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Comment

Initial Consultation document

Question 84: Proposed site MIN 92

Representation ID: 92366

Received: 13/08/2018

Respondent: Cemex UK Materials Ltd

Representation Summary:

MIN 92: The Company does not agree with the initial conclusions of the Minerals Planning Authority regards this site, land east of Ferry Lane, Heckingham.

The proposed site abuts the boundary of the Broads Authority Executive Area to the north, south and west, albeit separated by a minor road in all bar the latter. It is noted, however, that the Broads Authority concluded that the extant permitted quarry immediately to the east would have a "negligible" impact on the character of the Broads. The statement that "... more open views from the road to the west..." is not supported by evidence 'in the field' as it is apparent that a significant body of existing trees sever all visibility of the site from the Broads area. It has been acknowledged that to the south the site is more open, but it is proposed that the area between the power cables and Beacon Farm be subject to an advanced planting programme. This would have the benefits of mimicking the tree screen to the north and west, screening Beacon Farm from the proposed development, and linking existing woodland to woodland areas planted by the Company in the course of implementing extant planning permissions. Given that the reserves within the proposed site are not likely to be required for at least 11 years there is ample time for any advanced planting to be undertaken and mature so as to be effective. Furthermore, there are no publicly accessible viewpoints to the south of the site until the Norton Road, from which only the most fleeting views of the site are available due to intervening vegetation, topography and buildings.
It is acknowledged that the site is bisected on an east to west axis by a row of mature trees, possibly remnants of a removed hedgerow. None of the trees in question appear to be the subject of Tree Preservation Orders. It is the Company's view that this site can be worked for sand and gravel economically with these trees being retained whilst not being materially affected by that working. Conversely, it is considered premature to take the view that the felling of these trees would constitute an "...unacceptable landscape impact..." in the absence of mitigation measures or an assessment of the condition of the trees themselves. As discussed above, the Company would propose as part of any development programme to implement an extensive advanced tree planting scheme along the site's southern boundary. As part of any proposed restoration it is quite possible that the original field boundaries, dividing the site into quarters, could be reinstated. It is also possible that these trees may not be in a condition that would secure their long term retention. It is the Company's view that the site should be identified as a Specific Site for minerals extraction and that it will be for an applicant to demonstrate that these matters of acknowledged significance can be adequately mitigated. The site is suitable for minerals extraction in principle and should be identified as such in the draft Plan.

Full text:

Further representations made on behalf of CEMEX UK Materials Ltd.

Proposed Minerals Extraction Sites

MIN 92: The Company does not agree with the initial conclusions of the Minerals Planning Authority regards this site, land east of Ferry Lane, Heckingham.

The proposed site abuts the boundary of the Broads Authority Executive Area to the north, south and west, albeit separated by a minor road in all bar the latter. It is noted, however, that the Broads Authority concluded that the extant permitted quarry immediately to the east would have a "negligible" impact on the character of the Broads. The statement that "... more open views from the road to the west..." is not supported by evidence 'in the field' as it is apparent that a significant body of existing trees sever all visibility of the site from the Broads area. It has been acknowledged that to the south the site is more open, but it is proposed that the area between the power cables and Beacon Farm be subject to an advanced planting programme. This would have the benefits of mimicking the tree screen to the north and west, screening Beacon Farm from the proposed development, and linking existing woodland to woodland areas planted by the Company in the course of implementing extant planning permissions. Given that the reserves within the proposed site are not likely to be required for at least 11 years there is ample time for any advanced planting to be undertaken and mature so as to be effective. Furthermore, there are no publicly accessible viewpoints to the south of the site until the Norton Road, from which only the most fleeting views of the site are available due to intervening vegetation, topography and buildings.
It is acknowledged that the site is bisected on an east to west axis by a row of mature trees, possibly remnants of a removed hedgerow. None of the trees in question appear to be the subject of Tree Preservation Orders. It is the Company's view that this site can be worked for sand and gravel economically with these trees being retained whilst not being materially affected by that working. Conversely, it is considered premature to take the view that the felling of these trees would constitute an "...unacceptable landscape impact..." in the absence of mitigation measures or an assessment of the condition of the trees themselves. As discussed above, the Company would propose as part of any development programme to implement an extensive advanced tree planting scheme along the site's southern boundary. As part of any proposed restoration it is quite possible that the original field boundaries, dividing the site into quarters, could be reinstated. It is also possible that these trees may not be in a condition that would secure their long term retention. It is the Company's view that the site should be identified as a Specific Site for minerals extraction and that it will be for an applicant to demonstrate that these matters of acknowledged significance can be adequately mitigated. The site is suitable for minerals extraction in principle and should be identified as such in the draft Plan.

Comment

Initial Consultation document

Question 3: 'Minerals Strategic Objectives'

Representation ID: 93071

Received: 10/08/2018

Respondent: Cemex UK Materials Ltd

Representation Summary:

MSO10: As currently drafted this objective appears to establish a mandatory requirement for any restoration scheme to increase public access and enhance biodiversity. There could be circumstances, however, where this requirement is not appropriate, such as limiting public access when seeking to establish an ecologically slanted restoration or where the land is best and most versatile agricultural land and returning that land back to agricultural production may be the primary driver behind its restoration. The following revision is therefore proposed: -

"WHERE APPROPRIATE, increase public access to the countryside and enhance biodiversity through enhancing the amenity value of land when restoring extraction sites."

The above would also better reflect the phrasing of Policy MW2.

Full text:

Norfolk County Council: Minerals and Waste Local Plan Initial Consultation May 2018

Representations made on behalf of CEMEX UK Materials Ltd.

