“A large amount of retail expenditure is currently identified as leaking from Moreton-in-Marsh to other retail stores and commercial centres outside the town. The proposed scheme will help to claw back retail expenditure to the town and also reduce the number of vehicle trips undertaken by Moreton-in-Marsh residents to other locations. The proposal will also provide additional employment opportunities for local residents. It has been demonstrated that there are no other sequentially preferable sites available in town centre or edge of centre locations and that the application site is accessible and well connected to the Moreton-in-Marsh town centre. The proposal will not therefore have an adverse impact on the vitality and viability of the town centre. The proposal is therefore considered to have economic benefits for the town as well as reducing vehicle movements thereby reducing carbon emissions. These aspects are considered to carry significant weight and to outweigh the limited landscape and highway impacts. The proposal is therefore considered to accord with the principle of sustainable development set out in the NPPF.”
“Local planning authorities should apply a sequential test to planning applications for main town centre uses that are not in an existing centre and are not in accordance with an up-to-date Local Plan. They should require applications for main town centre uses to be located in town centres, then in edge of centre locations and only if suitable sites are not available should out of centre sites be considered. When considering edge of centre and out of centre proposals, preference should be given to accessible sites that are well connected to the town centre. Applicants and local planning authorities should demonstrate flexibility on issues such as format and scale.”
“When assessing applications for retail, leisure and office development outside of town centres, which are not in accordance with an up-to-date Local Plan, local planning authorities should require an impact assessment if the development is over a proportionate, locally set floorspace threshold (if there is no locally set threshold, the default threshold is 2,500 sq m). This should include assessment of: • the impact of the proposal on existing, committed and planned public and private investment in a centre or centres in the catchment area of the proposal; and • the impact of the proposal on town centre vitality and viability, including local consumer choice and trade in the town centre and wider area, up to five years from the time the application is made. For major schemes where the full impact will not be realised in five years, the impact should also be assessed up to ten years from the time the application is made.”
“Where an application fails to satisfy the sequential test or is likely to have significant adverse impact on one or more of the above factors, it should be refused.”
“When promoting a proposal on a less sequentially preferable site, it will not be appropriate for a developer or retailer to dismiss a more central location on the basis that it is not available to the developer/retailer in question.”
“When judging the suitability of a site it is necessary to have a proper understanding of scale and form of development needed, and what aspect(s) of the need are intended to be met by the site(s). It is not necessary to demonstrate that a potential town centre or edge of centre site can accommodate precisely the scale and form of development being proposed, but rather to consider what contribution more central sites are able to make, either individually or collectively, to meeting the same requirements.”
“Those promoting less central sites should not discount more central locations as unsuitable unless they are able to clearly demonstrate that a development on the site in question would be unable to satisfactorily meet the need/demand their proposal is intended to serve. They should not reject sites based on self imposed requirements or preferences of a single operator, or without demonstrating a serious attempt to overcome any identified constraints.”
“… [Whilst] this site is sequentially preferable it is not considered to be available as the site has an approval for an extension and therefore there is a clear intention from the existing operator to extend their own store and would not be suitable unless the whole site is made available.”
“In accordance with the requirements set out in the NPPF and [the practice guidance] the applicant has undertaken a sequential assessment of the town to identify whether any suitable sites are available as an alternative to the current application site. A total of 7 town centre, edge of centre and out of centre sites were considered. In accordance with the aforementioned guidance the applicant sought to be flexible in their approach. Their sequential assessment looked at sites that were capable of accommodating a smaller store than that currently proposed. A minimum net retail sales area of 1000 sq metres (1500 sq metres gross) and 80 car parking spaces was used by the applicant as a guide. Such development would require a minimum site area of 0.9 hectares in comparison to the 2.3 hectares covered by the current application site. It is evident that the applicant has considered sites that are noticeably smaller than the current development site. They have therefore not just focused their search on large development sites comparable to the current application site. It is considered that the applicant has demonstrated a suitable level of flexibility when considering alternative sites. The Supreme Court judgment in [Tesco v Dundee City Council] clarifies that suitability has to be read in the context of ‘suitable for the development proposed by the applicant’ rather than ‘suitable for meeting identified deficiencies in retail provision in the area’. This approach has recently been re-iterated in an appeal decision for retail development in Sheffield (APP/J4423/A/13/2189893). In the case of Moreton-in-Marsh the alternative sites that were considered such as on New Road next to the railway station, the former hospital on Hospital Road, land between Fosseway Avenue and Jameson Crescent and at the Fire Service College were either too small, suffering from poor accessibility or located further from the town centre than the application site. Land at Budgens already benefits from planning permission for retail development in the form of an extension to the existing store. Overall, it is considered that there are no other suitable town centre or edge of centre sites that could accommodate a foodstore of the kind proposed even at a reduced size. In addition, there are no other out of centre sites that are more accessible and better connected to the town centre. In this respect the site is considered to accord with the guidance in Paragraph 24 of the NPPF.”
