Southend Central Area Action Plan (SCAAP) - Revised Proposed Submission 2016
Search representations
Results for Natural England search
New searchSupport
Southend Central Area Action Plan (SCAAP) - Revised Proposed Submission 2016
29
Representation ID: 2878
Received: 14/12/2016
Respondent: Natural England
Point 10
Natural England supports the Objective 10 "to enhance the quality of, and access to... natural environment and open spaces" as a means to relieve pressure on designated sites and to enhance local biodiversity and nature conservation through connection to the green grid.
Thank you for your consultation on the above which was received by Natural England on 03 November 2016.
Natural England is a non-departmental public body. Our statutory purpose is to ensure that the natural environment is conserved, enhanced, and managed for the benefit of present and future generations, thereby contributing to sustainable development.
Context
We responded on 11 July 2011 on the Draft Southend Central Area Action Plan and associated HRA Screening Report (our ref 27040) and supplied comments online to the Central Area Action Plan - Proposed Submission on 17 October 2011 (our ref 33069). We also responded on 26 January 2016 on the Preferred Approach Option 2015 (our ref 176229).
While you have provided a Representation Form, we are providing comments below in the same format as that form in order to expedite this response:
Object
Southend Central Area Action Plan (SCAAP) - Revised Proposed Submission 2016
94
Representation ID: 2879
Received: 14/12/2016
Respondent: Natural England
Legally compliant? Not specified
Sound? No
There is likely to be increased recreational and development pressures on designated international, European and nationally designated sites. While Natural England welcomes the inclusion of various measures of urban greening described in Policies: DS5, PA1, PA3, PA4, PA5, PA6, CS1, PA8, PA9, the Plan should include a strategic approach for networks of biodiversity and for green infrastructure. The SCAAP Consultation Draft Proposed Submission (2011) contained Policy PR1: Open Space Provision and the environment: a policy supported by Natural England. It contained a number of thematic-links: reducing recreational pressure on Benfleet and Southend Marshes SPA / Ramsar / SSSI and climate change mitigation within a framework of linking open spaces in the green grid. Every effort should be made to minimise the severance of green infrastructure. Therefore although we welcome the intention expressed in paragraph 96 to remedy the deficit of green spaces within the Town Centre within the relevant Policy Areas and Opportunity Sites, it is not clear that the approach described at paragraph 95 is consistent with the NPPF paragraphs 114 and 117. It is also not clear whether a robust and up-to-date assessment of the needs for open space, and opportunities for new provision has been undertaken, in accordance with paragraph 73 of the NPPF. Natural England has an Accessible Natural Greenspace Standard and has produced an analysis of the adequacy of open space provision for Essex, with details for each district.
Thank you for your consultation on the above which was received by Natural England on 03 November 2016.
Natural England is a non-departmental public body. Our statutory purpose is to ensure that the natural environment is conserved, enhanced, and managed for the benefit of present and future generations, thereby contributing to sustainable development.
Context
We responded on 11 July 2011 on the Draft Southend Central Area Action Plan and associated HRA Screening Report (our ref 27040) and supplied comments online to the Central Area Action Plan - Proposed Submission on 17 October 2011 (our ref 33069). We also responded on 26 January 2016 on the Preferred Approach Option 2015 (our ref 176229).
While you have provided a Representation Form, we are providing comments below in the same format as that form in order to expedite this response:
Object
Southend Central Area Action Plan (SCAAP) - Revised Proposed Submission 2016
Proposals Map
Representation ID: 2880
Received: 14/12/2016
Respondent: Natural England
Legally compliant? Not specified
Sound? No
Nature Improvement Areas (NIA) are fundamental to the step-change needed to establish a coherent and resilient ecological network. Policies should ensure that any development affecting the Greater Thames Marshes NIA should be compatible with their purpose and make a positive contribution to NIA enhancement (using CIL/S106 agreements/conditions as appropriate).
Thank you for your consultation on the above which was received by Natural England on 03 November 2016.
Natural England is a non-departmental public body. Our statutory purpose is to ensure that the natural environment is conserved, enhanced, and managed for the benefit of present and future generations, thereby contributing to sustainable development.
Context
We responded on 11 July 2011 on the Draft Southend Central Area Action Plan and associated HRA Screening Report (our ref 27040) and supplied comments online to the Central Area Action Plan - Proposed Submission on 17 October 2011 (our ref 33069). We also responded on 26 January 2016 on the Preferred Approach Option 2015 (our ref 176229).
While you have provided a Representation Form, we are providing comments below in the same format as that form in order to expedite this response:
Support
Southend Central Area Action Plan (SCAAP) - Revised Proposed Submission 2016
25
Representation ID: 2881
Received: 14/12/2016
Respondent: Natural England
We note that the Habitat Regulations Assessment -Screening Report (draft) dated June 2016 is still described as a Scoping Report. It is in fact a Screening Report - as previously advised on 26 January 2016 (our ref 174743) and 19 August 2016 (our ref: 191786). We note that the data presented in Table 1 - Conservation Objectives and Designated Features of European Sites on the Condition of the SSSIs has now been updated to accurately reflect the current condition of these sites. We also welcome the inclusion of the Southend-on-Sea Shoreline Strategy Plan following our advice of 26 January 2016.
Several of the Policies may result in additional development and/or intensification close to the European sites (particularly Benfleet and Southend Marshes SPA and Ramsar site). Notwithstanding this, Natural England is generally supportive of the HRA 'Scoping Report' and concurs with its conclusions that "the SCAAP, in conjunction with the Southend on Sea Core Strategy and related documents, will not have a significant effect on European sites".
NOTE The Thames Estuary 2100 Project table showing the Recommended Preferred Options for PMU Action Zones 8 & 6 contains duplicated information (pp 43-45 of the pdf).
Thank you for your consultation on the above which was received by Natural England on 03 November 2016.
Natural England is a non-departmental public body. Our statutory purpose is to ensure that the natural environment is conserved, enhanced, and managed for the benefit of present and future generations, thereby contributing to sustainable development.
Context
We responded on 11 July 2011 on the Draft Southend Central Area Action Plan and associated HRA Screening Report (our ref 27040) and supplied comments online to the Central Area Action Plan - Proposed Submission on 17 October 2011 (our ref 33069). We also responded on 26 January 2016 on the Preferred Approach Option 2015 (our ref 176229).
While you have provided a Representation Form, we are providing comments below in the same format as that form in order to expedite this response: