Consultation Question 6

Showing comments and forms 181 to 210 of 293

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 25108

Received: 22/03/2021

Respondent: Tina Collins

Representation Summary:

•No evidence is provided of the exceptional circumstances that warrant building on Green Belt throughout the district.

Comment

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 25117

Received: 23/03/2021

Respondent: IMCO Holdings

Agent: Tetra Tech (Manchester)

Representation Summary:

• The approach for Green Belt release is supported. However, to provide a more ambitious housing delivery target, the allocations process could be extended further across the Principle and Local Growth Centre settlements. Further Green Belt release within Queensbury is feasible to sustainably accommodate future growth, without undermining the local and strategic functioning of the Green Belt.

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 25133

Received: 23/03/2021

Respondent: Donna Radcliffe

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 25187

Received: 23/03/2021

Respondent: Stephen Radcliffe

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 25216

Received: 23/03/2021

Respondent: Denise Stanford

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 25245

Received: 23/03/2021

Respondent: Bradford Chamber of Commerce

Representation Summary:

Noted that Green Belt approach has been reviewed and due to exceptional circumstances, there is an allowance for some employment development. Further releases will be required to enable the District to recoup its economic position and support other policies.

Support conclusions that exceptional circumstances exist which require the deletion of land from the Green Belt for the provision of housing and employment land allocations.

Object to conclusions that the amount land take must be kept to an absolute minimum. Continued application of tight Green Belt boundaries is harmful. Has led to specific problems:

1. continuous household out-migration;
2. increased house prices due to lack of delivery;
3. negative impact on housing delivery;
4. failure to realise environmental/recreation enhancements, and other Plan policies.

Comment

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 25246

Received: 23/03/2021

Respondent: Bradford Chamber of Commerce

Representation Summary:

Urban Brownfield Development
Agree best possible use should be made of brownfield land in urban areas in terms of increasing density targets. Several factors that will cumulatively impact on the densities that can be achieved if urban developments are to be truly sustainable and avoid cramming that must be taken into account:

• High design standards necessary to meet national/local policies
• Impacts of Grenfell Tower disaster and fire hazards on tall buildings as well as experience of living in high rise buildings.
• Importance of providing new/enhanced open spaces/environmental improvements as part of urban development.
• Need to provide/support supporting infrastructure and facilitate connectivity by active travel modes, and generating community facilities/interactions essential to health & wellbeing.
• Viability
• Need to regenerate existing urban areas and improve environments/living conditions of existing communities.

The challenge to achieve enhanced designs and living conditions is recognised in the Plan policies but the land use/land take implications have not been fully taken into account.

Support

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 25420

Received: 19/03/2021

Respondent: Snell Developments Ltd

Agent: Pegasus Group (Leeds)

Representation Summary:

support policy in regards to meeting the local housing need in a sustainable way which would be least damaging to the purposes and integrity of the Green Belt.

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 25428

Received: 23/03/2021

Respondent: Rebecca Stokes

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 25477

Received: 23/03/2021

Respondent: Mary Pawson

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 25706

Received: 24/03/2021

Respondent: Mrs Penny Price

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 25735

Received: 24/03/2021

Respondent: Mrs Sue Bell

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 25764

Received: 24/03/2021

Respondent: Mrs M Armitage

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 25793

Received: 24/03/2021

Respondent: Stuart Bell

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 25822

Received: 24/03/2021

Respondent: Jackie Cooper

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 25851

Received: 24/03/2021

Respondent: Elizabeth Archer

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 25880

Received: 24/03/2021

Respondent: Jill Buckley

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 25909

Received: 24/03/2021

Respondent: Andy Wheeler

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 25938

Received: 24/03/2021

Respondent: Christine Hardaker

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 25967

Received: 24/03/2021

Respondent: Norah and David Jackman

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 25996

Received: 24/03/2021

Respondent: Tom Chatwyn

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 26025

Received: 24/03/2021

Respondent: Katherine Elston

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 26054

Received: 24/03/2021

Respondent: Peter Whiffin

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 26083

Received: 24/03/2021

Respondent: Catherine MacIntosh-Dixon

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 26112

Received: 24/03/2021

Respondent: Philip Batty

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 26141

Received: 24/03/2021

Respondent: Sophie Lamb

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 26170

Received: 24/03/2021

Respondent: Emma and Anthony Reed

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 26199

Received: 24/03/2021

Respondent: Helen Haskins

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 26228

Received: 24/03/2021

Respondent: Mrs Janet Sage

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31

Object

Draft Bradford District Local Plan - Preferred Options (Regulation 18) February 2021

Representation ID: 26257

Received: 22/03/2021

Respondent: Mr Paul Grant

Representation Summary:

3.5.3 BPC would like to understand BDMC’s definition of “exceptional circumstances” in the context of the NPPF. Whilst we accept that some elements of brownfield may be unviable, we find it hard to understand why land that would support the delivery of a significant number of homes still remains unviable 16 years after identification.

3.5.4 We would like to alert BDMC to the unoccupied housing which could contribute to the housing allocation figures and which throw a completely different perspective on where housing and regeneration efforts should be directed.

3.5.13 would not contribute to the District’s employment needs given 3.31