Specific Site Allocation Policy SIL01 (land at Mintlyn South, Bawsey):

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Object

Minerals and Waste Local Plan: Pre-Submission Publication

Representation ID: 99252

Received: 14/12/2022

Respondent: Historic England

Legally compliant? Not specified

Sound? No

Duty to co-operate? Not specified

Representation Summary:

The boundaries of this area of search (AOS) are in close proximity of a number of heritage assets comprising the ruined parish church of St Michael (grade II*) and a font against the south façade of Whitehouse Farmhouse (GII).
Other non-designated assets exist and include a series of crop marks related to undated ditches and banks together with a possible Bronze Age barrow.
We welcome the reference in the supporting text to nearby heritage assets and the need to provide a heritage statement and LVIA to identify appropriate mitigation with any planning application. We welcome the reference to this in the policy. We also welcome the reference to archaeology requirements in the policy and supporting text.
We welcome the reference to the listed church in the policy. We suggest that other listed structure, the font, is also referenced.

Change suggested by respondent:

Add reference to the font.

Object

Minerals and Waste Local Plan: Pre-Submission Publication

Representation ID: 99348

Received: 18/12/2022

Respondent: Norfolk Wildlife Trust

Legally compliant? Yes

Sound? No

Duty to co-operate? Yes

Representation Summary:

During the previous consultation we highlighted that part of the proposed allocation overlaps with a woodland CWS. We strongly recommend that impacts to the CWS are avoided by excluding it from the allocation and buffering it and other CWS from indirect dust impacts.
We also note that the land use of the proposed allocation is classed as non-agricultural land, however we understand that this is likely to be incorrect as the southern part of the site has been in regular use as grazed grassland for at least twenty years, with the potential to support features of ecological significance.

Full text: During the previous consultation phase we highlighted that part of the proposed allocation overlaps with CWS 416 ‘70 & 100 Plantations’ and recommended that these areas are safeguarded. The supporting text correctly identifies potential adverse impacts to this CWS and the adjacent CWS 418 Haverlesse Manor Plantation, but makes no attempt to safeguard these. The most appropriate way to ensure that impacts to the CWS are avoided is to exclude it from the minerals allocation, therefore we strongly recommend that CWS 416 is completely excluded from the proposed allocation. In addition, in order to safeguard from any indirect impacts to CWS from impacts such as dust, any allocation would need to include a non-worked buffer between it and both CWS.
We support the recommendations in the policy text for noise, dust, air quality and hydrology assessments which will help inform ecological assessments of potential impacts on nearby wildlife sites. We recommend that any restoration plan ensures that the existing ecological connectivity between the adjacent wildlife sites is maintained through progressive working and that restoration post-extraction complements the adjoining habitats.
We also note in the supporting text that the land use of the proposed allocation is classed as non-agricultural land, however we understand that this is likely to be incorrect as the southern part of the site has been in regular use as grazed grassland for at least twenty years. This area is likely to be of ecological significance, with anecdotal records of several protected species present as well as a number of mature oak trees on the southern boundary.

Change suggested by respondent:

The most appropriate way to ensure that impacts to the 70 & 100 Plantations CWS are avoided and ensure this policy complies with policy MW1 is to exclude it from the minerals allocation, therefore we strongly recommend that CWS 416 is completely excluded from the proposed allocation. In addition, in order to safeguard from any indirect impacts to CWS from impacts such as dust, any allocation would need to include a non-worked buffer between it and both CWS. In the absence of further information on the ecological value of the grazed grassland area in the south of the current allocation, and the potential impacts on a range of protected species (and any consequent impacts on delivery) as a precaution we recommend that this part of the site is removed from the allocation.