HG1 KS2- TIR I'R GOGLEDD O DDINAS POWYS
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6751
Derbyniwyd: 11/03/2026
Respondent ID: 2863
Ymatebydd: Mrs Alison Hubbard
Cadarn? Heb nodi
I am resubmitting as I hadn't noticed the reference that was needed for this objection. It has been unnecessarily difficult to submit these objection.
I object -
Schools - already over subcribed, children from Dinas Powys unable to get places.
Doctor's surgery - will be overwhelmed, already working full speed to service current population.
Green space - this is good farming land we need to produce our own food and we need places to walk for our mental health.
Green wedge-erosion of land buffering us from Llandough / Penarth.
Climate Change - more traffic, more pollution, increase global warming.
Lack of amenities - no shops/amenities in area meaning car journeys necessary for everyday outings.
Flooding-land is already saturated, more concrete-means more flooding less land to absorb water.
Wildlife - loss of habitat for bats and newts
Stations - railway at Eastbrook has no access for pushchairs or wheelchairs.
Traffic - Cardiff Road is already gridlocked all day. More cars trying to access it at peak times will make it unviable.
I am resubmitting as I hadn't noticed the reference that was needed for this objection. It has been unnecessarily difficult to submit these objection.
I object -
Schools - already over subcribed, children from Dinas Powys unable to get places.
Doctor's surgery - will be overwhelmed, already working full speed to service current population.
Green space - this is good farming land we need to produce our own food and we need places to walk for our mental health.
Green wedge-erosion of land buffering us from Llandough / Penarth.
Climate Change - more traffic, more pollution, increase global warming.
Lack of amenities - no shops/amenities in area meaning car journeys necessary for everyday outings.
Flooding-land is already saturated, more concrete-means more flooding less land to absorb water.
Wildlife - loss of habitat for bats and newts
Stations - railway at Eastbrook has no access for pushchairs or wheelchairs.
Traffic - Cardiff Road is already gridlocked all day. More cars trying to access it at peak times will make it unviable.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6752
Derbyniwyd: 11/03/2026
Respondent ID: 3671
Ymatebydd: Mr Aw Holden
Cadarn? Heb nodi
Higher risk flooding.
Higher air pollution around school.
School and medical centre at capacity traffic delays will get worse.
Wildlife will be affected.
Higher risk flooding.
Higher air pollution around school.
School and medical centre at capacity traffic delays will get worse.
Wildlife will be affected.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6753
Derbyniwyd: 11/03/2026
Respondent ID: 3202
Ymatebydd: Mr Richard Hird
Cadarn? Heb nodi
I strongly disagree with the proposed development for the following reason:
1. The road adjacent to the development (Cardiff Road) is already our capacity and additional traffic from the development will make congestion and air pollution worse.
2. The local infrastructure-medical culture and schools-cannot absorb more people
3. Loss of habitat and green space is not good for the environment.
I strongly disagree with the proposed development for the following reason:
1. The road adjacent to the development (Cardiff Road) is already our capacity and additional traffic from the development will make congestion and air pollution worse.
2. The local infrastructure-medical culture and schools-cannot absorb more people.
3. Loss of habitat and green space is not good for the environment.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6755
Derbyniwyd: 11/03/2026
Respondent ID: 1713
Ymatebydd: Mrs Maxine Hird
Cadarn? Heb nodi
I strongly disagree with the above development.
1) Cardiff Road reached full capacity-congestion.
2) Air pollution
3) Infrastructure at full capacity
4) Health and Safety walking along Cardiff road narrow pavement
5) Eastbrook Station unsuitable for prams, wheelchairs etc 6) Raw sewage discharge
7) Loss of habitats
8) Increased usage of Georges Row
I strongly disagree with the above development.
1) Cardiff Road reached full capacity-congestion.
2) Air pollution
3) Infrastructure at full capacity
4) Health and Safety walking along Cardiff road narrow pavement
5) Eastbrook Station unsuitable for prams, wheelchairs etc 6) Raw sewage discharge
7) Loss of habitats
8) Increased usage of Georges Row
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6757
Derbyniwyd: 11/03/2026
Respondent ID: 3674
Ymatebydd: Mr Jeremy Herbert
Cadarn? Heb nodi
Not suitable due to water/flooding issues-still not resolved from 2020.
Traffic congestion pollution from exhaust.
Station is not very pedestrian excess suitable wildlife is threatened.
Loss of amenities.
Active travel criteria not met for pedestrian access to station.
Not suitable due to water/flooding issues-still not resolved from 2020.
Traffic congestion pollution from exhaust.
Station is not very pedestrian excess suitable wildlife is threatened.
Loss of amenities.
Active travel criteria not met for pedestrian access to station.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6758
Derbyniwyd: 11/03/2026
Respondent ID: 3675
Ymatebydd: Mrs Jill Harvey
Cadarn? Heb nodi
I feel that this site for new housing has multiple negative effect on the residents of Dinas Powys and surrounding areas. Traffic on Cardiff Road is very busy, queues during the day can be long and at peak times its horrendous, adding at least 30 minutes to travel time through Cardiff Road. Adding new houses will have a dramatic effect to the flood risk in Dinas Powys. Building on fields that contain rain water will not allow drainage at the same scale, more drains and sewage running into the local rivers who can't cope with the present volume of rainwater. Doctors/schools/dentists are already struggling with the population. Pollution from 250+ cars is detrimental to people, especially children walking to school alongside the queues of traffic.
I feel that this site for new housing has multiple negative effect on the residents of Dinas Powys and surrounding areas.
Traffic on Cardiff Road is very busy, queues during the day can be long and at peak times its horrendous, adding at least 30 minutes to travel time through Cardiff Road. Adding new houses will have a dramatic effect to the flood risk in Dinas Powys. Building on fields that contain rain water will not allow drainage at the same scale, more drains and sewage running into the local rivers who can't cope with the present volume of rainwater. Doctors/schools/dentists are already struggling with the population. Pollution from 250+ cars is detrimental to people, especially children walking to school alongside the queues of traffic.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6760
Derbyniwyd: 11/03/2026
Respondent ID: 3673
Ymatebydd: Mr Paul Giles
Cadarn? Heb nodi
Traffic going through Dinas Powys is already congested. there will be more flooding. There is difficultly getting a doctors appointment now and schools have not got the spaces for more children.
Traffic going through Dinas Powys is already congested. there will be more flooding. There is difficultly getting a doctors appointment now and schools have not got the spaces for more children.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6761
Derbyniwyd: 11/03/2026
Respondent ID: 3676
Ymatebydd: Mrs Tina Giles
Cadarn? Heb nodi
I disagree with the new housing plan as it will cause flooding. Also the traffic through Dinas Powys now is bumper to bumper. There is not enough public transport as well as school places and it's difficult to get a doctors appointment.
I disagree with the new housing plan as it will cause flooding. Also the traffic through Dinas Powys now is bumper to bumper. There is not enough public transport as well as school places and it's difficult to get a doctors appointment.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6762
Derbyniwyd: 11/03/2026
Respondent ID: 3677
Ymatebydd: Mr Kevin Feehan
Cadarn? Heb nodi
Although understanding the requirement for additional housing, the current proposal and location is at odds with the impact of the traffic on Cardiff Road between Dinas Powys and routes to Llandough, the A4232 and also alternative traffic proceeding to Cardiff centre and M4 link.
For more housing a complete change is required in the road infrastructure of the local area, or the residents of Llandough and Dinas will be gridlocked daily. I saw this first hand when the mill development at Ely Bridge was constructed. Traffic is now at a standstill at certain hours of the day.
Although understanding the requirement for additional housing, the current proposal and location is at odds with the impact of the traffic on the Cardiff Road between Dinas Powys and routes to Llandough and follow on to the A4232 and also alternative traffic proceeding to Cardiff centre and M4 link.
If any future housing are placed in this area a complete change is required in the road infrastructure of the local area, or the residents (current) of Llandough and Dinas will be gridlocked daily by traffic congestion. I saw this first hand when the mill development at Ely Bridge was constructed. Traffic is now at a standstill at certain hours of the day.
Cefnogi
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6778
Derbyniwyd: 11/03/2026
Respondent ID: 1068
Ymatebydd: Persimmon Homes (East Wales)
Asiant : Boyer Planning
Persimmon wholly support the inclusion of Land to the North of Dinas Powys (HG1 KS2) as a proposed site allocation within the emerging RLDP. The site represents a logical extension to the existing settlement of Dinas Powys and provides an opportunity to address local housing needs within a highly accessible and well-connected location. Given its position adjacent to the existing settlement boundary of Dinas Powys, the site also is also well served by existing services, public transport links, schools and community facilities, thereby reducing reliance on private car travel and supporting national and local placemaking objectives.
The proposed scheme has also been designed to make effective use of land that is both logically related to the existing urban form and clearly aligns with the Council’s growth strategy. Given the level of demand in the area, a particularly significant benefit of proposed allocation HG1- KS2 is the commitment to deliver a minimum of 100 affordable homes, representing 40% of the total provision.
The site will therefore make a meaningful contribution to meeting locally needs and incorporate a mix of tenures that directly responds to the Vale’s LHMA/evidance base. These principles align with the Councils aspirations to foster more inclusive communities and thus remain consistent with Policy SP4 and Policy PGD1. From a design perspective the proposed scheme has also informed by a comprehensive masterplanning process ensuring that high quality design, integrated green infrastructure, and sustainable transport connections integrated throughout the proposed layout.
Ecological considerations have similarly informed the proposed layout for the site. Technical work, including the Preliminary Ecological Appraisal and subsequent strategy documents, have confirmed suitable biodiversity enhancements can be delivered through a network of retained and reinforced green corridors, historic woodland protection, and supplementary planting. The masterplan prioritises ecological connectivity, incorporating wildlife corridors, dark routes for nocturnal species, and extensive areas of multifunctional open space. These measures not only mitigate potential impacts on identified species, such as dormice, but provide clear opportunities for biodiversity net gain in accordance with the Environment (Wales) Act 2016. The integration of Sustainable Drainage Systems within landscaped areas further demonstrates how flood attenuation, habitat creation and recreational provision can be delivered in a cohesive manner. Thereby ensuring that environmental enhancements are incorporated throughout the scheme from the outset which fully accord with the RLDP’s objectives in that respect.
In transport and community infrastructure terms, the site’s sustainable credentials are equally compelling. The proposed access arrangements onto Cardiff Road have been refined in response to feedback from the highway department, whilst demonstrating deliverability and promoting safe access for all users to avoid having any adverse impacts on local highway network.
Geographically the site also lies within immediate walking distance of Eastbrook and Dinas Powys rail stations, which inevitably aligns with the Council’s transport-orientated growth strategy. In turn these principles accord with national placemaking objectives set out in PPW12 and shall actively encouraging a modal shift away from private vehicles to incentivise more active forms of travel.
Most notably this includes dedicated pedestrian and cycle links through the site providing connectivity with a range of local services and facilities.
By virtue of the above we fully support the proposed allocation of Land to the North of Dinas Powys (HG1 KS2). As the proposed developer Persimmon Homes remain committed to development opportunities the site presents and its ability to help deliver much needed full market and affordable homes in a highlight sustainable location, which clearly accord with the Council’s proposed growth strategy.
This submission relates to the site known as ‘Land North of Dinas Powys’ and builds upon previous responses provided in respect of the Call for Sites exercise in September 2022 and more recently Preferred Strategy in February 2024.
For context the site is identified as part of Candidate Site Ref. No 444 within the latest Candidate Sites Assessment (Background Paper – BP18A) which has been published as part of the supporting evidence base.
As you are aware to date Persimmon have presented, what is in effect, two options for the development of the site with a Smaller Option (extending c13ha) and an Extended Scheme (extending to c31ha). Whilst there are significant benefits of both schemes this representation will focus on the smaller option which has been identified as a proposed site allocation for residential development within the Deposit under Policy HG1 – KS2 ‘Land North of Dinas Powys’.
Having reviewed the Deposit Plan it is evident that the document is structured around a number of key themes/ sections. For convenience this submission discusses each of which in chronological order and should be considered in conjunction with the accompanying technical reports/ plans provided to date.
The overarching purpose of which shall be to respond to the relevant draft Replacement Local Development Plan policies, with particular consideration given to the Welsh Government’s tests of soundness as set out within the Development Plan Manual for Wales (Third Edition) March 2020)):
• Test 1 – Does the Plan Fit?
