Proposed schedule of main modifications
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Proposed schedule of main modifications
PMM19
Representation ID: 1051
Received: 17/02/2025
Respondent: Nottinghamshire Wildlife Trust
NWT strongly support the inclusion of the reference to sites with extant restoration conditions being considered as greenfield sites under the NPPF, as this provides important clarity for both applicants and consultees.
NWT strongly support the inclusion of the reference to sites with extant restoration conditions being considered as greenfield sites under the NPPF, as this provides important clarity for both applicants and consultees.
Support
Proposed schedule of main modifications
PMM27
Representation ID: 1052
Received: 17/02/2025
Respondent: Nottinghamshire Wildlife Trust
NWT support the inclusion of "avoid" to improve clarity over the necessary level of emphasis required and to guide what weight should be properly applied to such material considerations. It is essential that the mitigation hierarchy is applied in relation to impacts on biodiversity ie. that impacts should be first avoided , rather than seeking to minimise them through mitigation as a first step.
NWT support the inclusion of "avoid" to improve clarity over the necessary level of emphasis required and to guide what weight should be properly applied to such material considerations. It is essential that the mitigation hierarchy is applied in relation to impacts on biodiversity ie. that impacts should be first avoided , rather than seeking to minimise them through mitigation as a first step.