Question 14: What do you think to the draft policy regarding secondary and recycled aggregates?

Showing comments and forms 1 to 12 of 12

Comment

Draft Nottinghamshire Minerals Local Plan

Representation ID: 30735

Received: 29/08/2018

Respondent: Charnwood Borough Council

Representation Summary:

Charnwood Borough Council supports the policy for secondary and recycled aggregates which should have sustainability benefits.

Full text:

Charnwood Borough Council supports the policy for secondary and recycled aggregates which should have sustainability benefits.

Comment

Draft Nottinghamshire Minerals Local Plan

Representation ID: 30757

Received: 13/09/2018

Respondent: Newark & Sherwood District Council

Representation Summary:

NSDC is supportive.

Full text:

NSDC is supportive.

Comment

Draft Nottinghamshire Minerals Local Plan

Representation ID: 30799

Received: 17/09/2018

Respondent: Coddington Parish Council

Representation Summary:

There is little information on how much secondary/recycled aggregate is used. There is a need for data to be collected at a national and county level.

Full text:

There is little information on how much secondary/recycled aggregate is used. There is a need for data to be collected at a national and county level.

Comment

Draft Nottinghamshire Minerals Local Plan

Representation ID: 30897

Received: 20/09/2018

Respondent: Cemex UK operations

Representation Summary:

CEMEX support this policy but consider that the policy should go further by encouraging the provision of secondary/recycling aggregate infrastructure at mineral workings particuarly where there is associated landfilling and ready mix concrete plant.

Full text:

CEMEX support this policy but consider that the policy should go further by encouraging the provision of secondary/recycling aggregate infrastructure at mineral workings particuarly where there is associated landfilling and ready mix concrete plant.

Comment

Draft Nottinghamshire Minerals Local Plan

Representation ID: 31022

Received: 27/09/2018

Respondent: Aggergate Industries

Representation Summary:

The policy could further support recycling of secondary aggregate at Mineral Sites as this not only preserves primary aggregate but could also assist final restoration

Full text:

The policy could further support recycling of secondary aggregate at Mineral Sites as this not only preserves primary aggregate but could also assist final restoration

Comment

Draft Nottinghamshire Minerals Local Plan

Representation ID: 31137

Received: 28/09/2018

Respondent: Mrs Jackie Armstrong

Representation Summary:

The most recent East Midlands Aggregates Working Party Report of 2015 states that understanding of the availability of secondary and recycled aggregate is still poor. NCC should encourage the collection of more robust data. With the projected end of coal-fired electricity generation, power station ash and other inert fill for restoring quarry voids become a critical resource that should be safeguarded. Without the ability to regenerate higher proportions of land surface after gravel extraction our county, its landscape and agricultural resources will be eroded at an ever-accelerating rate.

Full text:

The most recent East Midlands Aggregates Working Party Report of 2015 states that understanding of the availability of secondary and recycled aggregate is still poor. NCC should encourage the collection of more robust data. With the projected end of coal-fired electricity generation, power station ash and other inert fill for restoring quarry voids become a critical resource that should be safeguarded. Without the ability to regenerate higher proportions of land surface after gravel extraction our county, its landscape and agricultural resources will be eroded at an ever-accelerating rate.

Comment

Draft Nottinghamshire Minerals Local Plan

Representation ID: 31138

Received: 28/09/2018

Respondent: Mrs Jackie Armstrong

Representation Summary:

Where traditional building materials can be reclaimed for reuse - to repair or enhance heritage assets and their settings, or to support local distinctiveness - this is better than lower-level recycling as general building aggregate. We should look for ways of encouraging this hierarchy of salvage and reuse over the lower level of aggregate regeneration within a redevelopment site.

Full text:

Where traditional building materials can be reclaimed for reuse - to repair or enhance heritage assets and their settings, or to support local distinctiveness - this is better than lower-level recycling as general building aggregate. We should look for ways of encouraging this hierarchy of salvage and reuse over the lower level of aggregate regeneration within a redevelopment site.

Comment

Draft Nottinghamshire Minerals Local Plan

Representation ID: 32161

Received: 27/09/2018

Respondent: United Kingdom Quality Ash Association

Representation Summary:

The UKQAA would like to ensure that the New Minerals Local Plan recognises the potential for single use deposits of power station ash to be used as secondary mineral resources in the future by amending policy MP5.

Full text:

The UK Quality Ash Association (UKQAA) is a trade body that represents users and suppliers of "secondary" non-hazardous alumino-silicate glassy particles arising from pulverised coal fired power stations. These glassy particles are often referred to as "Pozzolanic" materials and have been widely used in the construction industries for the past 50 years. In 2016, the UK used well over 2 million tonnes of these pozzolans in a variety of applications ranging from cement and concrete, aerated concrete blocks (key component in housing) and grouting applications for ground stabilisation. If this material ceased to be available, there would be much greater demand to open new sand reserves and the need to import more cement and blast furnace slag.

The non-hazardous alumino-silicate glassy particles comprise of the mineral by-product left over after coal is burned to generate electric power. Typically, coals comprise of 10% to 15% mineral content. The Pozzolanic material is stored in single use deposits located next to the coal fired power stations themselves. The deposits can be easily identified in a tightly defined areas which have been allocated to the power stations. In the case of Nottingham, the power stations we are referring to are Ratcliffe, Cottam and West Burton.

The UKQAA would like to ensure that the New Minerals Local Plan:

* Recognises the potential for these single use deposits of ash as a secondary mineral resource (Policy MP5 and potentially amended MP11);
* Applies safeguarding to the deposits (Plan 4 and Policy SP8).

This is very much in line with the Strategic Objectives of the draft Minerals Local Plan, and should be better reflected in policy. It is also consistent with the National Planning Policy Framework Clause 204 (b) which states "so far as practicable take account of the contribution that substitute or secondary and recycled materials and minerals waste would make to the supply of materials before extraction of primary materials whilst aiming to source materials indigenously"

The UKQAA has received wide encouragement and support in its vision from key stakeholders including the Environment Agency, The Ministry of Housing and Local Government and The Institute of Civil Engineers. Furthermore, these pozzolans fit well with the circular economy, sustainable construction, low embodied carbon cements and concretes and reduced reliance on imports.

Should you have any questions, please do not hesitate to contact me

Yours faithfully

Comment

Draft Nottinghamshire Minerals Local Plan

Representation ID: 32200

Received: 29/08/2018

Respondent: Shelford Against Gravel Extraction (SAGE)

Representation Summary:

We are in full agreement with this draft policy.

Full text:

Response to Nottinghamshire County Council's Draft Minerals Plan

Submitted by SAGE and Shelford Parish Council

Question 1
What do you think to the draft vision and strategic objectives set out in the
plan?

We believe that the vision and objectives are clear, straightforward and achievable. In particular we are pleased with the emphasis on minimising transport effects on the environment by choosing sites which are close to forecast demand. Also we appreciate the importance attached to minimising the effect on communities.

Question 2
What do you think of the draft strategic policy for sustainable development?

We are generally in agreement with the draft policy.

Question 3
What do you think to the draft strategic policy for minerals provision?

We are generally in agreement with the draft policy, in particular the emphasis on extending existing sites.

Question 4
What do you think of the draft strategic policy for biodiversity led restoration?

We are in agreement with the draft policy and approve of the move towards wetlands as an objective rather than deep cold water lagoons.
We would repeat our previous comment that while accepting that LBAP indicators are the only policy objectives available, there are other issues connected with the loss of farmland habitats and information from wildlife surveys and RSPB red and amber listed birds should be noted.

Question 5
What do you think of the draft strategic policy for climate change?

We are generally in agreement but note the correlation between flood risk and climate change and the unpredictability of extreme weather conditions.
In addition we appreciate the emphasis placed on efficient site operations and minimising transport emissions.

Question 6
What do you think of the draft strategic policy for sustainable transport?

We are in full agreement with the draft policy and note particularly the recognition that barging up stream to Nottingham may not be economical and that sites should minimise transport distances to main markets.

Question 7
What do you think of the draft strategic policy for the built, historic and natural
environment?

We are generally in agreement with the draft policy and approve of the requirement that "such planning will have to take account of the impacts of potentially more extreme flood events".
However we are concerned by the statement "Future mineral extraction within high risk areas is unlikely to be avoidable". The consequences of this on communities, either from flooding or from structural flood prevention measures would be enormous and conflicts with the policy of minimising effects on communities.

Question 8
What do you think of the draft strategic policy for the Nottinghamshire Green
Belt?

We are in agreement with this policy.

Question 9
What do you think of the draft strategic policy for Mineral Safeguarding,
Consultation Areas and associated minerals infrastructure?

We are in agreement with this policy.

Question 10
What do you think of the draft policy approach towards aggregate provision?

We support the options chosen. The forecast statistics appear more reasonable in the light of current and foreseeable construction activities.
However we are concerned by the statement "Proposals for aggregate extraction outside those areas identified in policies MP2, MP3 and MP4 will be supported where a need can be demonstrated".
We would argue that the same rigour be that has been applied to the Minerals Plan would need to be used in the approval of any additional proposals and that this policy does not allow for a "free for all" development situation.

Question 11
What do you think of the draft site specific sand and gravel allocations?

