Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31769
Received: 28/09/2018
Respondent: P Whamby
I object to MP2s because:
SA shows the proposal is one of the most damaging assessed. No data available to support the geographical spread of sites and the exclusion of Shelford and Coddington cannot be justified. The proposal is in the greenbelt and will impact SSSIs, LWS and has Ancient woodland adjacent. Sites with barge transport have not been allocated going against plan policies. There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community.
Proposed sand and gravel quarry site MP2s
I writing to confirm that I wish to object to the above site.
The County Councils own 'Sustainability Assessment' shows that this site is the most damaging of all sites in the operational phase and the 3rd most damaging in the long term.
The Draft Minerals Local Plan is 'unsound' in that the Council has sought to justify the inclusion of the site on the basis of 'maintaining a geographical spread' and therefore over riding the adverse impact of sustainability. However, the council has stated that 'there is no published data related to a geographical spread'.
There have been no projections for sand and gravel demand in the different submarket areas. The County Council's statement that the Shelford or Coddington sites are too big cannot be justified.
The Council has failed to follow its policy aim to 'Prioritise sites with potential for transporting sand and gravel by river barge' by not allocating any sites which use this mode of transport.
The site would impact on two SSSIs (Sites of Special Scientific Interest) - Attenborough Nature Reserve and Holme Pit - which are close to the site, and on five LWS's (Local Wildlife Sites) one of which will be destroyed altogether.
Public Health England, Natural England, RSPB, CPRE, Ramblers Association and Nottinghamshire Wildlife Trust have already objected to a planning application for this site.
The site is in the Green Belt, and Brandshill and Clifton Woods, Adjacent to the site, have been designated as Ancient Woodland which have special protection under the National Planning Policy Framework (NPPF). The Council has failed to justify any 'wholly exceptional reasons' required by the NPPF.
The site is close to heavily populated areas which would be impacted by noise and dust.
There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community for walking, fishing, horse riding, bird watching and other leisure pursuits, including an adverse impact on grazing land and especially to the respiratory health of horses. The loss of a significant area of countryside on the edge of a large city such as Nottingham damages the recreational opportunities that are increasingly important for the health and well-being of city dwellers.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31770
Received: 28/09/2018
Respondent: P Nabi
I object to MP2s because:
SA shows the proposal is one of the most damaging assessed. No data available to support the geographical spread of sites and the exclusion of Shelford and Coddington cannot be justified. The proposal is in the greenbelt and will impact SSSIs, LWS and has Ancient woodland adjacent. Sites with barge transport have not been allocated going against plan policies. There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community.
Proposed sand and gravel quarry site MP2s
I writing to confirm that I wish to object to the above site.
The County Councils own 'Sustainability Assessment' shows that this site is the most damaging of all sites in the operational phase and the 3rd most damaging in the long term.
The Draft Minerals Local Plan is 'unsound' in that the Council has sought to justify the inclusion of the site on the basis of 'maintaining a geographical spread' and therefore over riding the adverse impact of sustainability. However, the council has stated that 'there is no published data related to a geographical spread'.
There have been no projections for sand and gravel demand in the different submarket areas. The County Council's statement that the Shelford or Coddington sites are too big cannot be justified.
The Council has failed to follow its policy aim to 'Prioritise sites with potential for transporting sand and gravel by river barge' by not allocating any sites which use this mode of transport.
The site would impact on two SSSIs (Sites of Special Scientific Interest) - Attenborough Nature Reserve and Holme Pit - which are close to the site, and on five LWS's (Local Wildlife Sites) one of which will be destroyed altogether.
Public Health England, Natural England, RSPB, CPRE, Ramblers Association and Nottinghamshire Wildlife Trust have already objected to a planning application for this site.
The site is in the Green Belt, and Brandshill and Clifton Woods, Adjacent to the site, have been designated as Ancient Woodland which have special protection under the National Planning Policy Framework (NPPF). The Council has failed to justify any 'wholly exceptional reasons' required by the NPPF.
The site is close to heavily populated areas which would be impacted by noise and dust.
There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community for walking, fishing, horse riding, bird watching and other leisure pursuits, including an adverse impact on grazing land and especially to the respiratory health of horses. The loss of a significant area of countryside on the edge of a large city such as Nottingham damages the recreational opportunities that are increasingly important for the health and well-being of city dwellers.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31771
Received: 28/09/2018
Respondent: P Shaw
I object to MP2s because:
SA shows the proposal is one of the most damaging assessed. No data available to support the geographical spread of sites and the exclusion of Shelford and Coddington cannot be justified. The proposal is in the greenbelt and will impact SSSIs, LWS and has Ancient woodland adjacent. Sites with barge transport have not been allocated going against plan policies. There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community.
Proposed sand and gravel quarry site MP2s
I writing to confirm that I wish to object to the above site.
The County Councils own 'Sustainability Assessment' shows that this site is the most damaging of all sites in the operational phase and the 3rd most damaging in the long term.
The Draft Minerals Local Plan is 'unsound' in that the Council has sought to justify the inclusion of the site on the basis of 'maintaining a geographical spread' and therefore over riding the adverse impact of sustainability. However, the council has stated that 'there is no published data related to a geographical spread'.
There have been no projections for sand and gravel demand in the different submarket areas. The County Council's statement that the Shelford or Coddington sites are too big cannot be justified.
The Council has failed to follow its policy aim to 'Prioritise sites with potential for transporting sand and gravel by river barge' by not allocating any sites which use this mode of transport.
The site would impact on two SSSIs (Sites of Special Scientific Interest) - Attenborough Nature Reserve and Holme Pit - which are close to the site, and on five LWS's (Local Wildlife Sites) one of which will be destroyed altogether.
Public Health England, Natural England, RSPB, CPRE, Ramblers Association and Nottinghamshire Wildlife Trust have already objected to a planning application for this site.
The site is in the Green Belt, and Brandshill and Clifton Woods, Adjacent to the site, have been designated as Ancient Woodland which have special protection under the National Planning Policy Framework (NPPF). The Council has failed to justify any 'wholly exceptional reasons' required by the NPPF.
The site is close to heavily populated areas which would be impacted by noise and dust.
There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community for walking, fishing, horse riding, bird watching and other leisure pursuits, including an adverse impact on grazing land and especially to the respiratory health of horses. The loss of a significant area of countryside on the edge of a large city such as Nottingham damages the recreational opportunities that are increasingly important for the health and well-being of city dwellers.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31772
Received: 28/09/2018
Respondent: P Patel
I object to MP2s because:
SA shows the proposal is one of the most damaging assessed. No data available to support the geographical spread of sites and the exclusion of Shelford and Coddington cannot be justified. The proposal is in the greenbelt and will impact SSSIs, LWS and has Ancient woodland adjacent. Sites with barge transport have not been allocated going against plan policies. There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community.
Proposed sand and gravel quarry site MP2s
I writing to confirm that I wish to object to the above site.
The County Councils own 'Sustainability Assessment' shows that this site is the most damaging of all sites in the operational phase and the 3rd most damaging in the long term.
The Draft Minerals Local Plan is 'unsound' in that the Council has sought to justify the inclusion of the site on the basis of 'maintaining a geographical spread' and therefore over riding the adverse impact of sustainability. However, the council has stated that 'there is no published data related to a geographical spread'.
There have been no projections for sand and gravel demand in the different submarket areas. The County Council's statement that the Shelford or Coddington sites are too big cannot be justified.
The Council has failed to follow its policy aim to 'Prioritise sites with potential for transporting sand and gravel by river barge' by not allocating any sites which use this mode of transport.
The site would impact on two SSSIs (Sites of Special Scientific Interest) - Attenborough Nature Reserve and Holme Pit - which are close to the site, and on five LWS's (Local Wildlife Sites) one of which will be destroyed altogether.