• Test 2 – Is the Plan Appropriate?
• Test 3 – Will the Plan Deliver?
Section 3: Key Characteristics
Settlement Pattern
In principle, Persimmon support the Settlement Pattern as set out in Section 3 and in particularly the identification of Dinas Powys as a Primary Settlement.
Paragraph 3.9 explains that primary settlements “offer several key services and facilities, which are vital to their role as sustainable communities, as they reduce the need to travel to Barry or the Service Centre Settlements to address day-to-day needs”.
The importance of the Primary Settlements in supporting the Service Centre Settlements is noted, however Persimmon consider that Dinas Powys, in particular, is capable of a higher role/ function and thus accommodate even further levels of growth. This is particularly relevant given the fact that the Service Centres at Cowbridge, Llantwit Major and Penarth are generally more constrained physically and environmentally.
Housing Market and Housing Need
In light of the Vale of Glamorgan’s strategic location in-between Cardiff and Bridgend, and the significant employment opportunities associated with these areas, the Deposit RLDP should seek to maximise housing provision to ensure a more sustainable balance is achieved between homes and jobs, and in turn reduce commuting distances/ carbon emissions.
Paragraph 3.18 clearly acknowledges the scale of affordable housing need, identifying a requirement for 1,075 affordable homes per annum between 2023–2028 and 154 per annum thereafter. Yet it remains unclear whether existing unmet need has been fully factored into the overall housing requirement presented within the Deposit RLDP. This is particularly importance in the context of the Welsh Government’s 2025-based estimates which identify 9,400 units of unmet need at a national level and a requirement for 8,700 additional homes per annum over the next five years simply to address newly arising need.
Accordingly, there is a compelling justification for a further uplift in housing numbers to ensure the Plan proactively addresses both existing and emerging need. Increasing the overall housing requirement would directly enhance the overall delivery rate for affordable homes which is crucial in a local authority area with the highest affordability ratio in Wales. Paragraph 3.17 confirms that in the Vale average house prices are 9.7 times average workplace earnings compared to the Wales average of 6.1, therefore a step change in housing targets is needed to support a more balanced housing market across the region.
Section 4: Key Themes, Vision & Objectives
Key Themes
Persimmon supports the theme ‘Homes for all’ and the need for the housing supply to respond to the growing population and provided in appropriate locations, with a mix of tenure and types. In that respect site Land north of Dinas Powys provides an opportunity to ensure future residential development aligns with such objectives to deliver high quality housing development in a sustainable location, whilst also facilitating additional services and facilities as part of the proposed offer.
In principle, Persimmon support the ‘Placemaking’ theme and consider that the proposed allocation in Dinas Powys shall ensure a strong sense of identity is achieved.
Persimmon also support the theme of ‘Promoting active travel and sustainable transport choices’, and highlight that the proposed residential development at Dinas Powys clearly further assists in ensuring that the new development be in a highly sustainable location with very good access to alternative transport, other than the private car.
Vision
In general, Persimmon support the RLDP Vision, however highlight that whilst Barry and other Sustainable Service Centres are identified as playing a vital role in delivering the strategy, the importance of the ability for Primary Settlements to deliver sustainable and high-quality residential development also needs to be suitably recognised.
The site Land north of Dinas Powys clearly aligns with the Council’s ambition to ensure future growth delivers homes which caters for all (including affordable homes) and are prioritised in areas of greatest demand. Whilst simultaneously facilitating much needed additional infrastructure improvements to further enhance Dinas Powys’ role as a Primary Settlement thereby supporting both existing and future residents.
In light of the above it is considered that Dinas Powys plays a significant part in delivering the Council’s strategy and the role, function, and ability of this settlement to accommodate growth needs to be significantly reinforced. The settlement is capable of accommodating more growth in a highly sustainable location we believe warrants greater recognition within the vision itself.
Strategic Objectives
Objective 3 – Home for All
Persimmon supports the principle of Objective 3, in particular the provision of high quality housing which includes the right mix, tenure and type. Persimmon supports the notion of providing residential development in places which people want to live, and in particular Dinas Powys as a Primary Settlement.
Objective 4 – Placemaking
As above, in principle Persimmon support the Council’s placemaking objectives which seeks to ensure all development will contribute positively toward creating a sense of place. Most notably this involves prioritising future growth in sustainable locations which are placed to create attractive, safe and accessible schemes that are equally effective from a functional standpoint.
Our site in Danis Powys aligns with such principles whilst also providing an opportunity to facilitate a logical extension to the existing urban form and in doing so meet local need in a sustainable matter. The scope of which includes full market and affordable housing in accordance with proposed policy requirements along with ample public open space, active travel links via dedicated pedestrian footpaths and cycleways and SuDS features.
Objective 8 – Promoting Active and Sustainable Travel Choices
Persimmon supports the principle of promoting active and sustainable travel choices and highlight that their residential development at Dinas Powys has been designed to ensure accessibility it’s at the heart of the scheme with regards to walking, cycling and connectivity to public transport.
Moreover, the proposed allocation would also facilitate both on-site and off-site infrastructure improvements further enhancing the existing excellent accessibility to Eastbrook Station. Therefore, providing an opportunity to encourage a modal shift towards more active forms of travel and consequently reducing dependency on private vehicle and associated carbon emissions. From a plan-making standpoint the proposed allocation at Land north of Dinas Powys (HG1 KS2) is therefore crucial to ensure growth is prioritised in such a highly sustainable location and maximise opportunities for greater connectivity at both a regional and local level.
Section 5: Sustainable Growth Strategy
RLDP Sustainable Growth Strategy comprises six key elements as follows:
1. Delivering a sustainable level of housing and employment growth supported by appropriate infrastructure that accords with the Vale’s position within the Cardiff Capital Region (CCR).
In order to meet the overarching Vision, the Vale have identified a need to deliver at least 8,679 new dwellings over the proposed plan period which responds to the identified housing requirement of 7,890 homes (526 per annum) and incorporates a 10% flexible allowance. Persimmon support the proposed approach, however maintain it should be considered a minimum figure with aspirations to achieve greater levels of growth in sustainable locations across the district.
Whilst we appreciate these figures are based on average completion rates over the first ten years of the adopted Local Development Plan. It is important to recognise that a higher rate of housing delivery is demonstrably achievable. Annual completion rates peaked at 917 dwellings, with six of the ten monitoring years exceeding the 526 per annum figure currently relied upon. This demonstrates that delivery capacity within the Vale has historically operated well above the proposed requirement and should therefore provide confidence that a higher housing target could realistically be achieved over the emerging plan period.
Furthermore, the Council’s own evidence base (BP7 - Housing and Employment Growth Options) identifies a five-year average build rate of 780 units per annum between 2016 and 2021. Again, this figure exceeds the annual delivery rate currently proposed within the emerging RLDP and reinforces the fact that the proposed housing requirement should not be unduly constrained by a lower long-term average.
Whilst Paragraph 5.8 explains that the proposed figures are based on a ten-year average delivery rate, it fails to acknowledge that this period included the Covid-19 pandemic and at a time where construction costs experienced significant inflation. These factors had a material impact on the housebuilding industry nationally and inevitably suppressed delivery rates during those years. From an objective perspective, basing the future housing requirement on an average that includes these exceptional circumstances risks skewing the figures and underestimates the district’s true delivery potential for the Vale.
In light of the above we believe a sensible response would be to incorporate a greater flexible allowance of 15% within the RLDP to demonstrate an appropriate level of growth will be achieved. Whilst also ensuring there is sufficient supply of sites to come forward early on during the plan period to proactively address housing need from the point of adoption up to 2036.
From a procedural standpoint it is also important to note that the currently adopted plan predates the publication of Future Wales: The National Plan 2040 and the Vale’s position within a national growth area. As such, pursuing an approach which seeks to maintain historic delivery rates is not considered to reflect this enhanced role and arguably lacks the level ambition set out at a national level. The proposed housing requirement should therefore be uplifted to positively respond to such matters in order to ensure conformity with Future Wales and regional aspirations.
Increasing the overall housing target would also act as a catalyst to enhance the delivery of affordable housing which is identified as a key objective for the RLDP. Each proposed site allocation is subject to a policy-compliant percentage contribution, therefore a higher level of market housing would proportionately generate a greater number of affordable homes to meet local need across the region.
As evidence above, the proposed allocation Site Ref HG1 KS2 – Land to the North of Dinas Powys, represents a suitable, available and deliverable location for residential development without any constraints preventing it from delivering units in the first five years of the emerging plan period.
Persimmon Homes remain fully committed to the development opportunities presented by the site and its progression as a proposed allocation within the RLDP. The latter is essential in assisting the Vale of Glamorgan meet local housing need which ultimately goes to the heart of the plan and ensuring it has been soundly prepared.
2. Aligning locations for new housing, employment, services and facilities to reduce the need to travel.
Persimmon supports the Vale’s objective to locate new major development in areas of the region best served by existing infrastructure and supporting services. The Settlement Appraisal Review (BP5) identifies Dinas Powys as the most sustainable primary settlement in the region with suitable local services to accommodate future growth which remains in keeping with the overall function of the existing settlement.
Whilst the settlements of Barry, Penarth, Llantwit Major and Cowbridge are deemed to score higher on certain criteria (as shown within the table below), it is clear Dinas Powys is considered to be the third most accessible settlement to modes of public transport which clearly aligns with the Council’s intension to pursue a transport orientated spatial strategy for future growth. On this basis it is evident that Dinas Powys is more sustainably located when compared to Cowbridge and Llantwit Major, and therefore warrants a higher ranking within the Settlement Appraisal Review and thus greater levels of growth within the RLDP.
Tables 1& 2. Extracts of Key Settlement, Service Centres & Primary Settlement Scores from Settlement Appraisal Review (BP5)
3. Focusing development at locations that are well served by existing and proposed rail stations as part of the South Wales Metro and in areas with good bus links.
The Deposit RLDP explains that whilst reducing the need to travel is a key policy objective, it is recognised that there are journeys that will need to be made by other modes of transport, particularly due to the strong relationship with Cardiff as a designation for employment, retail and entertainment. As such the proposed growth strategy seeks to locate development in places that are inherently well served by sustainable transport in line with the Vale of Glamorgan’s transport hierarchy.
Persimmon supports these principles and recognises the importance of prioritising development in sustainable locations across the regions, particular those well connected to Cardiff city centre. Paragraph 5.18 of the Deposit Plan states that “Targeting new development to the settlements that are served by the rail network is a key part of the strategy, as it will facilitate journeys being made by means other than the car”. Persimmon wholly agree with this approach on the basis that this would enable the RLDP to achieve a more sustainable pattern of development and in doing so support growth over the emerging plan period.
In order to help identify suitable locations for future development Transport for Wales have produced isochrone maps which delineates different travels times for walking and cycling around each of the existing railway stations in the Vale. Most notably the site known as at ‘Land North of Dinas Powys’ is situated within 5-10 minutes walking / 0-5 minutes cycling distance to Eastbrook Station and 15-20 minutes walking/ 5-10 minutes cycling distance from the station at Dinas Powys. This evidence clearly demonstrates the proposed site represents one of the most sustainable locations for residential-led growth and thereby justified its position within the RLDP as a key allocation.
Land North of Dinas Powys further strengthens the spatial strategy by prioritising development at a location that is well served by existing rail stations. Focusing growth in settlements with established rail connectivity ensures that future residents have direct access to sustainable transport infrastructure from the outset. This approach supports a more sustainable pattern of development by reducing reliance on the private vehicle and encouraging a modal shift towards rail, alongside walking and cycling for local trips.
By directing development to locations well served by existing bus and rail infrastructure , the proposal would help reduce the need for commuting via private vehicles, particularly for journeys to key employment and service destinations. In doing so, it would make a positive contribution towards the Council’s climate change targets through the reduction of carbon emissions and promoting a modal shift within the local community.
Moreover, the proposed allocation HG1 KS2 presents a significant opportunity to support local facilities and facilitate green infrastructure provision within a highly accessible and sustainable location. The scope of which shall include ample public open space, dedicated active travel links via pedestrian footpaths and cycleways, Sustainable Drainage Systems (SuDS) features, and other associated infrastructure. Integrating these elements at the heart of the site shall enable residents to meet a greater proportion of their daily needs locally while benefiting from high-quality public transport connections.
In terms of the overall distribution of growth, Persimmon fully supports the proposed approach to prioritise development in sustainable locations near existing rail infrastructure as depicted by the strategic transport corridor within the RLDP Key Diagram (Figure 10). However, to optimise the effectiveness of this strategy it would be prudent to focus growth in areas of greatest demand.