Minerals Strategic Objectives

MSO10: As currently drafted this objective appears to establish a mandatory requirement for any restoration scheme to increase public access and enhance biodiversity. There could be circumstances, however, where this requirement is not appropriate, such as limiting public access when seeking to establish an ecologically slanted restoration or where the land is best and most versatile agricultural land and returning that land back to agricultural production may be the primary driver behind its restoration. The following revision is therefore proposed: -

"WHERE APPROPRIATE, increase public access to the countryside and enhance biodiversity through enhancing the amenity value of land when restoring extraction sites."

The above would also better reflect the phrasing of Policy MW2.

General Policies

MW3: Quarries by their nature have to be located where the mineral that is sought to be quarried occurs. This often places them in rural and/or remote areas where there is little or no access to public transport. This potential remoteness can also mean that travel to work distances are too great for employees to be reasonable expected to either cycle or walk to work. Furthermore, due to the demands of customers, quarries often commence daily operations early, before public transport commences operations itself, if any is available. As drafted Policy MW3 does not reflect these practicalities. The following revision is therefore proposed: -

* "WHERE APPROPRIATE, measures to reduce car travel to the site by workers and visitors and encourage walking, cycling and use of public transport."

Minerals Specific Policies

MP1: As currently drafted the Company believes that this policy would be found to be unsound as it does not reflect Government guidance regards the provision of sand and gravel and no material circumstances have been identified by the Plan that explain why the approach taken is appropriate. The following revision is proposed: -

"For sand and gravel, specific sites to deliver at least 23,063,560 tonnes of resources will be allocated. The sand and gravel landbank will be maintained TO at LEAST 7 years' supply (excluding any contribution from borrow pits for major construction projects)."

The above phraseology better reflects guidance contained with paragraph 207f of the revised NPPF and is considered sound.

MP7: The Company wholly support the aim of retaining sample exposures of scientifically important geological exposures, but this must be tempered by health and safety considerations. There may be circumstances, such as high quarry faces or face instability where retention would not be appropriate. As such it is proposed that the policy be revised as follows: -

* Any important geology or geomorphology on the site will be retained in sample exposures for study purposes WHERE APPROPRIATE.

MP10: Paragraph b of this policy does not specifically refer to facilities for the handing of primary won aggregate; this oversight should be remedied as follows: -

b) Existing, planned and potential sites for concrete batching, the manufacture of coated materials, other concrete products and the handling, processing and distribution of PRIMARY, substitute, recycled and secondary aggregate material.

Appendix 5

Both the Company's Norwich (Broadsman Close) or Brandon (Mundford Road) railheads appear not to have be identified within this appendix as safeguarded facilities. It is requested that both are added to the appendix.

Appendix 7

Neither the Company's Costessey recycling facility nor the adjacent landfill appear to been identified within this appendix as safeguarded waste management facilities. It is requested that both are added to the appendix.

Proposed Minerals Extraction Sites

MIN 202: The Company supports the identification of land south of Reepham Road, Attlebridge, as suitable for allocation for sand and gravel extraction.

MIN 25: The Company supports the identification of land at Manor Farm (between Loddon Road and Thorpe Road), Haddiscoe, as suitable for allocation for sand and gravel extraction.

An additional site has very recently been drawn to the Company's attention, Mansom Plantation, please find attached a completed pro forma, location plan and preliminary geological report (additional detail is expected shortly). On the basis of geological investigations to date this site appears to contain approximately 1.5 million tonnes of coarse sand and gravel lying in close proximity to the County's main aggregate market, Norwich, and with direct access to the A140. Part of the site is also subject to an extant permission for leisure development. As such the Company propose its identification in the Development Plan as a Specific Site for mineral extraction.

The Company has as yet not been able to consider in detail the potential environmental constraints that relate to this site. It would be happy to discuss with the Minerals Planning Authority expanding the evidence base for this site if would assist the Authority in its deliberations.

Comment

Initial Consultation document

Question 6: Policy MW3 'Transport'

Representation ID: 93072

Received: 10/08/2018

Respondent: Cemex UK Materials Ltd

Representation Summary:

MW3: Quarries by their nature have to be located where the mineral that is sought to be quarried occurs. This often places them in rural and/or remote areas where there is little or no access to public transport. This potential remoteness can also mean that travel to work distances are too great for employees to be reasonable expected to either cycle or walk to work. Furthermore, due to the demands of customers, quarries often commence daily operations early, before public transport commences operations itself, if any is available. As drafted Policy MW3 does not reflect these practicalities. The following revision is therefore proposed: -

* "WHERE APPROPRIATE, measures to reduce car travel to the site by workers and visitors and encourage walking, cycling and use of public transport."

Full text:

Norfolk County Council: Minerals and Waste Local Plan Initial Consultation May 2018

Representations made on behalf of CEMEX UK Materials Ltd.

Minerals Strategic Objectives

MSO10: As currently drafted this objective appears to establish a mandatory requirement for any restoration scheme to increase public access and enhance biodiversity. There could be circumstances, however, where this requirement is not appropriate, such as limiting public access when seeking to establish an ecologically slanted restoration or where the land is best and most versatile agricultural land and returning that land back to agricultural production may be the primary driver behind its restoration. The following revision is therefore proposed: -

"WHERE APPROPRIATE, increase public access to the countryside and enhance biodiversity through enhancing the amenity value of land when restoring extraction sites."

The above would also better reflect the phrasing of Policy MW2.

General Policies

MW3: Quarries by their nature have to be located where the mineral that is sought to be quarried occurs. This often places them in rural and/or remote areas where there is little or no access to public transport. This potential remoteness can also mean that travel to work distances are too great for employees to be reasonable expected to either cycle or walk to work. Furthermore, due to the demands of customers, quarries often commence daily operations early, before public transport commences operations itself, if any is available. As drafted Policy MW3 does not reflect these practicalities. The following revision is therefore proposed: -

* "WHERE APPROPRIATE, measures to reduce car travel to the site by workers and visitors and encourage walking, cycling and use of public transport."