We support the draft policy approach and believe it satisfies many other policy requirements, especially proximity to demand and minimising the impact on communities. In particular it is pleasing to see the bulk of demand being satisfied from existing resources.

Question 12
What do you think of the draft site specific Sherwood Sandstone allocations?

We agree with the allocations.

Question 13
What do you think of the draft policy to meet expected crushed rock demand
over the plan period?

We are in agreement with this policy.

Question 14
What do you think to the draft policy regarding secondary and recycled aggregates?

We are in full agreement with this draft policy.


Question 15
What do you think of the draft site specific allocation for brick clay?

We are in agreement with the allocation.

Question 16
What do you think of the draft site specific allocation for gypsum?

We are in agreement with the allocation.

Question 17
What do you think of the draft policy to meet demand for silica sand over the
plan period?

We are in agreement with the policy.

Question 18
What do you think of the draft policy to meet demand for Industrial dolomite over the plan period?

We are in agreement with the policy.

Question 19
What do you think to the draft policy to meet demand for building stone over
the plan period?

We are in agreement with the policy.

Question 20
What do you think of the draft policy relating to meet demand for coal over the
plan period?

We are in agreement with the policy.




Question 21
What do you think of the draft policy to meet demand for hydrocarbon minerals over the plan period?
We are in agreement with the policy.

Question 22
What do you think of the draft policy wording for DM1: Protecting local amenity?

This is a critical area and generally we support the provisions. However it is important that proposed site working arrangements are satisfactory before planning approval is given.
In addition we feel more emphasis should be given to health (respiratory) implications of air particulates, especially in the Trent Valley where a funnelling effect may concentrate particulates and thus aggravate health problems for local communities.

Question 23
What do you think of the draft policy wording for DM2: Water resources and
flood risk?

We are generally in agreement with the draft policy wording and are pleased to see the use of the Sequential Test to direct the choice of sites to those with the least risk of flooding.
We believe this subject to be the most uncertain and variable as to its outcomes and will require the utmost rigour to be applied, particularly with regard to climate change. For instance, when considering proposals for mineral extraction at the very earliest stage, we would emphasise the need to produce an interim flood risk assessment (via an EIA) so that early decisions can be taken on an informed basis, using robust data.
At a more detailed level we question the assumption that the storage of flood-plain water in worked out quarries would not jeopardise existing river-flow patterns.

The intangible cost to communities in terms of flood alleviation schemes and the potential barriers and structures that may be necessary needs to be set against the benefits of extraction.

Question 24
What do you think of the draft policy wording for DM3: Agricultural land and soil quality?

We accept the inevitability of trading agricultural land for minerals extraction over the medium tem but believe the major effort should be directed towards restoration wherever possible. Following potential political (BREXIT) and climatic problems provision of food should be prioritised over amenity.




Question 25
What do you think of the draft policy wording for DM4: Protection and enhancement of biodiversity and geodiversity?

We agree with this policy but would prioritise protection over creation of habitats.

Question 26
What do you think of the draft policy wording for DM5: Landscape character?

We support this policy. However, we feel it should include reference to the approach to be taken to landscape assessment at the local level when considering specific mineral developments AND the inclusion of the role of local communities in this assessment.

Question 27
What do you think of the draft policy wording for DM6: Historic environment?

We strongly support this policy but would like to see mention made of protecting physical access to archaeological and historic sites in addition to he specific sites themselves.

Question 28
What do you think of the draft policy wording for DM7: Public access?

We support this policy but wonder how the "unacceptable impact" on the existing rights of way will be judged?

Question 29
What do you think of the draft policy wording for DM8: Cumulative impact?

We support this policy but the wording could include reference to the potential of future mineral workings in an area, especially as many mineral operators would have long term realistic strategies for an area in addition to specific development proposals.

Question 30
What do you think of the draft policy wording for DM9: Highways safety and
vehicle movements/routeing?

We support this policy but in addition to c) "routeing to minimise the impact of traffic on local communities" we would like to see the inclusion of the impact of air quality on local communities arising from routeing and vehicular movements.

Question 31
What do you think of the draft policy wording for DM10: Airfield safeguarding?

We support this policy.

Question 32
What do you think of the draft policy wording for DM11: Planning obligations?

We strongly support this policy.

Question 33
What do you think of the draft policy wording for DM12: Restoration, after-use
and aftercare?

We support these policies but would add the following :
Restoration - add 4 d) provide evidence that imported waste would not contaminate water sources or the environment generally.
After-use - add (in 8?) after-use proposals should not cause undue problems or inconvenience for local communities through for example noise, traffic impact, etc.


Question 34
What do you think of the draft policy wording for DM14: Incidental mineral
extraction?

We support this policy.

Question 35
What do you think of the draft policy wording for DM15: Borrow pits?

We support this policy.

Question 36
What do you think of the draft policy wording for DM16: Associated industrial
development?

We support this policy. We would add the words "but those developments falling outside the GPDO would be subject to planning permission in the normal way"

Question 37
What do you think of the draft policy wording for DM17: Mineral exploration?

We support this policy but would add the words "should be notified to the County Council but would generally" after "Proposals for mineral exploration" and before "be permitted etc".

Comment

Draft Nottinghamshire Minerals Local Plan

Representation ID: 32239

Received: 28/08/2018

Respondent: Shelford Parish Council

Representation Summary:

We are in full agreement with this draft policy.

Full text:

Response to Nottinghamshire County Council's Draft Minerals Plan

Submitted by SAGE and Shelford Parish Council

Question 1
What do you think to the draft vision and strategic objectives set out in the
plan?

We believe that the vision and objectives are clear, straightforward and achievable. In particular we are pleased with the emphasis on minimising transport effects on the environment by choosing sites which are close to forecast demand. Also we appreciate the importance attached to minimising the effect on communities.

Question 2
What do you think of the draft strategic policy for sustainable development?

We are generally in agreement with the draft policy.

Question 3
What do you think to the draft strategic policy for minerals provision?

We are generally in agreement with the draft policy, in particular the emphasis on extending existing sites.

Question 4
What do you think of the draft strategic policy for biodiversity led restoration?

We are in agreement with the draft policy and approve of the move towards wetlands as an objective rather than deep cold water lagoons.
We would repeat our previous comment that while accepting that LBAP indicators are the only policy objectives available, there are other issues connected with the loss of farmland habitats and information from wildlife surveys and RSPB red and amber listed birds should be noted.

Question 5
What do you think of the draft strategic policy for climate change?

We are generally in agreement but note the correlation between flood risk and climate change and the unpredictability of extreme weather conditions.
In addition we appreciate the emphasis placed on efficient site operations and minimising transport emissions.

Question 6
What do you think of the draft strategic policy for sustainable transport?

We are in full agreement with the draft policy and note particularly the recognition that barging up stream to Nottingham may not be economical and that sites should minimise transport distances to main markets.

Question 7
What do you think of the draft strategic policy for the built, historic and natural
environment?

We are generally in agreement with the draft policy and approve of the requirement that "such planning will have to take account of the impacts of potentially more extreme flood events".
However we are concerned by the statement "Future mineral extraction within high risk areas is unlikely to be avoidable". The consequences of this on communities, either from flooding or from structural flood prevention measures would be enormous and conflicts with the policy of minimising effects on communities.

Question 8
What do you think of the draft strategic policy for the Nottinghamshire Green
Belt?

We are in agreement with this policy.

Question 9
What do you think of the draft strategic policy for Mineral Safeguarding,
Consultation Areas and associated minerals infrastructure?

We are in agreement with this policy.

Question 10
What do you think of the draft policy approach towards aggregate provision?

We support the options chosen. The forecast statistics appear more reasonable in the light of current and foreseeable construction activities.
However we are concerned by the statement "Proposals for aggregate extraction outside those areas identified in policies MP2, MP3 and MP4 will be supported where a need can be demonstrated".
We would argue that the same rigour be that has been applied to the Minerals Plan would need to be used in the approval of any additional proposals and that this policy does not allow for a "free for all" development situation.

Question 11
What do you think of the draft site specific sand and gravel allocations?

We support the draft policy approach and believe it satisfies many other policy requirements, especially proximity to demand and minimising the impact on communities. In particular it is pleasing to see the bulk of demand being satisfied from existing resources.

Question 12
What do you think of the draft site specific Sherwood Sandstone allocations?

We agree with the allocations.

Question 13
What do you think of the draft policy to meet expected crushed rock demand
over the plan period?

We are in agreement with this policy.

Question 14
What do you think to the draft policy regarding secondary and recycled aggregates?

We are in full agreement with this draft policy.


Question 15
What do you think of the draft site specific allocation for brick clay?

We are in agreement with the allocation.

Question 16
What do you think of the draft site specific allocation for gypsum?

We are in agreement with the allocation.

Question 17
What do you think of the draft policy to meet demand for silica sand over the
plan period?

We are in agreement with the policy.

Question 18
What do you think of the draft policy to meet demand for Industrial dolomite over the plan period?

We are in agreement with the policy.

Question 19
What do you think to the draft policy to meet demand for building stone over
the plan period?

We are in agreement with the policy.

Question 20
What do you think of the draft policy relating to meet demand for coal over the
plan period?

