For
Office Use Representation Number: ______
SNOWDONIA NATIONAL PARK AUTHORITY

ERYRI NATIONAL PARK MANAGEMENT PLAN
AND
ERYRI LOCAL DEVELOPMENT PLAN
Strategic Options and Preferred Strategy
Comments Form
Completed forms should be
returned to:
The Policy Team,
Snowdonia National Park Authority,
Penrhyndeudraeth,
Gwynedd,
LL48 6LF
Or by e-mail to: dyfodoleryri@eryri-npa.gov.uk
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CONTACT DETAILS |
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Personal
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Agents Details
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Title |
Dr |
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First Name |
David |
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Last Name |
Lewis |
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Job Title (If applicable) |
Chair of Policy Sub-Committee |
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Organisation (If applicable) |
Cymdeithas Eryri Snowdonia Society |
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Address |
Ty Hyll Capel Curig Betws-y-Coed |
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Post Code |
LL24 0DS |
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E-mail Address |
director@snowdonia-society.org.uk |
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Telephone No. |
01690 720287 |
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CONSULTATION
QUESTIONNAIRE
Test
of Soundness
Question
1 (Page 3)
Do you
agree with the Authority’s assessment of its progress in meeting the tests of
soundness (in appendix 2)?
Not
entirely
If not, please give reasons?
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The Authority’s self-assessment in
appendix 3 shows that it has made good progress towards meeting many of the
tests of soundness summarised in appendix 2.
It is not possible to be confident as yet, however, that the Authority
will succeed in meeting all the tests of soundness, for at least the
following reasons:
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Special
Qualities
Question
2 (Page 13)
Have we identified all those qualities that make Snowdonia
special?
No
If not what other qualities would you wish to include?
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Identifying the special qualities of
Eryri is the essential basis for formulating policies for conservation and
enhancement as well as for promoting understanding and enjoyment. We are concerned that the consultation
document (2.1.1) glosses over this point by not quoting the statutory
purposes of National Parks in full and omitting the reference in those
purposes to their ‘special qualities’.
The list of qualities offered in chapter 4 is not adequate for the
purpose. It is often vague and
repetitious. Crucially, it fails to
focus on the qualities which are special to National Parks or unique to
Eryri. We propose the following as a
replacement for 4.1.2: The main views
expressed on Snowdonia’s special qualities are summarised below: 1.
great diversity and beauty of landscape in a relatively small area,
ranging from coast and estuary to high rugged mountains (with more peaks over
900m than any other English or Welsh National Park) 2.
areas
offering tranquility and solitude, especially in the remoter parts 3.
a sense
of man’s activities and impact on the landscape through the centuries from
Neolithic to modern times, evidenced by the rich archaeological and
historical heritage and the present-day agricultural scene 4.
complex
and varied geology including superb and classic examples of glaciation and
volcanic activity 5.
rich
biodiversity reflecting the landscape, geology and climate, and man’s
influence, and including species and habitats of national and international
importance 6.
the vibrant
Welsh language and culture, with communities demonstrating strong communal
spirit 7.
opportunities
for a wide range of quiet recreation and leisure activities. |
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Drivers
of Change
Question
3 (Page 17)
Have we identified the main drivers of change?
A heavily qualified
‘yes’
If not what else would you wish us to include?
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The Society endorses the singling out
of climate change as the most important driver of changes. The list of 33 further factors under 9
separate headings is wide-ranging.
But, to be helpful as the basis for planning, it needs to be
rationalised and shortened, by eliminating duplication, and omitting or
rephrasing references to factors which, as described here, are effects of
change or deliberately adopted policies, rather than drivers of change. It will then be more practicable to assess
how important particular drivers are likely to be, and in what contexts. Specific suggestions to that end are: 5.1.6 The final
bullet of the preceding paragraph on climate change should be merged with this paragraph, with
which it overlaps considerably. The
wording should reflect the status of the factors mentioned as drivers (for
example, ‘The need to achieve sustainable
power production’). The reference to
development of renewable energy as a driver of change should be general, and
not confined to householder and community schemes, albeit not all renewable energy schemes would be
acceptable in the National Park 5.1.7 In place of a
separate section on the European Union, reducing assistance should be covered
under ‘Public sector funding’, with a specific mention also of the Common
Agricultural Policy; and ‘Increasing
economic mobility’ should appear under ‘Demographic changes’ (with the words
‘within the European Union’ perhaps added). ‘Environmental directives’ are
probably not sufficiently important to be listed as a driver of change for
the future; or, to the extent they might be, could be covered in the
paragraph on climate change 5.1.8 The 2nd
and 3rd factors should be combined as ‘Increased pressures for
public sector efficiency and partnership working’; and the 5th bullet in
5.1.5 should be merged with the 4th bullet here and similarly
reworded as a driver 5.1.9 Migration may
have various causes and is appropriately covered here under ‘Demographic
changes’. The references to
‘increasing in-migration’ in 5.1.5 should be transferred to here, and
preferably made more precise, still mentioning climate change as the ultimate
cause. There are three possible forms
of inward migration that might be caused by climate change: from Africa and
surrounding areas fleeing excessive heat and drought (presumably not meant
here), from other parts of Britain for permanent residence (unlikely on a
large scale), or in the form of tourism and second homes. The loss of young people moving away from
the area should be mentioned as a driver.