Paragraph 3.14 of the Deposit Plan explains that a significant proportion of the population increase in the Vale over the past 10 years has been as a direct result of a people migrating from Cardiff to the Vale, with the Vale ultimately experiencing a net increase of an average of 716 people per year for the period 2011-2021. These principles should therefore be better reflected in the general pattern of development set out within the RLDP. This would be achieved by prioritising higher levels of growth in areas such as Dinas Powys, which is not only the nearest settlement geographically to Cardiff but also inherently well connected by the existing rail network and other modes of public transport.
Focussing further growth in well-connected, sustainable locations such Dinas Powys will therefore support the Council’s transport-led placemaking approach. These principles fully align with the Welsh Governments strategic objectives as set out within the Future Wales – the National Plan 2040, Planning Policy Wales Edition 12 and Llwybr Newydd: The Wales Transport Strategy, which in turn shall contribute towards achieving a more sustainable pattern of development within the RLDP.
Figure 1. Extract of Key Diagram/ Strategic Growth Area from Deposit Plan
Section 6: Policy Framework
This section identifies the strategic policies, criteria-based development management policies, site specific allocations and designated areas to be protected. These are broadly arranged by topic theme under the key policy headings set out in PPW which are reflected below.
Strategic and Spatial Choices (Placemaking)
Policy SP1 – Sustainable Growth Strategy (& Policy SP6 – Housing Requirements)
This policy states that in order to deliver the Sustainable Growth Strategy for the VoG, the emerging RLDP will make provision for 7,890 dwellings and 5,338 jobs over the plan period. In order to achieve the former Policy SP6 explains that to meet the identified housing requirement of 7,890 dwellings, provision will be made for the delivery of 8,660 homes in the Plan Period 2021 to 2036 which incorporates a 10% flexible allowance. In turn this will be distributed as follows: i) 3,837 dwellings from the existing land supply; ii) 3,520 dwellings on allocated sites; & iii) 1,303 dwellings from large and small windfall developments.
Whilst Persimmon supports the Council’s conclusion that in principle the ‘Medium’ growth option reflected in Policy SP1 generally accords with the Welsh Government’s aspirations for the Vale of Glamorgan within the Future Wales national growth area, which is identified as a focus for strategic economic and housing growth. Given the Vale forms part of the Cardiff Capital Region, it is equally important that the overall level of growth remains suitably ambitious to support the region’s economic aspirations and continues to complement Cardiff which remains the nearest neighbouring authority.
Although we understand the proposed approach uses the Dwelling-led 10 Year scenario, which is based on the average annual build rate for the first 10 years of the adopted plan and equates to a total of 7,890 new homes or 526 dwellings per annum over the emerging plan period. The overarching intention is to ensure the projected level of growth is deliverable whilst recognising the fact there is sufficient capacity within the Vale to support further growth towards the higher end of the ‘medium’ range.
As noted, Persimmon are wholly in support of Key Housing-Led Site Ref. KS2 - North Dinas Powys, off Cardiff Road, which seeks to actively contribute towards the housing requirement.
However, the Deposit Plan also needs to recognise that there exists an opportunity to further extend the allocation to provide a logical extension to the defined urban area of Dinas Powys and which will facilitate the delivery of much needed full market and affordable housing to help address the significant level of demand identified across the Vale.
This additional land is promoted in the context of the concerns raised regarding the current figure of 8,660 new dwellings which is underpinned by a 10% flexible allowance in relation to housing delivery. Persimmon consider it relevant to take account of recent evidence provided to other Local Planning Authorities in Wales which have either adopted or are in the latter stages of bringing forward a new Local Development Plan.
For example, in Bridgend the Council recently adopted their new Local Development Plan (covering the period 2018 to 2033) which is underpinned by a flexibility allowance of 14% equating to an additional 1,053 dwellings. This level of provision was required in order to demonstrate the Anticipated Annual Build Rate (AABR) were deliverable and ensure that the Plan remains effective in the event of changing circumstances. During the examination process the Inspector explained that an increase beyond the standard 10% was fundamental to enable the plan and its housing trajectory to be resilient and sufficiently adaptable. The overarching purpose of which is to account for any unforeseen changes and potential shortfalls/ delays to the strategic site allocations whilst still enabling the overall housing requirement to be delivered.
For Swansea, the Council published their LDP2 Pre-Deposit Plan (Preferred Strategy) for consultation last year. In terms of housing delivery this incorporates a 20% flexible allowance above the proposed housing requirement and is predicated on the basis of needing to account for certain sites not coming forward as anticipated and other unforeseen factors affecting delivery. Similar to the Vale, Swansea City Council’s latest Annual Monitoring Report (6th Edition) (October 2025) confirms that since adoption of the current LDP in February 2019 they have not met their annual housing target for any of the past six years. To date this has resulted in a shortfall of approximately 3,767 homes which is predominantly attributed to delays associated with larger strategic allocations. Therefore, in order to avoid having similar implications next time around the Council have uplifted the proposed flexible allowance within LDP2 and intend to incorporate a more diverse portfolio of sites going forward. The main purpose of which is to build in an additional margin of flexibility above the standard 10% threshold, and therefore enable other sites to come forward to account for potential slippage elsewhere to ensure the plan is effective in meeting local need.
More recently in Monmouthshire, the Council submitted their proposed RLDP to PEDW in November 2025. As part of which they have identified a requirement of 6,210 homes which incorporates a 15% flexible allowance. Similar to above an increase beyond the standard 10% threshold has been justified to account for potential shortfalls/ delays due to longer lead in times needed for strategic site allocations whilst proactively addressing any historic unmet need.
Whilst Persimmon appreciate that the Council intends to prioritise growth towards the higher end of the ‘medium’ range. Having reviewed the Deposit Plan evidence base we believe a minimum allowance of 15% would be more reflective of the Vale’s strategic position and would seek an additional 395 dwellings to the medium growth option equating to a total of 9,074 homes. The benefits of which are evident above and justification well-established from a plan-making perspective to ensure the RLDP is underpinned by a robust evidence base which incorporates a suitable level of flexibility to effectively meet local housing need from the outset.
In addition to the above the importance of increasing the RLDP’s housing target, by virtue of uplifting the proposed flexible allowance, has recently been highlighted by the findings of data published by the Welsh Government (WG). Most notably that includes the 2022-based Local authority household projections (Dated 20th November 2025) and 2025-based estimates of additional housing need (Dated 12th February 2026).
Upon publishing the former superseded the previous 2018-based demographic projections and provides updated figures from mid-2022 to mid-2032. The results show that whilst the overall number of households in Wales is projected to increase by around 98,500/ 7.2%, to a total of 1.46 million. The local authorities projected to see the largest percentage increases are the Vale of Glamorgan (up 11.7%) and Cardiff (up 11.1%).
In turn these trends are carried through into WG’s 2025-based estimates of additional housing need, which identifies an existing unmet need of 9,400 homes. This is supplemented by a requirement to deliver an average of 8,700 new homes annually over the next five years to account for newly arising need alone. The combination of which demonstrates that there is an urgent need to increase delivery rates on both a national and local level, and therefore it’s imperative that the latest position with regards to the need for affordable and full market homes are accurately reflected within the Council’s housing figures.
In terms of considering the level of housing provision for a plan, Paragraph 5.34 of the DPM is explicit in that the most up-to date suite of Welsh Government Population and Household Projections must form the foundation of any evidence base. LPAs are then required to use a household conversion factor when translating households to dwellings to establish overall need.
Once again, the DPM explains that failure to include a robust conversion rate from the outset is a high-risk strategy and may undermine the overall soundness of any emerging plan. To avoid such circumstances, we believe it’s essential the LMNA is updated to reflect the latest WG datasets, which in turn is likely to provide grounds to warrant extending the proposed 15% threshold further. Ultimately this approach intends to ensure the emerging RLDP more effectively meet local need over the entire plan period and thus soundly prepared.
Figure 2. Extract of the Welsh Government’s Calculation Method for Total Dwellings as per the Development Plan Manual
As mentioned above, Policy SP6 provides a high-level breakdown of how the Council’s housing growth is expected to be delivered over the plan period. For completeness this includes: i) 3,837 dwellings from the existing land supply; ii) 3,520 dwellings on allocated sites; & iii) 1,303 dwellings from large and small windfall developments.
Whilst we do not dispute those relating to proposed site allocations and/ or windfall developments. The proportion of dwellings set to be accounted for within the Vale of Glamorgan’s existing landbank (3,837 units) is considered excessive given it represents 44.3% of the Council’s overall housing requirement.
Although Persimmon acknowledge that this is partly derived on the basis that emerging plan period has technically already commenced (2021 to 2036), and therefore is made up of sites at various different stages of planning process (i.e. either already built out, being constructed or secured consent - as shown below). It is important to recognise the potential implications this approach has in terms of stifling opportunities for growth, which is contrary to the Welsh Government’s aspirations for the Vale of Glamorgan as part of a National Growth Area within Future Wales: The National Plan 2040.
Table 3. Extract of the Vale of Glamorgan’s Housing Supply and Housing Requirement
From an objective standpoint this means there is only a need for 2,561 additional dwellings (3,520 dwellings minus 959 units rolled forward) to be delivered from new allocations over the emerging plan period. This reinforces the point that in reality the overall quantum of new homes will be significantly lower than the figure set out within the RLDP’s vision and strategic objectives. In turn this prevent opportunities for new sites to come forward as part of the plan-making process and in doing so hinder the Council’s ability to account for historic unmet need. Collectively this substantiates Persimmon’s position that in order for the plan to be considered sound the Council must accommodate a greater flexible allowance, optimising the use of sites such as Land north of Dinas Powys, to ensure the emerging local plan complies with the Welsh Government’s aspirations set out within Future Wales.
As illustrated above, the Council anticipate 1,303 dwellings coming forward in the form of windfall sites. This accounts for both small and large sites which in turn represents around 15% of the Council’s overall housing requirement. Once again, whilst we do not contest the overall windfall provision or the projected delivery rate of 87 dwellings per annum up to 2036. It is important to recognise that based on past trends the annual number of homes which comes forward on windfall sites varies significantly year on year.
Table 18 of the Development Plan Manual (DPM) is explicit in that respect and explains that although due regard must be attributed to analysis of past delivery rates, periods of abnormally high or low completions should be considered inappropriate/anomalies when extrapolating future rates of windfall sites. On that basis ensuring the RLDP incorporates a greater flexible allowance will not only provide certainty that any shortfalls/fallow periods are offset, but also enable a more consistent supply of homes to be achieved over the plan period as a whole.
Lastly, in terms of overall growth Paragraph 5.8 of the Deposit Plan states that the level of growth they have identified ‘’has been demonstrated to be deliverable and is sufficiently ambitious to reflect the Vale’s position in the Future Wales national growth area.’’ It also notes that this level of growth has been chosen so that it is ‘’complementary to, rather than competing with, the neighbouring authority of Cardiff and the wider Cardiff Capital Region (CCR).’’.
Whilst it is agreed that the level of growth may be realistic based on past trends, the claim that this is sufficiently ambitious and needs to be at this level to avoid competing with Cardiff is not substantiated by evidence to suggest that a higher level of growth could not also achieve these principles.
Cardiff, as the capital city of Wales, also demonstrated historic under delivery when publishing its deposit plan for consultation in February 2025, which was the case for allocated sites as well as generally for annual delivery rates over the adopted plan period. This resulted in a failure to meet targets over the last 10 years of their adopted plan. Whilst Cardiff has made progress in more recent years, the latest Annual Monitoring Report published in October 2025 notes that to date the region has met just 58% of its overall dwelling requirements over the plan period from 2006-2025.
Accordingly, with Cardiff opting to continue with a medium growth option for their RLDP despite these shortfalls, there is no sound basis to suggest that adopting a higher growth level within the VoG would detrimentally impact upon housing delivery or ‘compete’ with Cardiff.
In summary, Persimmon supports the overall medium growth strategy and key allocations such as North Dinas Powys. Although given the Vale’s position within the Cardiff Capital Region and its designation as a national growth area, we maintain that the proposed RLDP should be more ambitious when it comes to housing targets. Drawing on examples from Bridgend (14% flexibility), Swansea (20%), and Monmouthshire (15%), alongside evidence of historic under-delivery and recent Welsh Government household projections, there are sufficient grounds to warrant increasing the proposed flexibility allowance to a minimum of 15%, equating to a total requirement of 9,074 homes up to 2036.
