Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 24898
Received: 20/06/2024
Respondent: Mrs Anna Wilson-Patterson
HOU5 Rural Exception Sites
This feels like another ‘get out’ clause. There is no clarity as to what RDC mean by “meaningful community engagement” If RDC has any examples of how this had worked in practice that would be helpful. Otherwise it could be removed.
Q1.
Sadly the vision feels unachievable. Rother Officers avoid dialogue or face to face contact with some residents, who as a result have little trust in RDC’s integrity and competence. Disillusion with poor quality planning includes perceptions of cronyism and corruption. How will an infrastructure baseline be established? For example “Sensitive, sustainable and well-designed development that meets local housing and employment needs will be complemented by the timely delivery of supporting infrastructure.” RDC should revisit past developments that fall short of this criteria, where community complaints have been high. In Fairlight Cove we’ve lost amenity for 2 years caused by a poor quality, cramped, steep development of 16 houses. Residents dispute it’s built to the planning consent approved on appeal by the Planning Inspectorate. Storm overflows cover the lane with sewage, before the 16 new houses are even connected. A resident survey describes the gridlock of parked vehicles on our bus route, obstructing junctions and folk struggling to get on/off their driveways. Over decades there appears to have been no imaginative attempts to meet village overflow parking needs. For example removing wide grass verges to create parking spaces. We can’t see strategic joint working by RDC with our Parish Council. Our precept has increased by 40% in the past few years without extensive consultation and Parish Councillors spend our tax on their high running costs, meetings and social projects for retired people that duplicate existing locally funded voluntary sector provision by professional staff. Accountability and evaluation systems are lacking for Parish Councils to maintain infrastructure. Parts of Fairlight are lanes with high numbers of walkers, no pavements or footpaths, very few seats and signage clutter. A baseline study would show village assets in poor repair, with an increase in vehicle movements. Parking and speeding are increasing problems. Results from the 2023 Parish Council Residents Survey are not in the public domain. In relation to ‘Quality of Life’ residents regularly state a priority is public toilets. The decision by RDC to not cover the cost of public toilets at our local beach and in Rye indicates how removed you are from meeting basic expectations and needs of your residents, visitors to our area and local businesses.
Q2.
‘Conserving and enhancing the significant landscape and environmental quality across the district’ It would help if RDC insisted on professional quality Construction Management Plans or contractors signed up to the ‘Considerate Contractor’ Scheme. Also if RDC Enforcement Officers were resourced and supported to penalise construction sites in the same way they penalise residents or local builders, especially for radios, drug use and aggressive behaviours on site. Planting Management Plans and TPO’s are ignored, trees and hedgerows are cut, with no apparent penalties. Residents are encouraged to provide free labour to report alleged breaches of planning consent, but then Developers break the rules with impunity. The perception is that Rother Officers are too close to Developers, whilst being unwilling to meet with residents. There appears to be no monitoring of what the CIL funds are spent on in parishes in relation to the exisiting Local Plan and no minimum standard of “community consultation”.
Q3.
‘By supporting strong, safe and sustainable communities’ In Fairlight Cove there is a minimal bus service, which unfortunately can be disrupted at very short notice by road closures. Leaving school children or people without mobile phones disorientated and abandoned. Plus there is poor access to travel around our village for people with disabilities. There appears to be no baseline of how many village roads are difficult to use for disabled people, due to issues such as rough surfaces/moonscapes, pavement parking, cracked pavements or speeding traffic. New charges for car parks across RDC and HBC means people now drive into Fairlight Cove to park for free and some camp overnight outside residents homes. HBC is commonly perceived online as having corrupt working practices in relation to planning and development sites.
Q5.
SO 9 feels very important, but unless there are new initiatives in villages, there appears to be no resources to make this happen. It is difficult to get a face to face appointment at Hill Surgery, Hastings, few people can get through to reception. For people on low incomes, without a computer or mobile phone it is especially hard.
Q.27
There seems to be an opt out clause on Density. There seems little point in having policies, if you then create ways for property developers not to meet them.