Public Health England, Natural England, RSPB, CPRE, Ramblers Association and Nottinghamshire Wildlife Trust have already objected to a planning application for this site.
The site is in the Green Belt, and Brandshill and Clifton Woods, Adjacent to the site, have been designated as Ancient Woodland which have special protection under the National Planning Policy Framework (NPPF). The Council has failed to justify any 'wholly exceptional reasons' required by the NPPF.
The site is close to heavily populated areas which would be impacted by noise and dust.
There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community for walking, fishing, horse riding, bird watching and other leisure pursuits, including an adverse impact on grazing land and especially to the respiratory health of horses. The loss of a significant area of countryside on the edge of a large city such as Nottingham damages the recreational opportunities that are increasingly important for the health and well-being of city dwellers.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31773
Received: 28/09/2018
Respondent: P Mason
I object to MP2s because:
SA shows the proposal is one of the most damaging assessed. No data available to support the geographical spread of sites and the exclusion of Shelford and Coddington cannot be justified. The proposal is in the greenbelt and will impact SSSIs, LWS and has Ancient woodland adjacent. Sites with barge transport have not been allocated going against plan policies. There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community.
Proposed sand and gravel quarry site MP2s
I writing to confirm that I wish to object to the above site.
The County Councils own 'Sustainability Assessment' shows that this site is the most damaging of all sites in the operational phase and the 3rd most damaging in the long term.
The Draft Minerals Local Plan is 'unsound' in that the Council has sought to justify the inclusion of the site on the basis of 'maintaining a geographical spread' and therefore over riding the adverse impact of sustainability. However, the council has stated that 'there is no published data related to a geographical spread'.
There have been no projections for sand and gravel demand in the different submarket areas. The County Council's statement that the Shelford or Coddington sites are too big cannot be justified.
The Council has failed to follow its policy aim to 'Prioritise sites with potential for transporting sand and gravel by river barge' by not allocating any sites which use this mode of transport.
The site would impact on two SSSIs (Sites of Special Scientific Interest) - Attenborough Nature Reserve and Holme Pit - which are close to the site, and on five LWS's (Local Wildlife Sites) one of which will be destroyed altogether.
Public Health England, Natural England, RSPB, CPRE, Ramblers Association and Nottinghamshire Wildlife Trust have already objected to a planning application for this site.
The site is in the Green Belt, and Brandshill and Clifton Woods, Adjacent to the site, have been designated as Ancient Woodland which have special protection under the National Planning Policy Framework (NPPF). The Council has failed to justify any 'wholly exceptional reasons' required by the NPPF.
The site is close to heavily populated areas which would be impacted by noise and dust.
There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community for walking, fishing, horse riding, bird watching and other leisure pursuits, including an adverse impact on grazing land and especially to the respiratory health of horses. The loss of a significant area of countryside on the edge of a large city such as Nottingham damages the recreational opportunities that are increasingly important for the health and well-being of city dwellers.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31775
Received: 28/09/2018
Respondent: P Disney
I object to MP2s because:
SA shows the proposal is one of the most damaging assessed. No data available to support the geographical spread of sites and the exclusion of Shelford and Coddington cannot be justified. The proposal is in the greenbelt and will impact SSSIs, LWS and has Ancient woodland adjacent. Sites with barge transport have not been allocated going against plan policies. There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community.
Proposed sand and gravel quarry site MP2s
I writing to confirm that I wish to object to the above site.
The County Councils own 'Sustainability Assessment' shows that this site is the most damaging of all sites in the operational phase and the 3rd most damaging in the long term.
The Draft Minerals Local Plan is 'unsound' in that the Council has sought to justify the inclusion of the site on the basis of 'maintaining a geographical spread' and therefore over riding the adverse impact of sustainability. However, the council has stated that 'there is no published data related to a geographical spread'.
There have been no projections for sand and gravel demand in the different submarket areas. The County Council's statement that the Shelford or Coddington sites are too big cannot be justified.
The Council has failed to follow its policy aim to 'Prioritise sites with potential for transporting sand and gravel by river barge' by not allocating any sites which use this mode of transport.
The site would impact on two SSSIs (Sites of Special Scientific Interest) - Attenborough Nature Reserve and Holme Pit - which are close to the site, and on five LWS's (Local Wildlife Sites) one of which will be destroyed altogether.
Public Health England, Natural England, RSPB, CPRE, Ramblers Association and Nottinghamshire Wildlife Trust have already objected to a planning application for this site.
The site is in the Green Belt, and Brandshill and Clifton Woods, Adjacent to the site, have been designated as Ancient Woodland which have special protection under the National Planning Policy Framework (NPPF). The Council has failed to justify any 'wholly exceptional reasons' required by the NPPF.
The site is close to heavily populated areas which would be impacted by noise and dust.
There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community for walking, fishing, horse riding, bird watching and other leisure pursuits, including an adverse impact on grazing land and especially to the respiratory health of horses. The loss of a significant area of countryside on the edge of a large city such as Nottingham damages the recreational opportunities that are increasingly important for the health and well-being of city dwellers.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31776
Received: 28/09/2018
Respondent: P Brockless
I object to MP2s because:
SA shows the proposal is one of the most damaging assessed. No data available to support the geographical spread of sites and the exclusion of Shelford and Coddington cannot be justified. The proposal is in the greenbelt and will impact SSSIs, LWS and has Ancient woodland adjacent. Sites with barge transport have not been allocated going against plan policies. There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community.
Proposed sand and gravel quarry site MP2s
I writing to confirm that I wish to object to the above site.
The County Councils own 'Sustainability Assessment' shows that this site is the most damaging of all sites in the operational phase and the 3rd most damaging in the long term.
The Draft Minerals Local Plan is 'unsound' in that the Council has sought to justify the inclusion of the site on the basis of 'maintaining a geographical spread' and therefore over riding the adverse impact of sustainability. However, the council has stated that 'there is no published data related to a geographical spread'.
There have been no projections for sand and gravel demand in the different submarket areas. The County Council's statement that the Shelford or Coddington sites are too big cannot be justified.
The Council has failed to follow its policy aim to 'Prioritise sites with potential for transporting sand and gravel by river barge' by not allocating any sites which use this mode of transport.
The site would impact on two SSSIs (Sites of Special Scientific Interest) - Attenborough Nature Reserve and Holme Pit - which are close to the site, and on five LWS's (Local Wildlife Sites) one of which will be destroyed altogether.
Public Health England, Natural England, RSPB, CPRE, Ramblers Association and Nottinghamshire Wildlife Trust have already objected to a planning application for this site.
The site is in the Green Belt, and Brandshill and Clifton Woods, Adjacent to the site, have been designated as Ancient Woodland which have special protection under the National Planning Policy Framework (NPPF). The Council has failed to justify any 'wholly exceptional reasons' required by the NPPF.
The site is close to heavily populated areas which would be impacted by noise and dust.
There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community for walking, fishing, horse riding, bird watching and other leisure pursuits, including an adverse impact on grazing land and especially to the respiratory health of horses. The loss of a significant area of countryside on the edge of a large city such as Nottingham damages the recreational opportunities that are increasingly important for the health and well-being of city dwellers.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31777
Received: 28/09/2018
Respondent: Dr Paul R Bowden
I object to MP2s because:
SA shows the proposal is one of the most damaging assessed. No data available to support the geographical spread of sites and the exclusion of Shelford and Coddington cannot be justified. The proposal is in the greenbelt and will impact SSSIs, LWS and has Ancient woodland adjacent. Sites with barge transport have not been allocated going against plan policies. There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community.
Proposed sand and gravel quarry site MP2s
I writing to confirm that I wish to object to the above site.
The County Councils own 'Sustainability Assessment' shows that this site is the most damaging of all sites in the operational phase and the 3rd most damaging in the long term.
The Draft Minerals Local Plan is 'unsound' in that the Council has sought to justify the inclusion of the site on the basis of 'maintaining a geographical spread' and therefore over riding the adverse impact of sustainability. However, the council has stated that 'there is no published data related to a geographical spread'.
There have been no projections for sand and gravel demand in the different submarket areas. The County Council's statement that the Shelford or Coddington sites are too big cannot be justified.
The Council has failed to follow its policy aim to 'Prioritise sites with potential for transporting sand and gravel by river barge' by not allocating any sites which use this mode of transport.
The site would impact on two SSSIs (Sites of Special Scientific Interest) - Attenborough Nature Reserve and Holme Pit - which are close to the site, and on five LWS's (Local Wildlife Sites) one of which will be destroyed altogether.
Public Health England, Natural England, RSPB, CPRE, Ramblers Association and Nottinghamshire Wildlife Trust have already objected to a planning application for this site.
The site is in the Green Belt, and Brandshill and Clifton Woods, Adjacent to the site, have been designated as Ancient Woodland which have special protection under the National Planning Policy Framework (NPPF). The Council has failed to justify any 'wholly exceptional reasons' required by the NPPF.
The site is close to heavily populated areas which would be impacted by noise and dust.
There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community for walking, fishing, horse riding, bird watching and other leisure pursuits, including an adverse impact on grazing land and especially to the respiratory health of horses. The loss of a significant area of countryside on the edge of a large city such as Nottingham damages the recreational opportunities that are increasingly important for the health and well-being of city dwellers.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31778
Received: 28/09/2018
Respondent: P Askew
I object to MP2s because:
SA shows the proposal is one of the most damaging assessed. No data available to support the geographical spread of sites and the exclusion of Shelford and Coddington cannot be justified. The proposal is in the greenbelt and will impact SSSIs, LWS and has Ancient woodland adjacent. Sites with barge transport have not been allocated going against plan policies. There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community.
Proposed sand and gravel quarry site MP2s
I writing to confirm that I wish to object to the above site.
The County Councils own 'Sustainability Assessment' shows that this site is the most damaging of all sites in the operational phase and the 3rd most damaging in the long term.
The Draft Minerals Local Plan is 'unsound' in that the Council has sought to justify the inclusion of the site on the basis of 'maintaining a geographical spread' and therefore over riding the adverse impact of sustainability. However, the council has stated that 'there is no published data related to a geographical spread'.
There have been no projections for sand and gravel demand in the different submarket areas. The County Council's statement that the Shelford or Coddington sites are too big cannot be justified.
The Council has failed to follow its policy aim to 'Prioritise sites with potential for transporting sand and gravel by river barge' by not allocating any sites which use this mode of transport.
The site would impact on two SSSIs (Sites of Special Scientific Interest) - Attenborough Nature Reserve and Holme Pit - which are close to the site, and on five LWS's (Local Wildlife Sites) one of which will be destroyed altogether.
Public Health England, Natural England, RSPB, CPRE, Ramblers Association and Nottinghamshire Wildlife Trust have already objected to a planning application for this site.
The site is in the Green Belt, and Brandshill and Clifton Woods, Adjacent to the site, have been designated as Ancient Woodland which have special protection under the National Planning Policy Framework (NPPF). The Council has failed to justify any 'wholly exceptional reasons' required by the NPPF.
The site is close to heavily populated areas which would be impacted by noise and dust.
There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community for walking, fishing, horse riding, bird watching and other leisure pursuits, including an adverse impact on grazing land and especially to the respiratory health of horses. The loss of a significant area of countryside on the edge of a large city such as Nottingham damages the recreational opportunities that are increasingly important for the health and well-being of city dwellers.
I am a dog walker in this area. I respect the wildlife therefore I strongly agree with the plan.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31779
Received: 28/09/2018
Respondent: Peter Boddy
I object to MP2s because:
SA shows the proposal is one of the most damaging assessed. No data available to support the geographical spread of sites and the exclusion of Shelford and Coddington cannot be justified. The proposal is in the greenbelt and will impact SSSIs, LWS and has Ancient woodland adjacent. Sites with barge transport have not been allocated going against plan policies. There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community.
Proposed sand and gravel quarry site MP2s
I writing to confirm that I wish to object to the above site.
The County Councils own 'Sustainability Assessment' shows that this site is the most damaging of all sites in the operational phase and the 3rd most damaging in the long term.
The Draft Minerals Local Plan is 'unsound' in that the Council has sought to justify the inclusion of the site on the basis of 'maintaining a geographical spread' and therefore over riding the adverse impact of sustainability. However, the council has stated that 'there is no published data related to a geographical spread'.
There have been no projections for sand and gravel demand in the different submarket areas. The County Council's statement that the Shelford or Coddington sites are too big cannot be justified.
The Council has failed to follow its policy aim to 'Prioritise sites with potential for transporting sand and gravel by river barge' by not allocating any sites which use this mode of transport.
The site would impact on two SSSIs (Sites of Special Scientific Interest) - Attenborough Nature Reserve and Holme Pit - which are close to the site, and on five LWS's (Local Wildlife Sites) one of which will be destroyed altogether.
Public Health England, Natural England, RSPB, CPRE, Ramblers Association and Nottinghamshire Wildlife Trust have already objected to a planning application for this site.
The site is in the Green Belt, and Brandshill and Clifton Woods, Adjacent to the site, have been designated as Ancient Woodland which have special protection under the National Planning Policy Framework (NPPF). The Council has failed to justify any 'wholly exceptional reasons' required by the NPPF.
The site is close to heavily populated areas which would be impacted by noise and dust.
There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community for walking, fishing, horse riding, bird watching and other leisure pursuits, including an adverse impact on grazing land and especially to the respiratory health of horses. The loss of a significant area of countryside on the edge of a large city such as Nottingham damages the recreational opportunities that are increasingly important for the health and well-being of city dwellers.
I use this area to cycle and run on. I do not want the quarry to ruin this lovely area as it gets used daily by people and should not be quarried.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31780
Received: 28/09/2018
Respondent: Peter Deaton
I object to MP2s Mill Hill nr Barton in Fabis.
I have a chronic respiratory condition and lung disease. I live at Lark Hill Village, only a few hundred meters from the processing plant on Mill Hill.
During the past few years my breathing, and consequently my general health, has suffered greatly from the dust created by the widening of the A453 Remembrance Way road and the building of the clifton south tram terminus.
I am 87 years old and the thought of being subjected to even more dust for the rest of my life is devastating news.
I am writing to confirm that I wish to object to MP2s Mill Hill nr Barton in Fabis.
I have a chronic respiratory condition, which includes Bronchiectesis and Pulmonary Fibrosis lung disease. My bungalow is situated within the Lark Hill Retirement Village, and is only a few hundred meters from the proposed large processing plant at the top of Mill Hill.
During the past few years my breathing, and consequently my general health, has suffered greatly from the dust created by the widening of the A453 Remembrance Way road and the building of the clifton south tram terminus.
I have been advised by the doctors that my condition will never recover from the damage, which has affected 60% of my lungs, and that I should make every effort to try and avoid any further respiratory deterioration.
I am 87 years old and the thought of being subjected to even more dust for the rest of my life is devastating news.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31781
Received: 28/09/2018
Respondent: Paul Hunnisett
I object to MP2s because:
SA shows the proposal is one of the most damaging assessed. No data available to support the geographical spread of sites and the exclusion of Shelford and Coddington cannot be justified. The proposal is in the greenbelt and will impact SSSIs, LWS and has Ancient woodland adjacent. Sites with barge transport have not been allocated going against plan policies. There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community.
