alone, if at all,
Please listen to the local residents and consider other sites in Norfolk where the impact of such quarrying would not have such an effect on the immediate community - we've had enough.

Comment

Preferred Options consultation document

Representation ID: 99001

Received: 30/10/2019

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

Representation Summary:

The AoS are the same as previously expressed in the Initial Consultation document. Silica sand is a nationally important industrial mineral, and as such, the County Council must make adequate provision for its extraction. However they are not able to find suitable sites for the quantity of sand required, especially having dropped a site at Shouldham / Marham. The AoS are large and the expectation is that a suitable location could be found within one of the areas. Without detailed further information or operator preferences, it is not possible to pinpoint a site and therefore assess the localised impacts. Whilst this may be unsatisfactory for local communities who fear the consequences of extraction, it does give a positive indication that the County Council is safeguarding land and narrowing down suitable sites. It would be unrealistic to seek to have no areas of search at all, and the Plan could be found 'unsound', which would not be of benefit to the area.

Full text:

Original response received 30.10 2019
Revised response received 18.12.2019

3. Implications for the Borough from sand and gravel and silica sand policies / areas
3.1 Tottenhill (Site 206 - West of Lynn Road) This is an extension of existing works. The Tottenhill sites would be worked sequentially to mitigate any cumulative impacts. Potentially acceptable subject to the requirements in the policy.

3.2 A site at East Winch (Site MIN06 Mill Drove, Middleton) is allocated for carstone extraction. Potentially acceptable subject to the requirements in the policy.

3.3 Silica sand - AoS's (E, F, J and I) and SIL01. The County Council concludes that Site SIL01 is suitable to allocate for silica sand extraction. Development will be subject to compliance with the relevant Minerals and Waste Local Plan Policies and Specific Site Allocation Policy SIL01. There are reasonable safeguards for the locality.

3.4 The AoS are the same as previously expressed in the Initial Consultation document. Silica sand is a nationally important industrial mineral, and as such, the County Council must make adequate provision for its extraction. However they are not able to find suitable sites for the quantity of sand required, especially having dropped a site at Shouldham / Marham. The AoS are large and the expectation is that a suitable location could be found within one of the areas. Without detailed further information or operator preferences, it is not possible to pinpoint a site and therefore assess the localised impacts. Whilst this may be unsatisfactory for local communities who fear the consequences of extraction, it does give a positive indication that the County Council is safeguarding land and narrowing down suitable sites. It would be unrealistic to seek to have no areas of search at all, and the Plan could be found 'unsound', which would not be of benefit to the area.

Policy MP13 Silica Sand Area of Search (AoS E - Shouldham Warren area) and Policy MP2 - Spatial Strategy for mineral extraction (including reference to Silica Sand Areas of Search, and buffer zones (clause e))
3.5 Policy MP13 provides a criterion based approach to potential development in Areas of Search, including Area E. The expectation is that various assessments about related impacts will be provided in support of any applications, covering matters such as archaeology, landscape etc. Heavy reliance is placed on the safeguards from supporting studies to achieve acceptable development.
The recent decision by Norfolk County Council (in respect of it's Environmental Policy - County Council 25 November) to support the planting of some 1 million trees over the next 5 years to mitigate for the effects of climate change suggests a significant policy shift in the important role that trees play in County Council operations. It is clear that much more attention needs to be given the retention of existing tree cover in any mineral extraction situation. Shouldham Warren is an extensive area of tree cover, with additional recreation opportunities. An elevated status needs to be given to this in the planning balance as to whether an Area of Search should be designated at Shouldham, the Borough Council view is that the County Council should remove the AoS for this reason.
Additionally, Policy MP2 provides a degree of protection for areas with defined characteristics. Clause a. refers to 'ancient' woodland. In view of the County Council decision referred to above, it would be appropriate to delete the word 'ancient', leaving an enhanced level of protection to woodland generally.
Conclusion on AoS E (Shouldham) - Taking into account the two proposed amendments to policies affecting the potential for extraction at Shouldham, and the significant additional constraints now evident, the AoS should be removed.
MP2 Clause e) - Whilst the hydrological catchment around Roydon Common and Dersingham Bog, is specifically mentioned in Policy MP2e for exclusion, the complex hydrology and geology of these extremely sensitive sites is not fully understood. These two habitats have been recognised through the Ramsar, SAC and SSSI designations as having protected status. The introduction of wider 1.5km buffer zones would better mitigate any risk.

3.6 Policy MP7 (relating to restoration and aftercare) suggests that preference will be given to enhancing biodiversity, green infrastructure, and high quality local landscapes. This approach is supported. Whilst not necessarily appropriate in all circumstances, tree planting on restored sites would be a useful additional boost to mitigate for climate change. It is proposed that an additional clause is added to this effect as a fifth bullet point in paragraph four to the policy.

4. Implications for the Borough from the NCC approach to proposed waste and other policies on 'energy minerals'.

4.1 NCC have reviewed the policies in the current plans and as with Minerals moved them on to an end date of 2036. One particular item is relevant to West Norfolk. This is the overall locational strategy for waste management facilities.
4.2 Main points:
* From Policy WP2 in the Preferred Options 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.
* It is suggested our original comments are still appropriate to make.
4.3 Incineration - For the avoidance of doubt, it would be helpful if the County Council could add text to explain the position whereby the County Council will not seek to procure incinerators within Norfolk.
The position of the Borough Council on incineration is clear from previous involvement in planning inquiries. A clear statement on the matter from the County Council in the Minerals and Waste Local Plan would avoid any uncertainty for residents.