5.1.10 Housing is a
crucial policy issue, but the two bullets in this paragraph seem to range
well beyond drivers of change, and their meaning is in any case obscure. We suggest they should be replaced by an
additional factor under ‘Demographic changes’ or under ‘Economy’:
‘Repercussions on a low wage economy from the housing market elsewhere in
Britain’ 5.1.11 This
paragraph, headed ‘Increasing Requirements for Sustainability and
Environmental Protection’, should be omitted, as those matters are covered in
broad terms in the paragraph on climate change. The sentence of text is incontrovertible, but describes a
driver against change, rather than a driver of change 5.1.12 Under
‘Economy’ the 3rd factor should be omitted, as covered already,
and the 6th is an effect rather than a driver. The 1st factor should be converted
into two separate drivers: ‘Demand for higher standards in tourism, including
quality information and interpretation’ and ‘Need for agriculture to gear up
to serve increasingly demanding markets’. The last but one factor should be omitted, unless it can be
expressed much more precisely, and is not already covered by the expanded
paragraph on climate change. The last
factor should be merged into the 3rd factor in 5.1.13, as ‘Reduced
availability of local services, associated with increased use of the
internet’ 5.1.13 The 1st
factor is already covered by the earlier mention of pressure for increased
public sector efficiency and partnership working - or could be covered more
explicitly by a small amendment there.
The 2nd and last factors should be amalgamated as ‘Need to
extend the benefits of the National Park to all social groups and to deprived
communities adjoining the National Park’.
The 4th factor should be worded more appropriately in this
context as ‘Young people’s career aspirations which cannot be fulfilled at
present within North West Wales’. The
6th bullet, ‘Design quality’, is very cryptic: insofar as there
are pressures for change in the design of buildings, they are largely
associated with increasing the efficiency of energy use, and have already
been covered under the heading of climate change 5.1.14 The 1st
factor should be amended to ‘Increased demand for active outdoor recreation,
linked to healthier lifestyles’; the 2nd factor should be reworded
as ‘High expectations about community participation in initiatives and
decisions’ and transferred to 5.1.13; and the 3rd should be
reworded as ‘Demand for increased access to coast and inland waters’. Two other drivers of change ought also
to be mentioned in this chapter. The
first, increased longevity as leading to increased use of the National Park
by older people seeking less energetic recreation, should appear either under
‘Health and Wellbeing’ or as a further factor in the section on
‘Economy’. The other, pressure to
increase food production in Britain, is a further driver of change which may
well result from climate change. The Society welcomes the commitment
that ‘Identified responses [to drivers of change] will be consistent with
National park Purposes and duty’ (5.1.2) and the reference made to the
general inappropriateness of major developments in National Parks. We urge that reference should also be made
at this point to the undesirability of activities that would damage the
special qualities of the National Park, including its tranquillity. |
The
Vision
Question
4 (Page 22)
Do you
agree that the vision, as supported by the aims and objectives, has the right
emphasis?
Yes, with certain additions,
in the case of the vision and aims
No in the case of the
objectives
If not please
identify elements that you consider to be important.
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The Society welcomes the setting out
of a long-term vision for Eryri, and is broadly supportive of the VISION the
National Park Authority has proposed.
