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Plan for submission evidence base
Sustainability Appraisal Report
Representation ID: 9649
Received: 29/07/2022
Respondent: Thakeham
The Council have produced a Sustainability Appraisal (SA) to assess the proposed spatial strategy and policies against the regulatory requirements.
Whilst we agree that the SA has assessed the different growth options, we are concerned that the individual site assessments that have been undertaken at Appendix 11 are flawed, due to inconsistencies. These errors directly affect the spatial strategy as they inform the preferred option.
Comment
Plan for submission evidence base
Sustainability Appraisal Report Appendices
Representation ID: 9650
Received: 29/07/2022
Respondent: Thakeham
Sustainability Appraisal Appendix 11 – Site Assessment for Eaton Bank site (8835)
Thakeham submitted representations to the Reg 18 Draft Plan consultation in September 2021, with regard to promoting a site at Land west of A1, north of Bushmead Road and south of Kimbolton Road (Eaton Bank). As part of this submission we submitted a Vision Document that sets out our vision for the site as well as the proposed facilities and spaces within the site.
We have reviewed the site assessment work that the Council has undertaken for Eaton Bank, which appears to be inconsistent with the information we submitted as follows:
1. Accessibility on foot to a food store is ranked as a major negative
Our proposed vison document and Call for Sites forms include a shop and a local centre within the site. Therefore the entire site would be within 15 minute walk for all residents and should be classed as a positive for objectives 1b, 3c and 15b of the assessment.
2. Accessibility on foot to a primary school is ranked as major negative
Our proposed Vision document and Call for Sites forms include a primary school within the site. Therefore, the entire site would be within 15 minute walk for all residents and should be classed as a major positive for objective 1c, 3d and 15c of the assessment.
3. The site does not adjoin an urban area or defined settlement boundary
Whilst Eaton Socon does not lie within Bedford Borough Council, it is still an identified settlement. The site abuts this settlement and so objectives 3b and 15a of the assessment should be amended from a negative effect to a positive one.
4. The proposal is not within 400m walking distance of a publicly accessible open space
The Vision Document specifically identifies a green spine running through the whole site that is accessible to all. Furthermore, proposals include a central village green, a rural park, orchards and sports pitches. Therefore, the proposal is within 400m of publicly accessible open space and should be re-assessed as a major positive effect.
5. The site is unlikely to provide a mix of housing and/or is unlikely to include affordable housing and has a negative effect
This is false and contrary to all the forms submitted. Thakeham have always provided policy compliant affordable housing across every scheme, and we never run a viability case to try and reduce this amount. Furthermore, all of our affordable housing is pepper-potted throughout our schemes and is constructed to the same high level as our market housing.
Thakeham also provide an appropriate mix of housing.
Therefore, objective 12a should be amended to having a major positive effect.
6. The Site is not within 800m of a facility where cultural or social activities can be accessed
Community allotments and sports pitches are proposed within the site. A new village centre is also proposed with a community hub and café. The provision of a rural park and green spine through the site will also provide opportunities for social activities within the site.
Therefore, objective 13a should be amended to having a positive effect.
In light of the above, we suggest the assessment for Eaton Bank should be redone as this site can help deliver sustainable net zero homes in line with the spatial strategy for Bedford.
Sustainability Appraisal Appendix 11 – New Settlements Assessment
We believe there are a number of inconsistencies within the new settlement assessment, that could affect the legal compliance and soundness of the Plan. These errors should be rectified, and the growth strategy options amended, to reflect the changes prior to submission of the Plan. Therefore, the New Settlement Assessment (as included at Appendix 11 of the SA) should be amended to reflect the changes to the conclusions for Little Barford as set out below.
We support the criteria used to assess the appropriateness of the four new settlement options. We also accept that Little Barford and Wyboston settlements fair better across all considerations than either Colworth or Twinwoods, with the only difference in grading being on Objective 9 regarding loss of high quality agricultural land.
However, we do not agree with the Council’s conclusions that Little Barford is the more sustainable settlement option, as we believe there are three specific objectives with erroneous conclusions:
1. Objective 9: Wyboston is Grade 2 agricultural land whereas Little Barford is Grade 3 land;
2. Objective 13: Both Little Barford and Wyboston are assessed positively for community, education and shopping facilities; and
3. Objective 15: Both Little Barford and Wyboston have a negative effect on sustainable modes of travel.
We believe the Council’s conclusions to these points is erroneous and should be amended.
Objective 9: Maximise development on previously developed land and avoid the loss of high quality agricultural land
Whilst we do not disagree with the conclusions for Wyboston, the Council acknowledge that the Little Barford settlement has an element of Grade 2 land, and also may be Grade 3a, which would put it in a similarly high quality position.
This should be amended to possible major negative until confirmation of the quality of the Grade 3 land can be confirmed.
Objective 13: Provide for residents’ needs and improve access to community services and facilities
The assessment concludes that Little Barford would positively support community, education and shopping facilities. The assessment states that “The development would be supported by small scale convenience shops and cafes. Some existing vacant buildings could be repurposed to provide community facilities”
However, there is no Vision Document setting out the quantum or location of community and shopping facilities, nor is there any commitment to repurpose those buildings. Indeed, the reference to small convenience shops and cafes does not appear to be sufficient to support a new settlement of 4,000 homes.
In light of the lack of information submitted on this point, the conclusion for Objective 13 at Little Barford should be downgraded from Positive to Uncertain.
Objective15: Reduce the need to travel and promote sustainable modes of transport
There is an inconsistency in the assessment of sustainable transport solution within the document.
The Council find the Colworth settlement to have major negative transport options, due primarily to the lack of certainty over the ability to provide a new railway station, citing “Considerable additional work is required to finalise the full business case, funding and delivery of the station. As a result there remain considerable risks to the delivery of the station.”