Proposed sand and gravel quarry site MP2s
I writing to confirm that I wish to object to the above site.
The County Councils own 'Sustainability Assessment' shows that this site is the most damaging of all sites in the operational phase and the 3rd most damaging in the long term.
The Draft Minerals Local Plan is 'unsound' in that the Council has sought to justify the inclusion of the site on the basis of 'maintaining a geographical spread' and therefore over riding the adverse impact of sustainability. However, the council has stated that 'there is no published data related to a geographical spread'.
There have been no projections for sand and gravel demand in the different submarket areas. The County Council's statement that the Shelford or Coddington sites are too big cannot be justified.
The Council has failed to follow its policy aim to 'Prioritise sites with potential for transporting sand and gravel by river barge' by not allocating any sites which use this mode of transport.
The site would impact on two SSSIs (Sites of Special Scientific Interest) - Attenborough Nature Reserve and Holme Pit - which are close to the site, and on five LWS's (Local Wildlife Sites) one of which will be destroyed altogether.
Public Health England, Natural England, RSPB, CPRE, Ramblers Association and Nottinghamshire Wildlife Trust have already objected to a planning application for this site.
The site is in the Green Belt, and Brandshill and Clifton Woods, Adjacent to the site, have been designated as Ancient Woodland which have special protection under the National Planning Policy Framework (NPPF). The Council has failed to justify any 'wholly exceptional reasons' required by the NPPF.
The site is close to heavily populated areas which would be impacted by noise and dust.
There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community for walking, fishing, horse riding, bird watching and other leisure pursuits, including an adverse impact on grazing land and especially to the respiratory health of horses. The loss of a significant area of countryside on the edge of a large city such as Nottingham damages the recreational opportunities that are increasingly important for the health and well-being of city dwellers.
The plan generates 114 lorry movements a day on the section of Green Street adjoining Mill Hill. This was approved in the A453 dualling plans as being part of a route for non-motorised users, but this number of lorry movements is not compatible with safe cycling, walking or horse riding. Also, enetering and leaving the roundabout at Mill Hill is already hazardous for all road users due to traffic from the A453 not slowing down and this number of lorry movements would make this junction even more hazardous.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31782
Received: 28/09/2018
Respondent: Norman Harding
I object to MP2s because:
SA shows the proposal is one of the most damaging assessed. No data available to support the geographical spread of sites and the exclusion of Shelford and Coddington cannot be justified. The proposal is in the greenbelt and will impact SSSIs, LWS and has Ancient woodland adjacent. Sites with barge transport have not been allocated going against plan policies. There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community.
Proposed sand and gravel quarry site MP2s
I writing to confirm that I wish to object to the above site.
The County Councils own 'Sustainability Assessment' shows that this site is the most damaging of all sites in the operational phase and the 3rd most damaging in the long term.
The Draft Minerals Local Plan is 'unsound' in that the Council has sought to justify the inclusion of the site on the basis of 'maintaining a geographical spread' and therefore over riding the adverse impact of sustainability. However, the council has stated that 'there is no published data related to a geographical spread'.
There have been no projections for sand and gravel demand in the different submarket areas. The County Council's statement that the Shelford or Coddington sites are too big cannot be justified.
The Council has failed to follow its policy aim to 'Prioritise sites with potential for transporting sand and gravel by river barge' by not allocating any sites which use this mode of transport.
The site would impact on two SSSIs (Sites of Special Scientific Interest) - Attenborough Nature Reserve and Holme Pit - which are close to the site, and on five LWS's (Local Wildlife Sites) one of which will be destroyed altogether.
Public Health England, Natural England, RSPB, CPRE, Ramblers Association and Nottinghamshire Wildlife Trust have already objected to a planning application for this site.
The site is in the Green Belt, and Brandshill and Clifton Woods, Adjacent to the site, have been designated as Ancient Woodland which have special protection under the National Planning Policy Framework (NPPF). The Council has failed to justify any 'wholly exceptional reasons' required by the NPPF.
The site is close to heavily populated areas which would be impacted by noise and dust.
There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community for walking, fishing, horse riding, bird watching and other leisure pursuits, including an adverse impact on grazing land and especially to the respiratory health of horses. The loss of a significant area of countryside on the edge of a large city such as Nottingham damages the recreational opportunities that are increasingly important for the health and well-being of city dwellers.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31783
Received: 28/09/2018
Respondent: Ninda Sandean
I object to MP2s because:
SA shows the proposal is one of the most damaging assessed. No data available to support the geographical spread of sites and the exclusion of Shelford and Coddington cannot be justified. The proposal is in the greenbelt and will impact SSSIs, LWS and has Ancient woodland adjacent. Sites with barge transport have not been allocated going against plan policies. There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community.
Proposed sand and gravel quarry site MP2s
I writing to confirm that I wish to object to the above site.
The County Councils own 'Sustainability Assessment' shows that this site is the most damaging of all sites in the operational phase and the 3rd most damaging in the long term.
The Draft Minerals Local Plan is 'unsound' in that the Council has sought to justify the inclusion of the site on the basis of 'maintaining a geographical spread' and therefore over riding the adverse impact of sustainability. However, the council has stated that 'there is no published data related to a geographical spread'.
There have been no projections for sand and gravel demand in the different submarket areas. The County Council's statement that the Shelford or Coddington sites are too big cannot be justified.
The Council has failed to follow its policy aim to 'Prioritise sites with potential for transporting sand and gravel by river barge' by not allocating any sites which use this mode of transport.
The site would impact on two SSSIs (Sites of Special Scientific Interest) - Attenborough Nature Reserve and Holme Pit - which are close to the site, and on five LWS's (Local Wildlife Sites) one of which will be destroyed altogether.
Public Health England, Natural England, RSPB, CPRE, Ramblers Association and Nottinghamshire Wildlife Trust have already objected to a planning application for this site.
The site is in the Green Belt, and Brandshill and Clifton Woods, Adjacent to the site, have been designated as Ancient Woodland which have special protection under the National Planning Policy Framework (NPPF). The Council has failed to justify any 'wholly exceptional reasons' required by the NPPF.
The site is close to heavily populated areas which would be impacted by noise and dust.
There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community for walking, fishing, horse riding, bird watching and other leisure pursuits, including an adverse impact on grazing land and especially to the respiratory health of horses. The loss of a significant area of countryside on the edge of a large city such as Nottingham damages the recreational opportunities that are increasingly important for the health and well-being of city dwellers.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31784
Received: 28/09/2018
Respondent: Nikki Gittings
I object to MP2s because:
SA shows the proposal is one of the most damaging assessed. No data available to support the geographical spread of sites and the exclusion of Shelford and Coddington cannot be justified. The proposal is in the greenbelt and will impact SSSIs, LWS and has Ancient woodland adjacent. Sites with barge transport have not been allocated going against plan policies. There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community.
Proposed sand and gravel quarry site MP2s
I writing to confirm that I wish to object to the above site.
The County Councils own 'Sustainability Assessment' shows that this site is the most damaging of all sites in the operational phase and the 3rd most damaging in the long term.
The Draft Minerals Local Plan is 'unsound' in that the Council has sought to justify the inclusion of the site on the basis of 'maintaining a geographical spread' and therefore over riding the adverse impact of sustainability. However, the council has stated that 'there is no published data related to a geographical spread'.
There have been no projections for sand and gravel demand in the different submarket areas. The County Council's statement that the Shelford or Coddington sites are too big cannot be justified.
The Council has failed to follow its policy aim to 'Prioritise sites with potential for transporting sand and gravel by river barge' by not allocating any sites which use this mode of transport.