We are in agreement with the policy.

Comment

Draft Nottinghamshire Minerals Local Plan

Representation ID: 32276

Received: 29/09/2018

Respondent: Historic England (East Midlands)

Representation Summary:


Historic England welcomes the approach of draft Policy MP5: Secondary and Recycled Aggregates. Amongst others, the policy has the potential to reduce the need for new mineral extraction in some circumstances which, in turn, has the potential to limit impact on the historic environment.

Full text:


Thank you for the opportunity to engage with the Draft Plan consultation. Historic England has addressed only the key questions on matters which are likely to affect the historic environment, heritage assets or their setting.


Q1 - What do you think to the draft vision and strategic objectives set out in the plan?

Historic England welcomes the inclusion of a strategic objective relating to the historic environment (SO7). However, the existing list of assets does not make provision for Conservation Areas, battlefields e.g. Stoke Field near Newark and does not acknowledge the candidate World Heritage Site at Cresswell Crags. Rather than include a list of assets, it is recommended that it be replaced with the following text at the second sentence of SO7 in the interests of soundness:

Ensure designated and non-designated heritage assets (archaeological, historic buildings, settlements, landscapes, parks and gardens)and their settings are adequately protected and where appropriate enhanced.

Q2 - What do you think of the draft strategic policy for sustainable development

Historic England supports the approach of Draft Policy SP1 - Sustainable Development.

Q3 - What do you think to the draft strategic policy for minerals provision

Historic England supports the general approach of Draft Policy SP2 - Minerals Provision. We would query whether point c) of the strategy is required since any development on non-allocated sites would be addressed through draft Policy SP1 and relevant draft development management policies. As such we are of the view that this point is duplication and not necessary for the effective implementation of the Plan.

Q5 - What do you think of the draft strategic policy for climate change?

The requirement of Draft Policy SP4 - Climate Change to minimise the impact of minerals operations on climate change is supported.

Q6 - What do you think of the draft strategic policy for sustainable transport?

The requirements of Draft Policy SP5 - Sustainable Transport are welcomed. Increases of road traffic, particularly large goods vehicles, can detrimentally affect the use of, and sense of place of, the historic environment whether a designated or non-designated heritage asset.

Q7 - What do you think of the draft strategic policy for the built, historic and natural environment?

Draft Policy SP6 - The Built, Historic and Natural Environment requires consideration of designated and non-designated heritage assets and their setting along with other cultural assets and this is welcomed. However, we note that the first paragraph of Policy SP6 refers to adverse environmental impacts being acceptable subject to two caveats.

Firstly, if 'an overriding need' for development can be demonstrated. This does not reflect NPPF requirements for heritage assets which would need to demonstrate that public benefits of development outweigh the harm. An 'overriding need' would not necessarily imply a public benefit in every case. This should be addressed through amended and/or additional wording within the policy to address national policy requirements in respect of the historic environment.

Secondly, the policy, as currently worded, would allow for unacceptable adverse impacts on the built, historic and natural environment if 'any impacts can be adequately mitigated and/or compensated for.' It is not appropriate to have a blanket policy referring to compensation alongside mitigation. Compensatory measures are referred to in NPPF para.152 which clearly sets out that compensatory measures should be a last resort.

Compensatory measures may be appropriate in respect of the natural environment, e.g. in the sense of translocation, but are not usually applicable to the historic environment since heritage assets and/or their setting are a finite resource. It is, therefore, necessary to focus on understanding what the asset is, the impact the proposal will have, and how best to conserve in light of the fact that heritage assets are irreplaceable. Historic England would, therefore, look to encourage sustainable development where all strands can be taken forward jointly and simultaneously in accordance with NPPF requirements.

As such, the 'mitigated and/or compensated for' element of the draft policy is not in accordance with the stepped approach advocated in the NPPF and would also be at odds with the general thrust of the NPPF regarding sustainable development.

To overcome this matter it is recommended that there be separate strategic policies for the natural environment, and historic and built environment.

Supporting Paragraph 3.54 refers to a 'recent research project' and it is recommended that a reference/link to this is provided as a footnote.

Supporting Paragraph 3.55 refers to local stone quarrying and local distinctiveness. Since the strategic policy does not refer to local building stone requirements the text at Para 3.55 does not fit with the policy content and it would be worth considering including a cross reference to the later policy in the Plan (currently MP10).

Supporting Paragraph 3.56 refers to potential harm to heritage assets needing to be proportionate but does not differentiate between harm and substantial harm. It is recommended that additional text is included in relation to this whether the policy is split to separate the historic and built environment from the natural environment or not.

Q8 - What do you think of the draft strategic policy for the Nottinghamshire Green Belt?

Historic England has no comments to make on this policy subject to any supporting development management policies adequately addressing the conservation or enhancement of the historic environment in the document as it progresses through the Plan process.

Q9 - What do you think of the draft strategic policy for Mineral Safeguarding, Consultation Areas and associated minerals infrastructure?

The approach to avoiding sterilisation of minerals is welcomed in general since it could ensure the provision of building stone in line with the suggestion of Para.3.55 and Policy MP10 of the Plan. For the avoidance of doubt, this does not mean that Historic England supports extraction at all of the areas shown as being safeguarded on the plan.



Q11 what do you think of the draft site specific sand and gravel allocations?

Bawtry Road West (MP2l)

There is archaeological potential (Roman) based on previous findings in the locality, and potential setting impact on heritage assets at Austerfield and Misson.

It is noted that the Appendix 3 site allocation development brief indicates these should be considered as part of any planning proposal along with natural environment elements. A separate bullet point highlights the 'high potential for the site to contain non-designated archaeology'.

It is recommended that the historic environment elements are brought together in the development brief for the avoidance of doubt. Appendix 1 sets out application validation and local validation requirements but it is not clear from draft development brief information what would be required to be submitted as part of a development proposal. For example, is a heritage impact assessment required to be submitted as part of an application? If so the development brief should set this out clearly.

In terms of the high potential for non-designated archaeology, is the Council satisfied that the anticipated extraction work could take place to the full extent at this stage? If not, there is an issue of soundness in respect of the Plan and it is likely that further investigative work is required as part of the Plan process prior to any allocation.

Furthermore, it is not clear from the development brief information what kind of archaeological investigations and/or WSI etc would be expected as part of an application.

A typographical error in the Plan at Para 4.29 - MP2k should read MP2l to relate to Bawtry Road West.


Scrooby Thompson Land (MP2m)

It is noted that the Appendix 3 site allocation development brief highlights the 'high potential for the site to contain non-designated archaeology'.

In terms of the high potential for non-designated archaeology, is the Council satisfied that the anticipated extraction work could take place to the full extent at this stage? If not, there is an issue of soundness in respect of the Plan and it is likely that further investigative work is required as part of the Plan process prior to any allocation.

Furthermore, it is not clear from the development brief information what kind of archaeological investigations and/or WSI etc would be expected as part of an application.


Scrooby North (MP2n)

It is not clear from the development brief information whether there is likely to be any non-designated archaeology and, if so, how this would be dealt with at this stage of the Plan and moving forward.

Langford Lowfields South and West (MP2o)

Despite the lack of upstanding earthworks Scheduled Monument Holme Roman camp remains clearly identifiable in aerial photographs. The monument could considerably enhance our understanding of the Roman occupation of the area and the impact it had on the wider landscape.

Historic England has advised on impacts upon the scheduled Roman Camp at Langford through planning applications. Issues around direct dewatering risk to the buried remains have been addressed through borehole investigations under SMC (already dewatered). Considerations of setting impact assessments and discussions relating to trial trenching (archaeological remains also form part of setting) pertaining to development proposals should be taken into account as the Plan progresses.

It is noted that the Appendix 3 site allocation development brief indicates these should be considered as part of any planning proposal along with natural environment elements. A separate bullet point highlights the 'high potential for the site to contain non-designated archaeology'.

It is recommended that the historic environment elements are brought together in the development brief for the avoidance of doubt. Appendix 1 sets out application validation and local validation requirements but it is not clear from draft development brief information what would be required to be submitted as part of a development proposal. For example, is a heritage impact assessment required to be submitted as part of an application? If so the development brief should set this out clearly.

In terms of the high potential for non-designated archaeology, is the Council satisfied that the anticipated extraction work could take place to the full extent at this stage? If not, there is an issue of soundness in respect of the Plan and it is likely that further investigative work is required as part of the Plan process prior to any allocation.

Furthermore, it is not clear from the development brief information what kind of archaeological investigations and/or WSI etc would be expected as part of an application.


Langford Lowfields North (MP2p)

The Collingham Conservation Area and listed buildings including the setting of GI listed Church of St John the Baptist will need to be taken into account as acknowledged in the Appenix 3 draft development brief.

It is noted that the Appendix 3 site allocation development brief indicates these should be considered as part of any planning proposal along with natural environment elements. Separate bullet points highlight 'high archaeological potential to be managed through appropriate survey methods' and the 'high potential for the site to contain non-designated archaeology'.

It is recommended that the historic environment elements are brought together in the development brief for the avoidance of doubt. Appendix 1 sets out application validation and local validation requirements but it is not clear from draft development brief information what would be required to be submitted as part of a development proposal. For example, is a heritage impact assessment required to be submitted as part of an application? If so the development brief should set this out clearly.

