Showing comments and forms 1 to 21 of 21

Object

Rother Local Plan 2025-2042 – Development Strategy and Site Allocations

Representation ID: 28550

Received: 06/02/2026

Respondent: Mrs Carol Lusher

Representation Summary:

This proposal impacts on the village, which is a small community. It is a country village and the surrounding Green space should be protected.

Full text:

This proposal impacts on the village, which is a small community. It is a country village and the surrounding Green space should be protected.

Object

Rother Local Plan 2025-2042 – Development Strategy and Site Allocations

Representation ID: 28656

Received: 12/02/2026

Respondent: Mrs sharon Fuller

Representation Summary:

No more houses are needed in Staplecross - this village is stretched to the max and we are already paying over the odds for the last new build that took years to sell the houses in. We do not need any more traffic on what is a very busy road and the only view and walking area left in staplecross destroyed by more houses. Our house would be opposite and we bought on the basis of being opposite green belt land - we believe this would devalue our home and we would have no compensation. What is the rationale for even more houses in the village? This village would need substantial investment to house more people.

Full text:

No more houses are needed in Staplecross - this village is stretched to the max and we are already paying over the odds for the last new build that took years to sell the houses in. We do not need any more traffic on what is a very busy road and the only view and walking area left in staplecross destroyed by more houses. Our house would be opposite and we bought on the basis of being opposite green belt land - we believe this would devalue our home and we would have no compensation. What is the rationale for even more houses in the village? This village would need substantial investment to house more people.

Object

Rother Local Plan 2025-2042 – Development Strategy and Site Allocations

Representation ID: 28657

Received: 12/02/2026

Respondent: Joanna Tillyer

Representation Summary:

I object to SC1 and SC2 as we already have regular problems with our water supply and regular power cuts, the area cannot cope with more houses being built if the power and water supply is not upgraded. The school is not big enough for more houses in the area as a lot of children come in from outside of the area and don’t get me started on the trouble trying to see a GP at the local surgeries which are unable to cope.

Full text:

I object to SC1 and SC2 as we already have regular problems with our water supply and regular power cuts, the area cannot cope with more houses being built if the power and water supply is not upgraded. The school is not big enough for more houses in the area as a lot of children come in from outside of the area and don’t get me started on the trouble trying to see a GP at the local surgeries which are unable to cope.

Object

Rother Local Plan 2025-2042 – Development Strategy and Site Allocations

Representation ID: 28659

Received: 12/02/2026

Respondent: Mr Evelyn Moynihan

Representation Summary:

The development at SC2 will ruin the lovely view opposite our house and take away a nice part of living in the village - the surrounding fields, wildlife and grazing sheep/cattle they bring. Developing this area will also ruin the quaint village aesthetic and will harm the area greatly. As well as this, I feel new housing will attract rougher characters, which may lead to unwanted disturbance particularly since I live opposite. In my belief, there should be no developments here for these reasons.

Additionally, I object to the proposed building at SC1 due to the village already being well developed, thus I see no reason for further development.

Full text:

The development at SC2 will ruin the lovely view opposite our house and take away a nice part of living in the village - the surrounding fields, wildlife and grazing sheep/cattle they bring. Developing this area will also ruin the quaint village aesthetic and will harm the area greatly. As well as this, I feel new housing will attract rougher characters, which may lead to unwanted disturbance particularly since I live opposite. In my belief, there should be no developments here for these reasons.

Additionally, I object to the proposed building at SC1 due to the village already being well developed, thus I see no reason for further development.

Object

Rother Local Plan 2025-2042 – Development Strategy and Site Allocations

Representation ID: 28661

Received: 13/02/2026

Respondent: Mrs Patricia Bare

Representation Summary:

This is a small village, I worry about the increased traffic and demands on utilities like water and power. We already get so many problems with water pressure or leaks and power cuts which also interrupt our water supply. I really don't think this village can take any more houses. Where will the funds come from for increased need for schools, doctors, dentists etc? No jobs mean more travel needed to get to work, therefore more traffic in the village.

Full text:

This is a small village, I worry about the increased traffic and demands on utilities like water and power. We already get so many problems with water pressure or leaks and power cuts which also interrupt our water supply. I really don't think this village can take any more houses. Where will the funds come from for increased need for schools, doctors, dentists etc? No jobs mean more travel needed to get to work, therefore more traffic in the village.

Object

Rother Local Plan 2025-2042 – Development Strategy and Site Allocations

Representation ID: 28662

Received: 13/02/2026

Respondent: Mr George Moynihan

Representation Summary:

The congestion on the road and getting in and out our house. Stress on the services in the village, the school doesn't enough capacity for more children. Will destroy village vibe and heritage. Wildlife - I believe there's crested newts that travel to different ponds through that field SC2. Staplecross is an area of outstanding natural beauty the views are amazing and I'd like to keep it that way. Road safety congestion traffic parking. DONT DO IT PLEASE

Full text:

The congestion on the road and getting in and out our house. Stress on the services in the village, the school doesn't enough capacity for more children. Will destroy village vibe and heritage. Wildlife - I believe there's crested newts that travel to different ponds through that field SC2. Staplecross is an area of outstanding natural beauty the views are amazing and I'd like to keep it that way. Road safety congestion traffic parking. DONT DO IT PLEASE

Object

Rother Local Plan 2025-2042 – Development Strategy and Site Allocations

Representation ID: 28667

Received: 13/02/2026

Respondent: Mrs Katherine Akers Coyle

Representation Summary:

The previous development next to SC1 took a long time to sell suggesting that there simply isn't demand locally at the price point these developments will be at to be viable.
Both SC1 and SC2 are on the ridge within the AONB and in a highly sensitive historic landscape. Development will blight longer views as well as local views from the PROW to both north and south.
The village lacks the infrastructure to support additional residents on this scale with GPs etc. in nearby Northiam already overstretched.
There has been a excess of larger 'estate' style housing locally that does not fit within the context of a historic hamlet.
I strongly object to the development of SC1 and SC2.

Full text:

The previous development next to SC1 took a long time to sell suggesting that there simply isn't demand locally at the price point these developments will be at to be viable.
Both SC1 and SC2 are on the ridge within the AONB and in a highly sensitive historic landscape. Development will blight longer views as well as local views from the PROW to both north and south.
The village lacks the infrastructure to support additional residents on this scale with GPs etc. in nearby Northiam already overstretched.
There has been a excess of larger 'estate' style housing locally that does not fit within the context of a historic hamlet.
I strongly object to the development of SC1 and SC2.

Object

Rother Local Plan 2025-2042 – Development Strategy and Site Allocations

Representation ID: 28722

Received: 19/02/2026

Respondent: Mrs Carol Parham

Representation Summary:

SC1 development site would affect me. However both proposed developments would have a detrimental effect on the village. We have ongoing problems with the infrastructure affecting water and power which will be exacerbated by more housing causing additional strain on this. This is a small village and cannot take more housing.

Full text:

SC1 development site would affect me. However both proposed developments would have a detrimental effect on the village. We have ongoing problems with the infrastructure affecting water and power which will be exacerbated by more housing causing additional strain on this. This is a small village and cannot take more housing.

Object

Rother Local Plan 2025-2042 – Development Strategy and Site Allocations

Representation ID: 28785

Received: 20/02/2026

Respondent: Mr philip crocker

Representation Summary:

We are immediate neighbours to site SC1/HELAA site EWH0010, Northiam Road, Staplecross, and formally object to this proposal. The site lies entirely within the High Weald National Landscape and is a medieval assart with irreplaceable historic field boundaries. It forms an important undeveloped gap contributing to the rural character of the village. Local infrastructure is already under severe strain with unreliable electricity, schools at capacity and limited public transport. We strongly urge the Council to refuse this application. We are particularly concerned that the ancient border hedgerows and trees to all side are preserved.

Full text:

We are immediate neighbours to site SC1/HELAA site EWH0010, Land east of Stockwood Meadow, Northiam Road, Staplecross, and wish to formally object to any proposed development on this site. The site lies entirely within the High Weald National Landscape, where development should only be permitted in the most exceptional circumstances. It is a medieval assart with historic field boundaries of irreplaceable heritage value, and forms an important undeveloped gap that contributes directly to the rural character and setting of the village. The mature roadside hedgerow is a significant feature of the local streetscape that would be placed at risk. Long southward views across open countryside would be harmed by the proposed no. Of dwellings. Furthermore, local infrastructure is already under severe strain, with an unreliable electricity supply, local secondary schools at capacity and very limited public transport, busy roads — this development would worsen an already difficult situation for existing residents. We strongly urge the Council to refuse this application

Object

Rother Local Plan 2025-2042 – Development Strategy and Site Allocations

Representation ID: 28837

Received: 20/02/2026

Respondent: Ms Amy Hedges

Agent: Christine Dadswell

Representation Summary:

Please see attached document for full submission regarding sites EWH0009 and EWH0018, including supporting Landscape Technical Note.

