Comment
Colchester City Council Preferred Options Local Plan Regulation 18 Consultation 2025
Representation ID: 11332
Received: 09/12/2025
Respondent: Mr Community Campaigner David Barton
Representations are being made with a view to supporting economic growth through the merits of High-Quality style Conservation with the hope of encouraging wider constructive and restorative support through positive and constructive working. It is submitted that TVA should play a key part in any and all policy moving forwards on the grounds of conferring practical benefits be these periodic maintenance, their perceived support from the public, their invaluable contribution to achieving Climate Crisis Targets set local, nationally and internationally alongside their overall cost-effectiveness to key stakeholders alike in terms of Planning and sourcing of raw materials.
as previous
Comment
Colchester City Council Preferred Options Local Plan Regulation 18 Consultation 2025
Representation ID: 11624
Received: 24/12/2025
Respondent: Historic England -East of England
Effects uncertain. A full Heritage Impact Assessment will be necessary to inform the next draft of the Local Plan. If the Council plans to rely on the 2021 HIA, we recommend confirming that it remains relevant and updating it where needed so that it reflects the current site boundary, policy wording, and best practice guidance.
If, once prepared, the evidence shows that harm cannot be adequately mitigated, the site should not be allocated.
The site is located within the setting of the Colchester Area 1 Conservation Area, numerous listed buildings, and the St Botolph's Augustinian Priory Scheduled Monument (LEN 1013764).
Due to this sensitivity, a full Heritage Impact Assessment will be essential before the next draft of the Plan. This assessment should determine whether the site is suitable from a historic environment perspective and identify any mitigation measures or opportunities for enhancement to be incorporated into criterion ‘f’. However, it is unclear from the information provided whether a new HIA is planned for this site. The Sift report suggests that the Council may rely on a 2021 HIA, but it is not evident whether that earlier assessment has informed the current site boundary or the content of Policy PP11.
Initial assessment
Effects uncertain. A full Heritage Impact Assessment will be necessary to inform the next draft of the Local Plan. If the Council plans to rely on the 2021 HIA, we recommend confirming that it remains relevant and updating it where needed so that it reflects the current site boundary, policy wording, and best practice guidance.
If, once prepared, the evidence shows that harm cannot be adequately mitigated, the site should not be allocated.
Comment
Colchester City Council Preferred Options Local Plan Regulation 18 Consultation 2025
Representation ID: 13769
Received: 14/01/2026
Respondent: Anglian Water Services
Agent: Anglian Water Services
Anglian Water supports policy criteria h, i, and j, which address flood and pollution risk mitigation through SuDS, water efficiency, wastewater treatment capacity, and appropriate phasing. For brownfield redevelopment or changes to surface drainage, Anglian Water seeks opportunities to reduce pollution risk by minimizing surface water flow to combined sewers in both volume and discharge rate. No new surface water connections to combined sewers will be permitted. Existing Anglian Water assets, including a large diameter surface water sewer, require safeguarding. Anglian Water requests policy wording or supporting text in Policy NZ3 to ensure suitable access for infrastructure maintenance.
See attachment with detailed comments on numerous policies. Anglian Water welcomes the opportunity to contribute comments on the Draft
Local Plan for Colchester City Council. We consider that the Plan is well set out with in relation
to managing flood risk, surface water and wastewater, and enabling water efficiency. We
recognise the challenges for meeting the uplift in housing requirements and the
infrastructure required to help deliver future growth across the district, with the main
focus being Colchester and the larger towns.
We have raised some policy matters relating to consistency between policies addressing surface
water flood risk, water supply, and wastewater, and how these matters are attributed to site
allocation policies.
We look forward to continuing our positive and proactive discussions with the Council in
respect of our comments and the next iteration of the Local Plan, including supporting updates
to the evidence base if required
Comment
Colchester City Council Preferred Options Local Plan Regulation 18 Consultation 2025
Representation ID: 14494
Received: 14/01/2026
Respondent: Essex County Council Spatial Planning
Brownfield sites should ensure surface water is not discharged into the foul network and should follow the drainage hierarchy and endeavour to discharge surface water at the greenfield 1in1 rate, developers should adhere to the standards in the Sustainable Drainage Systems Guide for Essex.
Officer summary of full submission. See attachment with detailed comments on numerous policies:
The overall message is one of support for CCC undertaking a review of the adopted Local Plan to ensure an up to date plan prepared in accordance with the NPPF is in place. ECC will continue the on-going engagement with CCC, through the Duty (or any replacement), to assist progress of the Plan to Regulation 19 (the Pre-Submission Plan), particularly with regards the strategic and cross boundary implications, including cumulative issues and opportunities arising from growth to ensure that the infrastructure requirements are identified, quantified, costed and phased where appropriate. ECC service areas have clearly outlined where further collaborative work/assessment needs to be undertaken (e.g. education provision and ongoing transportation modelling) to refine and resolve an issue; and ECC will continue to be engaged, alongside NH, on the proposals which have an impact on the A12 strategic transport corridor, in particular A12 junctions 25 to 28, A12 widening and junction improvements, and the A120 Corridor Maks Tey to Braintree.
There is support for the Draft Plan’s vision which covers environmental, social and economic needs and emphasises healthy living environments and green networks, environmental protection and economic growth. There is support that the mandatory housing target will be met in full and exceeded over the Plan period in accordance with the NPPF, and that future employment needs will be met (noting that some clarifications are sought) by providing a range in scale of additional employment land supply. ECC provides strong support for policies related to net zero carbon (in operation and embodied), water efficiency, health and well-being, and the environment (green and blue infrastructure and BNG. Recommendations are made throughout the response on policy wording (including policy omissions) and justification to strengthen clarity, effectiveness and delivery.
There is strong support for the inclusion of site-specific Place Policies and references to infrastructure requirements, but these will need to be reviewed and confirmed with ECC following this consultation and the agreement of a final spatial strategy by CCC. It is noted there are some omissions in the Draft Plan such as the allocation of a new secondary school. On this issue, ECC acknowledges the requirement is stated in the Infrastructure Assessment Delivery Plan (Stage 3) for site allocation PP18 Land North of A120 Marks Tey; and in the Infrastructure Topic Paper prepared by CCC, where Appendix A lists the infrastructure requirements for the preferred options site allocations (including those for education). Land for the secondary school (and all education requirements) will need to be allocated in the Pre-Submission Plan.
The review of the IDP and full plan viability assessment are key documents for ECC engagement and input following this round of consultation. The Viability Assessment will need to be reviewed following consultation to ensure it can align with the most up to date evidence relating to the EPOA net zero development policies and its viability evidence. Mention is also made in the response to specific localities and sites – notably Marks Tey and Langham – where discussion needs to take place and recommendations are made to ensure effective delivery if these proposed allocations are taken forward to the Pre-Submission Plan.