These steps would help account for any potential overreliance on existing landbanks and variable windfall delivery rates which could in theory limit the plan’s ability to address unmet housing need. Overall, we conclude that a higher flexibility allowance is necessary to the ensure the RLDP is able to effectively meet local need over the plan period. From a practical standpoint whilst further sites may well be required to accommodate the additional growth, it is important the current proposed allocations are safeguarded and therefore supplemented accordingly. The benefits of which shall also demonstrate the emerging RLDP is supported by a robust, proportionate and credible evidence base to accord with the requirements of the Development Plan Manual for Wales and national growth objectives.
Policy SP2 – Settlement Hierarchy
In principle, Persimmon supports the Settlement Pattern set out in Policy SP2, particularly the identification of Dinas Powys as a Primary Settlement.
Whilst the role of Primary Settlements is acknowledged, in that they contain several key services and facilities, vital to supporting sustainable communities including primary schools, small convenience shops, food and drink outlets and employment opportunities.
Persimmon considers that Dinas Powys is capable of fulfilling an enhanced role given its proximity to strategic transport infrastructure which provide regular services to key designations throughout the region and Cardiff city centre. Whilst the proposed allocation HG1 KS2 undoubtedly supports such principles, given the area is inherently well served by existing infrastructure we maintain that it has the capacity to accommodate even further levels of growth, which could be delivered through the extended Candidate Site (Ref. No. 444). This approach would align with the Council’s spatial strategy given that the Service Centres at Cowbridge, Llantwit Major and Penarth are generally subject to greater physical and environmental constraints.
Policy SSC1 – Development within Settlement Boundaries
Persimmon Homes support the premise of Policy SSC1, and the objective of directing development to areas within defined settlement boundaries. This approach will help reinforce sustainable growth patterns and prioritise development in locations well served by both existing and planned infrastructure. Collectively these principles align with the Councils ambitions for Land north of Dinas Powys (HG1 KS2) and supporting local services and facilities to reduce overreliance on private vehicle travel.
Policy SP4 – Placemaking
In principle Persimmon Homes supports Policy SP4 and the aim of ensuring all new development is of high-quality sustainable design.
The proposed allocation Land north of Dinas Powys has been designed with landscape led approach and therefore clearly aligns with the placemaking principles set out in Policy SP4 and the sustainable placemaking framework of PPW12. The site’s location on the edge of Dinas Powys enables the scheme to positively responds to the character of the local area whilst remaining in keeping with the wider landscape setting. The layout reflects the prevailing scale and form of surrounding neighbourhoods, incorporating similar architectural cues and a coherent street hierarchy. Green infrastructure forms the structural framework of the masterplan, integrating retained landscape features, new planting, and sustainable drainage measures to ensure climate resilience and biodiversity enhancement. The density proposed makes efficient use of land in accordance with national policy while remaining sensitive to local character and the edge-of-settlement context.
In line with PPW12’s emphasis on health and well-being, the scheme promotes active travel that connects to existing pedestrian routes, public transport links and community facilities within Dinas Powys. The development prioritises walking and cycling, supports access to local schools, shops and services, and reduces reliance on the private car. Public open spaces have been prioritised towards the centre of the scheme and homes orientated accordingly to promote natural surveillance, thereby creating a safe area that encourage recreation, social interaction and community cohesion. The integrated green network delivers benefits such as improving general air quality and strengthening ecological connectivity within the Vale of Glamorgan.
The proposal also reflects the design principles set down within the Design Commission for Wales in respect of quality architectural design, contextual response and multifunctional spaces. This will be achieved through a balanced mix of housing types and tenures responds to local need. Careful consideration has also been given to the wider landscape setting of Dinas Powys, ensuring that key views, settlement edges and local character are respected and enhanced.
Policy PGD1 – Creating Well Designed and Inclusive Places
Persimmon question the need for both Policies SP4 and PGD1 as there is notable repetition between the two. In principle the criteria set out within the proposed policy aligns with our expectations, however there is a need to recognise that not all criteria will be able to be accommodated on development sites. Particularly given the need to accommodate other legislative requirements relating to environmental and economic matters that warrant equal consideration as part of the planning process.
On that basis if the Council are minded to continue with this particular policy’s inclusion, we request the proposed wording be updated to clarify that such the merit of such principles will be considered on a site-by-site basis rather than the current blanket approach suggested.
Policy PGD2 – Residential Development Densities
Residential densities are supported as a principle, however, should not be so prescriptive as to unnecessarily restrict development. Policy PGD2 outlines that residential development over 0.5ha will be permitted where the proposed density achieves a minimum of 35 dwellings per net hectare within Key, Service Centre and Primary Settlements and 30 dwellings per net hectare in Minor Rural Settlements.
From a planning standpoint, Persimmon support the Councils approach to prioritise higher density development in Key Settlements, Service Centres and Primary Settlements. These locations are naturally better connected to existing transport infrastructure, modes of public transport, Active Travel routes and local services/facilities to accommodate future growth.
A minor point in relation to the policy wording is the ‘dwellings per net hectare’ and the removal of non-developable space in any calculations. Whilst this is normal, the increased requirements relating to SAB, green infrastructure requirements and increased ecological mitigation all have a direct impact on the remaining available land and it is positive to see there is an allowance for some flexibility.
The density requirement appears to be reasonable in its approach, and the flexibility to allow individual site adjustments (as per the remaining text within the Policy) is welcomed. As there will undoubtedly be occasions where the density will need to be considered in further detail due to other on-site factors/ mitigation measures.
Possibly update to highlight support for higher net densities being prioritised in Key, Service Centres and Primary Settlements which are naturally well served by regular public transport provision and Active Travel routes, or near to services and facilities.
Policy SP5 – Creating Healthy & Inclusive Places and Spaces
Policy SP5 is supported in principle insofar as it seeks to promote healthier and more inclusive places, consistent with the objectives of Planning Policy Wales and the Well-being of Future Generations (Wales) Act 2015. However, to ensure the policy is robust and effective, it is important that it is supported by an up-to-date and clearly evidenced policy framework. In this regard, the supporting evidence base, particularly BP36 – Planning Healthy Places (June 2024), should be reviewed to ensure that the datasets referenced reflect the most recent available information. For example, life expectancy data currently cited (2018–2020) and indicators based on the Welsh Index of Multiple Deprivation 2019 should be updated where possible to reflect the most recent datasets, including the Welsh Index of Multiple Deprivation 2025 and any updated public health, active travel, air quality and demographic data. Ensuring that the evidence base reflects the latest available information is necessary to demonstrate that the policy is justified and based on an accurate understanding of local health conditions and inequalities.
The policy framework should also be updated to reflect the Health Impact Assessment (Wales) Regulations 2025, which were approved by the Senedd in November 2025 and will come into force on 6 April 2027. At present, these forthcoming statutory requirements are not referenced within Policy SP5 or the supporting guidance. Given that the regulations will establish a statutory framework for the preparation of Health Impact Assessments in Wales, it will be important for the RLDP and supporting documents to clarify how the policy’s screening, checklist and Rapid HIA requirements will interact with the statutory regime once implemented. Including reference to the regulations would help ensure that the policy remains aligned with national legislation and is future-proofed over the plan period.
The supporting Rapid Participatory HIA of the Deposit RLDP (BP3, September 2025) provides useful background regarding the Council’s engagement with stakeholders in preparing the plan. However, it would be beneficial for the Council to clearly explain how the findings of that work have informed the specific requirements contained within Policy SP5. Providing a clearer link between the outcomes of the participatory HIA and the policy approach adopted in the RLDP would improve transparency and demonstrate that the policy has been shaped by the evidence gathered through the stakeholder engagement process.
Table 4. Extract of Proposed Criteria for HIA Assessments
The emerging Health Placemaking Supplementary Planning Guidance (SPG) is broadly welcomed as a practical tool to support implementation of the policy. Nevertheless, a number of matters require further clarification prior to its adoption. In particular, whilst the SPG provides greater clarity regarding the use of the Healthy Placemaking Checklist and Rapid HIAs, it does not clearly identify the circumstances in which a comprehensive (full) HIA would be required. The SPG should also be updated to reflect forthcoming guidance from the Welsh Health Impact Assessment Support Unit (WHIASU) expected in 2026, and ensure alignment with other relevant policies and guidance, including those relating to design, travel plans, public transport accessibility and open space provision. Given the number of cross-references within the SPG, it will be important that these documents are fully aligned and consistent.
Finally, any requirement for a Health Impact Assessment should be applied on a proportionate basis, reflecting the scale, nature and likely impacts of the development proposed. The policy should therefore make clear that the scope and level of detail required for HIAs will be proportionate to the scale and type of development. Subject to these amendments and clarifications, the policy would provide a clearer and more effective framework for integrating health considerations into the planning process.
Active and Social Places
Policy SP6 – Housing Requirements
Please refer to Policy SP1 as written response also accounts for information proposed under this particular policy.
Policy HG1 – Housing Allocations
HG1 KS2 – Land to the North of Dinas Powys
Persimmon wholly support the inclusion of Land to the North of Dinas Powys (HG1 KS2) as a proposed site allocation within the emerging RLDP. The site represents a logical extension to the existing settlement of Dinas Powys and provides an opportunity to address local housing needs within a highly accessible and well-connected location. Given its position adjacent to the existing settlement boundary of Dinas Powys, the site also is also well served by existing services, public transport links, schools and community facilities, thereby reducing reliance on private car travel and supporting national and local placemaking objectives.
The proposed scheme has also been designed to make effective use of land that is both logically related to the existing urban form and clearly aligns with the Council’s growth strategy. Given the level of demand in the area, a particularly significant benefit of proposed allocation HG1- KS2 is the commitment to deliver a minimum of 100 affordable homes, representing 40% of the total provision. The site will therefore make a meaningful contribution to meeting locally needs and incorporate a mix of tenures that directly responds to the Vale’s LHMA/evidance base. These principles align with the Councils aspirations to foster more inclusive communities and thus remain consistent with Policy SP4 and Policy PGD1. From a design perspective the proposed scheme has also informed by a comprehensive masterplanning process ensuring that high quality design, integrated green infrastructure, and sustainable transport connections integrated throughout the proposed layout.
Ecological considerations have similarly informed the proposed layout for the site. Technical work, including the Preliminary Ecological Appraisal and subsequent strategy documents, have confirmed suitable biodiversity enhancements can be delivered through a network of retained and reinforced green corridors, historic woodland protection, and supplementary planting. The masterplan prioritises ecological connectivity, incorporating wildlife corridors, dark routes for nocturnal species, and extensive areas of multifunctional open space. These measures not only mitigate potential impacts on identified species, such as dormice, but provide clear opportunities for biodiversity net gain in accordance with the Environment (Wales) Act 2016. The integration of Sustainable Drainage Systems within landscaped areas further demonstrates how flood attenuation, habitat creation and recreational provision can be delivered in a cohesive manner. Thereby ensuring that environmental enhancements are incorporated throughout the scheme from the outset which fully accord with the RLDP’s objectives in that respect.
In transport and community infrastructure terms, the site’s sustainable credentials are equally compelling. The proposed access arrangements onto Cardiff Road have been refined in response to feedback from the highway department, whilst demonstrating deliverability and promoting safe access for all users to avoid having any adverse impacts on local highway network. Geographically the site also lies within immediate walking distance of Eastbrook and Dinas Powys rail stations, which inevitably aligns with the Council’s transport-orientated growth strategy. In turn these principles accord with national placemaking objectives set out in PPW12 and shall actively encouraging a modal shift away from private vehicles to incentivise more active forms of travel. Most notably this includes dedicated pedestrian and cycle links through the site providing connectivity with a range of local services and facilities.
By virtue of the above we fully support the proposed allocation of Land to the North of Dinas Powys (HG1 KS2). As the proposed developer Persimmon Homes remain committed to development opportunities the site presents and its ability to help deliver much needed full market and affordable homes in a highlight sustainable location, which clearly accord with the Council’s proposed growth strategy.