The full land area should be allocated, to support biodiversity net gain, deliver 40 dwellings including viable affordable housing, and would form a defined settlement edge. The sites are accessible to village services and can accommodate around 40 dwellings at an appropriate density, with buffers to protect ancient woodland and consideration of nearby heritage assets. Development is expected to integrate with existing built form and strengthen settlement structure without harming landscape character.

Full text:

Please see attached document for full submission regarding sites EWH0009 Lane east of Hop Gardens, Northiam Road, Staplecross and EWH0018 Land south of Watts Wood, Staplecross, including supporting Landscape Technical Note from 2024.

Attachments:

Object

Rother Local Plan 2025-2042 – Development Strategy and Site Allocations

Representation ID: 28847

Received: 24/02/2026

Respondent: Mr Charles Stewart

Representation Summary:

These look like well considered and potentially appropriate sites. However, per my earlier comments, it seems these sites are as a result of 'top-down' planning and I have seen no evidence of this being validated by bottom-up analysis, which links supply with actual demand.
It is far from clear that these sites will deliver housing were there are jobs, schools, transport links and the necessary local infrastructure (including utilities), nor the right type of housing for people who can afford, or want, the housing being delivered.
Indeed (and for example) the local infrastructure is already creaking, with regular power outages and water supply interruptions. A plan for further housing in these locations, without having a clear plan for the associated elements of a good plan, is unsupportable.

Full text:

These look like well considered and potentially appropriate sites. However, per my earlier comments, it seems these sites are as a result of 'top-down' planning and I have seen no evidence of this being validated by bottom-up analysis, which links supply with actual demand.
It is far from clear that these sites will deliver housing were there are jobs, schools, transport links and the necessary local infrastructure (including utilities), nor the right type of housing for people who can afford, or want, the housing being delivered.
Indeed (and for example) the local infrastructure is already creaking, with regular power outages and water supply interruptions. A plan for further housing in these locations, without having a clear plan for the associated elements of a good plan, is unsupportable.

Support

Rother Local Plan 2025-2042 – Development Strategy and Site Allocations

Representation ID: 29001

Received: 02/03/2026

Respondent: Southern Water

Representation Summary:

SC1, SC2

Please see: Full representation on Draft Rother District Local Plan 2025-2042 Consultation

Full text:

Please see attached for full representation:

- Full representation on Draft Rother District Local Plan 2025-2042 Consultation (including underlined text and hyperlinks that do not appear in text copied out below)
- Supporting document: Southern Water input to Rother District Council’s 2026 IDP review
- Supporting document: IDP feedback provided for the Regulation 18 consultation deadline 23rd July 2024

Q5 We attach our separate IDP response to Rother as part of our feedback to this Regulation 18 consultation on the Local Plan, requesting update of the IDP in accord with the information and explanations provided. This also includes our feedback from the previous 2024 Regulation 18 consultation, in addition to a full explanation of how Southern Water plans investment for adopted local plans. Included within this explanation are our key AMP8 (2025-2030) investment plans for the Rother district. Some plans extend into AMP9, but for the reasons we explain in our IDP response, most AMP9 schemes are not known at this time.

There is considerable investment planned for the district in this 2025-2030 AMP8 period, supported by a range of technical disciplines. This represents the latest investment information and therefore supersedes the DWMP content referred to (as this DWMP work was concluded in 2023).

Q8 For development to be sustainable, Southern Water believes that it must always deliver sustainable drainage.

Communities need planning policy to go further as climate change now demands we re-think and re-design communities. More resilient and efficient homes are essential – conserving both energy and water. However, we also need to ensure that housing design/delivery will not mean that rainwater continues to run off surfaces so fast that it causes flooding and storm discharges into rivers and seas. By controlling the rate and volume of surface water entering the combined sewer network, sustainable urban drainage systems (SuDS) can improve existing flood risk and water quality.

We need planning policy to encourage proactive, cross-sector collaboration, as well as requiring development to adhere to the principles of integrated water management in line with the National Standards for Sustainable Drainage (June 2025).

The complexities and challenges of drainage need a collaborative approach between the responsible organisations, such as Local Authorities, Southern Water, the Environment Agency and community groups to adapt the urban environment to be more resilient to our changing weather patterns. Together, we need to separate rainwater from wastewater.

Q9 For development to be sustainable, Southern Water believes that it must always deliver sustainable drainage. This will be particularly important in areas where higher housing densities are proposed.

Communities need planning policy to go further as climate change now demands we re-think and re-design communities. More resilient and efficient homes are essential – conserving both energy and water. However, we also need to ensure that housing design/delivery will not mean that rainwater continues to run off surfaces so fast that it causes flooding and storm discharges into rivers and seas. By controlling the rate and volume of surface water entering the combined sewer network, sustainable urban drainage systems (SuDS) can improve existing flood risk and water quality.

We need planning policy to encourage proactive, cross-sector collaboration, as well as requiring all development to adhere to the principles of integrated water management in line with the National Standards for Sustainable Drainage (June 2025).

The complexities and challenges of drainage need a collaborative approach between the responsible organisations, such as Local Authorities, Southern Water, the Environment Agency and community groups to adapt the urban environment to be more resilient to our changing weather patterns. Together, we need to separate rainwater from wastewater.

Q10 For development to be sustainable, Southern Water believes that it must always deliver sustainable drainage. This will be particularly important in areas where higher housing densities are proposed.

Communities need planning policy to go further as climate change now demands we re-think and re-design communities. More resilient and efficient homes are essential – conserving both energy and water. However, we also need to ensure that housing design/delivery will not mean that rainwater continues to run off surfaces so fast that it causes flooding and storm discharges into rivers and seas. By controlling the rate and volume of surface water entering the combined sewer network, sustainable urban drainage systems (SuDS) can improve existing flood risk and water quality.

We need planning policy to encourage proactive, cross-sector collaboration, as well as requiring all development to adhere to the principles of integrated water management in line with the National Standards for Sustainable Drainage (June 2025).

The complexities and challenges of drainage need a collaborative approach between the responsible organisations, such as Local Authorities, Southern Water, the Environment Agency and community groups to adapt the urban environment to be more resilient to our changing weather patterns. Together, we need to separate rainwater from wastewater.

Q17 Q17 - all BX sites.

Please note that as we have already consulted on all existing allocated sites (in adding to offering LPA free consultations at planning application stage) we comment in this response on new/changed site allocation policies, where the site has not previously been allocated and planning applications have not yet been submitted.

In addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more detailed checks made closer to the timeline of expected development, Southern Water request the addition of the following wording to all sites –
“We also encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.
Early engagement will be particularly important for the larger site proposals, or where constraints are indicated due to critical assets running beneath sites.”

Southern Water’s initial checks indicate that a number of the new/changed sites (BX6, BX7, BX22, 23, 24, 27, 28, BX31, 34, 36, 37, 38, 39 and BX41) may have limited local network capacity, and phasing of development may therefore be needed alongside network reinforcement prior to occupation of the total number of dwellings indicated in each policy. For these sites, and all those we’ve previously requested phasing wording (unless the detailed planning consultation responses we’ve provided indicate otherwise) please include the following wording:

Occupation of development will be phased to align with the delivery of sewerage infrastructure, in consultation with the service provider.

Also, Southern Water infrastructure crosses site BX9 and may require easements or diversion. For this site, and any we’ve previously requested layout wording please include the following wording: Layout of the development must be planned to ensure future access to existing sewerage infrastructure for maintenance and upsizing purposes.

Q19 For development to be sustainable, Southern Water believes that it must always deliver sustainable drainage. This will be particularly important in areas where higher housing densities are proposed.

Communities need planning policy to go further as climate change now demands we re-think and re-design communities. More resilient and efficient homes are essential – conserving both energy and water. However, we also need to ensure that housing design/delivery will not mean that rainwater continues to run off surfaces so fast that it causes flooding and storm discharges into rivers and seas. By controlling the rate and volume of surface water entering the combined sewer network, sustainable urban drainage systems (SuDS) can improve existing flood risk and water quality.

We need planning policy to encourage proactive, cross-sector collaboration, as well as requiring all development to adhere to the principles of integrated water management in line with the National Standards for Sustainable Drainage (June 2025).

The complexities and challenges of drainage need a collaborative approach between the responsible organisations, such as Local Authorities, Southern Water, the Environment Agency and community groups to adapt the urban environment to be more resilient to our changing weather patterns. Together, we need to separate rainwater from wastewater.