In terms of the high potential for non-designated archaeology, is the Council satisfied that the anticipated extraction work could take place to the full extent at this stage? If not, there is an issue of soundness in respect of the Plan and it is likely that further investigative work is required as part of the Plan process prior to any allocation.

Furthermore, it is not clear from the development brief information what kind of archaeological investigations and/or WSI etc would be expected as part of an application and this should also be set out in the development brief for the avoidance of doubt.

East Leake North (MP2q)

There is a very high potential for buried remains dating to the early medieval here. Any allocation would (and with reference to the last consent at East Leake) need to frame a sophisticated process of investigation and the likelihood that nationally important remains may be found and would need to be preserved in situ. It is not clear how this has been considered during the Plan process since the Appendix 3 draft development brief sets out only that 'high archaeology potential (is sic) to be managed through appropriate survey methods'. A separate and later bullet point relates to potential impact on Conservation Areas and listed buildings.
As with other sites above, it is recommended that the historic environment elements are brought together in the development brief for the avoidance of doubt. Appendix 1 sets out application validation and local validation requirements but it is not clear from draft development brief information what would be required to be submitted as part of a development proposal. For example, is a heritage impact assessment required to be submitted as part of an application? If so the development brief should set this out clearly.

In terms of the high potential for non-designated archaeology, is the Council satisfied that the anticipated extraction work could take place to the full extent at this stage? If not, there is an issue of soundness in respect of the Plan and it is likely that further investigative work is required as part of the Plan process prior to any allocation.

Furthermore, it is not clear from the development brief information what kind of archaeological investigations and/or WSI etc would be expected as part of an application.

Botany Bay (MP2r)

The northern part of the site sits within a larger area where an Iron Age or Roman co-axial field system is visible as cropmarks on air photographs. The ditched field system is extensive and has groups of smaller enclosures associated with it. There is also the impact on Chesterfield Canal to consider and the impact on the setting of Ranby Hall, Babworth Park and the GI listed Church of St Bartholomew at Sutton cum Lound.

It is noted that the Appendix 3 site allocation development brief indicates some of these should be considered as part of any planning proposal along with natural environment elements. A separate bullet point highlights the 'potential for the site to contain non-designated archaeology'.

It is recommended that the historic environment elements are brought together in the development brief for the avoidance of doubt. Appendix 1 sets out application validation and local validation requirements but it is not clear from draft development brief information what would be required to be submitted as part of a development proposal. For example, is a heritage impact assessment required to be submitted as part of an application? If so the development brief should set this out clearly.

In terms of the potential for non-designated archaeology, is the Council satisfied that the anticipated extraction work could take place to the full extent at this stage? If not, there is an issue of soundness in respect of the Plan and it is likely that further investigative work is required as part of the Plan process prior to any allocation.

Furthermore, it is not clear from the development brief information what kind of archaeological investigations and/or WSI etc would be expected as part of an application and this should be clarified in the development brief to ensure that heritage assets are conserved or enhanced.


Mill Hill near Barton in Fabis (MP2s)

As set out in our scoping response the Grade II registered park to Clifton Hall forms the immediate designed landscape setting to the Grade I listed Clifton hall and Grade I listed Church of St Mary the Virgin and runs close to the proposed extraction area. With the presence of the Clifton Conservation Area and the other listed structures and buildings in the village it appears evident that a detailed assessment of impacts upon these assets is required.

Historic England has provided advice on a development proposal associated with the site allocation as follows:

'I am satisfied that there is a positive contribution to the significance of the designated heritage assets as a result of the setting relationship with the application site and the historic estate links. Although the nuances of common land versus open field or allocations to cottagers would bear some refinement in the report it appears a sound piece of work that demonstrates a positive historic landscape relationship. As such the impact of the quarry can reasonably be regarded as harmful to the significance of the above designated assets through the loss to the character of their historic landscape context.'

The advice remains relevant in respect of the proposed site allocation as the site moves forward. It is noted that the Appendix 3 draft development brief does not mention the Conservation Area and listed buildings and these should feature in the matters for consideration.

It is recommended that the historic environment elements are brought together in the development brief for the avoidance of doubt. Appendix 1 sets out application validation and local validation requirements but it is not clear from draft development brief information what would be required to be submitted as part of a development proposal. For example, is a heritage impact assessment required to be submitted as part of an application? If so the development brief should set this out clearly.

In terms of the high potential for non-designated archaeology, is the Council satisfied that the anticipated extraction work could take place to the full extent at this stage? If not, there is an issue of soundness in respect of the Plan and it is likely that further investigative work is required as part of the Plan process prior to any allocation.

Furthermore, it is not clear from the development brief information what kind of archaeological investigations and/or WSI etc would be expected as part of an application, other than a metal detector on a conveyor belt should be used. This should be clarified in the brief for the site if it remains a proposed allocation.


Q12 - What do you think of the draft site specific Sherwood Sandstone allocations?

Bestwood 2 East (MP3e) and Bestwood 2 North (MP3f)

Relevant heritage assets are noted in the Appendix 3 draft development brief for the site but it is not clear from draft development brief information what would be required to be submitted as part of a development proposal. For example, is a heritage impact assessment required to be submitted as part of an application? If so the development brief should set this out clearly.


Q14 - What do you think to the draft policy regarding secondary and recycled aggregates?

Historic England welcomes the approach of draft Policy MP5: Secondary and Recycled Aggregates. Amongst others, the policy has the potential to reduce the need for new mineral extraction in some circumstances which, in turn, has the potential to limit impact on the historic environment.

Q15 - What do you think of the draft site specific allocation for brick clay?

The proposed allocation at Woodborough Lane (MP6c) should consider any archaeological impacts and any relevant matter should be addressed in the Appendix 3 draft development brief.


Q16 - What do you think of the draft site specific allocation for gypsum?

It is not clear from the draft Plan information how the proposed allocation at Bantycock Quarry South (MP7c) has been considered in relation to the historic environment since the Appendix 3 draft development plan does not refer to heritage assets or their setting. We would want to better understand the significance of the Shire Dyke as an historic landscape feature and integrate links with its natural environment. It is not clear how any archaeological impacts have been considered.

Q18 - What do you think of the draft policy to meet demand for industrial dolomite over the plan period?

Historic England (formerly English Heritage) has maintained concerns about the dolomite allocation at Holbeck since 2012. It is noted that Policy MP9 relates to industrial dolomite extraction generally. Historic England submits that this approach is not sound since known sources of dolomite within the UK are limited and in respect of the draft Nottinghamshire Minerals Local Plan the main extraction location is found in the Holbeck area. As such Policy MP9 in its current form would provide a de facto site allocation. In addition, Policy MP9 sets out that extraction would be supported if need is demonstrated which ignores environmental and other social and economic factors which would have to be considered in the balance. These issues are explored in more detail below.

De facto site allocation in respect of the historic environment

The main site, within the Minerals Local Plan area, for industrial dolomite extraction would be at Holbeck and associated with the existing Whitwell site in Derbyshire. There are heritage assets within this locality including Cresswell Crags and it is not clear how these assets have been considered in the Plan process.

Creswell Crags straddles the boundary between Nottinghamshire and Derbyshire and is designated as both a Scheduled Monument and a Site of Special Scientific Interest. The complex of caves and rock shelters preserve long sequences of in-situ deposits. First identified in the nineteenth century, the site has yielded Neanderthal and modern human material alongside faunal remains and palaeo-environmental data across successive periods of Ice Age occupation between 10000 and 50000 years ago. The discovery of the UK's only cave art assemblage in 2003 alongside the site's established archaeological importance at the northerly extreme of Ice Age human habitation set the basis for Creswell Crags placement on the UK Government's Tentative List of potential UNESCO World Heritage Sites (WHSs) in 2012. Creswell Crags are an exceptional complex set of cultural assets. In very broad terms, key elements in their significance can be summarised as follows:

* They possess rare long sequences of well preserved in-situ archaeological deposits as well as the associated resource of material excavated in the 19th and 20th centuries.

* There is particular archaeological importance for the Middle Palaeolithic (around 44000 years ago) as a site of Neanderthal activity and in the Late Upper Palaeolithic as the type site for Creswellian dwelling and resource exploitation at around 14000 years ago, in both cases at the northern limits of human habitation.

* The artistic and archaeological significance in their containing Britain's only, and Europe's most northern, example of Palaeolithic Cave Art.

Any nomination of Creswell Crags for inscription on UNESCO's World Heritage List is likely to include a buffer zone as advised by UNESCO. The purpose of a buffer zones is to protect the Outstanding Universal Value of a WHS. UNESCO's Operational Guidelines for the Implementation of the World Heritage Convention (July 2015) go on to say that a Buffer Zone " is an area surrounding the nominated property which has complementary legal and/or customary restrictions placed on its use and development to give an added layer of protection to the property. This should include the immediate setting of the nominated property, important views and other areas or attributes that are functionally important as a support to the property and its protection." This would have implications for any extraction activities as well as traffic movements to the Whitwell plant, which would use the A616 through Cresswell Conservation Area. The Minerals Plan should take into account the potential for Creswell Crags to be inscribed on the World Heritage List, together with an associated buffer zone, and have full regard to NPPF paragraph 132 guidance that harm to significant heritage assets, and their settings, should be wholly exceptional.