“The approved extension for Budgens has been taken into consideration as part of the retail impact assessment. The potential cumulative impact of the extension and the two stores proposed at Fosseway Farm and to the east of Stow Road has been considered by [Peter Brett Associates]. Their assessment is that the town could accommodate one additional foodstore of the size proposed in addition to the approved extension at Budgens without having an adverse impact on the vitality and viability of Moreton-in-Marsh town centre. The granting of permission for both the Fosseway Farm and Sainsbury’s application would be likely to have an unacceptable adverse impact on the vitality and viability of the Moreton-in-Marsh commercial centre and would contravene Paragraph 27 of the NPPF. … Overall, it is considered that the application site does represent an accessible location that is well connected to the town centre and as such accords with the aspirations of Paragraph 24 of the NPPF. The impact of the proposal on planned public and private investment in Moreton-in-Marsh commercial centre and centres in the catchment area of the proposal has been considered. No such investment has been identified in these areas. The approved extension of Budgens is noted. However, as the store is located outside a commercial centre it does not benefit from policy protection in the context of bullet point 1 of Paragraph 26 of the NPPF. … [It] is … noted that here is a high level of retail expenditure currently leaking from the town. It is considered that the introduction of the proposed store would not simply draw trade from Budgens but from further afield. Consequently, it is considered that there is potential for the two stores to co-exist and that the creation of the new jobs would not simply result in a movement of jobs from one side of the town to another. It is considered that the proposal would result in a net employment gain for the town. The proposal has been brought forward in order to address a leakage of convenience retail expenditure from Moreton-in-Marsh. The siting of a store within another settlement would not address this issue. The current proposal therefore has the potential to reduce vehicle trips out of the town and encourage local residents to spend their money within the environs of the town rather than further afield. The independent retail assessment of the proposal indicates that the development could be undertaken without having an adverse impact on the vitality and viability of the commercial centre of Moreton-in-Marsh or other nearby centres. The proposal is therefore considered to accord with Local Plan Policy 25 and the guidance set out in Paragraphs 23-27 of the NPPF.”
“Correspondence received on behalf of Budgens during the course of the application was forwarded to the Council’s retail consultant. The consultant confirmed that the town could accommodate one additional foodstore of the size proposed in addition to the approved extension at Budgens, without having an adverse impact on the vitality and viability of the town centre.”
“… The Retail Impact Assessment (RIA) [submitted with the application for planning permission] indicated that the town could accommodate a further foodstore of the size proposed in addition to the extant Budgens scheme without having an adverse impact on the vitality and viability of Moreton-in-Marsh commercial centre. The RIA was independently assessed. The Budgens site was not available for further development over and above their approved scheme. Consequently, it could not accommodate the proposed Minton development. There was therefore a need to look further afield. The applicant showed flexibility in their retail model when considering alternative sites. The Fosseway Farm site was the closest to the commercial centre. The claimant appears to be coming from a standpoint where there is only a requirement for one foodstore in the town ([i.e] the extended Budgens). However, the independently assessed RIA clearly shows that the town can accommodate a further store.”
“13. In support of town centres as the first choice, the Government recognises that the application of the sequential approach requires flexibility and realism from developers and retailers as well as planning authorities. In preparing their proposals developers and retailers should have regard to the format, design, scale of the development, and the amount of car parking in relation to the circumstances of the particular town centre. … 14. Planning authorities should also be responsive to the needs of retailers and other town centre businesses. In consultation with the private sector, they should assist in identifying sites in the town centre which could be suitable and viable, for example, in terms of size and siting for the proposed use, and are likely to become available in a reasonable time … .”