However, when considering the Little Barford settlement, the Council simply accept the supposition of a new railway station south of the site as part of the new East West rail route. This is despite:
• there being significant opposition to the route from Bedford to Cambridge;
• no confirmation of the preferred route beyond Milton Keynes;
• no consultation on the proposed new station near Little Barford; or
• no confirmation of location of the new station near Little Barford.
Indeed, Grant Shapps, then Secretary of State for Transport, stated his opposition to the construction of Phase 2 and 3 of East West and that the decision on the construction and funding of Bedford to Cambridge section was one for the next Prime Minister. This is only going to cause further delay.
Therefore, it appears there is still risk to the delivery of this station, and the Little Barford settlement should be assessed accordingly to certainty.
Despite stating that “Walking and cycling provision, together with improved bus links to St
Neots and proximity to a planned East West Rail station mean that car use is likely to be
minimised.” the Council still assess the Little Barford site as having a negative effect on sustainable modes of travel, due to car trip generation.
Therefore, if the East West Rail line does not come forward quickly, or within the Local Plan period, it is reasonable to suggest that car use will increase, resulting in the Little Barford site having a major negative effect on sustainable modes of travel.
In addition to this, the Little Barford site is reliant on the national highways upgrade works to the A428 for access, and specifically a new junction being built. Within the DCO now in place, there is no provision for such a junction and therefore a new junction couldn’t be constructed until after the A428 upgrade works are complete in 2026.
In light of this, it appears that the sustainable transport options for the Little Barford settlement should also be considered as a major negative.
When considering the updated findings across each objective as set out above, the findings should be amended for the Little Barford assessment to ensure consistency across all four settlement assessments. These amendments should be:
Objective 9: Amend from Negative to Possible Major Negative;
Objective 13: Amend from Positive to Uncertain; and
Objective 15: Amend from Negative to Major Negative.
Once the conclusions have been amended for Little Barford, the assessment would suggest that the Wyboston area is a more sustainable location for new settlement option.
Object
Plan for submission evidence base
Housing & Employment land Availability Assessment and Site Assessment
Representation ID: 9651
Received: 29/07/2022
Respondent: Thakeham
Legally compliant? No
Sound? No
Duty to co-operate? Yes
Re Eaton Bank (Land west of Eaton Socon between Kimbolton Road and Bushmead Road) Call for sites ref 8835
Thakeham responded to the Regulation 18 consultation in September 2021 as we are promoting land to the west of Eaton Socon, between Kimbolton Road to the north and Bushmead Road to the south (known as Eaton Bank). As part of this promotion, we supported strategic growth options that included a new settlement at Wyboston as it benefits from existing sustainable transport links, is not reliant on new transport infrastructure before delivery and will provide additional services in the north of the district, which will benefit the wider population of the Borough beyond merely Bedford town centre.
Thakeham is an infrastructure-led sustainable placemaker and is committed to creating new, extraordinary places, where the highest attention to detail makes a positive difference.
Thakeham build for the future, for communities and for individuals. Our approach sets us apart from our competitors. We deliver our schemes with a focus on sustainable development, looking ahead of current housing standards. From 2025, all Thakeham Homes will be carbon neutral in construction and zero carbon in lifetime use.
We will engage local primary schools with our ‘Eddie & Ellie’s Wild Adventures’ initiative to promote the importance of ecology and biodiversity, delivering National Curriculum linked activities and early career-based learning.
Thakeham design all homes to be beautiful and reflect the character of the area. The materials used across all developments are of the highest quality. Thakeham builds all developments tenure blind to ensure no drop off in quality.
As one of 12 members of the NHS Healthy New Towns network, Thakeham is a committed advocate of developing healthy places in line with the Healthy New Town principles. But over
time, we have realised that these principles are just the starting blocks, and at Thakeham we are committed to delivering sustainable, zero carbon communities.
Our level of commitment to sustainability means that we are streets ahead of our competitors and aiming for a far higher level of impact. Thakeham has become the first housebuilder in the UK, and one of only five in the construction sector globally to have made commitments on the SME Climate Hub, and be part of the United Nations’ Race To Zero campaign. As part of this, we have committed to the SME Climate Commitment. Recognising that climate change poses
a threat to the economy, nature and society-at-large, our company has pledged to take action immediately in order to halve our greenhouse gas emissions before 2030, achieve net zero emissions before 2050, and to disclose our progress on a yearly basis. Our sites will include the following sustainability improvements:
• All Thakeham homes will be carbon neutral in production and zero carbon in lifetime operation by 2025. This puts us well ahead of the pledges we have made as referred to above.
• On all Thakeham developments we follow industry best-practice by taking a ‘fabric first approach’, which looks at how design and materials can contribute to the energy performance of the completed building.
• We will also consider the potential for incorporating sustainable energy features, such as air-source or ground-source heat pumps, communal rainwater recycling, solar panels, battery storage, renewable energy tariffs, and highly efficient heating and hot water systems.
• Thakeham uses a UK-based factory which manufactures panels using timber from sustainable sources. The off-site panelised system improves efficiency, speed of construction, quality, and reduces carbon emissions.
• Our Sustainable Procurement Policy encourages the use of recycled materials, such as otherwise nonrecyclable waste plastics (One tonne of MacRebur mix contains the equivalent of 80,000 plastic bottles), as well as utilise products part of a circular economy.
• We ensure that our whole supply chain is a local as possible. We have gold membership with the Supply Chain Sustainability School.
• On site, we monitor and aim to minimise construction travel emissions, construction waste and energy consumption and are registered with the Considerate Constructors Scheme.
Our approach sets us apart from our competitors. We deliver our schemes with a focus on sustainable development, looking ahead of current housing standards.