The Crags also form part of the Welbeck Registered Park and Garden (Grade II). Humphry Repton's inclusion of the sublime natural form of the Crags into the designed landscape of the Grade I listed Welbeck Abbey and the subsequent damming of the gorge to create a water-fowling lake provide additional layers of historic landscape significance. It is also partially within the Creswell Conservation Area.

Heritage impacts arising from the extraction of dolomite in this location are considered to be two-fold. Firstly, the dolomite resource area occupies the southern end of the magnesian limestone ridge through which the Creswell gorge passes. The existing quarry workings to the north severs the monument from the ridge leaving the proposed allocation area to the south as the sole opportunity to experience and understand the monument in something of its late Pleistocene landscape context. Neither Neanderthal nor Late Upper Palaeolithic populations were simply huddled in gorges and caves enclosed from their environment, they were also up on the ridges above working flint and hides and looking out across extensive steppe grassland (as demonstrated in recent and current excavations in Rutland and Leicestershire. The lives of hunter gather peoples were, we believe, intimately associated with the seasonal movements of large mammals and birds through the landscape in which they operated (as supported by the cave art at Creswell). The ability to experience this monument in its extant landscape context (as well as within the enclosed space of the gorge) is central to its significance.

Secondly, there are a number of significant unknown impacts which may give rise to further harm. Specifically, the proposed allocation area has unexplored potential for finds assemblages surviving both in topsoil and in-situ below hill wash or in fissures. Caves containing archaeological and palaeo-environmental remains potentially extend at depth beyond the Scheduled Monument boundary on this southern side of the gorge and would be vulnerable both to the proposed working and associated vibration. It is also proposed to process the mineral through the existing workings at Whitwell in order to utilise the existing infrastructure. The resulting haulage of mineral from the extraction site to the kilns via either the existing transport network, or new corridors through the landscape are likely to cause additional harm. It is anticipated that any future restoration of the quarry site is likely to be water based, which could also have unknown implications for the scheduled cave network and would not reinstate topographic form.

Historic England considers that the likely impact of dolomite extraction at the Holbeck site would constitute substantial harm to the significance of designated heritage assets of the highest importance contrary to the provisions and intentions of the NPPF. On that basis, Policy MP9 is not sound.

It is also noted that the justification text states that there is no national demand forecast or local apportionment for dolomite. It also states that the resource supplies an international market. However, there is no associated evidence base to support the 'international' importance of industrial dolomite provision in the UK. Such uncertainty clearly highlights that there is insufficient information available on which to determine impact and further evidence base work and assessment is required.


Q19 - What do you think to the draft policy to meet demand for building stone over the plan period?

Historic England welcomes the approach to the provision of building stone. The policy provisions would potentially assist with heritage repairs and ensuring local distinctiveness.


Q20 - What do you think of the draft policy to meet demand for coal over the plan period?

Historic England has no concerns with the proposed approach in respect of the demand for coal as set out in draft Policy MP11: Coal.


Q21 - What do you think of the draft policy to meet demand for hydrocarbon minerals over the plan period?

Historic England has no concerns to raise in respect of the proposed approach to hydrocarbon minerals as set out in draft Policy MP12: Hydrocarbons.


Q27 - What do you think of the draft policy wording for DM6: Historic Environment?

Historic England has concerns in relation to the wording of draft Policy DM6 and considers it not to be sound at this time. Criteria a) refers to 'adverse impact' rather than harm and Criterion b) and c) refer to 'harm or loss' and the mitigation of loss against public harm. The draft policy is not in accordance with the stepped approach advocated in the NPPF.

As a separate matter, the draft Policy is not worded positively and it is recommended that this be reviewed prior to the next iteration of the Plan. We would be happy to meet with you and discuss this in due course.

Q33 - What do you think of the draft policy wording for DM12: Restoration, after-use and aftercare?

Historic England welcomes the provisions set out for the historic environment in draft Policy DM12.


Conclusion

Finally, we would like to stress that this opinion is based on the information provided by the Council in its consultation. To avoid any doubt, this does not affect our obligation to provide further advice and, potentially, object to specific proposals, which may subsequently arise where we consider that these would have an adverse effect upon the historic environment.

Please do not hesitate to contact me if you have any queries. We would be pleased to meet with you, prior to the next iteration of the Plan, to discuss the matters raised and I will be in contact with you in due course to arrange a meeting.

Comment

Draft Nottinghamshire Minerals Local Plan

Representation ID: 32441

Received: 28/09/2018

Respondent: Tarmac

Agent: Heaton Planning Ltd

Representation Summary:

Support for the MPA in seeking the use of alternative aggregates and the appreciation that there are limits on how far alternatives can substitute primary aggregate. Whilst support for alternative aggregate should be encouraged in the Plan, the contribution should be viewed as a 'bonus' over and above the required amount of primary aggregate. This is reflective of the NPPF (para 204 (b)). The reduction in ash materials from coal fired power stations is also likely to increase the demand for primary aggregate over the Plan period to address this specific resource shortfall.

Full text:

