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Consultation response to further quarrying in the National Park

The Friends of the South Downs believe that there is not a rising demand for ‘soft sand’ and that we see no reason why further sites should be allocated in West Sussex; especially those in the National Park.

What’s at stake? The review shortlisted 9 sites. 7 inside the National Park and 2 just outside (starred *)  the Park:

  1. Buncton Manor Farm (new site), Washington
  2. Chantry Lane (Extension), Storrington and Sullington*
  3. Coopers Moor (Extension) Duncton
  4. Duncton Common (Extension) Duncton and Petworth
  5. East of West Heath Common (Extension) Harting and Rogate
  6. Ham Farm (new  site) Steyning and Wiston*
  7. Minsted West (Extension) Stedham with Iping
  8. Severals East (new site) Woolbeding with Redford
  9. Severals West (new site) Woolbeding with Redford

These, as well as those soft sand sites previously considered during the preparation of the Joint Minerals Local Plan, will be assessed for their suitability for potential allocation. The ‘soft sand review’ sets out three main issues for consideration which are:

  1. the need for soft sand;
  2. the strategy for soft sand supply; and
  3. potential sites and site selection.

The review relies solely upon the ‘Local Aggregates Assessments’ (LAA) to predict ‘needs’ from 2019 to 2033 (14 years). This LAA also relied up historical sales of the material to assess annual demand alongside the usage and to extrapolate future demand.

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Greater renewable energy focus needed in development for 226 homes at Old Malling Farm Lewes

Re: SDNP/18/06103/OUT, Old Malling Farm, Old Malling Way, Lewes, BN7 2DY: Outline approval for residential development comprising up to 226 dwellings with associated landscaping and parking, with access from Monks Way (All Matters Reserved except Access and Layout).

The Society objects to the development in its present form. We believe that the current plan should be referred back to the developer so that the road layout and access arrangements can be reviewed along with the submission of a revised sustainability assessment. Accordingly, the application should be deferred so that improvements to the application can be made.

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Consultation Response to Fracking as Permitted Development

Response from the South Downs Society (Friends of the South Downs).

The ‘Friends of the South Downs‘ is the membership charity, working to campaign, protect and conserve the landscape of the National Park.

These are the views of the District Officers – who respond to planning consultations and Local Planning Issues on behalf of the Society.

We do not consider that the scope of drilling exploration fits within the definition of permitted development.  It has landscape impact and restoration consequences; archaeological implications; aquifer implications; earth tremor implications for historic structures; and traffic implications on rural roads that may need Grampian conditions to alleviate.  This is well beyond the scope of permitted development even if the permission is time limited.

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Society pledges public support for the National Park Authority

National Park Friends Group pledges support for Park Authority in controversial move.

At its meeting on 3 July the South Downs National Park Authority was promised the full and continuing support of its “Friends” organisation, the South Downs Society.

Addressing the meeting, the Society’s policy officer Steve Ankers, said “The Authority has taken a controversial step in seeking judicial review of the process by which Highways England identified its preferred option for the A27 Arundel bypass. This may not have gone down well with everyone but this Society unhesitatingly supports the Authority. Along with many other organisations, we campaigned for many years for a powerful, well-resourced body dedicated to conserving and enhancing the very special qualities of the South Downs and we are delighted to see it make this stand.”

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A27 Dual carriageway between Lewes and Polegate

Maria Caulfield MP, Chairman of the A27 Reference Group, has announced that a business case to dual the A27 is ready to go before Government Ministers.

The Friends of the South Downs have expressed their concerns about the proposal to put a motorway-style road in between Lewes and Polegate near Eastbourne as it will destroy the beautiful countryside and be visible from the South Downs and the South Downs National Park.

It will be a scar across the countryside whether you’re standing on Mount Caburn near Lewes or whether you are on Firle Beacon on the South Downs.

Spending an estimated £450 million, at more than £50M/mile is a huge amount of tax payers’ money to allow people to drive a bit faster over the 9 or 10 mile stretch of road. This stretch of road is often slow, due mainly to the single lane traffic.

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Shaping the future of England’s strategic roads

The government’s agency for planning and maintaining the trunk road network, Highways England, has been consulting on its plans for future investment. The Campaign for National Parks (CNP), which works closely with all the national park “Friends” groups, has submitted the following response to the consultation, which is fully endorsed by the Society. 

February 2018

1. The Campaign for National Parks is the independent national voice for the 13
National Parks in England and Wales. Our mission is to inspire everyone to enjoy
and look after National Parks – the nation’s green treasures. We have been
campaigning for over 80 years to ensure that our National Parks are beautiful,
inspirational places that are relevant, valued and protected for all.

2. National Parks are our finest landscapes with the highest level of protection. They
contribute significantly to the well-being of the nation, by providing safe, attractive,
healthy places for recreation. They also deliver key environmental resources and
services, like water provision and carbon storage in peat soils and forests, which can
mitigate the effects of climate change. As well as being inspiring places for people to
enjoy and improve their health and well-being, National Parks make a significant
contribution to the economy through tourism, farming, and other related businesses.
The English National Parks currently attract 94 million visitors a year, who spend
more than £5 billion and support 75,000 full time equivalent tourism related jobs.

3. All of the English National Parks are affected to some extent by the strategic road
network (SRN) and several have significant lengths of this network within or close to
their boundaries. It is therefore essential that the plans for RIS2 take full account of
the additional planning protection that applies in National Parks. We are very
concerned at the potential for RIS2 to include road schemes which could be
extremely damaging for National Parks, undermining their special qualities and
putting at risk the significant economic benefits that these areas provide. There is
evidence that road schemes justified on the basis of reduced journey times fail to
deliver the promised economic benefits2 and such schemes would be particularly
damaging in areas such as National Parks where the economy is heavily dependent
on a high quality environment.

4. We are particularly concerned at the threat posed to the Peak District National Park
by the revised Trans-Pennine Tunnel study and proposals for major upgrades to the
A628. The decision to shorten the length of the proposed tunnel means that most of
the upgraded route would be above ground through the National Park, or adjacent to
its boundary and within the setting of the Park. While we do not yet know exactly
what is planned for the A628, it appears from the information about expressways in
the SRN Initial Report that the plan is to upgrade the road to motorway standard.
Such extensive road-building is completely inappropriate in a National Park.

5. There is a long-established presumption against significant road widening or the
building of new roads in National Parks. This is clearly set out in paragraph 5.152 of
the National Policy Statement for National Networks3 published in 2014, which states
that “there is a strong presumption against any significant road widening or the
building of new roads and strategic rail freight interchanges in a National Park, the
Broads and Areas of Outstanding Natural Beauty, unless it can be shown there are
compelling reasons for the new or enhanced capacity and with any benefits
outweighing the costs very significantly. Planning of the Strategic Road Network
should encourage routes that avoid National Parks, the Broads and Areas of
Outstanding Natural Beauty.”

6. In addition, paragraphs 5.150 and 5.151 of the National Policy Statement for National
Networks reiterate the more general presumption against major development in
National Parks, which is also set out in paragraphs 115 and 116 of the National
Planning Policy Framework. The Government emphasised the additional planning
protection for National Parks in the recent 25 Year Environment Plan (p57)
alongside strong support for greater enhancement of our landscapes.

7. Furthermore, Highways England also has a duty to take account of the potential
effect of its decisions and activities on National Park purposes, including activities
undertaken outside National Park boundaries which may affect land within them.

National Parks’ statutory purposes as set out in the Environment Act 1995 are:
 to conserve and enhance natural beauty, wildlife and cultural heritage; and
 to promote opportunities for public enjoyment and understanding of their special
qualities.

8. This means that Highways England should be seeking to conserve and enhance
National Parks through all of its activities. High volumes of traffic already have a
negative impact on the tranquillity and natural environment in some parts of our
National Parks. It is completely inappropriate to propose projects which would
increase these negative impacts. Instead Highways England should be
demonstrating how it has fulfilled this duty by placing a much stronger emphasis in
RIS2 on measures to reduce the negative impacts of the SRN on National Parks.
This should include, for example, a commitment to prioritise these areas for
measures which reduce noise and light pollution such as low impact lighting and
noise-reducing road surfacing. Tranquillity and dark skies are two of the special
qualities for which many areas of National Parks are particularly valued.

9. Highways England should also be demonstrating that it takes its responsibilities
towards National Parks seriously by actively managing demand for road capacity on
sections of the SRN which pass through National Parks and instead encouraging the use of routes which avoid these protected areas; and placing a much stronger emphasis on investment, and promotion of, public transport as an alternative to roadbuilding.

10. Unfortunately, our recent experience with proposals for the SRN in other National
Parks provides evidence that Highways England does not always take account of the
additional protection afforded these areas. For example, the consultation on the A27
Arundel bypass last autumn only included options which involved unacceptable
damage to the South Downs National Park and failed to take account of alternative
options that would have reduced the impact on the National Park.

11. The consultation document states that one of the key aims of RIS2 is to “make a
positive contribution to the environment”. This will only happen if Highways England
takes its responsibilities towards National Parks seriously. We therefore seek a
reassurance that the strong presumption against significant road widening or the
building of new roads in National Parks will be upheld and that damaging proposals
such as the A628 upgrade will be abandoned.