Minerals Specific Policies

MP1: As currently drafted the Company believes that this policy would be found to be unsound as it does not reflect Government guidance regards the provision of sand and gravel and no material circumstances have been identified by the Plan that explain why the approach taken is appropriate. The following revision is proposed: -

"For sand and gravel, specific sites to deliver at least 23,063,560 tonnes of resources will be allocated. The sand and gravel landbank will be maintained TO at LEAST 7 years' supply (excluding any contribution from borrow pits for major construction projects)."

The above phraseology better reflects guidance contained with paragraph 207f of the revised NPPF and is considered sound.

MP7: The Company wholly support the aim of retaining sample exposures of scientifically important geological exposures, but this must be tempered by health and safety considerations. There may be circumstances, such as high quarry faces or face instability where retention would not be appropriate. As such it is proposed that the policy be revised as follows: -

* Any important geology or geomorphology on the site will be retained in sample exposures for study purposes WHERE APPROPRIATE.

MP10: Paragraph b of this policy does not specifically refer to facilities for the handing of primary won aggregate; this oversight should be remedied as follows: -

b) Existing, planned and potential sites for concrete batching, the manufacture of coated materials, other concrete products and the handling, processing and distribution of PRIMARY, substitute, recycled and secondary aggregate material.

Appendix 5

Both the Company's Norwich (Broadsman Close) or Brandon (Mundford Road) railheads appear not to have be identified within this appendix as safeguarded facilities. It is requested that both are added to the appendix.

Appendix 7

Neither the Company's Costessey recycling facility nor the adjacent landfill appear to been identified within this appendix as safeguarded waste management facilities. It is requested that both are added to the appendix.

Proposed Minerals Extraction Sites

MIN 202: The Company supports the identification of land south of Reepham Road, Attlebridge, as suitable for allocation for sand and gravel extraction.

MIN 25: The Company supports the identification of land at Manor Farm (between Loddon Road and Thorpe Road), Haddiscoe, as suitable for allocation for sand and gravel extraction.

An additional site has very recently been drawn to the Company's attention, Mansom Plantation, please find attached a completed pro forma, location plan and preliminary geological report (additional detail is expected shortly). On the basis of geological investigations to date this site appears to contain approximately 1.5 million tonnes of coarse sand and gravel lying in close proximity to the County's main aggregate market, Norwich, and with direct access to the A140. Part of the site is also subject to an extant permission for leisure development. As such the Company propose its identification in the Development Plan as a Specific Site for mineral extraction.

The Company has as yet not been able to consider in detail the potential environmental constraints that relate to this site. It would be happy to discuss with the Minerals Planning Authority expanding the evidence base for this site if would assist the Authority in its deliberations.

Object

Initial Consultation document

Question 27: Policy MP1 'Provision for minerals extraction'

Representation ID: 93073

Received: 10/08/2018

Respondent: Cemex UK Materials Ltd

Representation Summary:

MP1: As currently drafted the Company believes that this policy would be found to be unsound as it does not reflect Government guidance regards the provision of sand and gravel and no material circumstances have been identified by the Plan that explain why the approach taken is appropriate. The following revision is proposed: -

"For sand and gravel, specific sites to deliver at least 23,063,560 tonnes of resources will be allocated. The sand and gravel landbank will be maintained TO AT LEAST 7 years' supply (excluding any contribution from borrow pits for major construction projects)."

The above phraseology better reflects guidance contained with paragraph 207f of the revised NPPF and is considered sound.

Full text:

Norfolk County Council: Minerals and Waste Local Plan Initial Consultation May 2018

Representations made on behalf of CEMEX UK Materials Ltd.

Minerals Strategic Objectives

MSO10: As currently drafted this objective appears to establish a mandatory requirement for any restoration scheme to increase public access and enhance biodiversity. There could be circumstances, however, where this requirement is not appropriate, such as limiting public access when seeking to establish an ecologically slanted restoration or where the land is best and most versatile agricultural land and returning that land back to agricultural production may be the primary driver behind its restoration. The following revision is therefore proposed: -

"WHERE APPROPRIATE, increase public access to the countryside and enhance biodiversity through enhancing the amenity value of land when restoring extraction sites."

The above would also better reflect the phrasing of Policy MW2.

General Policies

MW3: Quarries by their nature have to be located where the mineral that is sought to be quarried occurs. This often places them in rural and/or remote areas where there is little or no access to public transport. This potential remoteness can also mean that travel to work distances are too great for employees to be reasonable expected to either cycle or walk to work. Furthermore, due to the demands of customers, quarries often commence daily operations early, before public transport commences operations itself, if any is available. As drafted Policy MW3 does not reflect these practicalities. The following revision is therefore proposed: -

* "WHERE APPROPRIATE, measures to reduce car travel to the site by workers and visitors and encourage walking, cycling and use of public transport."

Minerals Specific Policies

MP1: As currently drafted the Company believes that this policy would be found to be unsound as it does not reflect Government guidance regards the provision of sand and gravel and no material circumstances have been identified by the Plan that explain why the approach taken is appropriate. The following revision is proposed: -

"For sand and gravel, specific sites to deliver at least 23,063,560 tonnes of resources will be allocated. The sand and gravel landbank will be maintained TO at LEAST 7 years' supply (excluding any contribution from borrow pits for major construction projects)."

The above phraseology better reflects guidance contained with paragraph 207f of the revised NPPF and is considered sound.

MP7: The Company wholly support the aim of retaining sample exposures of scientifically important geological exposures, but this must be tempered by health and safety considerations. There may be circumstances, such as high quarry faces or face instability where retention would not be appropriate. As such it is proposed that the policy be revised as follows: -

* Any important geology or geomorphology on the site will be retained in sample exposures for study purposes WHERE APPROPRIATE.