Policy HG1 (B) – Housing Allocations
HG1 (3) Barry - Land at Hayes Lane
Persimmon Homes question to suitability of allocating residential development on the site known as Land at Hayes Lane, The Bendricks. These concerns are centred on the following:
Unsustainable Location & Poor Connectivity
Whilst the site is technically identified within the settlement boundary, it is clearly not a sustainable location for residential development. This is evident by virtue of the fact that Land at Hayes Lane is situated within an existing industrial estate and lacks any supporting facilities. The former reinforces the principle that as a whole the area is characterised by a mix of light industrial and heavy industrial uses which naturally conflicts with the prospect of future residential housing. Moreover, it is reasonable to assume vehicles using the local highway network will be larger in nature (such as HGV’s), and given the majority of streets do not contain dedicated pedestrian footpaths/ cycleways, this raises concerns from a highway safety perspective.
Although we note the Transport Statement from AECOM suggests access can theoretically be achieved to Barry and Sully. Both of these settlements remain over 2km from the site and lie outside of the distances deemed acceptable by Transport for Wales (TfW) to support resident development. Allocating housing on Land at Hayes Lane which therefore does not comply with such criteria would clearly undermine the Council’s objective of pursuing a Transport Orientated Growth approach and by virtue of which risk promoting an unsustainable pattern of development within the emerging RLDP.
As outlined above given the nature of the area there are almost no existing active travel routes in this part of the region. This lack of provision would ultimately lead to future residents using alterative options and many of which would require residents to overcome physical barriers in order to travel in a more sustainable manner. For instance, due to the level of infrastructure associated with the port, the site is effectively detached from the main urban area of Barry and would involve crossing an active railway line halfway along Wimborne Road without sufficient mitigation measures in place. On the other hand, whilst Hayes Road extends further west towards Sully, it follows the southern boundary of the Polaris Industrial Estate which contains various access points that are in regular use throughout the day. Collectively these characteristics would prevent future occupants travelling in a more active manner which is in direct conflict with both local and national planning policy objectives.
The site’s geographic isolation means that access to modes of public transport are extremely limited. Most notably that includes railway stations with the nearest being Cadoxton Station which is located circa 3.8km north of the site. By AECOM’s own accord this is considered to equate to a minimum walking distance of 52 minutes which exceeds TFW’s standards for residential development. Again, this reinforces the fact future residents would be overly reliant on private vehicles to access local services (such as employment opportunities, schools, doctor surgeries etc) which in turn shall achieve an unsustainable pattern of growth and increase associated carbon emissions.
Loss of Allocated Employment Land
Crucially, the site remains allocated in the adopted LDP for B1/B8 employment uses. These intended to facilitate small industrial and workshop units as part of the Atlantic Trading Estate’s expansion and in turn support opportunities for local businesses/ enterprise ventures. The council’s latest Employment Land Review confirms a clear demand for such uses in Barry, with Land at Hayes Lane representing the most logical location for further growth. Reallocating this land for housing would therefore diminish the Vale of Glamorgan’s ability to attract sufficient economic investment to support the requisite levels of growth over the emerging plan period, and potentially displace businesses to other less suitable parts of the region which would not be in the interests of good placemaking as per PPW12.
Although the RLDP’s evidence base suggests there are other development opportunities within the region that could compensate for the proposed loss of employment land. Upon further review it is apparent these are in less favourable locations from both a strategic and operational standpoint. Reassigning Land at Hayes Lane from employment to residential would therefore undermine the Council’s objective of safeguarding existing employment land and prioritising business/ industrial uses in area’s well served by infrastructure designed to accommodate such activities (such as Barry Docks). Furthermore, it would also set a precedent for other potential losses and in doing so impact the Council’s ability to meet the region’s employment needs up to 2036.
By virtue of the above, Persimmon Homes object to the proposed allocation of residential development on Land at Hayes Lane. The principle of which is in direct conflict with the Welsh Government’s objectives set out within PPW12 & Future Wales: The National Plan 2040 and the need to ensure existing employment land is suitably protected. The latter is crucial in attracting future investment to the region and shall act as a catalyst to enable housing to be delivered elsewhere, in more sustainable locations better connected to local services/ facilities, such as Dinas Powys.
HG1 (5) Llantwit Major - Land between the Northern Access Road and Eglwys Brewis Road (Site C – Central Parcel)
Whilst we do not oppose the overall principle of residential development at Site C (Central Parcel), this position must be considered in the context of the wider allocation. Applications for Sites A and B (2020/00351/OUT (Site A) & 2020/00352/OUT (Site B)) are currently pending subject to respective Section 106 Agreements, with prolonged negotiations resulting in significant delays to delivery. This experience clearly demonstrates that development within this allocation is complex and subject to extended viability and legal discussions, which inevitably impacts the rate at housing is able to come forward.
According to the Council’s register we understand Site C has not been subject to any formal planning application, and therefore there is no detailed evidence available regarding the proposed layout design, infrastructure requirements, viability, or anticipated submission and determination timeframes. Despite this, the Council’s housing trajectory assumes development commencing in 2028/29, with 35 units initially and 45 units annually thereafter. Given the absence of a live application and the precedent of delays on Sites A and B, these delivery assumptions appear overly optimistic based on current evidence.
On that basis we maintain that the Council should reassess the trajectory assumptions for this particular site and identify other alternatives to help account for any unforeseen slippage on Site C. The overarching purpose of which shall be to ensure the RLDP incorporates sufficient flexibility to consistently meet housing need over the entire plan period.
Policy HG3 – Housing Led Redevelopment Opportunity
Persimmon Homes acknowledges the Council’s position in respect of Site HG3 (1) – Former Eagleswell Primary School, including the temporary five-year consent (2024–2029) for 90 units of short-term accommodation and their inclusion within housing completions for monitoring purposes.
Given their expressly temporary nature and planned relocation to other sites within the Vale by 2029, it is essential that these units are not double counted in a way. As the risk of doing so would artificially inflate the Vale’s housing numbers, thereby preventing delivery opportunities elsewhere over the plan period.
Although we welcome the clarification provided at paragraph 6.111 which states that once the temporary units are removed and the site is redeveloped for permanent accommodation, any future dwellings will not be included within the RLDPs housing supply figures. In the interest of soundness, we believe this should explicitly set out within the proposed wording of Policy HG3 to avoid any potential ambiguity and thus ensure no additional net housing contributions will arise from the site upon its redevelopment later down the line.
This approach is critical given the Vale’s substantial existing landbank and the number of allocations being rolled forward, as cumulatively factoring in additional units from this site would further constrain opportunities to accommodate genuine growth elsewhere. Thereby limiting the Council’s ability to effectively meet local housing need up to 2036.
Policy SP7 – Affordable Housing Provision
In principle, Persimmon support Policy SP7’s objective to secure a minimum of 3,070 affordable homes over the plan period. That said, given the level of affordable housing is directly proportionate to the total housing provision within RLDP we believe there is scope for further uplifts in that respect.
As mentioned above Persimmon maintain that there is sufficient evidence to justify increasing the proposed housing requirements through the Vale’s flexible allowance in order to maximise opportunities for growth. In turn this would prevent artificially capping affordable housing provision at 3,070 homes to ensure the plan is positively prepared by incorporating measures that proactively address demand across the region.
National policy clearly supports this approach. Planning Policy Wales requires development plans to be positively prepared and to maximise the delivery of affordable housing as a key component of sustainable placemaking. The Development Plan Manual reinforces the need for plans to be aspirational, evidence-led and sufficiently flexible to ensure delivery. Furthermore, the Welsh Government 2025-based estimates of additional housing need report highlights the need for a step change in affordable housing delivery across Wales, recognising that continuation of past trends will not address the current affordability challenges. Collectively, this provides a clear direction of travel in that it’s imperative to uplift housing provision where affordability pressures are acute such as the Vale of Glamorgan.
To ensure the RLDP is sound, the Council should increase the overall housing requirement by apply a meaningful flexibility allowance that ensure sufficient contingency measures are in place to consistently meet local need over the plan period. This would directly increase the quantum of affordable housing secured through policy mechanisms, thereby aligning the Plan with national policy objectives. The latter goes to the heart of the tests of soundness within the Development Plan Manual in ensuring the plan is not only appropriate but capable of delivering the step change required to address affordable housing needs up to 2036.
Policy SP8 – Affordable Housing Requirements
Persimmon supports the position that residential development should help meet affordable housing need. Although to ensure Policy SP8 is effective its important the percentage requirements and site thresholds proposed are viable across a range of site types and market areas to ensure they do not inadvertently suppress delivery.
On that basis we believe it would be prudent for the Deposit Plan to clarify that affordable housing targets are subject to site-specific viability considerations and can be adjusted in circumstances where comply with such parameters would render the sites viable and thus prevent delivery. Greater flexibility is also needed in tenure and mix to better reflect evolving local needs over the entire plan period including the point when planning applications are formally submitted.
Policy SP10 – Sustainable Transport
Persimmon support the overall objective of Policy SP10 in seeking to promote sustainable transport, increase active travel opportunities and reduce reliance on the private car in accordance with national placemaking objectives. Encouraging development in accessible locations such as Dinas Powys and enhancing connectivity between settlements is welcomed. However, for soundness its important the policy recognises the different physical characteristics across the Vale of Glamorgan, particularly in edge-of-settlement and rural contexts where flexibility is necessary to ensure sustainable growth is not unduly constrained.
In this regard, the extend site at Dinas Powys represents a suitable and deliverable opportunity that aligns fully with the objectives of Policy SP10. The Authority will be aware that Transport Strategies were submitted at earlier plan-making stages, and these have now been refined through a Technical Note prepared by Vectos (now SLR) in direct response to the Candidate Sites Assessment. The scope of which confirms the proposed access arrangements presented within Policy HG1 KS2 with regards to the primary and secondary vehicular entry/ egress points on to Cardiff Road are acceptable. The former includes the creation of a new signalised junction on to the A4055/ Cardiff Road which has been modelled by Vectos (now SLR) to confirms there will be no adverse impacts with regards to the overall capacity of the local highway network. Furthermore, these measures shall be supplemented by financial contribution towards off-site improvements to help alleviate any existing connection issues/ pinch points and thus enable traffic to flow more freely within Dinas Powys and the wider surrounding area.
In addition, the scheme will deliver significant active travel benefits, including dedicated pedestrian footpaths and cycleways throughout the site that connect seamlessly into the surrounding network. The site lies within immediate walking distance of Eastbrook and Dinas Powys railway stations and therefore aligning with the Vale’s transport-orientated growth strategy. Overall, the refined Transport Strategy demonstrates that the development would not result in any significant adverse impact on the highway network, while actively promoting sustainable travel choices. Subject to proportionate application of Policy SP10 and recognition of the robust mitigation proposed, the site clearly supports and advances the sustainable transport objectives of the emerging RLDP.
Policy TR1 – Transport Proposals
Persimmon supports the overarching objectives of Policy TR1, which seeks to protect and enhance strategic transport infrastructure across the Vale of Glamorgan, including active travel routes, public transport schemes and highway improvements. Land north of Dinas Powys aligns with these objectives by directing growth to a sustainable settlement capable of supporting integrated transport solutions. The scheme has also been designed to incorporate dedicated pedestrian and cycle routes that ensures development sympathetically integrates with the surrounding area. Most notably that includes measures to enhance pedestrian permeability whilst also encouraging a shift towards more sustainable modes of travel.
In addition to the above, allocation future growth at Land North of Dinas Powys will support planned improvements between the Barry/Biglis roundabout and Dinas Powys Active Travel Route by providing on-site pedestrian and cycle infrastructure that links directly to the proposed 2 km shared walking and cycling corridor. By aligning the site layout and access points with this strategic route the scheme shall naturally maximise the route’s functionality, safety and long-term success.
Finally, the site’s highly sustainable location reinforces its accordance with the Council’s transport-led growth strategy. The development is within immediate walking distance of both Eastbrook and Dinas Powys railway stations, which provide frequent services to Cardiff and Barry other key destinations. Prioritising residential growth in such locations continues towards the Vale of Glamorgan’s aim of creating a more sustainable pattern of development, maximising the use of public transport, supporting active travel and reducing reliance on private cars.
Policy SP13 – Community Infrastructure and Planning Obligations
Persimmon Homes do not consider that Policy SP13 – Community Infrastructure and Planning Obligations is required. This is predicated on the basis that such matters are dealt with under separate legislative and policy frameworks. Therefore, as currently drafted the proposed policy (and supporting text) do not add anything further information for planning purposes and risk unnecessary duplication.
Policy CI1 – Open Space Provision
Whilst there are no comments regarding the principle, thresholds and use of the FIT standards in terms of the open space provision. As such Persimmon query the requirement for an Open Space Strategy for all sites that meet the thresholds.