Q.33
LWL3 Facilities at bus stops and iii Coastal Access This would be very important if it could be implemented.
LWL5
We welcome these policies in terms of height and steep sites, for example if a village is predominantly small low dwellings, very tall buildings stand out. For example at the entrance to Fairlight Cove and in the “transition” of the new Market Garden Site to the south.
LWL6
We welcome these policies in terms of height and steep sites, for example if a village is predominantly small low dwellings, very tall buildings stand out. For example at the entrance to Fairlight Cove and in the “transition” of the new Market Garden Site to the south.
Q45.
Streets For All. We welcome the shared streets policy especially “street furniture, good signage and way finding that is accessible to all to encourage walking and prioritise vulnerable users.” It would be beneficial to identify who currently lives in a ‘street’ or a ‘road’ and whether 4.62 SUDS and 4.64 could be implemented across the District. If RDC had clear design standards and guidelines, this would help Parish Councils who may not have access to professional expertise in planning. Community pride and cohesion is undermined by dirty and deteriorating infrastructure, Pett Level Road, Pett Level Toilets, Highways Pavement repairs, Southern Water sewage etc
Q.48
RDC needs to work with Parish Councils to create Parking Strategies for villages where parked vehicles now dominate the public realm, block footways, crossing points and sight lines.
Paragraph 5.16
Quiet Lanes and Slow Ways should be introduced on the 1066 walk and popular coastal footpaths as a priority.
This is a key issue for Fairlight enabling all generations to stay in rural communities for their lifetime and a source of frustration that new homes have not addressed the housing needs of local residents.
Q.54
The notion of “Hastings Fringes” feels unclear and ‘sensitive growth’ lacks a number, clarification would help.
Q.59
We object to the notion that a minimum of 35 dwellings in Fairlight is “sensitive” growth, we assume the site is East Field. This has been contested so many times over the years and the Field continues to flood, the sewage continues to overflow on Lower Waites Lane and Stream Lane. The increased traffic puts enormous pressure on village lanes which are in a poor state of repair. Pett Level Road is unpassable during the evening time due to the size of the pot holes. Access to a Post Office, Doctors Surgery and Dentists is limited.
Q.72
“Including the undeveloped coast, also has high intrinsic amenity value and is an important resource for nature conservation, leisure and tourism.” This would be more convincing if Pett Level Road were usable as a road, the moonscapes by the road side could be used for parking and the public toilets were open throughout the year.
Q.82
DEV3 The development boundary concept sounds confusing. If Fairlight Cove has a development boundary in the Local Plan surely the boundary of Waites lane is facing the ‘countryside’. Therefore an allocation of East Field for 35 houses would not meet the policy?
Q.90
DEV6 The Strategic Green Gap between Fairlight and Hastings is warmly welcomed, as are all the Gaps in the Plan. There are regular incidents where large vehicles e.g two buses/lorries etc get wedged along the narrow lanes travelling east along Fairlight Road which is claustrophobic and parked vehicles dominate. The areas open character feels essential to demarcate the start of the countryside.
Q.101
HWB5 Green and Blue Infrastructure
There is no minimum length for new development to be built away from a water course. In the case of the Market Garden Site in Fairlight, three new builds are on the banks of the stream and the earth has subsided as a result.
Q.102
A minimum precise measurement length should be insisted upon for all new developments near a water course. There is also no clear mention in Construction Management Plans for Site workers not to litter or pollute a water course. Also to store construction materials such as water proof insulation, glass etc a few metres from the edge so as they don’t fall into the water course.
Q.123
HOU5 Rural Exception Sites
This feels like another ‘get out’ clause. There is no clarity as to what RDC mean by “meaningful community engagement” If RDC has any examples of how this had worked in practice that would be helpful. Otherwise it could be removed.
Q.129
HOU8 Access to Standards Paragraph 8.72 This feels like another ‘get out’ clause
Paragraph 8.137
ESCC parking guidance is an under estimate, for the number of people who actually use a garage. The number of cars owned per household in rural areas and the fact that most dwellings have visitors and delivery vehicles. The car parking spaces are mean on new build developments, causing parked vehicles to over flow onto rural lanes and bus routes.