26 CR1 to CR3

Please note that as we have already consulted on all existing allocated sites (in adding to offering LPA free consultations at planning application stage) we comment in this response on new/changed site allocation policies, where the site has not previously been allocated and planning applications have not yet been submitted.

However, we note that for site CR2 in particular, there is no wording in the site allocation policy to address the site’s proximity to an operational wastewater treatment works. In addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more detailed checks made closer to the timeline of expected development, Southern Water request the addition of the following wording for all sites –
“We also encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.
Early engagement will be particularly important for the larger site proposals, or where constraints are indicated due to the close proximity to operational wastewater treatment works or where there are critical assets running beneath sites.”

The proposed boundary to site CR2 is within 500m of Battle wastewater treatment works and we therefore request the additional wording –
“The layout of development for any site allocation with 500m of an operational wastewater treatment works should be informed by an odour assessment to be undertaken in consultation with statutory wastewater operator for the works.”

28 GU1 & GU2

Please note that as we have already consulted on all existing allocated sites (in adding to offering LPA free consultations at planning application stage) we comment in this response on new/changed site allocation policies, where the site has not previously been allocated and planning applications have not yet been submitted.

Southern Water has identified no potential capacity constraints for site GU2 at this Local Plan stage. For completeness, in addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more checks made closer to the timeline of expected development, Southern Water request the addition of the following wording –

“We encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.
Southern Water infrastructure crosses GU2 and may require easements or diversion.”

30 GU4 & 5

Southern Water has identified no potential capacity constraints for these sites at this Local Plan stage. For completeness, in addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more checks made closer to the timeline of expected development, Southern Water request the addition of the following wording –

“We encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.

Southern Water infrastructure crosses site GU5 and may require easements or diversion. For GU5, and any sites we’ve previously requested layout wording please also include the following wording: Layout of the development must be planned to ensure future access to existing sewerage infrastructure for maintenance and upsizing purposes.

31 GU6

Southern Water has identified no constraints for this site at this Local Plan stage. For completeness, in addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more checks made closer to the timeline of expected development, Southern Water request the addition of the following wording –
“We encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.

32 IK1&2

Southern Water has identified no potential capacity constraints for these sites at this Local Plan stage. For completeness, in addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more checks made closer to the timeline of expected development, Southern Water request the addition of the following wording –
“We encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.

Southern Water infrastructure crosses site IK1 and may require easements or diversion. For IK1, and any sites we’ve previously requested layout wording please also include the following wording: Layout of the development must be planned to ensure future access to existing sewerage infrastructure for maintenance and upsizing purposes.

34 WS1 WS2, WS3 WS4 WS5

Please note that as we have already consulted on all existing allocated sites (in adding to offering LPA free consultations at planning application stage) we comment in this response on new/changed site allocation policies, where the site has not previously been allocated and planning applications have not yet been submitted.

In addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more detailed checks made closer to the timeline of expected development, Southern Water request the addition of the following wording for all sites –
“We also encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.”

Southern Water’s initial checks indicate that sites WS2 and WS3 may have limited local network capacity, and phasing of development may therefore be needed alongside network reinforcement prior to occupation of the total number of dwellings indicated in each policy. For these sites, and any we’ve previously requested phasing wording (unless the detailed planning consultation responses we’ve provided indicate otherwise) please include the following wording:

Occupation of development will be phased to align with the delivery of sewerage infrastructure, in consultation with the service provider.

Also, Southern Water infrastructure crosses site WS3 and may require easements or diversion. For WS3, and any sites we’ve previously requested layout wording please also include the following wording: Layout of the development must be planned to ensure future access to existing sewerage infrastructure for maintenance and upsizing purposes.

36 BT1 to BT11 (BT3, BT4, BT5, BT6)

Please note that as we have already consulted on all existing allocated sites (in adding to offering LPA free consultations at planning application stage) we comment in this response on new/changed site allocation policies, where the site has not previously been allocated and planning applications have not yet been submitted.

In addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more detailed checks made closer to the timeline of expected development, Southern Water request the addition of the following wording for all sites –
“We also encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.
Early engagement will be particularly important for the larger site proposals, or where constraints are indicated due to the close proximity to operational wastewater treatment works or where there are critical assets running beneath sites.”

The proposed boundary to this site is within 500m of Battle wastewater treatment works and we therefore request the additional wording – The layout of development for any site allocation with 500m of an operational wastewater treatment works should be informed by an odour assessment to be undertaken in consultation with statutory wastewater operator for the works.

Southern Water’s initial checks indicate that sites BT1, BT2, BT7, BT9, BT10 and BT11 may have limited local network capacity, and phasing of development may therefore be needed alongside network reinforcement prior to occupation of the total number of dwellings indicated in each policy. For these sites, and any we’ve previously requested phasing wording (unless the detailed planning consultation responses we’ve provided indicate otherwise) please include the following wording:
Occupation of development will be phased to align with the delivery of sewerage infrastructure, in consultation with the service provider.

Also, Southern Water infrastructure crosses site BT11 and may require easements or diversion. For BT11, and any sites we’ve previously requested layout wording please also include the following wording: Layout of the development must be planned to ensure future access to existing sewerage infrastructure for maintenance and upsizing purposes.

38 CT1 CT2 CT3

Please note that as we have already consulted on all existing allocated sites (in adding to offering LPA free consultations at planning application stage) we comment in this response on new/changed site allocation policies, where the site has not previously been allocated and planning applications have not yet been submitted.

Southern Water has identified no potential capacity constraints for these sites at this Local Plan stage. For completeness, in addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more checks made closer to the timeline of expected development, Southern Water request the addition of the following wording –
“We encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.

Southern Water infrastructure may cross sites CT2 and CT3 and may require easements or diversion. For these sites, and any we’ve previously requested layout wording please also include the following wording: Layout of the development must be planned to ensure future access to existing sewerage infrastructure for maintenance and upsizing purposes.

39 NE1 & 2

Please note that as we have already consulted on all existing allocated sites (in adding to offering LPA free consultations at planning application stage) we comment in this response on new/changed site allocation policies, where the site has not previously been allocated and planning applications have not yet been submitted.

40 SD10 SD11 (SD1 to SD9)

Please note that as we have already consulted on all existing allocated sites (in adding to offering LPA free consultations at planning application stage) we comment in this response on new/changed site allocation policies, where the site has not previously been allocated and planning applications have not yet been submitted.

Southern Water has identified no potential capacity constraints for these sites at this Local Plan stage. For completeness, in addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more checks made closer to the timeline of expected development, Southern Water request the addition of the following wording –
“We also encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.
Early engagement will be particularly important for the larger site proposals, or where constraints are indicated due to the close proximity to operational wastewater treatment works or where there are critical assets running beneath sites.”

The proposed boundary to site SD11 (and as previously advised the for the existing site allocation SD7) is within 500m of Sedlescombe wastewater treatment works and we therefore request the following additional wording in these policies–
The layout of development for any site allocation with 500m of an operational wastewater treatment works should be informed by an odour assessment to be undertaken in consultation with statutory wastewater operator for the works.

42 BC1 (BC2) BC3

Please note that as we have already consulted on all existing allocated sites (in adding to offering LPA free consultations at planning application stage) we comment in this response on new/changed site allocation policies, where the site has not previously been allocated and planning applications have not yet been submitted.

Southern Water has identified no potential capacity constraints for these sites at this Local Plan stage. For completeness, in addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more checks made closer to the timeline of expected development, Southern Water request the addition of the following wording –
“We encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.

Southern Water infrastructure crosses site BC3 and may require easements or diversion. For BC3, and any sites we’ve previously requested layout wording please also include the following wording: Layout of the development must be planned to ensure future access to existing sewerage infrastructure for maintenance and upsizing purposes.

43 (BR1) BR2 BR3

Please note that as we have already consulted on all existing allocated sites (in adding to offering LPA free consultations at planning application stage) we comment in this response on new/changed site allocation policies, where the site has not previously been allocated and planning applications have not yet been submitted.

Southern Water has identified no potential capacity constraints for these sites at this Local Plan stage. For completeness, in addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more checks made closer to the timeline of expected development, Southern Water request the addition of the following wording –
“We encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.

44 CM1 to CM3

Please note that as we have already consulted on all existing allocated sites (in adding to offering LPA free consultations at planning application stage) we comment in this response on new/changed site allocation policies, where the site has not previously been allocated and planning applications have not yet been submitted.

45 (ID1) ID2

Please note that as we have already consulted on all existing allocated sites (in adding to offering LPA free consultations at planning application stage) we comment in this response on new/changed site allocation policies, where the site has not previously been allocated and planning applications have not yet been submitted.