MP10: Paragraph b of this policy does not specifically refer to facilities for the handing of primary won aggregate; this oversight should be remedied as follows: -

b) Existing, planned and potential sites for concrete batching, the manufacture of coated materials, other concrete products and the handling, processing and distribution of PRIMARY, substitute, recycled and secondary aggregate material.

Appendix 5

Both the Company's Norwich (Broadsman Close) or Brandon (Mundford Road) railheads appear not to have be identified within this appendix as safeguarded facilities. It is requested that both are added to the appendix.

Appendix 7

Neither the Company's Costessey recycling facility nor the adjacent landfill appear to been identified within this appendix as safeguarded waste management facilities. It is requested that both are added to the appendix.

Proposed Minerals Extraction Sites

MIN 202: The Company supports the identification of land south of Reepham Road, Attlebridge, as suitable for allocation for sand and gravel extraction.

MIN 25: The Company supports the identification of land at Manor Farm (between Loddon Road and Thorpe Road), Haddiscoe, as suitable for allocation for sand and gravel extraction.

An additional site has very recently been drawn to the Company's attention, Mansom Plantation, please find attached a completed pro forma, location plan and preliminary geological report (additional detail is expected shortly). On the basis of geological investigations to date this site appears to contain approximately 1.5 million tonnes of coarse sand and gravel lying in close proximity to the County's main aggregate market, Norwich, and with direct access to the A140. Part of the site is also subject to an extant permission for leisure development. As such the Company propose its identification in the Development Plan as a Specific Site for mineral extraction.

The Company has as yet not been able to consider in detail the potential environmental constraints that relate to this site. It would be happy to discuss with the Minerals Planning Authority expanding the evidence base for this site if would assist the Authority in its deliberations.

Comment

Initial Consultation document

Question 33: Policy MP7 'Progressive working, restoration and after-use'

Representation ID: 93074

Received: 10/08/2018

Respondent: Cemex UK Materials Ltd

Representation Summary:

MP7: The Company wholly support the aim of retaining sample exposures of scientifically important geological exposures, but this must be tempered by health and safety considerations. There may be circumstances, such as high quarry faces or face instability where retention would not be appropriate. As such it is proposed that the policy be revised as follows: -

* Any important geology or geomorphology on the site will be retained in sample exposures for study purposes WHERE APPROPRIATE.

Full text:

Norfolk County Council: Minerals and Waste Local Plan Initial Consultation May 2018

Representations made on behalf of CEMEX UK Materials Ltd.

Minerals Strategic Objectives

MSO10: As currently drafted this objective appears to establish a mandatory requirement for any restoration scheme to increase public access and enhance biodiversity. There could be circumstances, however, where this requirement is not appropriate, such as limiting public access when seeking to establish an ecologically slanted restoration or where the land is best and most versatile agricultural land and returning that land back to agricultural production may be the primary driver behind its restoration. The following revision is therefore proposed: -

"WHERE APPROPRIATE, increase public access to the countryside and enhance biodiversity through enhancing the amenity value of land when restoring extraction sites."

The above would also better reflect the phrasing of Policy MW2.

General Policies

MW3: Quarries by their nature have to be located where the mineral that is sought to be quarried occurs. This often places them in rural and/or remote areas where there is little or no access to public transport. This potential remoteness can also mean that travel to work distances are too great for employees to be reasonable expected to either cycle or walk to work. Furthermore, due to the demands of customers, quarries often commence daily operations early, before public transport commences operations itself, if any is available. As drafted Policy MW3 does not reflect these practicalities. The following revision is therefore proposed: -

* "WHERE APPROPRIATE, measures to reduce car travel to the site by workers and visitors and encourage walking, cycling and use of public transport."

Minerals Specific Policies

MP1: As currently drafted the Company believes that this policy would be found to be unsound as it does not reflect Government guidance regards the provision of sand and gravel and no material circumstances have been identified by the Plan that explain why the approach taken is appropriate. The following revision is proposed: -

"For sand and gravel, specific sites to deliver at least 23,063,560 tonnes of resources will be allocated. The sand and gravel landbank will be maintained TO at LEAST 7 years' supply (excluding any contribution from borrow pits for major construction projects)."

The above phraseology better reflects guidance contained with paragraph 207f of the revised NPPF and is considered sound.

MP7: The Company wholly support the aim of retaining sample exposures of scientifically important geological exposures, but this must be tempered by health and safety considerations. There may be circumstances, such as high quarry faces or face instability where retention would not be appropriate. As such it is proposed that the policy be revised as follows: -

* Any important geology or geomorphology on the site will be retained in sample exposures for study purposes WHERE APPROPRIATE.

MP10: Paragraph b of this policy does not specifically refer to facilities for the handing of primary won aggregate; this oversight should be remedied as follows: -

b) Existing, planned and potential sites for concrete batching, the manufacture of coated materials, other concrete products and the handling, processing and distribution of PRIMARY, substitute, recycled and secondary aggregate material.

Appendix 5

Both the Company's Norwich (Broadsman Close) or Brandon (Mundford Road) railheads appear not to have be identified within this appendix as safeguarded facilities. It is requested that both are added to the appendix.

Appendix 7

Neither the Company's Costessey recycling facility nor the adjacent landfill appear to been identified within this appendix as safeguarded waste management facilities. It is requested that both are added to the appendix.

Proposed Minerals Extraction Sites

MIN 202: The Company supports the identification of land south of Reepham Road, Attlebridge, as suitable for allocation for sand and gravel extraction.

MIN 25: The Company supports the identification of land at Manor Farm (between Loddon Road and Thorpe Road), Haddiscoe, as suitable for allocation for sand and gravel extraction.