Q.144
”… private rear garden spaces of at least 10 metres in length will normally be required, other than in exceptional circumstances where this cannot be achieved in an otherwise acceptable development” We strongly object to the wording and opt outs within this Policy. At the Market Garden Site in Fairlight residents allege the 10 metre gardens have not been created. Allowing flexibility on the 10 metre rule makes a mockery of it being a Policy. This allows for Developers to erect cramped buildings on irregular and sloped sites. This is very disappointing. Similarly the policy can be avoided if “future occupiers of the dwellings will have a lesser requirement for amenity space” How can this be proven if properties are sold on the open market, another loophole for allowing dwellings with low amenity. It leaves little room for outdoor washing lines which have an environmental impact if clothes is dried indoors. Also the capacity for play equipment, to plant veg/fruit trees, store bicycles/canoes etc. We object to 8.136.
Q.146
The Policy is inappropriately flexible. Getting away with squashing the tiniest housing units onto a plot seems to be the game for a few Developers and RDC are encouraging it with this type of policy.
Q.166
Like most of our responses our comments relate to balancing new developments with maintaining infrastructure or improving strategic working with ESCC or Parish Councils. If the majority of visits are day trips then the issue of parking, overflow parking and public toilets remain very high on the list of problems to be addressed, which currently fail to meet customer expectations. The poor state of ESCC roads is a major factor in putting off visitors.
Q.180
LAN1 This is very important, especially to the undeveloped coast.
Page 356 (ix) The failure of RDC to stop Developers clearing trees and hedges is depressing.
Q.191
ENV 4 Fairlight Cove Coastal Change Management Area is important to support the work of the Fairlight Preservation Trust.
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 25349
Received: 13/07/2024
Respondent: Catherine Isbell
"meaningful community engagement" is an empty term. Considering Rother believes that this form (discovered with great difficulty) with 200 questions suffices as such, removing the elected councillors from the decision seems dangerous.
"meaningful community engagement" is an empty term. Considering Rother believes that this form (discovered with great difficulty) with 200 questions suffices as such, removing the elected councillors from the decision seems dangerous.
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 25688
Received: 21/07/2024
Respondent: Mr John Edmunds
Rural exception sites are for small scale developments of less than 10 properties and this guideline under HOU 5 must be adhered to consistently and not used as a "Get out clause" which I suspect it will be on occasions. What does the term "meaningful community engagement" mean? Does it mean (1) we asked 10 people (2) all those living within say 800 metres of the site received a questionnaire (3) Regular consultations and public meetings with the affected residents have to take place (4) what would be an acceptable number of residents to consult with?
Rural exception sites are for small scale developments of less than 10 properties and this guideline under HOU 5 must be adhered to consistently and not used as a "Get out clause" which I suspect it will be on occasions. What does the term "meaningful community engagement" mean? Does it mean (1) we asked 10 people (2) all those living within say 800 metres of the site received a questionnaire (3) Regular consultations and public meetings with the affected residents have to take place (4) what would be an acceptable number of residents to consult with?
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 25762
Received: 22/07/2024
Respondent: Christopher Gammon
The Parish Councils are elected representatives of the entire community and should be instrumental in determining planning applications on Rural Exception Sites. They must be in favour of any significant potential developments within their jurisdiction. To have developments driven by non representative groups of the whole community could be very devisive. Leave item (iv) of the policy as it is please.
The Parish Councils are elected representatives of the entire community and should be instrumental in determining planning applications on Rural Exception Sites. They must be in favour of any significant potential developments within their jurisdiction. To have developments driven by non representative groups of the whole community could be very devisive. Leave item (iv) of the policy as it is please.
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 26023
Received: 19/07/2024
Respondent: Pett Parish Council
In particular, on the topic of exception sites (see Policy HOU5, Item 8.51, Q123) the role of the parish council has been removed altogether.