Southern Water has identified no potential capacity constraints for these sites at this Local Plan stage. For completeness, in addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more checks made closer to the timeline of expected development, Southern Water request the addition of the following wording –
“We encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.

Southern Water infrastructure crosses site ID2 and may require easements or diversion. For ID2, and any sites we’ve previously requested layout wording please also include the following wording: Layout of the development must be planned to ensure future access to existing sewerage infrastructure for maintenance and upsizing purposes.

46 NR1 and NR2

Please note that as we have already consulted on all existing allocated sites (in adding to offering LPA free consultations at planning application stage) we comment in this response on new/changed site allocation policies, where the site has not previously been allocated and planning applications have not yet been submitted.

Southern Water has identified no potential capacity constraints for this site (NR2) at this Local Plan stage. For completeness, in addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more checks made closer to the timeline of expected development, Southern Water request the addition of the following wording –
“We encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.
Early engagement will be particularly important for the larger site proposals, or where constraints are indicated due to the close proximity to operational wastewater treatment works or where there are critical assets running beneath sites.”

Additional policy wording is needed for each site to address it’s proximity to operational wastewater treatment works. The proposed boundary of each site is within 500m of an operational wastewater treatment works (Mill Corner Northiam WTW, and Quickbourne Lane Northiam WTW) and we therefore request the additional wording for each site policy –
“The layout of development for any site allocation with 500m of an operational wastewater treatment works should be informed by an odour assessment to be undertaken in consultation with statutory wastewater operator for the works.”

Also, Southern Water infrastructure crosses site NR2 and may require easements or diversion. For NR2, and any sites we’ve previously requested layout wording please also include the following wording: Layout of the development must be planned to ensure future access to existing sewerage infrastructure for maintenance and upsizing purposes.

47 PE1, 2 & 3 (PE4 & PE5)

Please note that as we have already consulted on all existing allocated sites (in adding to offering LPA free consultations at planning application stage) we comment in this response on new/changed site allocation policies, where the site has not previously been allocated and planning applications have not yet been submitted.

Southern Water has identified no constraints for these sites at this Local Plan stage. For completeness, in addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more checks made closer to the timeline of expected development, Southern Water request the addition of the following wording –
“We also encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.
Early engagement will be particularly important for the larger site proposals, or where constraints are indicated due to the close proximity to operational wastewater treatment works or where there are critical assets running beneath sites.”

49 (RY1 to RY1, RY7&8) RY5, RY6 & RY9

Please note that as we have already consulted on all existing allocated sites (in adding to offering LPA free consultations at planning application stage) we comment in this response on new/changed site allocation policies, where the site has not previously been allocated and planning applications have not yet been submitted.

In addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more detailed checks made closer to the timeline of expected development, Southern Water request the addition of the following wording for all sites –
“We also encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.

Southern Water’s initial checks indicate that sites RY5 and RY9 may have limited local network capacity, and phasing of development may therefore be needed alongside network reinforcement prior to occupation of the total number of dwellings indicated in each policy. For these sites, and any we’ve previously requested phasing wording (unless the detailed planning consultation responses we’ve provided indicate otherwise) please include the following wording:

Occupation of development will be phased to align with the delivery of sewerage infrastructure, in consultation with the service provider.

Southern Water infrastructure crosses sites RY5, RY6 and RY9 and may require easements or diversion. For these sites, and any we’ve previously requested layout wording please also include the following wording: Layout of the development must be planned to ensure future access to existing sewerage infrastructure for maintenance and upsizing purposes.

50 RH1

Please note that as we have already consulted on all existing allocated sites (in adding to offering LPA free consultations at planning application stage) we comment in this response on new/changed site allocation policies, where the site has not previously been allocated and planning applications have not yet been submitted.

53 BW1 to 4

In addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more detailed checks made closer to the timeline of expected development, Southern Water request the addition of the following wording for all sites –
“We also encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.

Southern Water’s initial checks indicate that site BW1 may have limited local network capacity, and phasing of development may therefore be needed alongside network reinforcement prior to occupation of the total number of dwellings indicated in each policy. For this site, and any we’ve previously requested phasing wording (unless the detailed planning consultation responses we’ve provided indicate otherwise) please include the following wording:

Occupation of development will be phased to align with the delivery of sewerage infrastructure, in consultation with the service provider.

Please note that Southern Water wastewater sewers cross all BW sites (BW1 to 4) and may require easements or diversion (so please note that whilst we agree that consultation with Southern Water will be required, it may not be necessary for the developer to deliver a package treatment plant as currently stated in part Xi of the policy. Were the developer to want to deliver such plant they will first need to consult with the Environment Agency). For these sites, and any we’ve previously requested layout wording please also include the following wording:
Layout of the development must be planned to ensure future access to existing sewerage infrastructure for maintenance and upsizing purposes.

54 BWC1 and 2

Southern Water has identified no constraints for these sites at this Local Plan stage. For completeness, in addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more checks made closer to the timeline of expected development, Southern Water request the addition of the following wording –
“We encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.

55 EC1 to 3

Southern Water has identified no potential capacity constraints for these sites at this Local Plan stage. For completeness, in addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more checks made closer to the timeline of expected development, Southern Water request the addition of the following wording –
“We encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.

Southern Water infrastructure crosses site EC1 and may require easements or diversion. For EC1, and any sites we’ve previously requested layout wording please also include the following wording: Layout of the development must be planned to ensure future access to existing sewerage infrastructure for maintenance and upsizing purposes.

56 (HG1&2) HG3 & 4

Please note that as we have already consulted on all existing allocated sites (in adding to offering LPA free consultations at planning application stage) we comment in this response on new/changed site allocation policies, where the site has not previously been allocated and planning applications have not yet been submitted.

In addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more detailed checks made closer to the timeline of expected development, Southern Water request the addition of the following wording for all sites –
“We also encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.”

Southern Water’s initial checks indicate that site HG4 may have limited local network capacity, and phasing of development may therefore be needed alongside network reinforcement prior to occupation of the total number of dwellings indicated in each policy. For this site, and any we’ve previously requested phasing wording (unless the detailed planning consultation responses we’ve provided indicate otherwise) please include the following wording:
Occupation of development will be phased to align with the delivery of sewerage infrastructure, in consultation with the service provider.

Southern Water infrastructure crosses site HG3 and may require easements or diversion. For HG3, and any sites we’ve previously requested layout wording please also include the following wording:
Layout of the development must be planned to ensure future access to existing sewerage infrastructure for maintenance and upsizing purposes.

57 RB1, RB3, RB4 (RB2, RB5) to RB6a & RB6b

Please note that as we have already consulted on all existing allocated sites (in adding to offering LPA free consultations at planning application stage) we comment in this response on new/changed site allocation policies, where the site has not previously been allocated and planning applications have not yet been submitted.

Southern Water has identified no potential capacity constraints for these sites at this Local Plan stage. For completeness, in addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more checks made closer to the timeline of expected development, Southern Water request the addition of the following wording –
“We also encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.
Early engagement will be particularly important for the larger site proposals, or where constraints are indicated due to the close proximity to operational wastewater treatment works or where there are critical assets running beneath sites.”

The proposed boundary to sites R3 and R4 (and also as will have been previously advised the boundary to existing site allocation RB2) are all within 500m of Robertsbridge wastewater treatment works and we therefore request the following additional wording for these policies–
“The layout of development for any site allocation with 500m of an operational wastewater treatment works should be informed by an odour assessment to be undertaken in consultation with statutory wastewater operator for the works.”

Also, Southern Water infrastructure crosses sites RB3, and RB5 and may require easements or diversion. For these sites, and any we’ve previously requested layout wording please also include the following wording: Layout of the development must be planned to ensure future access to existing sewerage infrastructure for maintenance and upsizing purposes.

58 SC1 & 2

Southern Water has identified no potential capacity constraints for these sites at this Local Plan stage. For completeness, in addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more checks made closer to the timeline of expected development, Southern Water request the addition of the following wording –
“We encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.

Southern Water infrastructure crosses site SC1 and may require easements or diversion. For SC1, and any sites we’ve previously requested layout wording please also include the following wording: Layout of the development must be planned to ensure future access to existing sewerage infrastructure for maintenance and upsizing purposes.

59 FW1 to FW3

Southern Water’s initial checks indicate that site FW2 may have limited local network capacity, and phasing of development may therefore be needed alongside network reinforcement prior to occupation of the total number of dwellings indicated in each policy.

In addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more detailed checks made closer to the timeline of expected development, Southern Water request the addition of the following wording for all sites –
“We also encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.”