Draft Plan Consultation
Section 2 -Overview, Vision and Strategic Objectives
Q1 - What do you think to the draft vision and strategic objectives set out in the
Plan?
Paragraph 2.3 identifies the significant overlap of housing areas, business and
employment between Nottingham and South Yorkshire as well as Lincolnshire,
Leicestershire and Derby which is supported. However, recognition should also be
made of the likely pull on mineral resources to meet the anticipated demands from
these growth areas. This could be as an additional feature to Plan 1 - overview of the
Plan area. Without this we consider that the plan is not positively prepared and fails
to meet the tests of soundness set out in paragraph 35 of NPPF (2018).
Paragraph 2.27 identifies 'wider issues' which specifically refer to movement of
minerals both in and out the County. Opportunities to work with other Mineral
Planning Authorities to manage these movements is identified. However, these are
issues fundamental to securing steady and adequate supply of mineral from
Nottinghamshire and should be given more prominence throughout the document.
It is considered that the cross boundary relationship with neighbouring authorities,
particularly in regards to mineral supply should be identified taking into account:
1. cross boundary mineral supply from Nottinghamshire - eg to South
Yorkshire, and Leicestershire in light of their identified lack of available sand
and gravel resources and production capacity to meet demand over the Plan
period
2. The lack of available crushed rock/limestone resource within the County and
therefore the heavy reliance on import from adjoining Authority areas
3. The availability of infrastructure links - particularly good road network and
therefore links to market in assisting to secure mineral supply
4. The overlap of housing, business, infrastructure and employment links with
Derbyshire and Leicestershire are identified but there is currently no
reference to an overlap of mineral supply issues
5. The relationship with other mineral authorities and duty to cooperate in Plan
preparation should be referenced
6. The anticipated development needs for housing, employment and
infrastructure provision (including HS2)
Without the above factors being taken into consideration the Plan is not effective
and fails to meet the tests of soundness set out in paragraph 35 of NPPF (2018).
The Vision
In general terms we would support the Vision. However, as well as safeguarding
mineral resource, in accordance with the NPPF the Plan should safeguard mineral
associated infrastructure.
Strategic Objectives
Strategic Objective 1 and a locational strategy to securing mineral supply is
supported. This approach maintains the spread of operations across the County and
maintains a security in supply to the specific markets that these serve. As well as
seeking to 'efficiently deliver resources', the objective should include 'effectively
deliver' resources to ensure that operational capacity in addition to permitted
reserves is available to meet anticipated demand.
The principle of Strategic Objective 2 is supported. However, as referred above, the
Plan should identify the anticipated demand from adjoining Authority areas, failure
to do so will render the plan un-sound as it will not meet the tests of soundness
within paragraph 35 of NPPF (2018) being positively prepared or effective. As well as
ensuring that sufficient resource is allocated to meet anticipated demand, ensuring
that the operational capacity of sites is sufficient to meet anticipated demand.
Strategic Objective 4 should make reference to ancillary infrastructure to take
account of, 'existing, planned and potential sites for the bulk transport, handling and
processing of minerals, the manufacture of concrete and concrete products and the
handling, processing and distribution of substitute, recycled and secondary
aggregate material' as advocated by paragraph 204(e) of the NPPF.
Strategic Policies
Policy SP1 - Sustainable Development
Question 2 - what do you think of the draft strategic policy for sustainable
development?
No comments
Policy SP2 - Minerals Provision
Question 3 - what do you think to the draft strategic policy for minerals provision?
The general policy on minerals provision should ensure that the Plan maximises its
flexibility to respond to changes in demand. As we have advocated through previous
representations, the 10 years sales average alone does not give an accurate
portrayal of the demand scenario for Nottinghamshire. Closure of long established
sand and gravel quarries, non-replenishment of reserves, continuing impact from the
2008 recession on production capacity and production movements out of the County
have all impacted output from Nottinghamshire. The reduction in sand and gravel
output over the 10 year period should not be translated into a long term reduction in
demand in Nottinghamshire.
Section (a) of Policy SP2 states that the strategy will be to identify 'suitable land for
mineral extraction to maintain a steady and adequate supply of minerals during the
Plan period'. It is suggested that 'suitable' is unnecessary and could be removed.
Extensions to existing sites form a logical progression from an operating perspective
to secure additional mineral supply and are often sustainable and avoid needless
sterilisation. Tarmac encourages 'support' for extensions to ensure maximum
flexibility in securing continued supply from existing operations. All sites have an
operational limit/constraint which means that whilst they will continue to contribute
to demand, there will be a requirement for new greenfield sites to make up any
operational capacity shortfall and to provide an effective continuity when existing
operations become exhausted. The lead in period for development of a greenfield
mineral production site can be at least 5 years, and an overlap between existing
production and replacement production is likely to be required. At some stages of
the Plan Period it is therefore likely that there will be higher production capacity as
the transition between existing and replacement sites takes effect. Further
comments on the site specific approach to this and increasing flexibility in the Plan
are found below under the aggregate provision policies.
Policy SP2, section (c) and (d) allows for other minerals development on non
allocated sites providing that a need can be demonstrated and ensuring the
provision of minerals remains in line with wider economic trends through regular
monitoring. Reliance on the 10 year sales average influenced heavily by a recession
is not likely to reflect demand during a period of economic upturn/growth
particularly given the significant level of new housing and infrastructure planned for
during the Plan period. The strategy for minerals within the Plan needs to ensure
that there is certainty but also some flexibility and opportunity for operators to
invest in the development of mineral production sites throughout the Plan period
where there is a clear need for mineral supply to meet demand which cannot
otherwise be met. The annual LAA documents should be used to assist in that
process.
Policy SP3 - Biodiversity led Restoration
Question 4 - what do you think of the draft strategic policy for biodiversity led
restoration?
Whilst Tarmac support paragraph 3.12 and a 'restoration led approach' when
considering mineral operations, it is considered that a biodiversity led
approach/focus taken by Policy SP3 is overly onerous. As opposed to being
categorical about 'significantly enhancing' biodiversity, the policy should be
supportive where it is 'possible' or 'appropriate'. The policy as worded makes no
reference/acknowledgment to the beneficial use of land and the opportunities/
potential aspirations of landowners to have land restored back to
economic/commercial/agricultural after uses. Paragraph 3.14 goes part way to
recognising that there needs to be a balance/weighting of restoration considerations
but it neglects to reference the economic potential only social/recreation and
environmental opportunities. This policy should be reworded to provide emphasis
on a restoration focus to new mineral development without being overly prescriptive
of what restoration must be. In addition, the policy makes no acknowledgement of
the long term financial burden on ecological management post restoration and who
has to fund and manage these areas.
Paras 3.23 to 3.25 should commence with the wording 'If restoration allows, priority
habitats ... justified and effective in delivering the Plan and strategy to reflect the
comments made above.
Paragraph 3.28 discusses 'in some cases' restoration for leisure or agriculture may be
appropriate. Leisure and agricultural restoration are the most common forms of
restoration strategy. We agree with the sentiment that there are opportunities to
incorporate biodiversity/habitat enhancement but there should not be emphasis on
a biodiversity led approach.
Policy SP4 - Climate change
Question 5 - what do you think of the draft strategic policy for climate change?
In accordance with the NPPF, new development should be directed to areas outside
of flood zones. However, the policy as worded does not acknowledge that minerals
can only be worked where they are found. In the case of sand and gravel and river
sand and gravels working will often fall within areas of flood risk. Notwithstanding
this, the policy and sub text should acknowledge that minerals development is
considered an appropriate form of development within a flood zone in accordance
with the planning practice guidance, Table 2: Flood Risk Vulnerability Classification,
Paragraph: 066 Reference ID: 7-066-20140306.
Policy SP5 - Sustainable Transport
Question 6 - What do you think of the draft strategic policy for sustainable transport?
Whilst seeking to support the use of sustainable modes of transport, policy should
be worded to acknowledge/recognise the potential for impact upon the viability of
mineral extraction.
Minerals can only be worked where they are found. The requirement to be located
close to proposed markets is overly onerous. The value of the product and the
availability locally will determine the distance it needs to travel. It is considered that
this policy is overly onerous and discredits the geographical spread/locational
strategy which is being pursued by the Mineral Planning Authority. Such an
approach fails all the tests of soundness within paragraph 35 of NPPF (2018)
Policy SP5 should therefore be amended to read:
1. All mineral proposals should seek to maximise the use of sustainable forms of
transport, including barge and rail where possible and viable
2. Where it can be demonstrated that there is no viable alternative to road
transport, all new mineral working and mineral related development should
be located as close as possible to the County's main highway network and
existing transport routes in order to avoid residential areas, minor roads, and
minimise the impact of road transportation.
The suggested amendments above will therefore negate the requirement for
paragraph 3.42 within the policy justification. Alternative modes of transport will be
supported within the provided that it can be demonstrated that to deliver it would
not affect the viability/deliverability of mineral sites.
Policy SP6 - The Built, Historic and Natural Environment
Question 7 - what do you think of the draft strategic policy for the built, historic and
natural environment?
Tarmac support the recognition within paragraph 3.46 that detrimental impact on
the natural and built environment as a result of mineral extraction is temporary in
nature and can bring about many environmental benefits. In addition, paragraph
3.51 acknowledges that in regards to heritage and cultural assets, mineral
development provides major opportunities to understand the County's rich
archaeological heritage.
Policy SP6 as worded is overly onerous and does not recognise the weighting of all
facets of sustainable development that should be applied when considering
applications for development. In regard to mineral extraction, whilst there may be
potential for environmental impact, the economic benefit of mineral extraction
should be afforded 'great weight' (paragraph 205 of the NPPF). In addition, the
significance of impact depends on the significance of the asset it affects. Paragraph
171 of the NPPF states that Plans should, 'distinguish between the hierarchy of
international, national and locally designated assets' in regards to conserving and
enhancing the natural environment. Paragraph 184 of the NPPF recognises a similar
approach for the historic environment in that assets should be conserved in a
manner appropriate to their significance.
Paragraph 3.58 refers to Landscape Character Assessment which, 'can be used to
provide special protection to a specific feature'. As we have previously advocated,
whilst Landscape and Biodiversity Mapping is helpful as a baseline for looking at
potential for impact, these documents cannot be viewed or utilised in isolation and
the combined benefits of mineral extraction or opportunities for restoration
enhancement should be afforded weight as opposed to a negative constraint to