The requirement within emerging Policy CI1 for applicants to prepare or submit an Open Space Strategy is not considered to be sufficiently justified or proportionate when assessed against Planning Policy Wales, which promotes access to open space and recreational provision but does not prescribe the preparation of standalone Open Space Strategies for individual planning applications. There is a lack of clarification as to what it proposed and also how the level of detail would be proportional to the size of the site.
Productive and Enterprising Places
Policy CC1 – Residential Operational Net Zero Carbon Development
Persimmon Homes, strongly object to Policy CC1 on the basis that it duplicates Welsh Government’s Future Homes Standard (FHS), which is intended to ensure all new homes are “zero-carbon ready” through a consistent national Building Regulations framework.
Building Regulations Part L currently sets the requirements for energy efficiency in new homes, with the current dwellings built by Persimmon Homes being designed to exceed the minimum requirements of Part L by incorporating enhanced insultation and improved building fabric performance. This includes low U-values for key elements such as walls, roofs, floors and windows to minimise heat loss and improve overall energy efficiency. As a result, Persimmon Homes are achieving a high rating under the Energy Performance Certificate (EPC) System, typically within the A-B range.
Introducing a separate and potentially more onerous operational net zero requirement at the local level risks imposing additional cost and complexity that undermines site viability and deliverability. The Development Plans Manual for Wales is clear that development plans must avoid repeating national policy and should not introduce requirements that are more appropriately addressed through other regulatory regimes. In this respect, Policy CC1 is not considered justified or appropriate and thereby conflicts with the second test of soundness set out within the DPM.
The proposed step change in standards from 1 April 2030 (particularly the reduction in space heating demand from 40 kWh/m²/year to 15 kWh/m²/year) represents a significant and abrupt step change in performance expectations. Whilst reference is made to initiatives such as Tai ar y Cyd and AECB CarbonLite, these have largely been associated with grant-funded affordable housing schemes. There is no clear evidence that equivalent standards are able to be delivered on mainstream housing sites without compromising their overall viability. On that note the Development Plans Manual requires policies to be underpinned by robust evidence and deliverable over the plan period. In the absence of which the proposed policy could well prevent housing delivery and undermines the emerging RLDP’s ability to effectively meet housing need.
Further to the above Policy CC1 also risks creating fragmented energy performance standards across different Local Planning Authorities in Wales. This contradicts the benefit of a consistent national approach through Building Regulations and makes it significantly more difficult for mainstream housebuilders operating across multiple authority areas to deliver homes efficiently. The DPM emphasises the need for development plans to create policy frameworks that encourage housing delivery and avoid unnecessary complications. By introducing bespoke operational monitoring requirements and energy modelling thresholds the policy as currently worded blurs the boundary between planning and Building Control functions. In turn this raises concerns as to whether the policy is justified and capable of being applied consistently across the board.
Finally, the Council’s own Viability Assessment (Paragraph 6.60 of BP42) acknowledges current uncertainty given the outcome of Welsh Government’s consultation on this topic are still unknown at the time of writing. In the event the Welsh Government decide to peruse national regulation progresses, it may be more appropriate for such matters to be addressed through Building Control rather than planning policy. Once again, this reinforces Persimmon’s concern that Policy CC1 is premature and not in general conformity with national policy. As drafted, the policy risks undermining the council’s proposed housing supply, affordable housing delivery rate and general implementation over the plan period. For these reasons, we believe it fails to meet the relevant tests of soundness and should be omitted from the proposed RLDP.
Distinctive and Natural Places
Policy SP19 – Green Infrastructure
In principle Persimmon Homes support the aim of this policy in ensuring proposed development incorporate measures that protect and enhance green infrastructure provision.
For completeness the proposed allocation (Land at north Dinas Powys) has been informed by a comprehensive Green Infrastructure Strategy and Landscape Summary Note prepared by Tir Collective (August 2023). The reports demonstrate that the site has been designed in a manner consistent with the objectives of Policy SP19. While future development of the site technically requires a release from the locally designated Green Wedge between Dinas Powys, Penarth and Llandough, the scope of which is limited in nature. Paragraph 3.70 of PPW12 states that Green Wedge boundaries should only include land that is required to remain open for the longer term. In this context, the Council’s Green Wedge Background Paper indicates that proposed allocation HG1 KS2 shall not result in any coalescence between settlements and nor does it make a significant contribution to the overall integrity of the designation. These factors confirm that the site is suitable for accommodating future residential development.
The emerging masterplan adopts a landscape-led approach that responds to the site’s physical characteristics and surrounding context. Development has therefore been excluded from the most visually sensitive parts of the site which will instead be retained as public open space to avoid having any adverse impact in that respect. This approach is reinforced through the retention and enhancement of existing hedgerows, woodland and field boundaries, alongside supplementary planting to naturally integrate the site into the wider landscape framework.
Policy SP20 – Biodiversity and Ecosystem Resilience
In principle, Persimmon support the objective of Policy SP20 which intends to protect and enhance biodiversity and ecosystem resilience. However, in the interests of soundness we believe the proposed requirement relating to biodiversity enhancement should be reframed to ensure it remains consistent with national policy. In particular, the policy should clarify that development proposals are expected to deliver biodiversity betterment in a manner that is proportionate to the scale and nature of development and consistent with national guidance. The wording should avoid introducing a requirement for a specific or quantified biodiversity net gain approach that goes beyond the national policy framework. Ensuring that the policy reflects the approach set out in Planning Policy Wales 12 will provide greater certainty for applicants and decision-makers while still providing sufficient comfort in securing the requisite biodiversity improvements.
Policy DNP1 – Special Landscape Areas
Persimmon support the revision of the Cwrt-yr-Ala Basin Special Landscape Area (SLA) to reflect the allocation of key site (HG1KS2 North of Dinas Powys off Cardiff Road) as per Policy DNP1. As indicated in Background Paper BP28 – Special Landscape Areas, the future development proposals for the site will be required to incorporate mitigation to reduce the impact of the site on the SLA. These works are incorporated into the proposed masterplan.
Policy DNP2 – Green Wedges
Persimmon support the revision to the green wedge between Dinas Powys, Penarth and Llandough, at Policy DNP2 (1) which has been amended to reflect the key site allocation HG1KS2 North of Dinas Powys.
Policy DNP8 – Severn Estuary Recreational Pressure
Policy DNP8 seeks to address recreational pressure on the Severn Estuary Special Area of Conservation, Special Protection Area and Ramsar Site. Whilst Persimmon appreciate the overarching purpose in its current form the proposed policy lacks sufficient supporting information explaining how it will operate in practice. The supporting text suggests that key details relating to mitigation delivery, including mechanisms such as Suitable Alternative Natural Greenspace and wider access management measures, will be set out in future Supplementary Planning Guidance. Deferring these important details until later down the line creates uncertainty at the plan-making stage and makes it difficult to assess whether the policy is sound, effective and/ or capable of being implemented on a consistent basis.
The policy also provides no clear threshold or criteria for determining what level of activity would constitute “visitor pressure” or an “adverse impact” on the integrity of the designated sites. Similarly, the evidence demonstrating what level of impact residents moving into new homes across the Vale of Glamorgan will generate additional recreational pressure on the Severn Estuary does not appear to have been quantified to date. While a 12.6 km recreational catchment is referenced, the supporting text does not clearly explain the evidence or methodology underpinning this distance. Moreover, the proposed text also fails to set out how new residential development will be assessed in terms of measurable impacts on the European site and thus the scope of mitigation that would subsequently be required.
From a practical standpoint this level of uncertainty is concerning given the implication of this policy are unable to be fully assessed due to the lack of evidance. For instance, if development sites within the catchment are expected to contribute financially towards mitigation measures, then the scale and mechanism of those contributions must be clearly established as part of the plan-making process. Without this clarity, there is a risk that Policy DNP8 could introduce unforeseen costs and extensive time delays, potentially affecting the viability and overall deliverability of proposed housing sites. The cumulative impact of which would then undermining the plan’s ability to meet its housing requirements and risk finding the RLDP unsound.
Conclusion
Subject to the comments within this response, Persimmon are broadly supportive of the Deposit RLDP put forward. Persimmon Homes’ most pertinent comments on the consultation document are summarised below:
• Persimmon fully supports the proposed approach to prioritise development in sustainable locations near existing rail and bus infrastructure as depicted by the strategic growth area within the RLDP Key Diagram. However, to optimise the effectiveness of this strategy growth should be focused in areas of greatest demand, such as Dinas Powys, which is not only the nearest settlement geographically to Cardiff but also inherently well connected by the existing rail network and other modes of public transport.
• Persimmon support the principle of the Settlement Hierarchy and the identification of Dinas Powys as a Primary Settlement. Whilst the importance of which is noted, Persimmon maintain that Dinas Powys, in particular, is capable of a higher role and function which can be accommodated in the extended Candidate Site Ref. No 444. This is particularly relevant given the fact that the Service Centres at Cowbridge, Llantwit Major and Penarth are generally more constrained physically and environmentally.
• Whilst Persimmon supports the overall principle of a medium growth strategy and key allocations such as North Dinas Powys. Given the Vale’s position within the Cardiff Capital Region and its designation as a national growth area, we maintain that the proposed RLDP should be more ambitious when it comes to overall housing targets. Drawing on examples from Bridgend (14% flexibility), Swansea (20%), and Monmouthshire (15%), alongside evidence of historic under-delivery and recent Welsh Government household projections, there are sufficient grounds to warrant increasing the proposed flexibility allowance to a minimum of 15%, equating to a total requirement of 9,074 homes up to 2036.
• In the interests of soundness these changes shall help account for any potential overreliance on existing landbanks and variable windfall delivery rates which could in theory limit the plan’s ability to address unmet housing need. Persimmon therefore conclude that a higher flexibility allowance and additional site allocations, such as the extended option at Dinas Powys, are necessary to ensure the RLDP is able to effectively meet local need over the plan period. The benefits of which shall also demonstrate the emerging RLDP is supported by a robust, proportionate and credible evidence base to accord with the requirements of the Development Plan Manual for Wales and national growth objectives.
• Whilst Persimmon welcome the majority of the proposed planning policies from a development management perspective. They strongly object to Policy CC1 (Residential Operational Net Zero Carbon Development) on the basis that it duplicates Welsh Government’s Future Homes Standard (FHS), which is intended to ensure all new homes are “zero-carbon ready” through a consistent national Building Regulations framework.
• Although Persimmon appreciate the overarching purpose of Policy DNP8 (Severn Estuary Recreational Pressure). In its current form the proposed policy lacks sufficient information to understand how it will operate in practice. Whilst supporting text suggests that key details relating to mitigation delivery will be set out in future Supplementary Planning Guidance. Deferring these important details until later down the line creates uncertainty at the plan-making stage and makes it difficult to assess whether the policy is sound, effective and/ or capable of being implemented on a consistent basis.
• Persimmon are wholly supportive of Land North of Dinas Powys’ (HG1 KS2) position as a proposed allocation within the emerging RLDP. The site represents a suitable, available and deliverable location for residential development without any constraints preventing it from delivering much needed homes in line with the Council’s proposed housing trajectory. Furthermore, its position as a key site is crucial to ensure growth is prioritised in such a highly sustainable location, adjacent to the defined urban area of Dinas Powys, and maximise opportunities for greater connectivity at both a regional and local level.
Persimmon would welcome the opportunity to continue on-going conversations with Officers and subsequently support the site’s progression through the next stages of the plan-making process.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6806
Derbyniwyd: 11/03/2026
Respondent ID: 3680
Ymatebydd: Mr Fergus Jamieson
Cadarn? Heb nodi
Congestion-Anyone who either lives in or travels through Dinas Powys will be actually aware of the daily pain and suffering that driving along Cardiff road creates. More houses=more cars, more congestion, more fumes, more risk to residents.
Flooding-I sincerely hope that those wishing to crush the village by adding so many more houses, cars and people will remember what happened only a couple of years ago i.e FLOODING! Please, do not inflict the same pain on those who will be affected by the new housing estate.
Services-There aren't enough doctors, school spaces etc as it is. Please do not make it any worse.
Greenbelt and Loss of Wildlife-This is blatantly obvious. You will ruin the surrounding areas of greenery. PLEASE DO NOT CRUSH OUR BEATIFUL VILLAGE.
Congestion-Anyone who either lives in or travels through Dinas Powys will be actually aware of the daily pain and suffering that driving along Cardiff road creates. More houses=more cars, more congestion, more fumes, more risk to residents.