Southern Water infrastructure crosses site FW2 and may require easements or diversion. For FW2, and any sites we’ve previously requested layout wording please also include the following wording: Layout of the development must be planned to ensure future access to existing sewerage infrastructure for maintenance and upsizing purposes.

60 TC1 (or 2)

Please note that as we have already consulted on all existing allocated sites (in adding to offering LPA free consultations at planning application stage) we comment in this response on new/changed site allocation policies, where the site has not previously been allocated and planning applications have not yet been submitted.

Southern Water’s initial checks indicate that site TC1 may have limited local network capacity, and phasing of development may therefore be needed alongside network reinforcement prior to occupation of the total number of dwellings indicated in each policy.

In addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more detailed checks made closer to the timeline of expected development, Southern Water request the addition of the following wording for all sites –
“We also encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.”

Southern Water infrastructure also crosses site TC1 and may require easements or diversion. For TC1, and any sites we’ve previously requested layout wording please also include the following wording: Layout of the development must be planned to ensure future access to existing sewerage infrastructure for maintenance and upsizing purposes.

62 SG1 or 2

Southern Water has identified no potential capacity constraints for these sites at this Local Plan stage. For completeness, in addition to Rother consulting us on planning applications (for which we are not statutory consultees) so that we can share the results of more checks made closer to the timeline of expected development, Southern Water request the addition of the following wording –
“We encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.
Early engagement will be particularly important for the larger site proposals, or where constraints are indicated due to the close proximity to operational wastewater treatment works or where there are critical assets running beneath sites.”

The proposed boundaries to each site are within 500m of Stonegate wastewater treatment works and we therefore request the following additional wording for these policies–
“The layout of development for any site allocation with 500m of an operational wastewater treatment works should be informed by an odour assessment to be undertaken in consultation with statutory wastewater operator for the works.”

Southern Water infrastructure crosses these sites and may require easements or diversion. For these sites please therefore also include the following wording: Layout of the development must be planned to ensure future access to existing sewerage infrastructure for maintenance and upsizing purposes.

Q64 GYP1 to GYP6

Southern Water’s initial checks indicate that some of the GYP sites are proposed within 500m of operational wastewater treatment works. For example, the boundary to site GYP6 is within 500m of Robertsbridge WTW.

We therefore request Rother consult us on planning applications for all sites so that we can share the results of more detailed checks with the authority. Southern Water also request the addition of the following wording for all sites –
“We encourage early engagement by developers who can make use of Southern Water’s pre-planning service here – https://www.southernwater.co.uk/building-and-developing/planning-your-development/pre-planning-enquiries/.
Early engagement will be particularly important for the larger site proposals, or where constraints are indicated due to the close proximity to operational wastewater treatment works or where there are critical assets running beneath sites.”

And for each site proposed within 500m of operational wastewater treatment works (eg GYP6) please include the following additional wording;
“The layout of ‘sensitive residences’ for any site allocation within 500m of an operational wastewater treatment works should be informed by an odour assessment to be undertaken in consultation with statutory wastewater operator for the works.”

Q69 Any other issues or comments?

All site allocations should be proposed in locations where utilities can provide for the forecasted needs of the development without prejudicing existing or future utility provision necessary to support growth. Southern Water therefore requests the following additional policy wording in the Regulation 19 draft of the Local Plan:
The utility network should be protected and development proposals that would compromise existing utilities infrastructure, or encroach on future connections for utilities, will be refused. Opportunities should be sought to safeguard the provision of utilities wherever possible.

Object

Rother Local Plan 2025-2042 – Development Strategy and Site Allocations

Representation ID: 29240

Received: 10/03/2026

Respondent: Mr Malcolm Durnford

Representation Summary:

Objection to SC1 and particularly SC2 (Rother Local Plan 2025-2042 - Northern Rother):

My objections are based on the following grounds:

1) Impact Upon the High Weald ANOB and Landscape Character

2) Impact Upon Wildlife, Biodiversity and Ecology

3) Sustainability, Infrastructure and Traffic Safety

4) Services: Increased housing levels will lead to increased pressures on already oversubscribed GP services

5) Precedent and Incremental Harm

Please see full comments below

Full text:

Re: Planning Application SC1 and SC2 (Rother Local Plan 2025-2042 - Northern Rother)

Dear Sir/Madam

I am writing to formally object to the proposed housing development in Staplecross on sites SC1 and particularly SC2 ) as described in the Rother Local Plan 2025-2042 - Development Strategy and Site Allocation), which lie within the High Weald Area of Outstanding Natural Beauty (now National Landscape). I believe these proposals represent a significant threat to the character due to the nationally protected status of the landscape and the harmful impact that further housing development would have upon its character and environment.

My objections are based on the following grounds:

1) Impact Upon the High Weald ANOB and Landscape Character: The High Weald Area of Outstanding Natural Beauty is so designated because of its exceptional landscape quality and national importance and indeed the National Planning Policy Framework provides the highest status of protection for ANOB's, treating them equally to National Parks. Furth housing development in the small rural community of Staplecross will introduce further urbanising features into an intrinsically rural landscape, causing erosion of the natural beauty that the ANOB designation is intended to conserve and enhance.

The High Weald ANOB Management Plan 2024-2029 states that conservation and enhancement of the landscape is given high priority, adding that 'protecting its historic landscape features and heritage assets allows people to experience the sense of history everywhere and the visibility of the medieval landscape.' It goes on to state that it should 'retain its innate sense of rurality, tranquillity and perception ofremoteness, allowing people to experience the sounds of nature and changing seasons.'

Harm to topography - the proposed developments (especially SC2) will permanently alter the natural skyline including the far-reaching views to the windmill at Sandhurst and beyond. Loss of tranquillity and dark skies - one of the defining qualities of the High Weald ANOB is tranquillity and low levels of artificial lighting. Further residential development would introduce more artificial lighting, noise and activity that would permanently degrade the rural character of this protected area.

2) Impact Upon Wildlife, Biodiversity and Ecology: The proposed housing development sites (especially SC2) are vital habitats for diverse flora and fauna and further housing development coupled with the further concreting and human activity this would inevitably bring, would lead to the irreversible loss of natural habitats and would disrupt local biodiversity corridors (contravening local policies regarding environmental stewardship). Specifically, there are owls, and the ponds are home for newts, frogs and toads. We have a large pond in the front garden of Spring Cottage in Northiam road (which is directly across the road from the proposed SC2 development). There are pipistrelles flying above and between the ponds across the road for feeding, and in late February/early March of an evening there is a large stream of amphibians coming from our pond and crossing Northiam road to gain access to the field on SC2 to other habitats. Despite our nightly rescue efforts we sadly see a large number of these creatures run over on Northiam road and the proposed housing developments would only serve to increase traffic levels.

3) Sustainability, Infrastructure and Traffic Safety: Northiam road is a single carriageway, unlit road with narrow pavements and it would be unsuitable for the increased traffic volume more housing would inevitably bring, thereby posing a safety risk to pedestrians, cyclists and vehicle users. This increased risk would be magnified at the already dangerous turning from the B2165 onto junction road where there have been numerous traffic accidents and the very poorly maintained Junction road, with traffic already weaving around the numerous pot holes. The playing fields in Staplecross are home to regular children's football fixtures and the vastly increased on-road car parking these bring. Increased volume of traffic from more housing would lead to a greater risk to those people including children trying to cross the road in Staplecross at these times and when going to and from school and would also further urbanise a rural road.

Staplecross lacks adequate pedestrian links and frequent public transport (there are also no nearby railway stations). Further housing development would therefore be unsustainable and car-dependent which is a contradiction to any net-zero aspirations (please see below comments on electricity supply regarding electric vehicles)

4) Services: Increased housing levels will lead to increased pressures on already oversubscribed GP services

The power lines to Staplecross are via overhead cables and we experience frequent power cuts especially during inclement weather (Staplecross is in an elevated position and exposed to high winds), Because the water supply is pumped up to the village, power cuts also often lead to interrupted water supply.

5) Precedent and Incremental Harm: Approval of the propose housing development (especially SC2 which is outside of the village boundary) will set a dangerous precedent, leading to potential further encroachment and gradual erosion of the ANOB protected landscape over time

Conclusion: For all of the reasons stated above and given the protected status of the ANOB and the significant harm identified, I respectfully request that the planning authority refuses the applications of SC1 and particularly SC2 and protects the irreplaceable heritage of the High Weald ANOB for future generations as once it is gone it will be lost forever.

Object

Rother Local Plan 2025-2042 – Development Strategy and Site Allocations

Representation ID: 29447

Received: 16/03/2026

Respondent: Mrs Maria Durnford

Representation Summary:

I object to the proposed development in Staplecross sites SC1 and particularly SC2.

Northiam road is a single unlit carriageway. More housing would lead to increased traffic, posing increased risk to pedestrians. Public transport is poor so a car is essential.

Housing development (especially SC2 being outside of the village boundary) will set a precedent, leading to potential further encroachment and gradual erosion of the ANOB protected landscape

Increased housing will lead to increased pressures on oversubscribed public services

The proposed sites (especially SC2) are vital habitats for flora and fauna and further development would lead to the irreversible loss of natural habitats and would disrupt local biodiversity corridors. There are owls, and the ponds are home for newts, frogs and toads.

Further development in the small rural community of Staplecross will introduce further urbanising features, causing erosion of the natural beauty that the ANOB designation is intended to conserve.

Full text:

I object to the proposed development in Staplecross sites SC1 and particularly SC2.

Northiam road is a single unlit carriageway. More housing would lead to increased traffic, posing increased risk to pedestrians. Public transport is poor so a car is essential.

Housing development (especially SC2 being outside of the village boundary) will set a precedent, leading to potential further encroachment and gradual erosion of the ANOB protected landscape

Increased housing will lead to increased pressures on oversubscribed public services

The proposed sites (especially SC2) are vital habitats for flora and fauna and further development would lead to the irreversible loss of natural habitats and would disrupt local biodiversity corridors. There are owls, and the ponds are home for newts, frogs and toads.

Further development in the small rural community of Staplecross will introduce further urbanising features, causing erosion of the natural beauty that the ANOB designation is intended to conserve.

Object

Rother Local Plan 2025-2042 – Development Strategy and Site Allocations

Representation ID: 29450

Received: 16/03/2026

Respondent: Miss Danielle Durnford

Representation Summary:

I object for the following reasons;
- Impact on ancient crossing ground of toads, frogs and newts from field to the pond opposite.
-Disruption to the habitat of local wildlife such as owls, bats, various birds of prey and voles. Which will have an effect on local biodiversity.
- Increased traffic, causing further damage to already deteriorating local roads, increased pollution and road safety.
- Limited public transport in the village, for those who do not drive.
- Limited local jobs, requiring more transport on roads.
- Over subscribed local GPs, schools and dentists.
- Ruining the local area as being in the heart of the ANOB.
- The impact of water and power to the homes already in the village, with water currently being pumped and over head power cables, which frequently experience power cuts.
- Small pathways which are not made for increased foot traffic, without causing danger.

Full text:

I object for the following reasons;
- Impact on ancient crossing ground of toads, frogs and newts from field to the pond opposite.
-Disruption to the habitat of local wildlife such as owls, bats, various birds of prey and voles. Which will have an effect on local biodiversity.
- Increased traffic, causing further damage to already deteriorating local roads, increased pollution and road safety.
- Limited public transport in the village, for those who do not drive.
- Limited local jobs, requiring more transport on roads.
- Over subscribed local GPs, schools and dentists.
- Ruining the local area as being in the heart of the ANOB.
- The impact of water and power to the homes already in the village, with water currently being pumped and over head power cables, which frequently experience power cuts.
- Small pathways which are not made for increased foot traffic, without causing danger.

Object

Rother Local Plan 2025-2042 – Development Strategy and Site Allocations

Representation ID: 29567

Received: 18/03/2026

Respondent: Ms Karen Fazakerley

Representation Summary:

The proposed sites in Staplecross SC1 & SC2 should not go ahead until Southern Water can confirm that work will be completed on the waste water plant at Southwater outfall to eliminate the release of raw sewage into the river Tilligham. From 1/1/25 - 18/2/26 there has been 484 hours of discharge according to https://riversandseaswatch.southernwater.co.uk/release-history?Outfall=STAPLECROSS

To add more houses will increase the pollution of the Tilligham.
Also, South East water had a hosepipe ban in Staplecross for the whole summer/autumn of 2025, how can they confirm they can supply extra water to these houses? They failed spectacularly in Tunbridge Wells this year.

Full text:

The proposed sites in Staplecross SC1 & SC2 should not go ahead until Southern Water can confirm that work will be completed on the waste water plant at Southwater outfall to eliminate the release of raw sewage into the river Tilligham. From 1/1/25 - 18/2/26 there has been 484 hours of discharge according to https://riversandseaswatch.southernwater.co.uk/release-history?Outfall=STAPLECROSS

To add more houses will increase the pollution of the Tilligham.
Also, South East water had a hosepipe ban in Staplecross for the whole summer/autumn of 2025, how can they confirm they can supply extra water to these houses? They failed spectacularly in Tunbridge Wells this year.

Object

Rother Local Plan 2025-2042 – Development Strategy and Site Allocations

Representation ID: 29615

Received: 18/03/2026

Respondent: High Weald AONB Unit

Representation Summary:

Please see attached documents including HWNL response letter and Appendix 1.

Full text:

Draft Rother Local Plan 2025–2042 – Development Strategy and Site Allocations: Public Consultation under Regulation 18 of The Town and Country Planning (Local Planning) (England) Regulations 2012 (as amended)

Thank you for your consultation on the above draft Local Plan.

We have a number of significant concerns with the quantum and scale of site allocations proposed in the draft Local Plan, in terms of impacts on the nationally designated High Weald National Landscape, such that we would consider the plan to conflict with paragraphs 189 and 190 of the NPPF, and thereby unsound in its present form. We would make the following comments:

Development Strategy

Notwithstanding the references in paras 3.9 and 3.21 of the draft plan regarding the protection of National Landscapes, and the ability to reduce housing requirements accordingly, we are extremely concerned by the proposed Development Strategy set out in section 5 of the draft plan, and the quantum of development proposed within the High Weald National Landscape.

Paragraph 189 of the NPPF sets out that ‘great weight’ should be given to conserving and enhancing landscape and scenic beauty in National Landscapes, which (along with National Parks & the Broads) ‘have the highest status of protection in relation to these issues’. It also sets out that ‘the scale and extent of development within these designated areas should be limited’ and that ‘development within their setting should be sensitively located and designed to avoid or minimise adverse impacts on the designated areas.’

The proposed 2,055 number of new dwellings on sites within the High Weald National Landscape (over and above existing allocations in the 2019 DaSA) could in no way be described as ‘limited in extent’, nor could the fact that 23 of the site allocations are proposed for 30+ dwellings, (and 11 of those sites proposed for 60+ dwellings) be descried as ‘limited in scale’. At the broadest level, and notwithstanding the large area of Rother District that lies within the High Weald National Landscape, we therefore consider the allocations strategy at the broadest level would fail to comply with para 189 of the NPPF.

You will see from the Site Allocations comments later in this response, and our site-specific comments appended in table form to this response, that we consider a large number of the proposed site allocations would be harmful to the natural beauty of the High Weald National Landscape, and would fail to comply with para 189 of the NPPF, and, in a number of instances, para 190 too. We therefore consider that a number of the proposed site allocations should be deleted from the draft Local Plan, and the proposed number of dwellings in the housing requirement reduced accordingly.

We appreciate that the 2024 changes to the standard method for calculating objectively assed need has resulted in a larger OAN for Rother DC (described in paras 3.1-3.4 of the draft plan). However, importantly, the NPPF allows for strategic policies in Local Plans to provide for less than the housing need in certain circumstances, while the NPPG clarifies that Local housing need (calculated using the standard method as amended in December 2024) is not necessarily the same as the housing requirement that goes forward in a Local Plan.
This was confirmed by the Government in their published Government response to the proposed reforms to the NPPF (Government response for Questions 1 and 2) published 20th July 2024, which states:

“The standard method identifies the minimum number of homes needed and local planning authorities are expected to plan to meet their housing needs in full. However it is recognised that there may be local constraints on land and delivery that could justify a lower housing requirement figure.” (N.B. Underlining added for emphasis).

Accordingly, para 69 of the NPPF sets out that strategic policy-making authorities should establish a housing requirement figure for their whole area, which shows the extent to which their identified housing need can be met over the plan period. (N.B. bold added for emphasis)
That Government response also clarified that the NPPG had been updated accordingly. The NPPG (Housing and Economic Needs Assessment) confirms that:

“The standard method set out below identifies a minimum annual housing need figure, … It does not produce a housing requirement figure.” (Paragraph: 002 Reference ID: 2a-002-20241212)

and explains the difference between local housing need and housing requirement, and clarifying that:

“The housing requirement is the minimum number of homes that a plan seeks to provide during the plan period. Once local housing need has been assessed, as set out in this guidance, authorities should then make an assessment of the amount of new homes that can be provided in their area. This should be justified by evidence on land availability, constraints on development and any other relevant matters.” (Paragraph: 040 Reference ID: 2a-040-20241212)

Paragraph 11 (b) (i) of the NPPF sets out that local planning authorities should provide for objectively assessed needs for housing and other uses, as well as any unmet needs from neighbouring areas, unless “the application of policies in this Framework that protect areas or assets of particular importance provides a strong reason for restricting the overall scale, type or distribution of development in the plan area”. The assets referred to are listed in footnote 7 and include National Landscapes, the relevant policies for which in the Framework being 189 and 190.