Policy HOU5, Item 8.51, Q123
The change of policy, so that parish councils no longer have to support or initiate the establishment of rural exception sites, is of some concern. This seems to mean that developments in a parish can be undertaken, even if the parish council is not in agreement with the development. This negates the role
and purpose of a parish council, which is elected by and accountable to the community and can be taken to represent the views and concerns of the community, reflecting this back to the district council and in its decision-making and policies.
The proposed change has the potential to allow a small pressure group to initiate the possibility of a development without the general support of the community (through its parish council). We suggest that the role of the parish council should be reinstated. If the change is to be retained, then there should also be a clause stating that the community (through the parish council) should be consulted and its views given due consideration. It is difficult to see what other mechanism there will be for consulting the community and reflecting views and concerns.
Full submission attached
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 26192
Received: 23/07/2024
Respondent: Mr Jonathan Edwards
Rural Exception Sites should be permitted only where no village housing allocations outside settlement development boundary as new village housing allocations should accommodate any local or section need for affordable housing.
Please see attached submission covering Q123 on HOU5: Rural Exception Sites and Q142 on HOU13: New Dwellings in the Countryside (paragraph vi).
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 26342
Received: 17/07/2024
Respondent: Burwash Parish Council
This policy is completely undermined by HOU4. If HOU4 is allowed, exception sites will not be considered by developers as HOU4 is an easier way to get development in the rural areas, outside the development boundary without considering the local need. No consideration of how the policy plays out in reality in rural areas.
Please see attached comments from Burwash Parish Council.
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 26595
Received: 22/07/2024
Respondent: Ticehurst Parish Council
18. The principles of this policy are negated by the content of HOU4 above and would result in no exception sites coming forward.
Individual comments made on specific policies as logged
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 26828
Received: 31/07/2024
Respondent: Northern Parishes Group
73) The group considers exception sites to be very important and much under used.
Full representation attached
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 26941
Received: 22/07/2024
Respondent: Brede Parish Council
Affordable housing should follow the same criteria and procedures as all other
types of housing development. Both section 8.50 and 8.51 are rather unclear.
Does 8.50 say that a Rural Exception Sites in an AONB would need a written
ministerial statement
Full submission attached.
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 27003
Received: 22/07/2024
Respondent: Northiam Parish Council
Supported
See attached.
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 27131
Received: 22/07/2024
Respondent: Westfield Parish Council
See points 176-177 in the attached submission.
Please see attached document for the full submission from Westfield Parish Council.
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 27256
Received: 23/07/2024
Respondent: Guestling Parish Council
Removing the requirement for schemes on rural exception sites to be supported or initiated by the Parish Council is a sensible change to the policy as it creates a clear separation of the roles of the parish council.
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 27305
Received: 22/07/2024
Respondent: Wadhurst Parish Council
18. The principles of this policy are negated by the content of HOU4 above and would result in no exception sites coming forward.
Support for representations made by Ticehurst Parish Council.
Individual comments made on specific policies as logged.
Please also see attached a draft policy for Bewl Water drawn up by the Northern Parishes Group.
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 27423
Received: 22/07/2024
Respondent: Catsfield Parish Council
Exception sites could be an option for delivering small scale affordable housing in partnership with Parish Councils. It is important that Parish Councils retain the veto on development of exception sites.
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 27427
Received: 22/07/2024
Respondent: Catsfield Parish Council
We do not agree with criteria (iv) in item 8.51 the Parish Council represents the wishes of local people. That is a democratic principle. Allowing other groups or individuals to override the views of the locally elected Council is not acceptable.
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 27631
Received: 23/07/2024
Respondent: Southern Housing
We support Policy HOU5 for the same reasons as set out in our response to Q119 and 121. Affordable housing is required at rural settlements to help create mixed and balanced communities. The provision of small-scale schemes will help ensure local residents have the opportunity to remain in these locations.
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 27762
Received: 23/07/2024
Respondent: Salehurst & Robertsbridge Parish Council
There are 5 affordable housing policies with some repetition between the policies.