Flooding-I sincerely hope that those wishing to crush the village by adding so many more houses, cars and people will remember what happened only a couple of years ago i.e FLOODING! Please, do not inflict the same pain on those who will be affected by the new housing estate.
Services-There aren't enough doctors, school spaces etc as it is. Please do not make it any worse.
Greenbelt and Loss of Wildlife-This is blatantly obvious. You will ruin the surrounding areas of greenery. PLEASE DO NOT CRUSH OUR BEATIFUL VILLAGE.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6817
Derbyniwyd: 11/03/2026
Respondent ID: 3681
Ymatebydd: Miss Jenny Hurley
Cadarn? Heb nodi
1) Benefit
The 250 home development needs to be evaluated in terms of proportionate benefit + loss. There will be some benefit but the loss will outweigh the benefit.
1) Cardiff road of this point is one of the busiest in the length and breadth of the Vale Council area. Every day I drive there and home to endure ever increasing congestion and air pollution. Such damage to mental health
2) The air quality is a physical danger for walkers to the station at Eastbrook and to Llandough Hospital.
2) Common Sense
As priorities are evaluated. Common sense seems overwhelmingly in this is the wrong place for this housing development.
3) Community
Community quality of life- Dinas Powys and Llandough will be so harmed particularly with future of inadequate public services.
4) Access/parking
My home has a garage/parking space next door rented from Seel estates. This off road parking would be lost. Also of No 8 exit form the parking space would be impossible.
5) Flooding
Building a new access road could create/add to flooding problems. My home has already suffered from flooding. There seems to be no protectible design for the access over the top of the stream/brook.
1) Benefit
The 250 home development needs to be evaluated in terms of proportionate benefit + loss. There will be some benefit but the loss will outweigh the benefit.
1) Cardiff road of this point is one of the busiest in the length and breadth of the Vale Council area. Every day I drive there and home to endure ever increasing congestion and air pollution. Such damage to mental health
2) The air quality is a physical danger for walkers to the station at Eastbrook and to Llandough Hospital.
2) Common Sense
As priorities are evaluated. Common sense seems overwhelmingly in this is the wrong place for this housing development.
3) Community
Community quality of life- Dinas Powys and Llandough will be so harmed particularly with future of inadequate public services.
4) Access/parking
My home has a garage/parking space next door rented from Seel estates. This off road parking would be lost. Also of No 8 exit form the parking space would be impossible.
5) Flooding
Building a new access road could create/add to flooding problems. My home has already suffered from flooding. There seems to be no protectible design for the access over the top of the stream/brook.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6824
Derbyniwyd: 11/03/2026
Respondent ID: 3683
Ymatebydd: Mrs Angela Green
Cadarn? Heb nodi
I oppose the proposed development (HG1 KS2 Eastbrook) an greenfield land due to the irreversible environmental damage, the absence of essential local infrastructure which will include added pressure on already overstretched local services and roads and transport links. This development conflicts with sustainable development principles, the environmental and ecological impact on the local area will be inversible and forever damaging to wildlife and biodiversity. The risk of flooding for Dinas Powys and the local area will be increased as the chosen fields absorb the local rainfall. This is an absolute destruction of natural habitat. The roads around the proposed development site are already struggling with congestion and being poorly managed by the council, with poor road/inadequate surfaces and pot holes. The increased traffic will present safety concerns. The economic act from taxpayers locally is again unacceptable for a development that is not wanted by the local community. The schools in the surrounding area and local GP practices are already struggling to and overstretched providing poorer access to education and healthcare. Choosing brownfield sites is preferred by the local community and myself as more sustainable development. Once again I completely oppose this development area local resident, it is a destruction of our environment.
I oppose the proposed development (HG1 KS2 Eastbrook) an greenfield land due to the irreversible environmental damage, the absence of essential local infrastructure which will include added pressure on already overstretched local services and roads and transport links. This development conflicts with sustainable development principles, the environmental and ecological impact on the local area will be inversible and forever damaging to wildlife and biodiversity. The risk of flooding for Dinas Powys and the local area will be increased as the chosen fields absorb the local rainfall. This is an absolute destruction of natural habitat. The roads around the proposed development site are already struggling with congestion and being poorly managed by the council, with poor road/inadequate surfaces and pot holes. The increased traffic will present safety concerns. The economic act from taxpayers locally is again unacceptable for a development that is not wanted by the local community. The schools in the surrounding area and local GP practices are already struggling to and overstretched providing poorer access to education and healthcare. Choosing brownfield sites is preferred by the local community and myself as more sustainable development. Once again I completely oppose this development area local resident, it is a destruction of our environment.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6826
Derbyniwyd: 11/03/2026
Respondent ID: 3684
Ymatebydd: Mr Anthony Green
Cadarn? Heb nodi
Overload traffic on Cardiff Road overload The Doctors, Dentist and schools and damage to wildlife.
Overload traffic on Cardiff Road overload The Doctors, Dentist and schools and damage to wildlife.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6827
Derbyniwyd: 11/03/2026
Respondent ID: 3685
Ymatebydd: Mrs Janet Green
Cadarn? Heb nodi
Overload of traffic on Cardiff Road over load of Doctor's Dentist, and school and damage to the wildlife.
Overload of traffic on Cardiff Road over load of Doctor's Dentist, and school and damage to the wildlife.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6835
Derbyniwyd: 11/03/2026
Respondent ID: 3686
Ymatebydd: Dr John Green
Cadarn? Heb nodi
I object to the house building on the site of fields near Dinas Powys (HG1 KS2 Eastbrook). It will destroy more precious greenfield space that opens areas to Pen Y Turn Pike Road road. The village and in particular the road system will not cope with such a major expansion in population-The drive through Dinas Powys Cardiff Road ( and Pen Y Turn Pike Road) is already very slow and extremely congested at times. I ask that the council turns down these plans.
I object to the house building on the site of fields near Dinas Powys (HG1 KS2 Eastbrook). It will destroy more precious greenfield space that opens areas to Pen Y Turn Pike Road road. The village and in particular the road system will not cope with such a major expansion in population-The drive through Dinas Powys Cardiff Road ( and Pen Y Turn Pike Road) is already very slow and extremely congested at times. I ask that the council turns down these plans.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6836
Derbyniwyd: 11/03/2026
Respondent ID: 3687
Ymatebydd: Mrs Margaret Gwilliam
Cadarn? Heb nodi
This will cause increased congestion on our already busy roads. The Dr's and schools are already too busy and emergency services are stretched. My house is already in a flood risk area, and extra houses will increase the risk of flooding, making it even harder to get house insurance. The roads and our small village aren't able to cope with another 250 homes and 500 extra cars. I strongly oppose this development.
This will cause increased congestion on our already busy roads. The Dr's and schools are already too busy and emergency services are stretched. My house is already in a flood risk area, and extra houses will increase the risk of flooding, making it even harder to get house insurance. The roads and our small village aren't able to cope with another 250 homes and 500 extra cars. I strongly oppose this development.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6837
Derbyniwyd: 11/03/2026
Respondent ID: 3688
Ymatebydd: Mr David James
Cadarn? Heb nodi
There is already to much traffic coming in and out of Dinas Powys. Trying to get out of Corbert Road is difficult enough extra traffic.
There is already to much traffic coming in and out of Dinas Powys. Trying to get out of Corbert Road is difficult enough extra traffic.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6838
Derbyniwyd: 11/03/2026
Respondent ID: 3689
Ymatebydd: Mrs Joyce Harding
Cadarn? Heb nodi
The most obvious problem with regard to the development in the Cardiff Road area is traffic. Cardiff Road is often at a standstill because of the volume of traffic another 500+ cars will first make this worse. Air Pollution is a real concern. There is no plan for new roads in the area. The massive lorry that use the road are a problem too. Dinas Powys has always been recognized as a village community. This is being eroded by all the over-building in surrounding areas. Schools and doctors surgeries are oversubscribed at present. What plans are there for extra capacity. If the development goes ahead all houses should be affordable not an estate of expensive houses with a small number of affordable/social housing included in as a token gesture.
The most obvious problem with regard to the development in the Cardiff Road area is traffic. Cardiff Road is often at a standstill because of the volume of traffic another 500+ cars will first make this worse. Air Pollution is a real concern. There is no plan for new roads in the area. The massive lorry that use the road are a problem too. Dinas Powys has always been recognized as a village community. This is being eroded by all the over-building in surrounding areas. Schools and doctors surgeries are oversubscribed at present. What plans are there for extra capacity. If the development goes ahead all houses should be affordable not an estate of expensive houses with a small number of affordable/social housing included in as a token gesture.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6839
Derbyniwyd: 11/03/2026
Respondent ID: 1938
Ymatebydd: Elinor Elias-Jones
Cadarn? Heb nodi
I oppose the site on Eastbrook Fields as the traffic already going and coming from Cardiff and Penarth is already an enormous problem resulting in long delays due to heavy traffic from Barry-This is the main route from the largest town in Wales to the Wales capital. It's madness to increase the use of this road. Whilst the vehicles are stationary they exhume fumes which are detrimental to the environment. The fields are prone to flooding and further development of the land would further cause further water. The houses will be built on unsuitable land-land which is better used for agricultural purposes. We must encourage biodiversity in the green areas.
I oppose the site on Eastbrook Fields as the traffic already going and coming from Cardiff and Penarth is already an enormous problem resulting in long delays due to heavy traffic from Barry-This is the main route from the largest town in Wales to the Wales capital. It's madness to increase the use of this road. Whilst the vehicles are stationary they exhume fumes which are detrimental to the environment. The fields are prone to flooding and further development of the land would further cause further water. The houses will be built on unsuitable land-land which is better used for agricultural purposes. We must encourage biodiversity in the green areas.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6840
Derbyniwyd: 11/03/2026
Respondent ID: 3690
Ymatebydd: Mrs Beryl Kelly
Cadarn? Heb nodi
I give my daughter-Deborah Evans permission to write my comments for me - I am unable to do this due to arthritis in my hand. I object to the proposed new development site in Dinas Powys-the roads are not capable of handling the amount of increased traffic this development would cause. Our Schools, GPs and dentists do not have the capacity to deal with all the extra families all fighting for school places and medical appointments. I have lived in Dinas Powys for over 60 years and have always enjoyed the open green spaces. I have seen a number of fields/open green spaces disappear during the time I have lived in Dinas Powys which has the spoilt the area, another housing development will deprive the residents of Dinas Powys of yet more open space.
I give my daughter-Deborah Evans permission to write my comments for me - I am unable to do this due to arthritis in my hand. I object to the proposed new development site in Dinas Powys-the roads are not capable of handling the amount of increased traffic this development would cause. Our Schools, GPs and dentists do not have the capacity to deal with all the extra families all fighting for school places and medical appointments. I have lived in Dinas Powys for over 60 years and have always enjoyed the open green spaces. I have seen a number of fields/open green spaces disappear during the time I have lived in Dinas Powys which has the spoilt the area, another housing development will deprive the residents of Dinas Powys of yet more open space.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6841
Derbyniwyd: 11/03/2026
Respondent ID: 2189
Ymatebydd: Dr Chris Jones
Cadarn? Heb nodi
Development would destroy green space, increase traffic (already an issue) and flood risk to surrounding area.
Fields are used for daily walks and have been an essential positive contribution to my mental health.
Development would destroy green space, increase traffic (already an issue) and flood risk to surrounding area.
Fields are used for daily walks and have been an essential positive contribution to my mental health.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6842
Derbyniwyd: 11/03/2026
Respondent ID: 2161
Ymatebydd: Mr and Mrs Jones
Cadarn? Heb nodi
I am submitting this statement as someone who lives very near to this proposed development. First of all the extra traffic this will cause is a nightmare in the making some days now myself and neighbours cannot leave our side road to get on to the main road and thats before you get to the problem with the air quality. Also the buses will alter there timetable due to the time it will take to drive along the main road also Ambulences-police and fire. Then you have not taken into account the flood risk! everywhere!!! Where are all the extra people going to access G.P services, dental services etc, as what the area have now are more than full. The same goes for schools. Back to flooding. After being flooded once years ago I would not want to go through that again so losing the natural soak away-fields fill myself and family with dread. I think as a council to not think this through would level for compensation claims if this were to happen. So my objection to this ill thought out plan to build these houses are for-flooding-public transport- medical GP+Dental-schools, air quality plus the increase in population.
I am submitting this statement as someone who lives very near to this proposed development. First of all the extra traffic this will cause is a nightmare in the making some days now myself and neighbours cannot leave our side road to get on to the main road and thats before you get to the problem with the air quality. Also the buses will alter there timetable due to the time it will take to drive along the main road also Ambulences-police and fire. Then you have not taken into account the flood risk! everywhere!!! Where are all the extra people going to access G.P services, dental services etc, as what the area have now are more than full. The same goes for schools. Back to flooding. After being flooded once years ago I would not want to go through that again so losing the natural soak away-fields fill myself and family with dread. I think as a council to not think this through would level for compensation claims if this were to happen. So my objection to this ill thought out plan to build these houses are for-flooding-public transport- medical GP+Dental-schools, air quality plus the increase in population.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6843
Derbyniwyd: 11/03/2026
Respondent ID: 3691
Ymatebydd: Mrs Rhian Jamieson
Cadarn? Heb nodi
This will have a huge impact on our lovely village. The traffic on the Cardiff Road is already at full capacity. The number of houses proposed will put a huge strain on an already overloaded road. Please think about it!!!!! The schools and doctor's surgery just simply can not take anymore. Our 3 children, as well as my husband and I have grown up here in Dinas Powys. Please don't spoil out village and it's identity.
This will have a huge impact on our lovely village. The traffic on the Cardiff Road is already at full capacity. The number of houses proposed will put a huge strain on an already overloaded road. Please think about it!!!!! The schools and doctor's surgery just simply can not take anymore. Our 3 children, as well as my husband and I have grown up here in Dinas Powys. Please don't spoil out village and it's identity.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6848
Derbyniwyd: 11/03/2026
Respondent ID: 3692
Ymatebydd: Mrs Susan Pryce
Cadarn? Heb nodi
I totally disagree with the proposed development of this site as follows.
A-The infrastructure of the village is not able to take anymore traffic, medical centre patients and pupils in our schools.
B- The emissions from the extra traffic will bring the air quality lower than it already is-which is extremely worrying now.
I totally disagree with the proposed development of this site as follows.
A-The infrastructure of the village is not able to take anymore traffic, medical centre patients and pupils in our schools.
B- The emissions from the extra traffic will bring the air quality lower than it already is-which is extremely worrying now.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6854
Derbyniwyd: 11/03/2026
Respondent ID: 1523
Ymatebydd: Mr Gareth Pryce
Cadarn? Heb nodi
I disagree with the proposed development of this site as follows.
A) The infrastructure of the village is not able to take anymore traffic , medical centre patients and pupils in our schools.
B) The emissions from extra traffic will bring the air quality lower than it already is which is extremely worrying now
I disagree with the proposed development of this site as follows.
A) The infrastructure of the village is not able to take anymore traffic , medical centre patients and pupils in our schools.
B) The emissions from extra traffic will bring the air quality lower than it already is which is extremely worrying now
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6855
Derbyniwyd: 11/03/2026
Respondent ID: 3285
Ymatebydd: Mr Charles Pleasants
Cadarn? Heb nodi
HGI KS2
The idea of inserting 250 new houses on the land North of the Cardiff Road close to The Merrie Harrier seems most unsound. Two problems already beset Dinas in this area: an overload of traffic with associated pollution, and flooding.
In the first half of the 1990s, air quality monitoring in Dinas revealed there were regularly spikes in motor pollutants near busy thoroughfares such as Cardiff Road, while in 2017 concerns were highlighted about pollution there, with measurements sometimes approaching or exceeding legal limits, particularly around traffic bottlenecks such as the Murch traffic lights at the school. Any increase in traffic, that would inevitably follow adding 250 more houses with associated vehicle activity, would lengthen traffic queues all the way through Dinas and produce even more of a pollution threat. Gridlocks already plague Cardiff Road through the village, morning and evening, such that the smell of the fumes hangs heavily all along the road.
The elevation above sea level around The Merrie Harrier is approx. 10 metres, the centre of Dinas c.3 metres. In recent years residents have suffered flooding in their homes, so there can be no doubt that, given the worsening of climate change effects, this is not going to get any better. Establishing an extensive housing area in that elevated region by Cardiff Road is bound to increase the flooding threat to the rest of the settlement, both because the absorbent function of the land as it is now(fields/agricultural), would be lost, and the hard surfaces associated with housing, mean run off would accelerate after the land's water retention ends. Much more water would be heading into the centre of the village, overwhelming the River Cadoxton.
HGI KS2
The idea of inserting 250 new houses on the land North of the Cardiff Road close to The Merrie Harrier seems most unsound. Two problems already beset Dinas in this area: an overload of traffic with associated pollution, and flooding.
In the first half of the 1990s, air quality monitoring in Dinas revealed there were regularly spikes in motor pollutants near busy thoroughfares such as Cardiff Road, while in 2017 concerns were highlighted about pollution there, with measurements sometimes approaching or exceeding legal limits, particularly around traffic bottlenecks such as the Murch traffic lights at the school. Any increase in traffic, that would inevitably follow adding 250 more houses with associated vehicle activity, would lengthen traffic queues all the way through Dinas and produce even more of a pollution threat. Gridlocks already plague Cardiff Road through the village, morning and evening, such that the smell of the fumes hangs heavily all along the road.
The elevation above sea level around The Merrie Harrier is approx. 10 metres, the centre of Dinas c.3 metres. In recent years residents have suffered flooding in their homes, so there can be no doubt that, given the worsening of climate change effects, this is not going to get any better. Establishing an extensive housing area in that elevated region by Cardiff Road is bound to increase the flooding threat to the rest of the settlement, both because the absorbent function of the land as it is now(fields/agricultural), would be lost, and the hard surfaces associated with housing, mean run off would accelerate after the land's water retention ends. Much more water would be heading into the centre of the village, overwhelming the River Cadoxton.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6857
Derbyniwyd: 11/03/2026
Respondent ID: 3693
Ymatebydd: Mrs Julie Nicholas
Cadarn? Heb nodi
Impact on getting to and from work at ***** hospital. Parking issues also.
Impact on getting to and from work at ***** hospital. Parking issues also.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6861
Derbyniwyd: 11/03/2026
Respondent ID: 2254
Ymatebydd: Mrs Jean Newberry
Cadarn? Heb nodi
I object to the proposed housing development on the land to the north of Dinas Powys on land near Seal Park. This land is so lovely & should not be lost to our children & theirs. These are some & my other reasons for NOT
building houses there. I recently tried to call the doctors it took me 130 times before I got through & then it was difficult to get an appointment. We live in chapel close to whatever time of day we can't get out onto the main road its so busy. Flooding is becoming a real issue in this area and building on this land would make it far worse. Local schools are already pushed to the limit with large numbers attending. Please take note of the of objections made, once lost to houses this land will be gone for ever, please listen to those who live here and know what strain it would be to have all those extra houses there too. Thank you.
I object to the proposed housing development on the land to the north of Dinas Powys on land near Seal Park. This land is so lovely & should not be lost to our children & theirs. These are some & my other reasons for NOT
building houses there. I recently tried to call the doctors it took me 130 times before I got through & then it was difficult to get an appointment. We live in chapel close to whatever time of day we can't get out onto the main road its so busy. Flooding is becoming a real issue in this area and building on this land would make it far worse. Local schools are already pushed to the limit with large numbers attending. Please take note of the of objections made, once lost to houses this land will be gone for ever, please listen to those who live here and know what strain it would be to have all those extra houses there too. Thank you.
Gwrthwynebu
1 Ymgynghoriad ar Cynllun Datblygu Lleol Newydd
ID sylw: 6863
Derbyniwyd: 11/03/2026
Respondent ID: 3694
Ymatebydd: Mr Gavyn Meredith
Cadarn? Heb nodi
No impact as this is a housing development.
I believe the proposed development ignores vital statistical data and raises serious concerns. Census data shows significant elderly population growth, yet the location risks segregating these residents. Increased congestion will worsen traffic, pollution, and impact air quality, especially on Cardiff Road. Services like health centres and schools are already oversubscribed, and further development will strain them. The Green Wedge and floodplain are at risk, threatening local biodiversity and increasing flood risks. Overall, these issues demonstrate that the proposal disregards environmental, social, and infrastructural considerations.
Planning objections: Census data: Increased Congestion: Pressure on services: Impact on the green wedge: Flood plain/flood risk: Ultimately, the proposal put forward directly disregards the up to date statistical data outlined above.
Census data: Recent census data highlights that the largest sector of population growth within the Vale of Glamorgan is assigned to the elderly dependants with an increase of 24.9%. The Vale therefore stating that this proposed development is required to meet the needs of the Vale is inaccurate. The location of this sites puts the development at the periphery of the village, segregating and isolating those who will reside within it. Will these homes consist of bungalows, sheltered housing and accessible homes to meet the needs of the population who require it? I highly doubt it.
Increased congestion: 2021 census data shows that 83% of the population in Dinas Powys own at least 1 car within their household. The proposed developed therefore will see an increase of at least an additional 250 cars minimum, moving through the village each day. At worst this is upwards of 500 if every household has two cars. Road and pavement infrastructure has not seen any significant investment in decades. It simply cannot cope with the increase volume of traffic. It cannot cope now. The peripheral location of this development will see a heavy reliance on car ownership. The nearest train station to the development is already oversubscribed with Eastbrook users unable to access trains during peak times due to congestion from Barry station. The car park there is limited, and the station shows no consideration or facilities for those with accessibility issues. It discriminates against anyone with a physical disability, parents with children, or those using bikes and makes a mockery of the 'active travel' routes posed in this development plan. Coupled with a train service currently overwhelmed by recent developments in Barry. It is not a reliable or realistic service for people to use. 12.8% of the population within Dinas Powys do not own a car, therefore the active travel links shown within the proposed developments are likely to be seriously underutilised to negate the reliance of car usage.
Increased pollution: Air quality levels will also be significantly impacted by the increase in congestion caused by the developments. Before the development at Scholars Park was completed, reports outlined the Cardiff Road was already operating at 100% capacity. After the development was completed, it showed that Cardiff Road was operating at 120% capacity. No changes, amendments or improvements have been made to Cardiff Road. This is the main route through Dinas Powys, which this development will feed into. The standing traffic exacerbated as a result of this development passes a total of 3 schools and 1-day care facility. Government reports state, 'Poor air quality is the largest environmental risk to public health in the UK, as long-term exposure to air pollution can cause chronic conditions such as cardiovascular and respiratory diseases as well as lung cancer, leading to reduced life expectancy.' Gov UK, Health Matters: Air Pollution 2018. To even suggest that the increase in cars will not drastically decrease the quality of life of existing villagers is insulting. It is negligence at the highest level.
Pressure on services: Our health centre is oversubscribed. They have recently taken on Penarth residents after the closure of the Redlands Road surgery. Our schools are oversubscribed. For the academic year starting 2023, St Cyres had 500+ applications for a total of 210 spaces. We know that there are no legally binding elements of the LDP that force these services to be implemented prior to the development of housing. This has been shown in the Plas Dwr development whereby the new Secondary school building has been delayed by 9 years! Again, residents are likely to experience a significant decrease in their of life through limited educational and health care opportunities.
Loss of the Green Wedge: Unfortunately, it appears that the Green Wedge is a fluid zone of greenery that can be moved around at will. In recent years several property owners within the Green Wedge have seen personal planning applications rejected, on the basis that the loss of the Green Wedge is to be avoided at all costs. It is laughable that the LDP is now looking to decimate the Green Wedge forever. At Eastbrook there are several protected species of flora and fauna, as well as Holy Wells. We have a moral responsibility to protect these environments at all costs.
Flood plain / flood risk: Flooding has continued to worsen in Dinas Powys in recent years. Both developments will see an increase in impermeable services, leading to increased levels of surface run off reducing lag time, leading to the River Cadoxton experiencing higher volumes of water. The addition of drainage infrastructure will further reduce the lag time of rainfall, again resulting in higher volumes of water entering the river. Higher volumes of water will increase river velocity and energy levels. So not only will flooding increase, but the damage through erosional processes will also increase negatively impacting large percentages of the Dinas Powys population. Large sections of the development are either on existing floodplains or areas of land experiencing high levels of saturation. With global warming this is a problem that will worsen. Ultimately, the proposal put forward directly disregards the up to date statistical data outlined above. If this development goes ahead then it proves that all of these objections were to be ignored from the start. You should be ashamed of yourselves