However, there are a few additional points that need to be covered. Despite the emphasis that has been
placed on the role of National Parks in sustainable development, and the
major changes in ways of living that are likely to be required in future, the
wording of the vision does not make any reference to sustainability. The word ‘sustainable’ is used twice in
the proposed AIMS (7.2.2), but we do not consider this is sufficient by
itself. There are also a number of
differences between the version of the vision which appears on page 21 of the
consultation document and the version which appears in the summary for
consultation; and we believe the latter’s references to diversity and social
inclusion are important. To cover
these points we propose that the second sentence of the vision as it appears
in the consultation document should be amended to read as follows: The purposes
of the Snowdonia National Park will be delivered in a diverse and prospering
economy, with thriving bilingual and inclusive communities which will be
models of sustainability, and continue to be founded on strong relationships
with high quality landscapes and rich cultural traditions. A further
difference between the two versions is that the version of the vision in the
summary for consultation contains an additional sentence which we think
definitely merits inclusion: Partnership
between many different players will have shown that by working together we
can achieve so much more. The first
paragraph of the AIMS (7.2.1) should include a reference to ‘superb
opportunities for recreation and enjoyment’. On the
proposed OBJECTIVES in table 1 on pages 23-26 of the consultation document
the Society has four general comments and some more detailed comments. First we note
that, in formulating objectives for the National Park Management Plan and the
Local Development Plan, the Authority has taken as the starting-point the set
of objectives agreed for the purpose of carrying out the Sustainability
Appraisal/Strategic Environmental Assessment of the Plans, as set out in the
1st column in table 1.
Although those objectives have been arranged here under the headings
of the National Parks purposes and duty, they do not mirror exactly the activities
the Authority undertakes. That is
understandable because the purpose for which they were formulated was
checking on the sustainability of the National Park Authority’s Plans. In the section on economic and social
wellbeing a number of the objectives in the 1st column of table 1 (for
example, the objective on housing) justifiably extend beyond the National
Park Authority’s own responsibilities; it is the Appraisal/Assessment which
will seek to establish whether the Authority’s Plans will contribute to or
work against the wider social objective.
The damaging effect of adopting this approach is totally inadequate
coverage of the National Park Authority’s activities in pursuit of the second
statutory purpose. Presumably
promotion of understanding and enjoyment was not thought to be a critical
factor in the Sustainability Appraisal/Strategic Environmental
Assessment. Nevertheless it is a
central statutory requirement for National Park Authorities. The only objective which appears under
this heading in the 1st column of table 1, ‘Improve the quality and quality
of publicly accessible open space’, is clearly an off-the-shelf objective
applicable to all local authorities, and if anything particularly to urban
authorities. The section of
objectives on ‘Promoting Understanding and Enjoyment’ must logically appear
before the section on ‘Foster Economic and Social Well Being’. The Society supports the one objective for
the National Park Management Plan, on access for people of all physical
abilities, which currently appears in the understanding and enjoyment section
of table 1. But it needs to be
accompanied by other objectives to cover other key aspects of promoting
understanding and enjoyment, and to reflect such key messages of the vision
for Eryri 2035 as providing inspiration and promoting social inclusion. Specific matters which were covered in the
Society’s response to the discussion paper on recreation and access, and
which ought to be covered by the objectives listed in table 1, include improving
the quality of rights of way, creating and promoting low-level routes,
improving the management of open access land, opening up access to the coast,
and improving provision for other forms of healthy outdoor recreation. We emphasise that, as in the case of
economic and social wellbeing, these topics should be covered in the
Authority’s Plans irrespective of whether action on them is directly or
exclusively the Authority’s responsibility or whether, on the other hand,
objectives will be pursued through partnership between the Authority and
other organisations. Our second
general point is that there are no objectives in table 1 which relate
directly either to reducing emissions of greenhouse gases or to adapting to
climate change. Selecting objectives for
the Sustainability Appraisal/Strategic Environmental Assessment was an
element in the Scoping Report for those exercises, and we record that there
was no public consultation during preparation of that Report, despite
requests from the Society. Some of
the proposed objectives have some relevance in relation to climate change
(for example, the 5th objective on page 24, which mentions energy,
and the 1st objective on page 25 on flood risk to developments),
but it is not their primary focus.