Accordingly, the NPPG (natural Environment) clarifies that, with regard to National Landscapes:

“The National Planning Policy Framework makes clear that the scale and extent of development in these areas should be limited, in view of the importance of conserving and enhancing their landscapes and scenic beauty. Its policies for protecting these areas may mean that it is not possible to meet objectively assessed needs for development in full through the plan-making process, and they are unlikely to be suitable areas for accommodating unmet needs from adjoining (non-designated) areas…” (Paragraph: 041 Reference ID: 8-041-20190721.) (bold text added for emphasis)

Whilst we acknowledge the intention to seek to meet as far as possible the OAN, this must be carried out in the context of the limited scale and extent of development in National Landscapes required by the NPPF, and within the context of the ‘great weight’ to be given to conserving and enhancing their landscape and scenic beauty.
Further, this must be carried out in a way which is compliant with the High Weald AONB Management Plan 2024-2029 This statutory document is adopted by all the relevant local authorities with land in the High Weald National Landscape, including Rother District Council, as their policy for the management of the area and for the carrying out of their functions in relation to it, and is a material consideration for planning applications affecting the HWNL.

With particular regard to the High Weald National Landscape, Management Plan Settlement Action ‘h’ sets out that partners will “Pursue landscape-led positive planning approaches to settlement planning and housing delivery in the AONB, seeking to prioritise the delivery of new housing primarily through small-scale development consistent with AONB character, recognising the potential for harm through the cumulative effects of separate developments on the designated landscape”

Rother District Council has had considerable success over the last couple of years, including since the publishing of the new standard methodology for OAN, in defending housing development appeals in the HWNL, with Inspectors agreeing with the Council’s assessment of harms of specific proposals on the landscape character and natural beauty of the HWNL, and that such harms meant that policies of the Framework provide a strong reason for refusing the development proposed. The same logic can and should therefore confidently be applied to the consideration of proposed sites under NPPF para 11(d)(i).

Major Development

With regard to the subject of major development in the HWNL in site allocations, we are particularly concerned by para 6.6. of the ‘Draft Development Stategy for Rother’, which, while recognising that the NPPF confirms that major development in National Landscapes should only be permitted in exceptional circumstances and where it can be demonstrated that the development is in the public interest, states ”The need for housing, including affordable housing, in sustainable locations within the district could potentially be an exceptional circumstance that could allow for a major development within the HWNL.”.

To justify major development on the basis of meeting objectively assessed housing needs for the local planning authority area is a circular argument at plan-making stage, because the impact of the scale and distribution of development on the National Landscape should be taken into account in deciding the level of housing provision (NPPF paras 69 and 11(d)(i)). If such housing levels can only be achieved by allocating major development in the NL, which by definition will have “a significant adverse impact on the purposes for which the area has been designated” then this is a good indicator that the impact on the National Landscape provides “a strong reason for restricting the overall scale, type or distribution of development in the plan area” as provided for in NPPF paragraph 11.

Paragraph 190 of the NPPF sets out that within National Landscapes, planning permission should be refused for major development other than in exceptional circumstances, and where it can be demonstrated that the development is in the public interest.

Whilst paragraph 190 specifically refers to planning permissions, it has also been considered relevant by Local Plan Inspectors to allocations within Local Plans.1 Legal advice provided to the South Downs National Park Authority by Landmark Chambers also concluded that “it would arguably amount to an error of law to fail to consider paragraph 116 (now 190) at the site allocations stage of plan making for the National Park. The consequence of doing so would be to risk allocating land for major development that was undeliverable because it was incapable of meeting the major development test in the NPPF”2.

We would consider a large number (some 16) of the site allocations proposed in the draft plan to constitute major development under the NPPF definition in footnote 64 of paragraph 190. As such, there would be a presumption against the allocation of these sites for development, and they are considered in more detail in the individual site comments below and appended table. In summary it is considered that the inclusion of the majority of these major sites would render the current plan unsound, as it would conflict with the NPPF.

Proposed draft Site Allocations

We are extremely concerned that sites with the HWNL have been proposed in this draft local plan prior to the carrying out of any detailed Landscape Capacity Studies, Landscape Sensitivity Studies or Landscape Visual Assessments, as part of the evidence base. We consider any proposed site allocations to be premature in the absence of such work.

We note that some sites have been considered in the HELAA Landscape Sensitivity Assessment (September 2022), however, this work is very brief, just one or two paragraphs per site plus a table, and we do not consider this is a sufficiently robust or detailed assessment of the impacts of the sites; the Site Assessment Table doesn’t assess the sensitivity of the sites in the HWNL against the AONB Management Plan key character components of natural beauty, and includes no map or photographic based assessment. Also, along with sensitivity assessments, those sheets also assign a range of ‘value’ to each site, including those within the HWNL (high, high/medium/medium etc) – whereas as designated NLs they have already been assigned the highest level of value by government (see Landscape Institute’s GLVIA3 Notes & Clarifications 5(7). Furthermore, in some instances the cautionary conclusions of the HELAA LSA do not seem to have informed the proposed allocations.

For any sites within, or affecting the setting of the National Landscapes, site assessment work needs to take into account the impact of those potential sites on the purposes of the designation, taking into account the HWNL (AONB) Management Plan. Planning Principle 1 of the High Weald AONB Management Plan 2024-2029 gives advice on the type of assessments that should inform local plans.

Decisions on allocating sites within or affecting the setting of National Landscapes requires a robust understanding of landscape including the history and settlement patterns of the wider landscape. Site-specific landscape sensitivity studies and landscape and visual assessments and are an important part of this, to inform the principle of allocation, the appropriate quantum and location of development, the extent of site coverage, any mitigation strategies, e.g. landscape buffers and their appropriate location and size, and to consider any other site-specific issues.

A key concern is that we note that for a number of the proposed site allocations, the ‘site specific development requirements’ in the draft local plan mention the need for development to be informed by a landscape sensitivity assessment. However, this is too late in the process, the Landscape Sensitivity Study needs to be completed first, to inform the allocation process, not post-allocation. Moreover, the LSS needs to be prepared objectively by the LPA.

No allocation should be being proposed until the above work is completed -it is wholly insufficient to simply include a reference in the policy supporting text (as in the current draft) that ‘”It is within the High Weald National Landscape and therefore a sensitive form of development is required in line with Local Plan policies”– in order to align with the requirements of NPPF para 189, impacts on the setting of the HWNL need to be robustly considered prior to allocating a site; firstly regarding the principle of the allocation; the location and scale of development in relation to the HWNL, and secondly to inform/test the quantum of development that might be appropriate in such a location.

Additionally, any site allocations proposed for grassland sites in the HWNL should also be subject to grassland surveys, and if found to be unimproved grassland these should not continue to be allocated for development in the Reg 19 version, since this is an important habitat type within the HWNL, and an important part of its landscape character and natural beauty.

We consider there therefore needs to be considerable further site-specific work undertaken to inform the next iteration of the draft local plan. We understand that the next iteration is intended to be a Reg 19 version with consultation scheduled for the autumn, for submission in December under the current Local Plans regime. However, in view of the additional work needed in relation to the proposed sites, and our comments on the site allocations below, we consider this would be premature, and the timescale to be unrealistic, and instead we consider a further Reg 18 consultation would be more appropriate.

Densities

We note that para 5.16-5.26 of the draft Local Plan deal with the matter of densities in residential development. Whilst in principle we have no issue with higher densities – High Weald settlements are typically fairly high density in village cores- it is important to recognise that this is through their being populated with tight-knit streetscapes of smaller dwellings. In order to meet Settlement Objectives S1 and S2 of the High Weald AONB Management Plan, we consider that guidance, either in a general density policy and/or the site-specific policies, will need to clarify this, so as to manage developer expectations and avoid scenarios where schemes are submitted consisting of high numbers of detached/semi-detached buildings packed in close proximity to each other, as that would constitute an approach and grain that would be discordant with High Weald settlement pattern and streetscape character.

Site Specific Policies

Further to the site specific assessment work, and to ensure that clear and realistic expectations for each site are set, with regard to the High Weald AONB Management Plan, and the Council’s duty under section 85 of the CRoW Act, we advise that the site-specific policies for all those sites proposed within the HWNL (and those affecting its setting) included in the next iteration of the draft Local Plan should:

• include maps/plans setting guiding principles/parameters for development (including extent of site coverage, building heights, and the retention of any existing wooded boundaries, and enhancement of these where appropriate for mitigation measures), and
• refer to the HWNL in the ‘Site specific development requirements’, and include in those requirements that proposals need to reference the principles in the HW Housing Design Guide, and that lighting proposals (including highways lighting) to be based on the HWNL Dark Skies Planning Advice Note.