The site would impact on two SSSIs (Sites of Special Scientific Interest) - Attenborough Nature Reserve and Holme Pit - which are close to the site, and on five LWS's (Local Wildlife Sites) one of which will be destroyed altogether.
Public Health England, Natural England, RSPB, CPRE, Ramblers Association and Nottinghamshire Wildlife Trust have already objected to a planning application for this site.
The site is in the Green Belt, and Brandshill and Clifton Woods, Adjacent to the site, have been designated as Ancient Woodland which have special protection under the National Planning Policy Framework (NPPF). The Council has failed to justify any 'wholly exceptional reasons' required by the NPPF.
The site is close to heavily populated areas which would be impacted by noise and dust.
There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community for walking, fishing, horse riding, bird watching and other leisure pursuits, including an adverse impact on grazing land and especially to the respiratory health of horses. The loss of a significant area of countryside on the edge of a large city such as Nottingham damages the recreational opportunities that are increasingly important for the health and well-being of city dwellers.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31785
Received: 28/09/2018
Respondent: Christine Preston
Objection to site MP2s because:
This site is the most damaging in operation phase as assessed by the SA, the plan is unsound as there is no evidence for geographic spread. There has been no consideration of projections for submarkets, with stating Shelford and Coddington are too big not justifiable. The council hasn't followed its own policy to prioritize barge transportation. Will impact on important conservation areas and ancient woodland nearby. Will impact quality of life and visual amenity of people, with loss of space for leisure activities that is important for the health and well being of residents.
Dear Sir / Madam,
Reference: Sand and Gravel Provision Site 'MP2s Mill Hill nr Barton in Fabis'
I am writing to confirm that I wish to OBJECT to the above site.
The County Council's own 'Sustainability Assessment' shows that this site has the most damaging impact of all sites in the operational phase and is the third most damaging in the long term.
The Draft Minerals Local Plan is 'unsound' in that the Council has sought to justify the inclusion of the site on the spurious basis of "maintaining a geographical spread". Despite the Council stating that "there is no published data related to geographical spread", it seeks to down play the adverse impact on sustainability.
There have been no projections for sand and gravel demand in the different submarket areas. The County Council's statement that the Shelford or Coddington sites are "too big" is subjective and is not based on a quantifiable scale.
The Council has not allocated any sites which can follow its policy aim to "Prioritise sites with potential for transporting sand and gravel by river barge".
The site would impact on two Sites of Special Scientific Interest (SSSI's) -Attenborough Nature Reserve and Holme Pit. These are close to the site.
It will destroy one LWS (Local Wildlife Site) and harm four others.
Natural England, RSPB, CPRE, Ramblers Association and Nottinghamshire Wildlife Trust have already objected to a planning application for this site.
Brandshill and Clifton Woods, adjacent to the site, are designated as Ancient Woodland and have special protection under the National Planning Policy Framework (NPPF). The Council has failed to justify any "wholly exceptional reasons" required by the NPPF before planning can be granted. Furthermore the site is in the Green belt.
There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community for walking, fishing, horse riding, bird watching and other leisure pursuits. The loss of a significant area of
countryside on the edge of a large city such as Nottingham damages the recreational opportunities that are increasingly important for the health and well-being of city dwellers.
Yours sincerely,
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31786
Received: 28/09/2018
Respondent: Nicola Pearson
I object to MP2s because:
SA shows the proposal is one of the most damaging assessed. No data available to support the geographical spread of sites and the exclusion of Shelford and Coddington cannot be justified. The proposal is in the greenbelt and will impact SSSIs, LWS and has Ancient woodland adjacent. Sites with barge transport have not been allocated going against plan policies. There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community.
Proposed sand and gravel quarry site MP2s
I writing to confirm that I wish to object to the above site.
The County Councils own 'Sustainability Assessment' shows that this site is the most damaging of all sites in the operational phase and the 3rd most damaging in the long term.
The Draft Minerals Local Plan is 'unsound' in that the Council has sought to justify the inclusion of the site on the basis of 'maintaining a geographical spread' and therefore over riding the adverse impact of sustainability. However, the council has stated that 'there is no published data related to a geographical spread'.
There have been no projections for sand and gravel demand in the different submarket areas. The County Council's statement that the Shelford or Coddington sites are too big cannot be justified.
The Council has failed to follow its policy aim to 'Prioritise sites with potential for transporting sand and gravel by river barge' by not allocating any sites which use this mode of transport.
The site would impact on two SSSIs (Sites of Special Scientific Interest) - Attenborough Nature Reserve and Holme Pit - which are close to the site, and on five LWS's (Local Wildlife Sites) one of which will be destroyed altogether.
Public Health England, Natural England, RSPB, CPRE, Ramblers Association and Nottinghamshire Wildlife Trust have already objected to a planning application for this site.
The site is in the Green Belt, and Brandshill and Clifton Woods, Adjacent to the site, have been designated as Ancient Woodland which have special protection under the National Planning Policy Framework (NPPF). The Council has failed to justify any 'wholly exceptional reasons' required by the NPPF.
The site is close to heavily populated areas which would be impacted by noise and dust.
There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community for walking, fishing, horse riding, bird watching and other leisure pursuits, including an adverse impact on grazing land and especially to the respiratory health of horses. The loss of a significant area of countryside on the edge of a large city such as Nottingham damages the recreational opportunities that are increasingly important for the health and well-being of city dwellers.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31787
Received: 28/09/2018
Respondent: Nicky Spencer
I object to MP2s because:
SA shows the proposal is one of the most damaging assessed. No data available to support the geographical spread of sites and the exclusion of Shelford and Coddington cannot be justified. The proposal is in the greenbelt and will impact SSSIs, LWS and has Ancient woodland adjacent. Sites with barge transport have not been allocated going against plan policies. There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community.
Proposed sand and gravel quarry site MP2s
I writing to confirm that I wish to object to the above site.
The County Councils own 'Sustainability Assessment' shows that this site is the most damaging of all sites in the operational phase and the 3rd most damaging in the long term.
The Draft Minerals Local Plan is 'unsound' in that the Council has sought to justify the inclusion of the site on the basis of 'maintaining a geographical spread' and therefore over riding the adverse impact of sustainability. However, the council has stated that 'there is no published data related to a geographical spread'.
There have been no projections for sand and gravel demand in the different submarket areas. The County Council's statement that the Shelford or Coddington sites are too big cannot be justified.
The Council has failed to follow its policy aim to 'Prioritise sites with potential for transporting sand and gravel by river barge' by not allocating any sites which use this mode of transport.
The site would impact on two SSSIs (Sites of Special Scientific Interest) - Attenborough Nature Reserve and Holme Pit - which are close to the site, and on five LWS's (Local Wildlife Sites) one of which will be destroyed altogether.
Public Health England, Natural England, RSPB, CPRE, Ramblers Association and Nottinghamshire Wildlife Trust have already objected to a planning application for this site.
The site is in the Green Belt, and Brandshill and Clifton Woods, Adjacent to the site, have been designated as Ancient Woodland which have special protection under the National Planning Policy Framework (NPPF). The Council has failed to justify any 'wholly exceptional reasons' required by the NPPF.
The site is close to heavily populated areas which would be impacted by noise and dust.
There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community for walking, fishing, horse riding, bird watching and other leisure pursuits, including an adverse impact on grazing land and especially to the respiratory health of horses. The loss of a significant area of countryside on the edge of a large city such as Nottingham damages the recreational opportunities that are increasingly important for the health and well-being of city dwellers.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31788
Received: 28/09/2018
Respondent: Nicki Harrison
I object to MP2s because:
SA shows the proposal is one of the most damaging assessed. No data available to support the geographical spread of sites and the exclusion of Shelford and Coddington cannot be justified. The proposal is in the greenbelt and will impact SSSIs, LWS and has Ancient woodland adjacent. Sites with barge transport have not been allocated going against plan policies. There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community.