An additional site has very recently been drawn to the Company's attention, Mansom Plantation, please find attached a completed pro forma, location plan and preliminary geological report (additional detail is expected shortly). On the basis of geological investigations to date this site appears to contain approximately 1.5 million tonnes of coarse sand and gravel lying in close proximity to the County's main aggregate market, Norwich, and with direct access to the A140. Part of the site is also subject to an extant permission for leisure development. As such the Company propose its identification in the Development Plan as a Specific Site for mineral extraction.

The Company has as yet not been able to consider in detail the potential environmental constraints that relate to this site. It would be happy to discuss with the Minerals Planning Authority expanding the evidence base for this site if would assist the Authority in its deliberations.

Comment

Initial Consultation document

Question 36: Policy MP10 'safeguarding of port and rail facilities, and facilities for the manufacture of concrete, asphalt and recycled materials'

Representation ID: 93075

Received: 10/08/2018

Respondent: Cemex UK Materials Ltd

Representation Summary:

MP10: Paragraph b of this policy does not specifically refer to facilities for the handing of primary won aggregate; this oversight should be remedied as follows: -

b) Existing, planned and potential sites for concrete batching, the manufacture of coated materials, other concrete products and the handling, processing and distribution of PRIMARY, substitute, recycled and secondary aggregate material.

Full text:

Norfolk County Council: Minerals and Waste Local Plan Initial Consultation May 2018

Representations made on behalf of CEMEX UK Materials Ltd.

Minerals Strategic Objectives

MSO10: As currently drafted this objective appears to establish a mandatory requirement for any restoration scheme to increase public access and enhance biodiversity. There could be circumstances, however, where this requirement is not appropriate, such as limiting public access when seeking to establish an ecologically slanted restoration or where the land is best and most versatile agricultural land and returning that land back to agricultural production may be the primary driver behind its restoration. The following revision is therefore proposed: -

"WHERE APPROPRIATE, increase public access to the countryside and enhance biodiversity through enhancing the amenity value of land when restoring extraction sites."

The above would also better reflect the phrasing of Policy MW2.

General Policies

MW3: Quarries by their nature have to be located where the mineral that is sought to be quarried occurs. This often places them in rural and/or remote areas where there is little or no access to public transport. This potential remoteness can also mean that travel to work distances are too great for employees to be reasonable expected to either cycle or walk to work. Furthermore, due to the demands of customers, quarries often commence daily operations early, before public transport commences operations itself, if any is available. As drafted Policy MW3 does not reflect these practicalities. The following revision is therefore proposed: -

* "WHERE APPROPRIATE, measures to reduce car travel to the site by workers and visitors and encourage walking, cycling and use of public transport."

Minerals Specific Policies

MP1: As currently drafted the Company believes that this policy would be found to be unsound as it does not reflect Government guidance regards the provision of sand and gravel and no material circumstances have been identified by the Plan that explain why the approach taken is appropriate. The following revision is proposed: -

"For sand and gravel, specific sites to deliver at least 23,063,560 tonnes of resources will be allocated. The sand and gravel landbank will be maintained TO at LEAST 7 years' supply (excluding any contribution from borrow pits for major construction projects)."

The above phraseology better reflects guidance contained with paragraph 207f of the revised NPPF and is considered sound.

MP7: The Company wholly support the aim of retaining sample exposures of scientifically important geological exposures, but this must be tempered by health and safety considerations. There may be circumstances, such as high quarry faces or face instability where retention would not be appropriate. As such it is proposed that the policy be revised as follows: -

* Any important geology or geomorphology on the site will be retained in sample exposures for study purposes WHERE APPROPRIATE.

MP10: Paragraph b of this policy does not specifically refer to facilities for the handing of primary won aggregate; this oversight should be remedied as follows: -

b) Existing, planned and potential sites for concrete batching, the manufacture of coated materials, other concrete products and the handling, processing and distribution of PRIMARY, substitute, recycled and secondary aggregate material.

Appendix 5

Both the Company's Norwich (Broadsman Close) or Brandon (Mundford Road) railheads appear not to have be identified within this appendix as safeguarded facilities. It is requested that both are added to the appendix.

Appendix 7

Neither the Company's Costessey recycling facility nor the adjacent landfill appear to been identified within this appendix as safeguarded waste management facilities. It is requested that both are added to the appendix.

Proposed Minerals Extraction Sites

MIN 202: The Company supports the identification of land south of Reepham Road, Attlebridge, as suitable for allocation for sand and gravel extraction.

MIN 25: The Company supports the identification of land at Manor Farm (between Loddon Road and Thorpe Road), Haddiscoe, as suitable for allocation for sand and gravel extraction.

An additional site has very recently been drawn to the Company's attention, Mansom Plantation, please find attached a completed pro forma, location plan and preliminary geological report (additional detail is expected shortly). On the basis of geological investigations to date this site appears to contain approximately 1.5 million tonnes of coarse sand and gravel lying in close proximity to the County's main aggregate market, Norwich, and with direct access to the A140. Part of the site is also subject to an extant permission for leisure development. As such the Company propose its identification in the Development Plan as a Specific Site for mineral extraction.

The Company has as yet not been able to consider in detail the potential environmental constraints that relate to this site. It would be happy to discuss with the Minerals Planning Authority expanding the evidence base for this site if would assist the Authority in its deliberations.

Comment

Initial Consultation document

Appendix 5 - Safeguarded Mineral Infrastructure (as at May 2017)

Representation ID: 93076

Received: 10/08/2018

Respondent: Cemex UK Materials Ltd

Representation Summary:

Both the Company's Norwich (Broadsman Close) or Brandon (Mundford Road) railheads appear not to have be identified within this appendix as safeguarded facilities. It is requested that both are added to the appendix.

Full text:

Norfolk County Council: Minerals and Waste Local Plan Initial Consultation May 2018

Representations made on behalf of CEMEX UK Materials Ltd.

Minerals Strategic Objectives

MSO10: As currently drafted this objective appears to establish a mandatory requirement for any restoration scheme to increase public access and enhance biodiversity. There could be circumstances, however, where this requirement is not appropriate, such as limiting public access when seeking to establish an ecologically slanted restoration or where the land is best and most versatile agricultural land and returning that land back to agricultural production may be the primary driver behind its restoration. The following revision is therefore proposed: -

"WHERE APPROPRIATE, increase public access to the countryside and enhance biodiversity through enhancing the amenity value of land when restoring extraction sites."

The above would also better reflect the phrasing of Policy MW2.

General Policies

MW3: Quarries by their nature have to be located where the mineral that is sought to be quarried occurs. This often places them in rural and/or remote areas where there is little or no access to public transport. This potential remoteness can also mean that travel to work distances are too great for employees to be reasonable expected to either cycle or walk to work. Furthermore, due to the demands of customers, quarries often commence daily operations early, before public transport commences operations itself, if any is available. As drafted Policy MW3 does not reflect these practicalities. The following revision is therefore proposed: -

* "WHERE APPROPRIATE, measures to reduce car travel to the site by workers and visitors and encourage walking, cycling and use of public transport."

Minerals Specific Policies

MP1: As currently drafted the Company believes that this policy would be found to be unsound as it does not reflect Government guidance regards the provision of sand and gravel and no material circumstances have been identified by the Plan that explain why the approach taken is appropriate. The following revision is proposed: -

"For sand and gravel, specific sites to deliver at least 23,063,560 tonnes of resources will be allocated. The sand and gravel landbank will be maintained TO at LEAST 7 years' supply (excluding any contribution from borrow pits for major construction projects)."

The above phraseology better reflects guidance contained with paragraph 207f of the revised NPPF and is considered sound.

MP7: The Company wholly support the aim of retaining sample exposures of scientifically important geological exposures, but this must be tempered by health and safety considerations. There may be circumstances, such as high quarry faces or face instability where retention would not be appropriate. As such it is proposed that the policy be revised as follows: -

* Any important geology or geomorphology on the site will be retained in sample exposures for study purposes WHERE APPROPRIATE.

MP10: Paragraph b of this policy does not specifically refer to facilities for the handing of primary won aggregate; this oversight should be remedied as follows: -

b) Existing, planned and potential sites for concrete batching, the manufacture of coated materials, other concrete products and the handling, processing and distribution of PRIMARY, substitute, recycled and secondary aggregate material.

Appendix 5

Both the Company's Norwich (Broadsman Close) or Brandon (Mundford Road) railheads appear not to have be identified within this appendix as safeguarded facilities. It is requested that both are added to the appendix.

Appendix 7

Neither the Company's Costessey recycling facility nor the adjacent landfill appear to been identified within this appendix as safeguarded waste management facilities. It is requested that both are added to the appendix.

Proposed Minerals Extraction Sites

MIN 202: The Company supports the identification of land south of Reepham Road, Attlebridge, as suitable for allocation for sand and gravel extraction.

MIN 25: The Company supports the identification of land at Manor Farm (between Loddon Road and Thorpe Road), Haddiscoe, as suitable for allocation for sand and gravel extraction.

An additional site has very recently been drawn to the Company's attention, Mansom Plantation, please find attached a completed pro forma, location plan and preliminary geological report (additional detail is expected shortly). On the basis of geological investigations to date this site appears to contain approximately 1.5 million tonnes of coarse sand and gravel lying in close proximity to the County's main aggregate market, Norwich, and with direct access to the A140. Part of the site is also subject to an extant permission for leisure development. As such the Company propose its identification in the Development Plan as a Specific Site for mineral extraction.

The Company has as yet not been able to consider in detail the potential environmental constraints that relate to this site. It would be happy to discuss with the Minerals Planning Authority expanding the evidence base for this site if would assist the Authority in its deliberations.

Comment

Initial Consultation document

Appendix 7 - Safeguarded Waste Management Facilities (as at May 2017)

Representation ID: 93077

Received: 10/08/2018

Respondent: Cemex UK Materials Ltd

Representation Summary:

Neither the Company's Costessey recycling facility nor the adjacent landfill appear to been identified within this appendix as safeguarded waste management facilities. It is requested that both are added to the appendix.

Full text:

Norfolk County Council: Minerals and Waste Local Plan Initial Consultation May 2018

Representations made on behalf of CEMEX UK Materials Ltd.

Minerals Strategic Objectives

MSO10: As currently drafted this objective appears to establish a mandatory requirement for any restoration scheme to increase public access and enhance biodiversity. There could be circumstances, however, where this requirement is not appropriate, such as limiting public access when seeking to establish an ecologically slanted restoration or where the land is best and most versatile agricultural land and returning that land back to agricultural production may be the primary driver behind its restoration. The following revision is therefore proposed: -

"WHERE APPROPRIATE, increase public access to the countryside and enhance biodiversity through enhancing the amenity value of land when restoring extraction sites."

The above would also better reflect the phrasing of Policy MW2.

General Policies

MW3: Quarries by their nature have to be located where the mineral that is sought to be quarried occurs. This often places them in rural and/or remote areas where there is little or no access to public transport. This potential remoteness can also mean that travel to work distances are too great for employees to be reasonable expected to either cycle or walk to work. Furthermore, due to the demands of customers, quarries often commence daily operations early, before public transport commences operations itself, if any is available. As drafted Policy MW3 does not reflect these practicalities. The following revision is therefore proposed: -

* "WHERE APPROPRIATE, measures to reduce car travel to the site by workers and visitors and encourage walking, cycling and use of public transport."