Individual proposed sites comments

In the light of the absence of a detailed landscape evidence base, the appended table represents our initial comments on the draft proposed sites; however, with some we are able to recognise significant harms to the HWNL even without the further work, and these are highlighted red in the table as sites that, at this stage, we object to being allocated for development.

Overall, you will see that we consider a number of sites would cause significant harm to the natural beauty of the High Weald National Landscape, would conflict with objectives of the HW AONB Management Plan 2024-2029, and would conflict with policy 189 of the NPPF, resulting in the plan being unsound, and therefore should not be allocated for development in the next iteration of the draft plan. These are: BT1 (in part), BT8, BT10, BC1, BR3, BW3, BW4, BWC1, EC2, EC3, FW2, GU6, HG4, IK1, IK2, NR2, PE1, PL1, SD11, SC2, and TC1. A summary of our reasons for arriving at these conclusions is included in the appended table. This list includes a number of sites that we consider should be considered ‘major development’ in the HWNL under the provisions of NPPF para 190, and for which there do not appear to be exceptional circumstances (see our earlier general comments in this response). However, the absence of red highlight on other sites in the table (or that they are not included in the above list) does not mean that we support the allocation, rather that at this stage we are unable to provide a definitive view on either the principle of development or the quantum proposed, without the further landscape assessment work being carried out (and we set this out for those sites).

Legislative Requirements

Lastly I would also draw to your attention Section 85 of the CRoW Act (as amended by the Levelling-Up and Regeneration Act in December 2023) sets out that ‘relevant authorities’, in exercising or performing any function that affect National Landscapes in England, “must seek to further the purpose of conserving and enhancing the natural beauty of the Area of Outstanding Natural Beauty.”3

Within the planning context, ‘relevant authorities’ are the Local Planning Authorities and the Planning Inspectorate, along with Parish Councils producing Neighbourhood Plans, and the duty applies to all aspects of the planning process, including decisions relating to site allocations in Local Plans etc. More information for LPAs on complying with the new duty in the planning policy plan-making process is available at CRoW-s.85-duty-guidance-for-LPAs_NLA-Briefing-Nov-24.pdf

Conserving and enhancing the natural beauty of the High Weald National Landscape (HWNL) will normally mean avoiding harm, and conserving and enhancing the character components identified in the AONB Management Plan; supporting the Management Plan Objectives as set out for each of these; and following any Management Plan Actions set out for each.

It is therefore important that this new duty is reflected in the language and content of the Local Plan throughout, including in the commitment to any particular housing requirement figure, the spatial strategy, policy direction and ambition, and the evaluation of any proposed site allocations.

The above comments are advisory and are the professional views of the HWNL Unit’s Planning & Design Advisor on the potential impacts on the High Weald landscape. They are not necessarily the views of the HWNL Joint Advisory Committee.


Please see attached documents including HWNL response letter and Appendix 1.

Support

Rother Local Plan 2025-2042 – Development Strategy and Site Allocations

Representation ID: 29681

Received: 19/03/2026

Respondent: Ms P Barling-Gasson

Agent: Town and Country Planning Solutions

Representation Summary:

Please see attached representation in support of Draft Policy SC1 - Land East of Stockwood Meadow, Staplecross

Full text:

Please see attached representation in support of Draft Policy SC1 - Land East of Stockwood Meadow, Staplecross

Object

Rother Local Plan 2025-2042 – Development Strategy and Site Allocations

Representation ID: 29762

Received: 20/03/2026

Respondent: Mr Derek Van Dort

Representation Summary:

I object to both planning applications SC1 and SC2. SC2 falls outside the village boundary and will set a precedent for further development eastwards along Northiam Road impacting the few existing views towards Rother Valley AONB.

Full text:

I object to both planning applications SC1 and SC2. SC2 falls outside the village boundary and will set a precedent for further development eastwards along Northiam Road impacting the few existing views towards Rother Valley AONB.

Object

Rother Local Plan 2025-2042 – Development Strategy and Site Allocations

Representation ID: 29819

Received: 20/03/2026

Respondent: Ewhurst Parish Council

Agent: Ewhurst Parish Council

Representation Summary:

Oppose the proposed allocation sites in Ewhurst / Staplecross. Key concerns include inadequate infrastructure (electricity, water, GP capacity, school places and transport), poor sustainability scores, landscape harm to the High Weald National Landscape, and location outside the village boundary. No recent evidence demonstrates demand for additional housing, and past market‑rate homes were slow to sell. Increased car use would affect sustainability and road safety for vulnerable users. Development should only proceed where need is proven, design is appropriate and infrastructure improvements are guaranteed.

Full text:

Ewhurst Parish Council opposes development on these proposed allocation sites on the grounds following:

• Key infrastructure is inadequate for the current housing stock and no information has been provided to reassure us that it would be improved sufficiently to accommodate the new development proposed.
• The sites proposed are in the High Weald National Landscape and are outside the village development boundary.
• Staplecross scores poorly within the Interim Sustainability Appraisal Report accompanying this Regulation 18 consultation.
• No evidence has been provided that there is a demand for additional housing in Staplecross – be it market rate or affordable/social.
• There are insufficient employment opportunities in the area to support a population increase.

Ewhurst Parish suffers currently from an inadequate and unreliable supply of electricity. Outages also impact the supply of (pumped) mains water. Schools/Colleges in the catchment area (including Staplecross MCP) are at capacity and public transport options are few.
The local GP surgery (Sedlescombe) is not accepting further patients.

The limited public transport options would, inevitably, result in an increase in the number of parishioners having to use private transport – which would bring with it both sustainability concerns and road safety considerations for pedestrians and other vulnerably highway users – especially children, older people, those with mobility issues and wheelers.

Paragraph 5.168 of your Interim Sustainability Appraisal Report recognises that Staplecross does not score well when measured against sustainability criteria:

There are also some issues in relation to access to services for sites outside Staplecross, whilst sites within Staplecross lack positive scores for overall settlement sustainability.

The last known Housing Need Survey was undertaken in 2010 and identified the need for 5 or 6 affordable houses within the next 20 years. This resulted in the Hop Gardens rural exception site development.

No evidence has been provided to demonstrate demand for further housing in Staplecross.

Of the 26 homes provided on agricultural land at Stockwood Meadow, 16 were market rate and took a long time to sell.

Ewhurst Parsh Council is not opposed to the principle of additional housing being provided within the Parish - provided that there is evidence of need, it is of the right type, is in the right place, is of an appropriate design and adequate infrastructure is in place to support it.

Approving development where infrastructure is known to be inadequate – with no certainty that sufficient improvements will follow – is contrary to sound strategic planning practice and, therefore, should be resisted.

Attachments:

Object

Rother Local Plan 2025-2042 – Development Strategy and Site Allocations

Representation ID: 29838

Received: 20/03/2026

Respondent: Mrs Susan Blanch

Representation Summary:

SC1 and SC2. The proposed dwellings will increase the strain on local facilities and infrastructure which is already pressured.
The primary school is at full capacity. Also pupil placement at Robertsbridge Community College will be affected by increased numbers from surrounding villages.
The time taken to obtain doctors' appointments has already increased after previous local development.
Sewerage has been an ongoing concern over many years.
Extra housing equals extra vehicles. Parking along the B2165 (Northiam Road) is especially a danger, particularly during sporting fixtures on the recreation ground, causing traffic leaving the village to drive a considerable distance on the wrong side of the road while unable to see oncoming traffic due to the curvature of the road.
The only public transport is a two hourly bus service between Hawkhurst and Hastings.
This land outside development boundaries, is not only an AONB, but is agricultural land and should remain so.

Full text:

SC1 and SC2. The proposed dwellings will increase the strain on local facilities and infrastructure which is already pressured.
The primary school is at full capacity. Also pupil placement at Robertsbridge Community College will be affected by increased numbers from surrounding villages.
The time taken to obtain doctors' appointments has already increased after previous local development.
Sewerage has been an ongoing concern over many years.
Extra housing equals extra vehicles. Parking along the B2165 (Northiam Road) is especially a danger, particularly during sporting fixtures on the recreation ground, causing traffic leaving the village to drive a considerable distance on the wrong side of the road while unable to see oncoming traffic due to the curvature of the road.
The only public transport is a two hourly bus service between Hawkhurst and Hastings.
This land outside development boundaries, is not only an AONB, but is agricultural land and should remain so.