Preferred Options consultation document

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Comment

Preferred Options consultation document

MIN 204 - land north of Lodge Road, Feltwell

Representation ID: 98724

Received: 30/10/2019

Respondent: Environment Agency

Representation Summary:

Our previous comments raised within the issues and options stage of the consultation remain valid.

Comment

Preferred Options consultation document

MIN 74 - land at Turf Field, Watlington Road, Tottenhill

Representation ID: 98725

Received: 30/10/2019

Respondent: Environment Agency

Representation Summary:

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.

Comment

Preferred Options consultation document

MIN 77 - land at Runns Wood, south of Whin Common Road, Tottenhill

Representation ID: 98726

Received: 30/10/2019

Respondent: Environment Agency

Representation Summary:

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.

Comment

Preferred Options consultation document

MIN 206 - land at Oak Field, west of Lynn Road, Tottenhill

Representation ID: 98727

Received: 30/10/2019

Respondent: Environment Agency

Representation Summary:

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.

Comment

Preferred Options consultation document

MIN 32 - land west of Lime Kiln Road, West Dereham

Representation ID: 98728

Received: 30/10/2019

Respondent: Environment Agency

Representation Summary:

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.

Comment

Preferred Options consultation document

AOS E - land to the north of Shouldham

Representation ID: 98729

Received: 30/10/2019

Respondent: Environment Agency

Representation Summary:

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.

Comment

Preferred Options consultation document

SIL01 - land at Mintlyn South, Bawsey

Representation ID: 98730

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.

Comment

Preferred Options consultation document

AOS F - land to the north of Stow Bardolph

Representation ID: 98731

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.

Comment

Preferred Options consultation document

AOS I - land to the east of South Runcton

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.

Comment

Preferred Options consultation document

AOS J - land to the east of Tottenhill

Representation ID: 98733

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.

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