Because of the overriding importance of climate change as an issue,
mitigating it and adapting to it must be addressed directly in the
Plans. The Society would want to have
the opportunity to enlarge on this point, if that is necessary. Guidance on
preparation of National Park Management Plans in Wales says that ‘wherever
possible’ the objectives they contain should meet the SMART criterion, by
being specific, measurable, achievable, relevant to the National Park and
time-bound. None of the objectives in
the 2nd column of table 1 is time-bound, and many are not specific
or not measurable. Our final
general comment is that there are a number of unjustified gaps in the 3rd
column of table 1, even allowing for the difference in scope between the
Local Development Plan and the National Park Management Plan. We suggest the following additional
entries to set objectives for the Local Development Plan: page 23 2nd
row: an objective for the LDP in
relation to air quality seems misplaced in the 2nd row on page 25,
and ought to appear here if anywhere 5th
row: there could be an objective for
the LDP in relation to RIGS corresponding to that in the 4th row
in relation to biodiversity page 24 4th
row: the 2nd objective in the 2nd
column could be moved to the 3rd column (amending ‘promote’ to
‘encourage’, if that is thought necessary) 6th
row: the planning system has a clear
and acknowledged role in promoting sustainable transport page 25 1st
row: likewise for flood prevention 3rd
row: the objective in the 3rd
column must be an error, and instead reference should be made to the
potential for the planning system to encourage reuse and recycling of
construction materials (including material resulting from demolition and
excavation) and the need to ensure that the detailed design of all new
housing and commercial developments allows for temporary storage of items to
be recycled 7th
row: the planning system should also
promote community involvement - there is indeed a Community Involvement
Scheme for Eryri under planning legislation page 26 1st
row: here again the role of the
planning system in relation to transport should be acknowledged, including
specifically in reducing distances between homes and jobs Our other
comments on the 2nd and 3rd columns of table 1 are as
follows: page 24 1st
row: as the present condition of many
ancient monuments is unsatisfactory, it would be appropriate for the 2nd
column to use the word ‘enhance’ in relation to them too; and the 2nd
column should also refer to listed historic landscapes, not just registered
parks and gardens 3rd
row: the entry in the 3rd
column does not seem to reflect fully the Authority’s objectives in relation
to the Welsh language page 25 2nd
row: the Society very much welcomes
the reference here to soil conservation, but it should appear in the 1st
and 2nd column as well as the 3rd column (we have
commented above on the inappropriateness of referring to air quality at this
point) 3rd
row: as the Authority is not
responsible for waste management, the words ‘Promote mechanisms to’ should be
inserted at the beginning of the proposed objective in the 2nd
column 5th
row: in the 3rd column
amend ‘Encourage new developments to locations’ to ‘Ensure new developments
are located’ page 26 3rd
row: remove the limitation ‘rural’ in
the 3rd column, as much of the employment and economic activity in
the National Park is in the towns and larger villages and/or not related to
agriculture or forestry. These detailed
comments are subject to the proviso that an attempt to come closer to meeting
the SMART criterion for objectives in the National Park Management Plan would
involve more far-reaching changes. |
Spatial
Objectives
Question
5 (Page 28)
Do you agree with this spatial approach and the spatial
categories proposed?
Yes
If not please indicate those spatial elements that you
consider to be important.
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The Society
welcomes the recognition in the consultation
document that different policies may be appropriate in different parts
of the National Park, because of their different circumstances. We believe the spatial categories proposed
(7.4.2) and shown in plan 2 provide a useful basis for applying this spatial
approach. However , the Preferred
Strategy does not as yet contain an adequate set of differentiated policies
for these different areas. Moreover, the
spatial approach needs to be taken further by fully integrating the
Settlement Strategy, which is dealt with in a different part of the
consultation document. Although the
Settlement Strategy has direct implications for the Preferred Strategy for
housing, it is important in other contexts as well. For this immediate purpose, however, we have respected the
structure of the consultation document, and made our comments on the
Settlement Strategy in response to question 12; we have also covered there
7.4.3 and the Key Diagram (plan 1). The
consultation document does not explain how the work on landscape character
assessment mentioned in 7.4.4 and illustrated in plan 3 fits into this
spatial approach. Nor does it make
clear the function the Authority’s planned Landscape Strategy is intended to
fulfil. As we understand it, the
Landscape Strategy will not be produced in time to be incorporated into the
National Park Management Plan. It
would not therefore be a satisfactory substitute for including basic policies
about landscape within the Plan itself.
We deal with the need for such policies in our comments on section 8.2
of the consultation document.
However, in applying the spatial approach to management of the
National Park, it will be essential that all decisions and policies also take
full account of the particular characters of its landscapes. To register that point, we suggest that
7.4.4 should be replaced by a paragraph on the following lines: Measures adopted in relation to any area of the National
Park must have full regard to the particular character of the landscape. Work on landscape character assessment in
the National Park, drawing on LANDMAP data, is ongoing, and will lead to the
production of a Landscape Strategy.
