Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 24918
Received: 25/06/2024
Respondent: Mrs Nicola Nutt
This is vital. These need to be protected.
This is vital. These need to be protected.
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 25640
Received: 20/07/2024
Respondent: Mrs Pauline Murphy
There is no need for impact assessments on building within 25 metres of Ancient woodland as any building within at least 250 metres will damage the ancient woodlands. It is bordering on criminal to even consider building anywhere near our ancient woodlands. So this question just doesn't hold any merit.
There is no need for impact assessments on building within 25 metres of Ancient woodland as any building within at least 250 metres will damage the ancient woodlands. It is bordering on criminal to even consider building anywhere near our ancient woodlands. So this question just doesn't hold any merit.
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 25718
Received: 21/07/2024
Respondent: Sussex Wildlife Trust
We support this requirement.
We support this requirement.
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 25755
Received: 22/07/2024
Respondent: Mr Doug Edworthy
I’m very much in favour of the requirement for an impact assessment for any development proposed within 25 m of ancient woodland.
I’m very much in favour of the requirement for an impact assessment for any development proposed within 25 m of ancient woodland.
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 26115
Received: 23/07/2024
Respondent: Woodland Trust
Strongly support this policy. It is best practice to require an assessment of impact in order to determine the appropriate mitigation measures, including whether a larger buffer zone is required.
Ancient woodland is greatly at risk from ammonia pollution. We recommend therefore adding specific requirements that additional screening will be required of all ammonia-emitting developments, such as intensive livestock units, within 5km of an ancient woodland site, with a detailed ‘Ancient Woodland Nitrogen Impact Assessment’ of the ancient woodland of concern.
Strongly support this policy. It is best practice to require an assessment of impact in order to determine the appropriate mitigation measures, including whether a larger buffer zone is required.
Ancient woodland is greatly at risk from ammonia pollution. We recommend therefore adding specific requirements that additional screening will be required of all ammonia-emitting developments, such as intensive livestock units, within 5km of an ancient woodland site, with a detailed ‘Ancient Woodland Nitrogen Impact Assessment’ of the ancient woodland of concern.
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 26122
Received: 23/07/2024
Respondent: Mr & Mrs W & L Partridge
I agree. I would also like the council have the power to extend the 25 M in circumstances where deemed necessary once the impact assessment has been carried out.
I agree. I would also like the council have the power to extend the 25 M in circumstances where deemed necessary once the impact assessment has been carried out.
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 26413
Received: 17/07/2024
Respondent: Burwash Parish Council
As above
Please see attached comments from Burwash Parish Council.
Comment
Rother Local Plan 2020-2040 (Regulation 18)
Representation ID: 26414
Received: 17/07/2024
Respondent: Burwash Parish Council
This is a basic ask but should be very carefully considered and must have enforcement if not adhered to.
Please see attached comments from Burwash Parish Council.