development.
Paragraph 3.63 should be deleted. As we have referred to above, mineral
development can only be worked where it is found. It is also a water compatible use
constituting appropriate development within a flood zone as advised within Planning
practice guidance, Table 2: Flood Risk Vulnerability Classification, Paragraph: 066
Reference ID: 7-066-20140306.
Paragraph 3.66 should be deleted as issues associated with infrastructure is handled
under the provisions of the Mining Code.
Policy SP7 - The Nottinghamshire Green Belt
Question 8 - what do you think of the draft strategic policy for the Nottinghamshire
Green Belt.
The final bullet point of Policy SP7 should be amended. Paragraph 3.78
acknowledges that, 'it is likely that suitably designed, landscaped and restored
mineral workings can be accommodated in the green belt'. Whilst it is correct that
minerals development would need to meet the tests within the NPPF on green belt,
a requirement for higher standards of working is unnecessary as is restoration to
enhance the beneficial use of the green belt. This fails to meet the tests of
soundness within paragraph 35 of NPPF (2018) as it is not consistent with national
policy. Ensuring that the operation and restoration is compatible with green belt
objectives is a more appropriate strategy and reflective of the NPPF.
Policy SP8 - Minerals Safeguarding, Consultation Areas and Associated Minerals
Infrastructure
Question 9 - what do you think of the draft strategic policy for Mineral Safeguarding,
Consultation Areas and associated minerals infrastructure?
Policy SP8 should refer to 'known' locations of specific mineral resource as opposed
to 'economically important' in accordance with paragraph 204 of the NPPF. Whilst
we agree that known resources should not be sterilised by non mineral
development, the policy should be clearer that all Mineral Safeguarding areas will
become Mineral Consultation Areas.
It is considered that the Minerals Plan would be more effective if it was to define
more specific Mineral Consultation Areas. The proposed approach to define
consultation areas on the same scale as safeguarding areas could mean that large
amounts of development will be caught within an MSA/MCA which would be
onerous on developers having to potentially submit minerals assessments and the
MPA in assessing the potential for impact of development on mineral
resource/mineral associated infrastructure.
As well as safeguarding mineral associated infrastructure, rail heads should be
expanded to include rail heads at coal fired power stations. A wharf facility at
Colwick is specifically referenced for safeguarding. Tarmac has existing river wharf
facilities at Besthorpe Quarry (loading) and Cromwell Quarry (receiving) which
should also be referenced and marked on the Policies Map. The river wharf facility at
Besthorpe Quarry last operated in 2013 but has been retained in a mothballed state.
It is possible that the wharf facility will be put back into use and therefore it should
be identified and safeguarded. Tarmac also has a river wharf facility at Cromwell
Quarry which should be safeguarded within the Plan. Cromwell Quarry has been
promoted at the 'call for sites' exercise for receiving sand and gravel from the
Burridge Farm site near Newark. The Cromwell Quarry river wharf operates
periodically for receiving river dredging, either for processing and sale or disposal
within the quarry site to enhance restoration of the site. The Cromwell Quarry site is
an important facility for the long term dredging operations carried out to maintain
water navigation on the River Trent and the site should therefore be safeguarded for
continued operation throughout the Plan period.
The importance of Local Plan's (District and Borough Council) in understanding and
appreciating the role of safeguarding and defining areas/sites within Local
Development Plan Documents should be explained within the Mineral Plan. The
Planning system is a tiered system with the policies contained within the Mineral
Plan and Local Plan pertinent to the consideration of Planning Applications at County
and District level. The MPA has an important role in ensuring mineral safeguarding is
not perceived as just a County function but guiding and supporting Local Authorities
to appreciate they also have a role to play in accordance with the Planning Practice
Guidance.
In light of the above and the identification of safeguarding areas on the policies
maps Plan 4 is not required.
Paragraph 3.93 is contrary to the NPPF paragraph 204 (e) and should be deleted.
Policies should safeguard all ancillary infrastructure and the NPPF does not
distinguish that only strategic facilities should be safeguarded. Whilst it may be
unnecessary to identify all facilities on policies maps, the policy wording itself should
ensure that these facilities will be safeguarded.
Policies regarding safeguarding should make reference to the 'agent of change'
identified at paragraph 182 of the NPPF. This seeks to ensure that the onus is on
Applicants for new development to put in place adequate mitigation to ensure that
the development would not place unreasonable restrictions on existing
businesses/operations.
Minerals Provision
Policy MP1 - Aggregate Provision
Question 10 - What do you think of the draft policy approach towards aggregate
provision?
The 10 years average sales figures are not the most suitable methodology for
forecasting aggregate demand. National Policy states, forecasts of demand should be
based on a rolling average of 10 years sales data, other relevant information and
through assessment of all other supply options. The 10 years average sales are
heavily influenced by the impact of the recession. In addition, the movement of
production at Finningley outside the County boundary has effectively skewed the
perceived sales/demand. This is particularly apparent given the picture across the
East Midlands which in all other cases have seen increases in sales figures. Whilst,
recycled and secondary aggregate has a role to play in meeting demand in some
circumstances it cannot be relied upon for ensuring continuity in supply. In addition,
given the location of the County it is unlikely that demand can be met from other
sources (for example marine). Considering this, the other relevant local information
is particularly important in forecasting future demand in the County. Considering the
above the Mineral Planning Authority is underproviding sufficient sand and gravel
resource over the Plan period. We support the MPA in their previous approach
which reviewed sales data pre and post-recession to give a greater appreciation of
likely anticipated demand in recession and a period of economic growth.
The operational capacity of permitted operations within the County needs
consideration to ensure that anticipated demand is met. A decline in sales is not
necessarily an indication of a decline in demand. Production moving outside of the
County will impact upon perceived sales figures as well as sites/resource not being
replaced when exhausted.
A Delivery schedule has been prepared as Appendix 2 to the Draft Plan. Tarmac have
enclosed an edited version (Appendix 1a) which shows the available production
capacity from existing sites and proposed allocations as proposed within the Plan
against the identified annual requirement for sand and gravel. The sites proposed for
sand and gravel extraction including allocations are insufficient to even meet that
depressed annual requirement. An edited version is also enclosed at Appendix 1b
which shows how additional allocations could assist in meeting the identified
shortfall.
Although the landbank is sufficient at the start of the Plan period, sites will become
exhausted during the Plan period and provision should be made for replacements.
The Plan should not focus or specify a definitive/maximum amount of mineral
provision. The sales data is an indication of current demand and should not be
perceived as a maximum requirement. The Plan needs to provide flexibility to
support additional sites/resources coming forward during the Plan period to meet
demand/operational requirements to serve existing/future markets. Policy M1
should be updated to provide a more realistic sand and gravel provision figure which
is reflective of economic growth at pre-recession levels. As a minimum the policy
should be clear that the provision of sand and gravel, Sherwood Sandstone and
Crushed Rock are minimum requirements. Section 3 of the policy does not make any
allowance for the benefit of sustainable extensions to existing operations in securing
continued delivery of mineral as advocated by the Strategic Policy SP2.
Policy MP2 - Sand and Gravel Provision
Question 11 - What do you think of the draft site specific sand and gravel
allocations?
Tarmac are supportive of the approach to work permitted reserves as well as
allocating extensions to existing operations and through the provision of new
greenfield sites. There needs to be allowance in the Plan for both extensions and
new greenfield sites. However, the Plan should provide flexibility and policy should
be supportive in securing extensions to existing operations, this ensures a
continuation in supply without sterilising mineral reserves. Currently the Policy does
not support the strategic policy SP2. This could be achieved through an additional
criterion to Policy MP2 to allow for new mineral sites to come forward to continue to
meet demand subject to environmental considerations. The Plan needs to build in an
element of flexibility to address the issue of long term longevity of mineral
operations in Nottinghamshire - only 4 sand and gravel sites identified in Policy MP2
have long term and significant production capacity.
We support the Council in adopting a locational approach to mineral development
sites to ensure there is a spread in sites to meet anticipated demand. However,
operational capacity constraints still apply (imposed by plant capacity, planning
conditions or HGV routing agreements) which can limit production / distribution to
meet demand in some market areas. These are all important considerations in
locating new sites for mineral development. There should not be a sole reliance on
their physical location in the County. Besthorpe Quarry and Girton Quarry (currently mothballed) for example have vehicle movement restrictions through S106 planning
agreements which forces HGV routing northward. As a result those sites are
generally more aligned to the North Nottinghamshire / Doncaster / Humberside
market areas as opposed to Newark.
Tarmac are very disappointed and surprised that the Besthorpe Quarry East
Extension has not been included as an allocation in the draft plan. The permitted
resource and proposed allocations do not at any time over the Plan period meet the
proposed annual requirement for sand and gravel (1.7mt). The Tarmac revised
Delivery Schedule (appendix 1a and 1b) illustrates this point. The Council is
advocating an approach that gives preference to extensions to existing operations
and on review of the Sustainability Appraisal and Site Assessment supporting paper,
the eastern extension to Besthorpe Quarry is one of the best scoring sites in meeting
the sustainability objectives. There is a very clear and compelling case for the
Besthorpe Quarry East site to be allocated in the Plan.
There is also a clear case for additional allocation of green field sand and gravel sites
to be allocated to come into production during the Plan period. The serious decline
in sand and gravel reserves and projected production capacity in Leicestershire is
clearly evidenced through the Leicestershire Mineral & Waste Local Plan review and
sites have been promoted into the Nottinghamshire Local Mineral Plan review to
meet that identified shortfall and the consequential need for alternative supply from
adjoining authority areas. Tarmac's promoted site 'Great North Road (North)', near
Kelham meets that objective and would deliver a long term sand and gravel
production site with a sustainable output of 250,000 tonnes per annum to serve the
Nottingham and North East Leicestershire market over the plan period to 2036. The
Great North Road (North) site should therefore be allocated in the Plan.
The Great North Road (South) site has a proven significant future sand and gravel
resource which would provide a natural long term extension to the Great North Road
(North) site.
The combined sand and gravel resources at the "North" and "South" sites would
provide a stable long term supply facility to meet the likely strong demand for
construction materials in the Nottingham / NE Leicestershire markets throughout
and beyond the 2036 Plan period.
In addition, Tarmac's proposed new green field extraction site at Burridge Farm,
which is proposed to use river barge transportation to feed sand and gravel to a
proposed new processing plant at the former Cromwell Quarry site previously
operated by Lafarge, would also provide some additional support production
capacity in the second part of the Plan period. The Cromwell plant site is well
situated with good access onto the A1 interchange at Cromwell. The Burridge Farm