This will take into account the ecological capacity of different areas
of the National Park and the implications of climate change for
landscape. It will provide detailed guidance on appropriate interventions within
identified categories of landscape and serve as supplementary guidance to
support development control decisions. The last two
lines of 7.4.4, on the other hand, need to be expressed more robustly, and
appear in section 8.2. In advance of
production of the Landscape Strategy the map of landscape character areas
(plan 3) may cause some confusion; we suggest it might be better not to
include it in the text of the National Park Management Plan unless a detailed
explanation of its significance can be provided. |
GENERAL COMMENTS ON THE
MATTERS COVERED BY QQ 6, 7 & 8
The three
sections of the consultation document covered by Questions 6, 7 and 8 raise
closely related issues: agriculture and forestry are the main land uses in the
National Park (8.2.3), and the land
management practices adopted in
those industries are the major influences on both the landscape and the biodiversity
of the National Park, and their influence on its landscape is largely
mediated through its biodiversity. While the whole of the National Park is
regarded as having high landscape quality a substantial part of its area has also been formally designated
for its high nature conservation value (8.3.3-8.3.6). This interrelationship between land management, landscape and
biodiversity exists in all British National Parks, but is possibly closest in
the varied landscapes of Eryri (8.2.1, 8.3.6).
Many of the Society’s comments on this part of the consultation document
are therefore relevant to all three of these sections.
The
consultation document acknowledges there will be physical impacts from climate
change (8.4.4). The range and
seriousness of the likely impacts (the Society’s previous summary of these is
reproduced here as an Annex) show that
land management in the National Park is going to face great challenges, and
will need to undergo significant changes.
The issues raised are crucial for the future of the
National Park, but the analysis of them in the consultation document is
confused and fragmented.[1] The future of agriculture in the National
Park is central to the analysis, yet (bizarrely) that is not an aspect on which
the consultation document invites views.
The Authority needs to engage with the future of agriculture and
forestry in the National Park, and to do so within the framework of , on the
one hand, the national and international response to the threat of climate
change and on the other hand the statutory purposes of National Parks,
especially in relation to natural beauty and biodiversity. The Society believes the Authority ought to
be leading a debate on what, in the light of the changes that will take place
over the next few years, would be the most desirable outcomes in terms of land
management. Indeed, we believe the
Authority should, not only aim to meet the challenges in Eryri, but also aspire
to provide a 'Greenprint’ for other areas of the countryside, as an exemplar of
how we can plan and manage our landscapes to mitigate and adapt to the impacts
of global warming and climate change.
The Society
is in general supportive of the Authority in adopting the options for which it
has expressed a preference in these three sections of the consultation document
and in rejecting the other options which it has specifically identified. But some relevant options have not been considered,
and the preferred options do not at the moment add up to a coherent strategy
for the National Park. Nor are they
adequate to achieve all the objectives for the National Park Management Plan
and the Local Development Plan set out in table 1 in chapter 7. The Authority must make clear what kinds of
change it regards as inevitable, what kinds of change it regards as
unacceptable, what kinds of change it
will seek to manage, and what criteria it will apply in managing the latter
changes.
There is no one solution for the whole
National Park. In fact there may be
several, including for example:
Changes of the sort described above
could lead to a real enrichment of the National Park, by maintaining and
enhancing its distinctive landscapes, improving its value as habitat and
supporting the local economy. The
Authority, in conjunction with its partners, needs to bring forward a plan for
what might be most appropriate where.
The task will then be to drive this forward, by supporting or
introducing appropriate policies and programmes at national and local level. That may not be easy, and will not be a
matter of a single policy (and/or, where necessary, source of funding)
providing for everything.
The soil of Eryri contains very large
amounts of carbon. The release of that
carbon into the atmosphere as a result of inappropriate methods of land
management could add considerably to the releases of greenhouse gases from
Wales. There might also be the
potential to adopt methods of land management that would remove carbon frorn
the atmosphere and retain it securely.
Actions to maximise the amounts of carbon retained might also have the
benefit of restoring typical local habitats which have been damaged or
destroyed as a result of past methods of land management. The Authority needs to respond to these
issues. In view of the overriding
importance of climate change as an issue it should be a strategic priority for
the Authority in the National Park Management Plan to:
Investigate the
scope for improved methods of land management which would reduce net emissions
of greenhouse gases, and promote appropriate methods of land management in
conjunction with partners.