Medway Local Plan (Regulation 18, 2024)
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Medway Local Plan (Regulation 18, 2024)
Policy T21: Riverside Infrastructure
Representation ID: 3933
Received: 08/09/2024
Respondent: ArcelorMittal Kent Wire Limited
Agent: Lucy McDonnell
ArcelorMittal Kent Wire support this policy and note it is in conflict with the proposals for Chatham Docks. In the event Chatham Docks was redeveloped for residential use, we consider it highly likely that the dock gates would be fixed shut and riverside infrastructure would be lost, in direct contravention of this draft policy. We understand that as well as the current occupiers the Royal Navy also have the ability to access Pool 2 via Chatham Docks, which would be prevented if the lock gates were fixed shut.
A full representation is provided to planning.policy@medway.gov.uk
2.16.1 Policy T21 states "Riverside infrastructure associated with the transport of minerals, waste and other defined materials will be safeguarded in accordance with national planning policy. The existing network of piers, jetties, slipways, steps and stairs will be safeguarded to support the potential for visitor and river taxi services and to accommodate visiting vessels, while any new facilities will be encouraged.".
2.16.2 This is clearly in conflict with the proposals in relation to Chatham Docks. In practice, it is the current occupiers at Chatham Docks which mean the lock gates giving access to the basin are kept in a condition that they can be opened (noting the issues caused periodically when disrepair means they cannot be opened). In a residential redevelopment scenario, there would no longer be tenants in the docks who would require and apply pressure to ensure that the lock gates were kept functional, nor pay a service charge connected to their maintenance. In the event Chatham Docks was redeveloped for residential use, we consider it highly likely the riverside infrastructure would be lost, in direct contravention of this draft policy. We understand that as well as the current occupiers who use the docks for the supply of raw materials and the export of finished materials via the facilities at Chatham Docks, the Royal Navy also have the ability to access Pool 2 via Chatham Docks, which would be prevented if the lock gates were fixed shut.
2.16.3 Paragraph 9.5.4 states "[t]he Riverside Infrastructure policy intends to reinforce Medway’s strategic location in the Thames Estuary. Ports, docks and wharfage will be safeguarded to support existing business sectors and to attract businesses requiring such facilities where feasible." We strongly agree with this statement. However, we consider that the draft Local Plan does not implement this conclusion when considering the redevelopment of Chatham Docks for non-maritime uses, in direct contravention of this draft policy. The draft Local Plan does not appear to have considered that the proposed residential led application would cause the docks to be lost for good. No assessment at all is given regarding the loss of Chatham Docks, not even one considering "where feasible" as stated in the policy. This is an inconsistent and unreasoned position.
2.16.4 There is no engagement with this issue in the sustainability appraisal.
2.16.5 We consider there are a number of issues with the River Medway Frontage Uses and Opportunities, which fails to properly consider Chatham Docks, in particular by appearing to failing to recognise the locational importance of the docks and appearing to assume Peel's redevelopment aspirations will come to pass without considering their uniqueness, omitting to fully consider the current activities at the docks, including significant increases in employment numbers, and the opportunities available for development of the industries currently operating rather than redevelopment.
Comment
Medway Local Plan (Regulation 18, 2024)
Policy S24: Infrastructure Delivery
Representation ID: 3934
Received: 08/09/2024
Respondent: ArcelorMittal Kent Wire Limited
Agent: Lucy McDonnell
The draft Local Plan fails to protect infrastructure assets at Chatham Docks as the proposed residential redevelopment will lead to the loss of a non-tidal dock, a key and unique infrastructure asset. Further, there is no consideration of the loss of the ArcelorMittal Kent Wire facility as a result of the proposed redevelopment of their site, and the impact that will have on region wide infrastructure projects where the steel products required are no longer produced locally and may be less available, need to travel long distances, and be at greater cost.
A full representation is provided to planning.policy@medway.gov.uk
2.17.1 The draft Local Plan states "The Council will seek the timely and effective delivery of infrastructure for strategic and smaller sites to support the local economy and meet the needs of Medway’s communities. The Council will also seek to protect existing infrastructure assets and safeguard land where required for new infrastructure." However, in its proposals in relation to Chatham Docks, it clearly fails to protect infrastructure assets as the proposed residential redevelopment will lead to the loss of lock gates and their means of giving access to a non-tidal dock, a key and unique infrastructure asset. Further, there is no consideration of the loss of the ArcelorMittal Kent Wire facility as a result of the proposed redevelopment of their site, and the impact that will have on region wide infrastructure projects where the steel products needed for construction are no longer produced locally and may be less available, need to travel long distances, and be at greater cost.
Comment
Medway Local Plan (Regulation 18, 2024)
Policy T34: Safeguarding of Existing Waste Management Facilities
Representation ID: 3935
Received: 08/09/2024
Respondent: ArcelorMittal Kent Wire Limited
Agent: Lucy McDonnell
The draft Local Plan states at paragraph 12.4 that "the presumption is that existing consented waste management facilities are safeguarded from loss to non-waste uses, or from proximate development that may limit or hinder their operation". This is in direct contradiction to the impact of the Chatham Docks redevelopment proposals in the draft Local Plan, which would inevitably lead to the closure of the four waste management facilities shown on the draft Policy Map on the northern part of the Chatham Docks site.
A full representation is provided to planning.policy@medway.gov.uk
2.18.1 The proposed redevelopment of Chatham Docks will also impact the waste processing use to the north of the basin. We note that the draft Local Plan states "The proximity principle requires mixed municipal waste collected from private households to be disposed of, or be recovered, in one of the ‘nearest appropriate installations’". We also note that paragraph 12.4 states that "the presumption is that existing consented waste management facilities are safeguarded from loss to non-waste uses, or from proximate development that may limit or hinder their operation". This is in direct contradiction to the impact of the Chatham Docks redevelopment proposals in the draft Local Plan, which would inevitably lead to the closure of the four waste management facilities shown on the draft Policy Map on the northern part of the Chatham Docks site.