Local Plan Issues and Options (Regulation 18)
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Local Plan Issues and Options (Regulation 18)
Question IN 1
Representation ID: 11660
Received: 28/08/2025
Respondent: Beck Homes Limited
I&O_12158
Beck Homes agree that the listed evidence base is appropriate, however the Green Belt Study should include a detailed parcel-by-parcel assessment of land around Guilden Sutton as with all settlements, explicitly considering: • The relative contribution of each parcel to Green Belt purposes (as set out in NPPF para 143). • Accessibility to sustainable transport. • Capacity to deliver housing without causing coalescence of settlements.
Comment
Local Plan Issues and Options (Regulation 18)
Question SS 1
Representation ID: 11674
Received: 28/08/2025
Respondent: Beck Homes Limited
I&O_12172
The Council should be planning for at least the 1,914 dpa as required under the Standard Method figures published in 2024. Any figure above this base level will ensure Cheshire West and Chester (CWAC) can address the shortfall in affordable housing provision and the need to sustain future economic growth in the borough. Contextually, under the previous NPPF method, the annual housing target for Cheshire West and Chester was 532 dwellings annually. Under the standard method established within the new NPPF and updated figures published in March in line with affordability ratios, the annual housing target for the Council is 1,912 dwellings per year. As the Council’s strategic policies are more than five years old, paragraph 78 is also highly relevant: the Council needs to demonstrate a five-year supply against the standard method (taken from Planning Practice Guidance). Using the Council’s latest land supply figure and published affordability, the 5-year calculation is as follows: • Annual Requirement = 1,912 • 5-year Requirement = 9,560 • Plus 5% buffer = 10,038 • Deliverable Supply = 4,209 • Years Supply = 2.09 years The shortfall in supply is therefore chronic and needs to be addressed through emerging Local Plan. In terms of the figure suggested through the policy, it is important to note how ‘exceptional circumstances’ need to be shown to justify an alternative approach to the standard method. Crucially as the PPG states (summarised below), it is only for a housing need figure which is lower than standard method for which ‘exceptional’ justification needs to be shown. A higher figure is not as rigorously tested. The PPG states “The standard method uses a formula to identify the minimum number of homes expected to be planned for. The standard method…identifies a minimum annual housing need figure. It does not produce a housing requirement figure.” (NJL emphasis). The PPG emphasises how the assessment of need must be carried out separately and prior to the determination of a housing requirement. Furthermore, the PPG refers to exceptional circumstances being required to justify housing need which is below the Standard Method minimum. In contrast the PPG states how a range of circumstances may justify the determination of housing need which exceeds the standard method minimum, and that an assessment of need which establishes a figure which is higher than the standard method minimum will be considered sound if it “adequately reflects current and future demographic trends and market signals.” It is therefore important to consider whether any factors justify an increase in the standard method minimum when determining housing need but at the very least there is no reason as to why the Council should drop below the identified dwellings per year as set out.
Comment
Local Plan Issues and Options (Regulation 18)
Question SS 2
Representation ID: 11683
Received: 28/08/2025
Respondent: Beck Homes Limited
I&O_12181
The PPG states: “A stepped housing requirement may be appropriate where there is to be a significant change in the level of housing requirement between previous policies and / or where strategic sites will have a phased delivery or are likely to be delivered later in the plan period. Strategic policy-makers will need to identify the stepped requirement in strategic housing policy, and to set out evidence to support this approach, and not to unnecessarily delay meeting identified development needs. Stepped requirements will need to ensure that planning housing requirements are met fully within the plan period. In reviewing and revising policies, strategic policy-makers should ensure there is not continued delay in meeting identified development needs.” CWAC reported in their latest Housing Monitoring Report (2024-2025) that in the last three years completions were as follows; (see table para 3.12 in attachment). It is clear that, as a Council, they have been performing well against their previous requirement and delivering homes significantly higher year on year. As such, the revised target of 1,914 as set out in SS 1 should not be a significant jump in what the Council can provide if suitable sites are proposed through the emerging Local Plan. As set out through the following questions, whilst one spatial option is to deliver homes through larger strategic sites that could see slower or phased delivery whereby a stepped housing requirement could be suitable, we are of the view that this option should not be the preferred route. This would not allow for a distribution that suits identified needs throughout the borough. As such, we would not suggest that the Council consider a stepped housing requirement and that it should be aspirational in its approach to setting their housing requirement at the identified level of 1,914 or higher to ensure and support early delivery of housing over the plan period.
Comment
Local Plan Issues and Options (Regulation 18)
Question SS 4
Representation ID: 11691
Received: 28/08/2025
Respondent: Beck Homes Limited
I&O_12189
Given limited brownfield capacity, targeted Green Belt release around sustainable settlements such as Guilden Sutton is essential to meeting this target. Whilst reviewing previously developed land first aligns with the principle of sustainable development as does promoting development that is well distributed and ensures needs around Cheshire West are fully met. A such, both aims as above should be developed side by side to ensure a comprehensive approach to the Local Plan spatial strategy.
Comment
Local Plan Issues and Options (Regulation 18)
Question SS 5
Representation ID: 11694
Received: 28/08/2025
Respondent: Beck Homes Limited
I&O_12192
The proposed settlement hierarchy sets out the key settlements as Chester (City), Ellesmere Port (Main Town), Northwich (Main Town), Winsford (Main Town), Neston and Parkgate (Market Town) and Frodsham (Market Town). Each of these settlements will have individual place-based policies within the emerging Local Plan. Additional settlements are also identified as able to meet the day-to-day needs of residents and those in surrounding areas. Beyond this, the hierarchy notes that smaller settlements could acceptably accommodate infill development and small previously developed sites. We agree with the proposed settlement hierarchy however, in principle, no settlement should be excluded from development, provided that their character is protected by high-quality planning and design, they are situated on routes on which public transport can be made sustainable, and local facilities can be provided. Such development could actually benefit the sustainability of some settlements and bring forward additional services and facilities depending on what is required from additional housing or economic development. As such, we agree that it is necessary for smaller settlements to accommodate some growth.
Comment
Local Plan Issues and Options (Regulation 18)
Question SS 6
Representation ID: 11698
Received: 28/08/2025
Respondent: Beck Homes Limited
I&O_12196
The population growth of CWAC cannot be addressed by larger settlements only with smaller settlements having their own demographic needs based on their specific housing market sub-area and past housing delivery. As highlighted before, we recommend the emerging Local Plan aims for more than the minimum housing need figure but should use this as the starting point with the minimum need in each area must be met and exceeded. Therefore, in terms of distribution, we recommend housing is distributed in a manner which ensures the minimum housing need specific to each sub area of the borough and smaller settlements with sustainable offer should be identified. It is notable that some settlements may have transport benefits through rail, but not services (e.g. Acton Bridge and Hooton), so are less logical to look at them for more housing. Whilst other settlements (e.g. Guilden Sutton) have more services and are sustainably connected through other forms of public transport (e.g. bus) and should be considered positively for more housing.
Comment
Local Plan Issues and Options (Regulation 18)
Question SS 9
Representation ID: 11701
Received: 28/08/2025
Respondent: Beck Homes Limited
I&O_12199
Green Belt release is critical in CWAC to provide the level of housing that has been identified at a minimum through the Standard Method calculation and allow for housing to be distributed effectively throughout the borough and not simply towards larger settlements that are not located within the Green Belt. The NPPF sets out that in exceptional circumstance, such as in instances where an authority cannot meet its identified need for homes, commercial or other development through other means, authorities should review Green Belt boundaries in accordance with the policies in this Framework and propose alterations to meet these needs in full. Given the scale of housing uplift and the large swathe of the borough currently located within the Green Belt, it is likely that additional land will be sought and CWAC will need to undertake their Green Belt review and additional housing needs evidence to support this. In the context of Exceptional Circumstances, we consider the land north of School Lane, Guilden Sutton should be allocated for housing. As detailed through our response to SS 6, smaller settlements which have appropriate transport connections and services should be able to accommodate the delivery of homes.
Comment
Local Plan Issues and Options (Regulation 18)
Question SS 11
Representation ID: 11706
Received: 28/08/2025
Respondent: Beck Homes Limited
I&O_12204
We do not consider that any single option, as presented in the document, as the most appropriate spatial option and an alternative spatial option is detailed below.
None of these
Comment
Local Plan Issues and Options (Regulation 18)
Question SS 12
Representation ID: 11709
Received: 28/08/2025
Respondent: Beck Homes Limited
I&O_12207
From a review of all options, an alternative strategy could combine the strengths of Options B (distribution across the settlement hierarchy) and Option C (focus on sustainable transport corridors), while avoiding too much of a focus on a large urban extension only approach. By doing so an alternative approach would: • Prioritise brownfield and urban regeneration sites where available. • Direct growth to main towns (Chester, Ellesmere Port, Northwich, Winsford) but avoid an over reliance on a few very large urban extensions. • Support medium-scale growth at rail-served villages and key service centres (e.g. Guilden Sutton, Cuddington & Sandiway, Helsby, Frodsham, Tarporley) through targeted Green Belt releases. • Allow smaller, proportionate growth in Local Service Centres and rural settlements to sustain schools, shops, and services. The benefits of an alternative proposition would be as follows: • Deliverable: it would avoid an over-reliance on a few large, infrastructure-heavy urban extensions that could delay. • Sustainable: it would support travel by train and bus, reduces car dependency, and strengthen smaller communities whereby development supports improved infrastructure. • Balanced: by doing so it would allow growth to be distributed fairly across towns, villages, and the rural area. • Defensible: it still allows for targeted Green Belt release where contributions to the Green Belt purposes to not strongly contribute. Overall, the key to this approach would be to spread growth across multiple settlements which reduces risk and ensures flexibility if some sites don’t come forward as planned.
Comment
Local Plan Issues and Options (Regulation 18)
Question SS 13
Representation ID: 11715
Received: 28/08/2025
Respondent: Beck Homes Limited
I&O_12213
Yes, there will be a need to allow for new housing and employment land in other settlements. Smaller settlements are appropriate locations for limited infill or extension developments for housing and in some circumstances for commercial development; particularly in rural areas where this would support rural and small-scale businesses. This will contribute to meeting the overall housing needs of the plan period, as well as support the vitality of rural villages and towns.