4.4 Fracking - Reference could be made to latest Government announcements about the potential restrictions / banning on this subject.

Comment

Preferred Options consultation document

Representation ID: 99021

Received: 30/10/2019

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

Representation Summary:

I.1 Amenity
The site has the potential to cause emissions of PM10 and PM2.5 which can affect the health and amenity of local residents.
The nearest residential property is approximately 250 metres from the AOS boundary and there are seven sensitive receptors located 250m from the AOS boundary. A planning application would need to include noise and dust assessments and mitigation measures to deal appropriately with any amenity or health impacts.
It must be ensured that the preparation or use of the site will not result in an exceedance of the national air quality objectives, or an AQMA may need to be declared.

I.2 / 1.3 Highway Access
Sand extracted would be taken to the processing plant at Leziate, access to which would be an off-road route turning right off the B1145 before Bawsey and utilising the existing track and/or conveyor route through the existing mineral workings at Mintlyn to access Station Road and the processing plant south of Brow of the Hill. Utilising an off-road haul route would avoid lorries accessing the processing plant via Brow of the Hill, Fair Green or Middleton and would therefore mitigate amenity impacts, so this is something we would welcome, assuming there would be no negative impact on residents from the off-road route. This should be determined through a transport assessment including air quality impacts.
Furthermore the cumulative air quality impacts of AOS E, AOS F, and AOS J along the A10, A149, A134 and B1145 need to be established.

I.12 Flood Risk
8% of AOS I is at low risk of flooding from surface water, 4% is at medium risk and 3% is at high risk of flooding from surface water. There is a surface water flow path across the south-western part of the AOS. We would welcome the submission of a surface water drainage scheme with any planning application.

I.13 Hydrogeology
Proposed extraction below the water table and/or dewatering should be accompanied by a hydrogeological risk assessment to identify potential risks and appropriate mitigation.

I.14 Water Framework Directive
Mineral extracted from AOS F likely to be transported by road to the existing processing plant at Leziate, will have to cross the Polver Drain on the A10 at Setchey. Appropriate mitigation should be put in place to ensure that no unacceptable impacts to the drain or the river occur, including from silt ingress and fugitive dust emissions. A dust assessment would also be required at the planning application stage.

Full text:


Environmental Quality and Community Safety and Neighbourhood Nuisance Comments on Mineral Site Specific Allocations October 2019

Summary:
If sites have to be progressed to the planning application stage, we would hope that sites furthest from residential dwellings are looked at primarily, as this could ensure that the impact on residential health and amenity is negligible. Clearly these sites would be preferred by us, if needed at all.
Submitted noise assessments and air quality/dust assessments should consider and include mitigation measures to deal appropriately with any potential health impacts, such as operational practices, separation/standoff areas and screening and/or bunding in line with Development Management Policies DM12 and DM13.
These allocated sites have been reviewed in line with Development Management Policies DM12, DM13, and DM15 as detailed within Norfolk Minerals and Waste Development Framework.

Lighting:
Lighting is not included in the document as this is generally something which can be considered at any proposed planning application stage; however we would hope that any proposed lighting for site security and worker safety would be carefully considered prior to the planning stage so details can be submitted with any planning application. We would assume lighting would be pole mounted in elevated positions, and therefore the throw and spread of this should be assessed to ensure that there is no impact on residents. Light should be contained within the confines of sites and positioned appropriately. If necessary lighting is located near dwellings, this should be angled away and hooded/cowled to prevent any adverse impact on residents.

Vibrations:
The potential impact from vibrations should also be considered at any future planning stage, if sites are chosen close to residential receptors - including vibrations from site operations and associated transportation of extracted materials.

Soil Stripping:
Soil stripping operations must be effectively controlled through mitigation methods (e.g. buffer zones and bunding) to reduce fugitive emissions, which pose short term health impacts on nearby residents. These mitigation measures must be included in any future planning application.

Haul Roads:
Fugitive emissions from haul roads need to be addressed in any future planning application, with mitigation planned where necessary such as wheel washing.

[see attached table for comments on individual sites]

Environmental Quality and Community Safety and Neighbourhood Nuisance Comments on Waste Site Specific Allocations October 2019

Summary:
If sites have to be progressed to the planning application stage, we would hope that sites furthest from residential dwellings are looked at primarily, as this could ensure that the impact on residential health and amenity is negligible. Clearly these sites would be preferred by us, if needed at all.
Any future applications for waste sites should be accompanied by noise, odour, dust, and air quality management schemes, which should identify potential sources and mitigation/control measures to prevent nuisance issues and health impacts (e.g. emissions from as gas flaring).
Where sites are likely to be illuminated for safety/security, lighting plans and details should also be submitted which should include where lights will be located, their heights and angle/orientation, the type of lighting and the throw and spill of light across the site, and measures to ensure light spill is contained within site boundaries.
These allocated sites have been reviewed in line with Development Management Policies DM12, DM13, and DM15 as detailed within Norfolk Minerals and Waste Development Framework

Existing Waste Site Specific Allocation Policies:
We note that WAS 05, WAS 25, WAS 36, WAS 40, WAS 37, WAS 45 and WAS 65 are no longer required and would therefore be deleted. There is therefore no risk to residential amenity from these sites.

Odour:
An odour impact assessment should be included within any future planning applications for allocated waste sites, along with suitable mitigation measures where appropriate.

Climate Change:
Climate change mitigation should be considered with regards to methane emissions (a greenhouse gas) released from allocated landfill sites.

[see attached table for comments on individual sites]