Minerals Specific Policies

MP1: As currently drafted the Company believes that this policy would be found to be unsound as it does not reflect Government guidance regards the provision of sand and gravel and no material circumstances have been identified by the Plan that explain why the approach taken is appropriate. The following revision is proposed: -

"For sand and gravel, specific sites to deliver at least 23,063,560 tonnes of resources will be allocated. The sand and gravel landbank will be maintained TO at LEAST 7 years' supply (excluding any contribution from borrow pits for major construction projects)."

The above phraseology better reflects guidance contained with paragraph 207f of the revised NPPF and is considered sound.

MP7: The Company wholly support the aim of retaining sample exposures of scientifically important geological exposures, but this must be tempered by health and safety considerations. There may be circumstances, such as high quarry faces or face instability where retention would not be appropriate. As such it is proposed that the policy be revised as follows: -

* Any important geology or geomorphology on the site will be retained in sample exposures for study purposes WHERE APPROPRIATE.

MP10: Paragraph b of this policy does not specifically refer to facilities for the handing of primary won aggregate; this oversight should be remedied as follows: -

b) Existing, planned and potential sites for concrete batching, the manufacture of coated materials, other concrete products and the handling, processing and distribution of PRIMARY, substitute, recycled and secondary aggregate material.

Appendix 5

Both the Company's Norwich (Broadsman Close) or Brandon (Mundford Road) railheads appear not to have be identified within this appendix as safeguarded facilities. It is requested that both are added to the appendix.

Appendix 7

Neither the Company's Costessey recycling facility nor the adjacent landfill appear to been identified within this appendix as safeguarded waste management facilities. It is requested that both are added to the appendix.

Proposed Minerals Extraction Sites

MIN 202: The Company supports the identification of land south of Reepham Road, Attlebridge, as suitable for allocation for sand and gravel extraction.

MIN 25: The Company supports the identification of land at Manor Farm (between Loddon Road and Thorpe Road), Haddiscoe, as suitable for allocation for sand and gravel extraction.

An additional site has very recently been drawn to the Company's attention, Mansom Plantation, please find attached a completed pro forma, location plan and preliminary geological report (additional detail is expected shortly). On the basis of geological investigations to date this site appears to contain approximately 1.5 million tonnes of coarse sand and gravel lying in close proximity to the County's main aggregate market, Norwich, and with direct access to the A140. Part of the site is also subject to an extant permission for leisure development. As such the Company propose its identification in the Development Plan as a Specific Site for mineral extraction.

The Company has as yet not been able to consider in detail the potential environmental constraints that relate to this site. It would be happy to discuss with the Minerals Planning Authority expanding the evidence base for this site if would assist the Authority in its deliberations.

Support

Initial Consultation document

Question 50: Proposed site MIN 202

Representation ID: 93078

Received: 10/08/2018

Respondent: Cemex UK Materials Ltd

Representation Summary:

MIN 202: The Company supports the identification of land south of Reepham Road, Attlebridge, as suitable for allocation for sand and gravel extraction.

Full text:

Norfolk County Council: Minerals and Waste Local Plan Initial Consultation May 2018

Representations made on behalf of CEMEX UK Materials Ltd.

Minerals Strategic Objectives

MSO10: As currently drafted this objective appears to establish a mandatory requirement for any restoration scheme to increase public access and enhance biodiversity. There could be circumstances, however, where this requirement is not appropriate, such as limiting public access when seeking to establish an ecologically slanted restoration or where the land is best and most versatile agricultural land and returning that land back to agricultural production may be the primary driver behind its restoration. The following revision is therefore proposed: -

"WHERE APPROPRIATE, increase public access to the countryside and enhance biodiversity through enhancing the amenity value of land when restoring extraction sites."

The above would also better reflect the phrasing of Policy MW2.

General Policies

MW3: Quarries by their nature have to be located where the mineral that is sought to be quarried occurs. This often places them in rural and/or remote areas where there is little or no access to public transport. This potential remoteness can also mean that travel to work distances are too great for employees to be reasonable expected to either cycle or walk to work. Furthermore, due to the demands of customers, quarries often commence daily operations early, before public transport commences operations itself, if any is available. As drafted Policy MW3 does not reflect these practicalities. The following revision is therefore proposed: -

* "WHERE APPROPRIATE, measures to reduce car travel to the site by workers and visitors and encourage walking, cycling and use of public transport."

Minerals Specific Policies

MP1: As currently drafted the Company believes that this policy would be found to be unsound as it does not reflect Government guidance regards the provision of sand and gravel and no material circumstances have been identified by the Plan that explain why the approach taken is appropriate. The following revision is proposed: -

"For sand and gravel, specific sites to deliver at least 23,063,560 tonnes of resources will be allocated. The sand and gravel landbank will be maintained TO at LEAST 7 years' supply (excluding any contribution from borrow pits for major construction projects)."

The above phraseology better reflects guidance contained with paragraph 207f of the revised NPPF and is considered sound.

MP7: The Company wholly support the aim of retaining sample exposures of scientifically important geological exposures, but this must be tempered by health and safety considerations. There may be circumstances, such as high quarry faces or face instability where retention would not be appropriate. As such it is proposed that the policy be revised as follows: -

* Any important geology or geomorphology on the site will be retained in sample exposures for study purposes WHERE APPROPRIATE.

MP10: Paragraph b of this policy does not specifically refer to facilities for the handing of primary won aggregate; this oversight should be remedied as follows: -

b) Existing, planned and potential sites for concrete batching, the manufacture of coated materials, other concrete products and the handling, processing and distribution of PRIMARY, substitute, recycled and secondary aggregate material.

Appendix 5

Both the Company's Norwich (Broadsman Close) or Brandon (Mundford Road) railheads appear not to have be identified within this appendix as safeguarded facilities. It is requested that both are added to the appendix.

Appendix 7

Neither the Company's Costessey recycling facility nor the adjacent landfill appear to been identified within this appendix as safeguarded waste management facilities. It is requested that both are added to the appendix.

Proposed Minerals Extraction Sites

MIN 202: The Company supports the identification of land south of Reepham Road, Attlebridge, as suitable for allocation for sand and gravel extraction.

MIN 25: The Company supports the identification of land at Manor Farm (between Loddon Road and Thorpe Road), Haddiscoe, as suitable for allocation for sand and gravel extraction.

An additional site has very recently been drawn to the Company's attention, Mansom Plantation, please find attached a completed pro forma, location plan and preliminary geological report (additional detail is expected shortly). On the basis of geological investigations to date this site appears to contain approximately 1.5 million tonnes of coarse sand and gravel lying in close proximity to the County's main aggregate market, Norwich, and with direct access to the A140. Part of the site is also subject to an extant permission for leisure development. As such the Company propose its identification in the Development Plan as a Specific Site for mineral extraction.

The Company has as yet not been able to consider in detail the potential environmental constraints that relate to this site. It would be happy to discuss with the Minerals Planning Authority expanding the evidence base for this site if would assist the Authority in its deliberations.

Support

Initial Consultation document

Question 83: Proposed site MIN 25

Representation ID: 93079

Received: 10/08/2018

Respondent: Cemex UK Materials Ltd

Representation Summary:

MIN 25: The Company supports the identification of land at Manor Farm (between Loddon Road and Thorpe Road), Haddiscoe, as suitable for allocation for sand and gravel extraction.

Full text:

Norfolk County Council: Minerals and Waste Local Plan Initial Consultation May 2018

Representations made on behalf of CEMEX UK Materials Ltd.

Minerals Strategic Objectives

MSO10: As currently drafted this objective appears to establish a mandatory requirement for any restoration scheme to increase public access and enhance biodiversity. There could be circumstances, however, where this requirement is not appropriate, such as limiting public access when seeking to establish an ecologically slanted restoration or where the land is best and most versatile agricultural land and returning that land back to agricultural production may be the primary driver behind its restoration. The following revision is therefore proposed: -

"WHERE APPROPRIATE, increase public access to the countryside and enhance biodiversity through enhancing the amenity value of land when restoring extraction sites."

The above would also better reflect the phrasing of Policy MW2.

General Policies

MW3: Quarries by their nature have to be located where the mineral that is sought to be quarried occurs. This often places them in rural and/or remote areas where there is little or no access to public transport. This potential remoteness can also mean that travel to work distances are too great for employees to be reasonable expected to either cycle or walk to work. Furthermore, due to the demands of customers, quarries often commence daily operations early, before public transport commences operations itself, if any is available. As drafted Policy MW3 does not reflect these practicalities. The following revision is therefore proposed: -

* "WHERE APPROPRIATE, measures to reduce car travel to the site by workers and visitors and encourage walking, cycling and use of public transport."

Minerals Specific Policies

MP1: As currently drafted the Company believes that this policy would be found to be unsound as it does not reflect Government guidance regards the provision of sand and gravel and no material circumstances have been identified by the Plan that explain why the approach taken is appropriate. The following revision is proposed: -

"For sand and gravel, specific sites to deliver at least 23,063,560 tonnes of resources will be allocated. The sand and gravel landbank will be maintained TO at LEAST 7 years' supply (excluding any contribution from borrow pits for major construction projects)."

The above phraseology better reflects guidance contained with paragraph 207f of the revised NPPF and is considered sound.

MP7: The Company wholly support the aim of retaining sample exposures of scientifically important geological exposures, but this must be tempered by health and safety considerations. There may be circumstances, such as high quarry faces or face instability where retention would not be appropriate. As such it is proposed that the policy be revised as follows: -

* Any important geology or geomorphology on the site will be retained in sample exposures for study purposes WHERE APPROPRIATE.

MP10: Paragraph b of this policy does not specifically refer to facilities for the handing of primary won aggregate; this oversight should be remedied as follows: -

b) Existing, planned and potential sites for concrete batching, the manufacture of coated materials, other concrete products and the handling, processing and distribution of PRIMARY, substitute, recycled and secondary aggregate material.

Appendix 5

Both the Company's Norwich (Broadsman Close) or Brandon (Mundford Road) railheads appear not to have be identified within this appendix as safeguarded facilities. It is requested that both are added to the appendix.

Appendix 7

Neither the Company's Costessey recycling facility nor the adjacent landfill appear to been identified within this appendix as safeguarded waste management facilities. It is requested that both are added to the appendix.

Proposed Minerals Extraction Sites

MIN 202: The Company supports the identification of land south of Reepham Road, Attlebridge, as suitable for allocation for sand and gravel extraction.

MIN 25: The Company supports the identification of land at Manor Farm (between Loddon Road and Thorpe Road), Haddiscoe, as suitable for allocation for sand and gravel extraction.

An additional site has very recently been drawn to the Company's attention, Mansom Plantation, please find attached a completed pro forma, location plan and preliminary geological report (additional detail is expected shortly). On the basis of geological investigations to date this site appears to contain approximately 1.5 million tonnes of coarse sand and gravel lying in close proximity to the County's main aggregate market, Norwich, and with direct access to the A140. Part of the site is also subject to an extant permission for leisure development. As such the Company propose its identification in the Development Plan as a Specific Site for mineral extraction.

The Company has as yet not been able to consider in detail the potential environmental constraints that relate to this site. It would be happy to discuss with the Minerals Planning Authority expanding the evidence base for this site if would assist the Authority in its deliberations.

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