Proposed sand and gravel quarry site MP2s
I writing to confirm that I wish to object to the above site.
The County Councils own 'Sustainability Assessment' shows that this site is the most damaging of all sites in the operational phase and the 3rd most damaging in the long term.
The Draft Minerals Local Plan is 'unsound' in that the Council has sought to justify the inclusion of the site on the basis of 'maintaining a geographical spread' and therefore over riding the adverse impact of sustainability. However, the council has stated that 'there is no published data related to a geographical spread'.
There have been no projections for sand and gravel demand in the different submarket areas. The County Council's statement that the Shelford or Coddington sites are too big cannot be justified.
The Council has failed to follow its policy aim to 'Prioritise sites with potential for transporting sand and gravel by river barge' by not allocating any sites which use this mode of transport.
The site would impact on two SSSIs (Sites of Special Scientific Interest) - Attenborough Nature Reserve and Holme Pit - which are close to the site, and on five LWS's (Local Wildlife Sites) one of which will be destroyed altogether.
Public Health England, Natural England, RSPB, CPRE, Ramblers Association and Nottinghamshire Wildlife Trust have already objected to a planning application for this site.
The site is in the Green Belt, and Brandshill and Clifton Woods, Adjacent to the site, have been designated as Ancient Woodland which have special protection under the National Planning Policy Framework (NPPF). The Council has failed to justify any 'wholly exceptional reasons' required by the NPPF.
The site is close to heavily populated areas which would be impacted by noise and dust.
There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community for walking, fishing, horse riding, bird watching and other leisure pursuits, including an adverse impact on grazing land and especially to the respiratory health of horses. The loss of a significant area of countryside on the edge of a large city such as Nottingham damages the recreational opportunities that are increasingly important for the health and well-being of city dwellers.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31789
Received: 25/09/2018
Respondent: Clair Williams
Objection to the Site MP2s because it will cause devastating environmental impacts, there is no evidence of positive impacts from other quarry sites and a further studies of the impact should be made available for a more objective view.
Will lose space for recreational activities and the pathway that is used by people to commute. Barton has suffered from multiple projects and this cumulative impact has not been considered, including the cumulative impact on traffic on the A453. The site will impact on areas of important nature conservation. The plan is unsound as it has no evidence for geographic spread.
Re: Objection to Policy MP2 Sand & Gravel Provision and inclusion of Site 'MP2's Mill HillNear Barton in Fabis
To whom it may concern:
Please accept this letter as an OBJECTION to the above application / development due to
the devastating environmental impact this proposal will impose.
Additional points (all of equal importance) supporting the objection are also noted as
follows:
1. When attending the public exhibition / consultation the council representatives
verbally advised positive impacts of other quarry sites. No supporting evidence was
presented to support these claims.
Whilst understanding further studies specific to the environmental impact (i.e.
Noise, Polution, Traffic Assessment etc) would be conducted if the Mill Hill site is to
be shortlisted/selected and also noting each site it 'site specific' - existing quarry site
studies, evidence and local resident reviews should be made available to allow an
objective view to be taken.
No supporting evidence at the exhibition renders these verbal claims
unsubstantiated, devious and MISLEADING.
2. The quality of residential life and visual amenity would be heavily impacted by this
development along with the loss of peace and tranquillity of an area used
extensively by the wider community for rural outdoor activities. The loss of
recreational opportunities to a significant area of countryside accessible to
Nottingham people is devastating in a generation where health, wellbeing and
physical and outdoor pursuits are being actively encouraged. I personally, as with the
many of the community use this route as a family walking or cycling commute to
work and will be grossly impacted by its loss.
3. I moved to Barton in Fabis in 2006 from a heavily populated area in search of an
improved and peaceful quality of life for my young growing family. In the years that
followed this adorable little village steeped in history has tirelessly and spiritedly
fought the A453, the new housing development including B1 industrial units and a
travellers site and now currently a potential quarry site. When questioned on having
so much negative development imposed on us during the consultation the response
was deflected by developments under 'different councils'. This astonishingly
blinkered approach is unacceptable and all developments to the surrounding area
must be reviewed collectively to establish the true and informed impact on our small
community.
The proposed site is in unacceptably close proximity to quiet but heavily populated
residential areas. These communities WILL be subject to noise, dust and pollution.
4. The proposed site would result in a major impact on two SSSI's (Sites of Special
Scientific Interest) Attenborough Nature Reserve and Holme Pit which are close to
the site and on five SINC's (Sites of Important Nature Conservation) one of which will
be destroyed forever.
5. It was advised at the consultation that a staggering 100 vehicles a day are likely to be
merging onto the new A453 from the proposed Quarry. With additional housing and
industrial premises also using this route, this infrastructure is likely to be reversed to
a heavily congested and polluted trunk link to the city/motorway.
6. The County Councils own 'Sustainability Assessment' shows this site is the most
damaging of all selected sites in the operational phase and the 3rd most damaging
long term.
7. The Draft Minerals Local Plan is 'unsound' in that the council has sought to justify the
inclusion of the site on the basis of 'maintaining a geographical spread' and
therefore overriding the adverse impact on sustainability. However, the council has
stated "there is no published data related to geographical spread".
I trust this objection is received constructively as intended.
Yours Faithfully,
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31790
Received: 28/09/2018
Respondent: Nichola Judd
Devastating, irreversible effect on this area causing direct environmental damage here and to nearby SSSIs and 5 SINCs. Loss of precious greenbelt, which in fact needs more protection than ever.
Dust- residents here, along with neighbouring communities, would undoubtedly experience health risks living so close.
Noise - from site machinery, de-watering pumps and vehicle movements.
Visual impact - ridiculous to propose a processing plant at the top of a hill.
Devastating, irreversible effect on this area causing direct environmental damage here and to nearby SSSIs and 5 SINCs. Loss of precious greenbelt, which in fact needs more protection than ever.
Dust- residents here, along with neighbouring communities, would undoubtedly experience health risks living so close.
Noise - from site machinery, de-watering pumps and vehicle movements.
Visual impact - ridiculous to propose a processing plant at the top of a hill.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31791
Received: 19/09/2018
Respondent: Claire Cooper
I wish to object to MP2s because:
The site is in the greenbelt and the council has not justified wholly exceptional reasons. The SA shows the site is the 3rd most damaging overall. There is no evidence for geographic spread. The site will impact areas of important nature conservation. It is nearby heavily populated areas who will be impacted by noise and dust. The council does not prioritize sites with barges. There is no evidence to find other sites are too large. Will be a loss of space for leisure pursuits which is important for the health of residents.
I writing to confirm that I wish to OBJECT to the above site.
Please see below my reasons for objecting:
1. This site is in the Green Belt and Brandshill and Clifton woods, adjacent to the site, have been designated as Ancient Woodland which have special protection under the National Planning Policy Framework (NPPF). The council has failed to justify any 'wholly exceptional reasons' required by the NPPF
2. The County Councils own Sustainability Assessment shows that this site is the most damaging of all sites in the operational phase and 3rd most damaging in the long term.
3. The draft minerals local plan is unsound - as the council have sound to justify the inclusion of the site of the basis of maintaining geographical spread - over riding the adverse impact on sustainability. Whilst at the same time the council has said that there is no published data related to geographical spread
4. The site would result in major impact on two SSSIs - Attenborough Nature Reserve and Holme Pit which are close to the site and on five SINCs one of which will be destroyed altogether.