site would not have capacity to operate at high output levels due to likely physical
constraints on barge transportation along the River Trent through Cromwell Lock.
Appendix 1 to this letter illustrates the productive capacity of sites within the Plan
area with additional sites included as allocations. Appendix 2 to this letter includes
revised Sustainability Appraisal Matrices supplemented by additional evidence
where appropriate carried out as part of further site investigation work to support
Screening and Scoping submissions and Planning Application documents.
Policy MP3 -Sherwood Sandstone
Question 12 - what do you think of the draft site specific Sherwood Sandstone
allocations?
The LAA recognises the high level of export to markets outside the County due to
limited resources elsewhere. As per comments on sand and gravel, there is a need
where resource exists to maintain production and operating capacity to meet
demand. The Plan should identify appropriate extensions to existing operations or
new sites to meet demand. Identified demand based on sales is a minimum
requirement of the Plan and there should be flexibility built into the Plan to allow
sites to come forward. The plan should address anticipated demand from outside of
the County. As per comments on Policy MP2 an additional criteria regarding modest
extensions should be included to ensure flexibility in the Plan and to allow the
continued supply of Sherwood Sandstone which is not just important within
Nottinghamshire.
The Plan should recognise the unique properties of the sand as well as markets.
Colour variances as well as properties of the sand are also important factors and
therefore additional reserves (as allocations or new sites) should not solely be based
upon estimated demand based on sales figures.
Policy MP4 - Crushed Rock
Question 13 - what do you think of the draft policy to meet expected crushed rock
demand over the Plan period.
It is likely that there is a wider demand for crushed rock within the County than that
met by Nether Langwith. Crushed rock requirements are likely to be met from
imports to meet the demand within the south of the County to minimise the
distance crushed rock will need to travel.
Policy MP5 Secondary and recycled aggregates
Question 14 - what do you think to the draft policy regarding secondary and recycled
aggregate?
Support for the MPA in seeking the use of alternative aggregates and the
appreciation that there are limits on how far alternatives can substitute primary
aggregate. Whilst support for alternative aggregate should be encouraged in the
Plan, the contribution should be viewed as a 'bonus' over and above the required
amount of primary aggregate. This is reflective of the NPPF (para 204 (b)) which
states that local Plans should take account of the, 'contribution that substitute or
secondary and recycled materials and minerals waste would make'. The reduction in
ash materials from coal fired power stations is also likely to increase the demand for
primary aggregate over the Plan period to address this specific resource shortfall.
The approach to recycled aggregates reflects the Mineral Products Association Long
Term Aggregates Demand and Supply Scenarios Paper which indicates that the
potential for recycling has reached an optimum level (approximately 28-30%
volume).
Policy MP9 Industrial Dolomite Provision
What do you think of the draft policy to meet demand for industrial dolomite over
the plan period?
Reserves of industrial dolomite are of international importance and the resource
itself is scarce with only a small number of sites within the UK. As such there will
always be a need for the resource, therefore the policy should be reworded to state
that:
'Proposals for industrial dolomite extraction will be supported providing that
development does not give rise to any unacceptable levels of environmental impact'.
Whilst additional resource areas do not need to be identified as an allocation, the
resource within Nottinghamshire should be identified within the Plan and recognised
as a proven resource to be safeguarded.
Development Management Policies
Policy DM1 - Protecting Local Amenity
Question 22 - what do you think of the draft policy wording for DM1: Protecting local
amenity?
No comments
Policy DM2: Water Resources and Flood Risk
Question 23 - what do you think of the draft policy wording for DM2: water
resources and flood risk?
It is considered that the use of 'detrimentally altered' is not an effective strategy as
there is no quantifiable method by which it can be monitored, nor severity of impact
measured. It is suggested that giving rise to 'unacceptable impacts' would be more
appropriate.
In regard to flooding, criterion 3. states that 'proposals for mineral extraction that
increase flood risk to local communities will not be supported unless the risks can be
fully mitigated'. This statement appears contradictory as in cases where 'risks can be
fully mitigated' the proposal would not 'increase flood risk to local communities'. As
such, the purpose/ intent of this statement is unclear, and it is recommended that
the policy is re-worded.
Policy DM3: Agricultural land and soil quality
Question 24 - what do you think of the draft policy wording for DM3: Agricultural
land and soil quality
Whilst it is correct to protect and enhance soils (NPPF paragraph 170) and therefore
the best and most versatile agricultural land, the policy is not positively prepared nor
an effective strategy. Minerals can only be worked where they are located and in the
majority of circumstances this is in areas of countryside and often on agricultural
land. Notwithstanding this, with appropriate soil handling strategies the value of soil
resource can be retained, and the land restored for agricultural purposes.
The policy should be reworded as follows:
Policy DM3: Agricultural Land and Soil Quality
Agricultural land
Proposals for minerals development located on the best and most versatile
agricultural land (grades 1, 2 and 3a) will be supported where it can be demonstrated
that where alternative options are limited to varying grades of best and most
versatile land, the development should be located within the lowest grade where
possible.
Soil quality
Measures will be taken to ensure that soil quality will be adequately protected and
maintained throughout the life of the development and, in particular, during
stripping, storage, management and final placement of soils, subsoils and
overburden arising's as a result of site operations.
Policy DM4: Protection and Enhancement of Biodiversity and Geodiversity
Question 25 - what do you think of the draft policy wording for policy DM4:
protection and enhancement of biodiversity and geodiversity?
Policy DM4 is onerous and not in compliance with the NPPF, particularly in regard to
the approach on local sites. Paragraph 175 of the NPPF advises that 'if significant
harm to biodiversity cannot be avoided...' Paragraph 2 of Policy DM4 should be
amended to reflect the significance of harm to allow a judgement to be made as
opposed to a blanket approach to all impacts. Placing populations of priority species
or areas of priority habitat alongside irreplaceable habitats (criteria d) also does not
distinguish between the value/significance of assets - irreplaceable habitats should
be given greater weight than areas of priority habitat. The distinction needs to be
made to ensure that development has the opportunity to present potential
mitigation or compensation strategies as required by part 2 of the policy.
Policy DM5: Landscape Character
Question 26 - what do you think of the draft policy wording for DM5: landscape
character?
Policy DM5 should reflect the guidance within the NPPF at paragraph 170 to 'protect
and enhance valued landscapes ... (in a manner commensurate with their statutory
status or identified quality in the development plan)'. Paragraph 171 goes further to
state that plans should, 'distinguish between the hierarchy of international, national
and locally designated sites' It appears that the policy is seeking to place a weight on
the impacts upon landscape character comparable to that of nationally designated
landscapes (of which there are none in Nottinghamshire).
The wording of Policy DM5 appears confused. The policy, as worded, implies that
minerals developments will only be supported if they do not result in an adverse
impact on the landscape and that harmful impacts can be adequately mitigated. In
situations where there is no available alternative to the development and the
development outweighs the landscape interest, the policy still requires that harmful
impacts are adequately mitigated.
Policy DM6: Historic Environment
Question 27 - what do you think of the draft policy wording for DM6: historic
environment?
Paragraph 184 of the NPPF recognises that assets should be conserved in a manner
appropriate to their significance. In regard to non-designated assets (part c of policy
DM6), the Policy is not consistent with paragraph 197 of the NPPF. In the event of
applications that directly or directly affect non designated assets, a balanced
judgement is required having regard to the scale of any harm or loss and the
significance of the asset. Paragraph 197 does not require there to be public benefit.
Paragraph 3.51 acknowledges that in regard to heritage and cultural assets, mineral
development provides major opportunities to understand the County's rich
archaeological heritage. Policy DM6 does not currently recognise this and should
refer to the NPPF requirement of assessment proportionate to the assets
importance (paragraph 189).
Policy DM7: Public Access
Question 28 - what do you think of the draft policy wording for DM7: public access
As worded policy DM7 part 1 and 2 are contradictory. It is considered that the policy
should be reworded as follows:
Policy DM7: Public Access
Proposal for mineral development will be supported where it is demonstrated that
development does not give rise to unacceptable impact on existing rights of way and
its users. Where proposals for temporary or permanent diversions are required they
should be of equivalent interest and quality.
Improvements and enhancements to rights of way networks will be supported and
where practicable enhanced public access to restored mineral workings will be
encouraged.
Policy DM12: Restoration, After use and Aftercare
Question 33 - what do you think of the draft policy wording for DM12: restoration,
after use and aftercare
Section 2 should refer to agricultural restoration. The economic long term use of
land should be recognised as should the long term aspirations of landowners.
Section 4 refers to 'satisfactory evidence' which is difficult to quantify. It is suggested
that just evidence regarding to sources of waste being available over an appropriate
timescale would be sufficient.
Policy DM14: irrigation lagoons
Question 35 - what do you think of the draft policy wording for DM14: irrigation
lagoons
The sub text refers to mineral 'usually being taken offsite for processing'. This should
be essential criteria as part of the policy to ensure that mineral extracted cannot
substitute/replace/prejudice extraction of resource permitted or allocated as a
mineral extraction site (as per part d of the policy)
Other Considerations
Monitoring
Given the concern regarding the anticipated demand for sand and gravel over the
Plan period, the Plan needs to set out a very clear strategy on monitoring and review
to ensure that it can respond quickly enough to changes in economic circumstances.
Sustainability Appraisal
General Comments
As we have stated as part of previous consultation responses on other MLP Drafts,
the weighting of each of the Sustainability Appraisal objectives should be explained
and how these will be used to assess the Plan policies and any sites promoted for
allocation. Currently the SA Objectives are heavily weighted to potential
environmental effect. However, economic and social facets of sustainability are
critical elements relating to minerals development - i.e maintaining supply, access
and proximity to market, beneficial restoration objectives, non-sterilisation of known
resource by promoting extensions to existing operations etc. Attention is drawn to
the NPPF and that 'minerals are essential to support sustainable economic growth'.
As well as providing an 'adequate' amount, the SA has failed to take account of the
need to plan for a 'steady and adequate' supply of aggregate (paragraph 207). There
is a requirement for the MPA to recognise that as well as ensuring they have a
sufficient land bank of resource that the Plan maintains aggregate provision across
the whole Plan period - comments above on operational capacity are particularly
pertinent to this.
Site Specifics
As referred to above under the site specific Policy DM2, Tarmac have reviewed the
Sustainability Appraisal for their sites and provided additional evidence where
necessary to support proposed allocations (see appendix 2).
I trust that the above comments are helpful. Should you have any queries or wish to
discuss any of the points raised in more detail, please do not hesitate to contact us.

Attachments: