Showing comments and forms 1 to 3 of 3

Support

Part One: Spatial Strategy and Policies (Regulation 19)

Representation ID: 1045

Received: 28/11/2024

Respondent: Sandwell Council

Representation Summary:

Sandwell MBC considers the Waste Local Plan Policies to be sound and, in particular, Sandwell MBC supports Policy DPL 77, as it provides cross-boundary consistency with proposals set out in the Regulation 19 Sandwell Local Plan (October 2024) namely, Site DPL77, Bloomfield Road/Budden Road, Tipton and within the supporting justification text to the Dudley Local Plan policy. It is informed by the most up to date shared evidence base, namely the Black Country Waste Study (2020) and Black Country Waste Study Update (2023). Sandwell MBC supports the use of this jointly produced evidence base.

Object

Part One: Spatial Strategy and Policies (Regulation 19)

Representation ID: 1187

Received: 28/11/2024

Respondent: Pegasus Grab Hire Ltd

Agent: Emery Planning

Legally compliant? Yes

Sound? No

Duty to co-operate? Yes

Representation Summary:

the policy fails to protect
and allow for the development of existing sites which make a significant contribution to the existing and
future capacity within the borough such as our client’s interests at Bott Lane. This is especially frustrating
in the context of Pegasus Group who are at the forefront of recycling initiatives through the use of modern
and emerging waste technologies. Their operations provide a critical service to local infrastructure and
utilities operators and do so at a level of sustainability and recycling, which is at the very top of the industry,
thereby improving Dudley’s sustainability. Supporting this operation and planning for its future should be
a primary objective of the plan, in respect of this site and local area.

Comment

Part One: Spatial Strategy and Policies (Regulation 19)

Representation ID: 1520

Received: 29/11/2024

Respondent: Canal and River Trust

Representation Summary:

Reiterate previous Regulation 18 comments.

Inclusion of the canal network within relevant policy and justification text will enable developers to identify canal related constraints at early stage and engage with the Trust. Trust requests ongoing engagement from the Council on submitted pre-application enquiries and encourages developers to seek pre-application advice directly.