5. The site is close to heavily populated areas which would be impacted by noise and dust, many of us have young children and this would stop them playing outside.
6. The council has also failed to follow its own policy which is to prioritise site with potential for transforming gravel by barge - it has not yet included site which use this mode of transport.
7. Natural England, RSBP, CPRE, Ramblers Association and Nottinghamshire Wildlife Trust have already objected to a planning application for this site.
8. There have been no projections for sand and gravel demand in the different supermarket areas. County Council comment that Shelford for Coddington sites are too big cannot be justified
9. There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community for walking, horse riding and other leisure pursuits.
10. The loss of a significant area of countryside on the edge of a large city such as Nottinghamshire damages recreational opportunities that are increasingly important for the health and wellbeing of city dwellers
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31792
Received: 02/09/2018
Respondent: Clare Bailey
I object to MP2s because:
There is no requirement for additional quarry sites. The previous plan excluded Barton due to the negative environmental, historical and ecology impacts. The SA shows it is the most damaging and it will impact on nearby SSSI, reserves and SINCs. Will also impact on the rich bird life and 31 nationally important species within the area. Will be loss of peace and tranquility, ability to enjoy the countryside and space for leisure pursuits and key footpaths. There will be an increased flood risk.
Objection to sand and gravel provision MP2S Mill Hill Nr Barton In Fabis.
I am writing to object to the latest inclusion of this site in the new draft local mineral plan as a resident of the area .Some of the riverside chalets have been in existence for approx 50 years .I do not want to be subject to the noise , dust and related negative environmental impacts it will bring .
There is no current requirement for additional quarry sites and the adverse environmental impact of this. The County Council's previous Minerals Local Plan excluded the Barton site on the grounds of its impact on the ecology and historic and natural landscape. The site is the subject of a planning application and to which objections have been made by Nottinghamshire Wildlife Trust, RSPB, The Woodland Trust, Natural England, CPRE and The Ramblers Association.
Barton site evaluated as 3rd most environmentally damaging site of all those proposed in the county by County Council's independent Sustainability Assessment
* Effect on Attenborough Nature Reserve SSSI (Site of Special Scientific Interest) which runs along the edge of the site (less than 100m away) and Holme Pit SSSI. Site contains 5 SINCs (Sites of Important For Nature Conservation)
* Evidencee that this site is rich in bird life and other species. 24 red and 22 amber listed bird species [which I have witnessed myself as a keen photographer ]use the area for feeding and breeding
* Grass snakes, harvest mice ,otters , toads, hares and bats present along with other species of conservation concern
Loss of peace and tranquility; area used for walking / fishing / horse riding / bird watching /photography - particularly as the site will be operating 11 hours a day, 6 days a week!
* Bridleways / footpaths cross the site and would be diverted / closed or severely impacted upon.
Increased Flooding risk
The County Council's own assessment of the sustainability and environmental impact of this site resulted in its rejection and exclusion from the previous draft Minerals Local Plan.The habitat on the Barton site also supports a diverse range of UK and Local Biodiversity Action Plan Flora and Fauna. 31 Nationally Important UK Biodiversity Action Plan species (including birds) which could be negatively impacted upon along with major impacts to both breeding and wintering birds. This proposal would devastate 79 hectares (200 acres) of prime wildlife habitat and could adversely affect Attenborough Nature Reserve and Holme Pitt, which are both Sites of Special Scientific Interest.
I particularly object in relation to the loss of footpaths and access to the wildlife to photograph and enjoy .I will be subject to noise and dust that may affect my personal health and mental well being .This I would suffer for 6 days a week living as close to the site as the chalets are situated.I would not be able to sit outside in my garden without hearing the associated noise and disruption.The loss of a significant area of countryside on the edge of a large city such as Nottingham damages the recreational opportunities that are increasingly important for the health and well-being of city dwellers.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31793
Received: 26/09/2018
Respondent: Clive Salt
I object to MP2s because;
SA shows the site is the most damaging. No evidence to justify geographic spread and exclusion of Shelford and Coddington. Site with barge transport have not been allocated in line with policy. Will impact SSSI, wildlife sites and ancient woodland. Close to populated area and traffic movements will cause noise and dust and the amount of lorry movements is incompatible with non-vehicle users. The roundabout at Mill hill will become even more hazardous. Will be loss of green space for recreational activities which is important for residents health and well being.
Consultation on Draft Nottinghamshire Minerals Local Plan:
Sand and Gravel Provision Site 'MP2s Mill Hill nr Barton in Fabis'
Dear Sir/Madam,
I wish to OBJECT to the above site for the following reasons:
* The Council's own 'Sustainability Assessment' shows that this site is the most damaging of all sites in the operational phase and the third most damaging in the long term.
* The Council has stated that "there is no published data related to geographical spread". Therefore, the Plan is 'unsound' as the Council has sought to justify the inclusion of the site on the basis of "maintaining a geographical spread" and therefore overriding the adverse impact on sustainability.
* There have been no projections for sand and gravel demand in the different submarket areas. The Council's statement that the Shelford or Coddington sites are too big cannot be justified
* The Council has failed to follow its policy aim to "Prioritise sites with potential for transporting sand and gravel by river barge" by not allocating any sites which use this mode of transport.
* The site would impact on two Sites of Special Scientific Interest - Attenborough Nature Reserve and Holme Pit - which are close to the site, and on five Local Wildlife Sites one of which will be destroyed altogether.
* Natural England, RSPB, CPRE, Ramblers Association and Nottinghamshire Wildlife Trust have already objected to a planning application for this site - providing significant evidence of the negative impact on wildlife and the environment.
* The site is in the Green Belt, and Brandshill and Clifton Woods, adjacent to the site, have been designated as Ancient Woodland which have special protection under the National Planning Policy Framework (NPPF). The Council has failed to justify any "wholly exceptional reasons" required by the NPPF.
* The site is close to heavily populated areas which would be impacted by noise and dust from the site itself and from the extensive lorry movements.
* This plan generates 114 lorry movements a day on the section of Green Street adjoining Mill Hill. This was approved in the A453 dualling plans as being part of a route for non-motorised users, but this number of lorry movements is not compatible with safe cycling, walking or horse riding. Also, entering and leaving the roundabout at Mill Hill is already hazardous for all road users due to traffic from the A453 not slowing down and this number of lorry movements would make this junction even more hazardous.
* There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community for walking, fishing, cycling, horse riding, bird watching and other leisure pursuits. The loss of a significant area of countryside on the edge of a large city such as Nottingham damages the recreational opportunities that are increasingly important for the health and well-being of residents.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31794
Received: 09/09/2018
Respondent: Colin Smith McGloin
I am emailing you to raise my objections to the planned development works in relation too MP2s (Mill Hill nr Barton in Fabis).
I am objecting on the basis of environmental grounds and the damage that would be causes to the Attenborough Nature Reserve, which is a Site of Special Scientific Interest. Should the development go ahead, the site would not be fully restored for another 25 years. Meaning a loss of an area that is used frequently for walking, fishing and bird watching.
I am emailing you to raise my objections to the planned development works in relation too MP2s (Mill Hill nr Barton in Fabis).
I am objecting on the basis of environmental grounds and the damage that would be causes to the Attenborough Nature Reserve, which is a Site of Special Scientific Interest. Should the development go ahead, the site would not be fully restored for another 25years. Meaning a loss of an area that is used frequently for walking, fishing and bird watching.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31795
Received: 24/08/2018
Respondent: Colin Smith
MP2s Sand and Gravel provision
I have just read about plans being put forward to destroy the Barton-on-fabis area with gravel extraction. This is a wonderful area for wildlife which I enjoy visiting as it has many red listed birds and other wildlife, it is also just the other side of the river from Attenborough nature reserve which is an SSSI site which would be very much under threat should this gravel working be allowed to go ahead. So I object very strongly to this going ahead.
Dear sir
MP2s Sand and Gravel provision
I have just read about plans being put forward to destroy the Barton-on-fabis area with gravel extraction. This is a wonderful area for wildlife which I enjoy visiting as it has many red listed birds and other wildlife, it is also just the other side of the river from Attenborough nature reserve which is an SSSI site which would be very much under threat should this gravel working be allowed to go ahead. So I object very strongly to this going ahead.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31796
Received: 27/09/2018
Respondent: Collingham Parish Council
There are a couple of comments that the Parish Council would like to formally make as part of this consultation and are listed below:
The Parish Council is surprised and disappointed that Besthorpe is not in the plan, and that Girton is being re-instated.
Infrastructure and liaison with local communities is working well with Besthorpe and should be retained
The Parish Council would like to see a clear policy on how the aspirations in the draft plan are to be realised.
Dear Sirs
The Parish Council would like to thank you for taking the time to hold a consultation event in our community, this was greatly appreciated.
Whilst some of the councillors came to speak to you at that event there are a couple of comments that the Parish Council would like to formally make as part of this consultation and are listed below:
* The Parish Council is surprised and disappointed that Besthorpe is not in the plan, and that Girton is being taken out of 'mothballing' and being re-instated.
* Infrastructure and liaison with local communities is working well with Besthorpe and should be retained
* The Parish Council would like to see a clear policy on how the aspirations in the draft plan are to be realised.
If you require any clarification or further information from the Parish Council on this matter, please don't hesitate to contact me
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31797
Received: 28/09/2018
Respondent: Coral Osborn
I object to MP2s because:
SA shows the proposal is one of the most damaging assessed. No data available to support the geographical spread of sites and the exclusion of Shelford and Coddington cannot be justified. The proposal is in the greenbelt and will impact SSSIs, LWS and has Ancient woodland adjacent. Sites with barge transport have not been allocated going against plan policies. There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community.
OBJECTION to Policy MP2 Sand and Gravel Provision Site and inclusion of 'MP2s Mill Hill nr Barton in Fabis'
Dear Sir / Madam,
I am writing to confirm that I wish to OBJECT to the above site.
As part of the barton in fabis village community I wish to state below
The County Council's own 'Sustainability Assessment' shows that this site (MP2s Mill Hill nr Barton in Fabis) is the most damaging of all sites in the operational phase and the 3rd most damaging in the long term.
The Draft Minerals Local Plan is 'unsound' in that the Council has sought to justify the inclusion of the site on the basis of "maintaining a geographical spread" and therefore over-riding the adverse impact on sustainability. However, the Council has stated, "there is no published data related to geographical spread".
There have been no projections for sand and gravel demand in the different submarket areas. The County Council's statement that the Shelford or Coddington sites are too big therefore cannot be justified.
The Council has failed to follow its policy aim to "Prioritise sites with potential for transporting sand and gravel by river barge" by not allocating any sites which use this mode of transport.
The site would impact on two SSSls (Sites of Special Scientific Interest) - Attenborough Nature Reserve and Holme Pit - which are close to the site, and on five LWSs (Local Wildlife Sites) one of which will be destroyed altogether.
Public Health England RSPB, CPRE, Ramblers Association and Nottinghamshire Wildlife Trust have already objected to a planning application for this site.
The site is in the Green Belt, and Brandshill and Clifton Woods, adjacent to the site, have been designated as Ancient Woodland, which have special protection under the National Planning Policy Framework (NPPF). The Council has failed to justify any "wholly exceptional reasons" required by the NPPF.
There would be a major impact on the quality of life and visual amenity of local people. There will be high levels of dust and noise adjacent to a highly populated area as well as the loss of peace and tranquillity in an area used extensively by a wider community for walking, fishing, horse riding, bird watching and other leisure pursuits, including an adverse impact on grazing land and especially to the respiratory health of horses. The loss of a significant area of countryside on the edge of a large city such as Nottingham damages the recreational opportunities that are increasingly important for the health and well-being of city dwellers.
Yours sincerely,
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31798
Received: 20/09/2018
Respondent: Dale Stringer
I object to MP2S because
he quarry will destroy 200 acres of wildlife habitat and feeding grounds for Attenborough Nature Reserve, ancient woodlands and spoil local natural landscape enjoyed by walkers, fishermen, cyclists and horseriders alike. It will create heavy noise and dust across nearby areas and impact on peoples health and has the potential for local flooding. We enjoy daily dog walks around the Nature Reserve and think these would be ruined by the proposal, especially if the work is to continue for 15 - 25 years.
I would like to object to MP2S Mill Hill Nr Barton in Fabis sand and gravel provision.
If it goes ahead next year, the quarry will destroy 200 acres of wildlife habitat and feeding grounds for Attenborough Nature Reserve, ancient woodlands and spoil local natural landscape enjoyed by walkers, fishermen, cyclists and horseriders alike. If that's not enough, it will create heavy noise and dust across Clifton, Barton in Fabis areas and has the potential for local flooding. We enjoy daily dog walks around the Nature Reserve and can't help but think these would be ruined by the above proposal, especially if the work is to continue for 15 - 25 years. We are concerned about the high levels of dust and noise and local residents health may be impacted by this. Please consider my objection.
Comment
Draft Nottinghamshire Minerals Local Plan
Representation ID: 31799
Received: 28/09/2018
Respondent: Neil Windross
I object to MP2s because:
SA shows the proposal is one of the most damaging assessed. No data available to support the geographical spread of sites and the exclusion of Shelford and Coddington cannot be justified. The proposal is in the greenbelt and will impact SSSIs, LWS and has Ancient woodland adjacent. Sites with barge transport have not been allocated going against plan policies. There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community.
Proposed sand and gravel quarry site MP2s
I writing to confirm that I wish to object to the above site.
The County Councils own 'Sustainability Assessment' shows that this site is the most damaging of all sites in the operational phase and the 3rd most damaging in the long term.
The Draft Minerals Local Plan is 'unsound' in that the Council has sought to justify the inclusion of the site on the basis of 'maintaining a geographical spread' and therefore over riding the adverse impact of sustainability. However, the council has stated that 'there is no published data related to a geographical spread'.
There have been no projections for sand and gravel demand in the different submarket areas. The County Council's statement that the Shelford or Coddington sites are too big cannot be justified.
The Council has failed to follow its policy aim to 'Prioritise sites with potential for transporting sand and gravel by river barge' by not allocating any sites which use this mode of transport.
The site would impact on two SSSIs (Sites of Special Scientific Interest) - Attenborough Nature Reserve and Holme Pit - which are close to the site, and on five LWS's (Local Wildlife Sites) one of which will be destroyed altogether.
Public Health England, Natural England, RSPB, CPRE, Ramblers Association and Nottinghamshire Wildlife Trust have already objected to a planning application for this site.
The site is in the Green Belt, and Brandshill and Clifton Woods, Adjacent to the site, have been designated as Ancient Woodland which have special protection under the National Planning Policy Framework (NPPF). The Council has failed to justify any 'wholly exceptional reasons' required by the NPPF.
The site is close to heavily populated areas which would be impacted by noise and dust.
There would be a major impact on the quality of life and visual amenity of local people, as well as the loss of peace and tranquillity in an area used extensively by a wider community for walking, fishing, horse riding, bird watching and other leisure pursuits, including an adverse impact on grazing land and especially to the respiratory health of horses. The loss of a significant area of countryside on the edge of a large city such as Nottingham damages the recreational opportunities that are increasingly important for the health and well-being of city dwellers.