“Despite the extent of its alterations in the mid-19th century the Tudor barn is still an imposing and nationally important example of its type. Its scale and external decoration was designed to extend the width and visual impact of the gatehouse when approaching from the south, and it forms part of a rare late Elizabethan ‘seigniorial landscape’ reflecting the status of one of East Anglia’s most important families. It remains of vital importance to the historic context and integrity of the grade I-listed castle, and accordingly, in my view, merits listing at grade II*. The refurbishment of circa 1860 is of historic interest in itself as part of a well-preserved ‘model’ farm in the latest fashion of its day, and illustrates the wealth of the Flixton Hall estate to which it belonged.”
“The significance of the Castle and farm group, both historically and visually, is clearly expressed in the listing description. It is the long historical association between the two heritage assets, the close physical proximity of the farmstead to the Castle and the inter-visibility between the two that lends added significance to the farm buildings. It also makes the farmstead particularly sensitive to change. Proposals to convert the farm to residential use have been made before and we have long expressed concern regarding this in terms of its impact on the character of the barns and the setting of the Grade I listed Castle. Conversion to residential use is usually considered to be the most damaging of the potential range of new uses for agricultural buildings because of its impact on their historic character, features and their setting. The requirements for modern residential use, both in terms of the fabric of the barns and change to their immediate surroundings could remove much of the essential character of the farmstead and affect the established visual relationship between the Castle and farmstead. This relationship is a vital part of both its character and that of the setting of the Castle. ... … … This application serious raises concerns about the impact on the setting and significance of Wingfield Castle by the proposed development. As the Castle is grade I listed it is in the top 2.5% of listed buildings nationally. The NPPF states that the conservation of heritage assets should be given ‘great weight’ in the planning system. The importance of the Castle and sensitivity of its setting makes that particularly pertinent here. Paragraph 128 of the NPPF requires applicants to submit sufficient information on the significance of heritage assets to allow assessment of a development’s impact upon that significance. While the analysis of the historic barn is good there is insufficient information on the setting of the heritage assets, its historical development and how it contributes to their significance as well as the visual impact of certain aspects of the development. Given the significance of the heritage assets concerned this information is important and we do not consider the application has satisfied the requirements of paragraph 128. Based on the information that has been submitted we are concerned that conversion of the historic farm buildings to residential use would result in harm to the significance of Wingfield Castle in terms of the NPPF paragraphs 132 and 134. This would be caused by the permanent curtailing of the agricultural use and bringing domestic activity into a part of the Castle’s immediate setting which was an ancillary service area. The detail of the design would also result in harm to the significance of the grade II listed farm buildings and in particular some of the external alterations to the farmstead would have a harmful impact on the Castle’s setting and significance. The amendments made to the proposed designs do not address these concerns. The farm buildings are in need of repair and being brought into use. This and the removal of modern farm structures adjacent to them could be considered a public benefit in terms of the NPPF paragraph 134 for the Council to weigh against the harm to the heritage assets. However, the NPPF paragraph 132 required a ‘clear and convincing’ justification to be made for ‘any’ harm. We do not feel sufficient justification has been made for the proposed use. Furthermore, the impact on the most significant areas of the farm buildings and the changes to the exterior of the buildings which would have a harmful impact on the Castle has not been justified. We leave it to the Council to consider any public benefit resulting from the development but if the justification for the harm required by the NPPF is not made we recommend the application is refused.”
“The Heritage Team considers that the proposal would cause ...less than substantial harm to designated heritage assets because of compromise to the building’s historic character arising from the change of use, and because of intrusion in the setting of the adjacent listed building; however, because the harm is limited and minimised and offers an important public benefit, the proposal is considered acceptable”
“Historic England is concerned by the ·proposal to convert the farmstead to residential units and harm to the significance of the barns and Wingfield Castle in terms of the NPPF paragraphs 132 and 134. Historic England do not consider the justification required by the NPPF has been made for the proposed use. The impact on the most significant areas of the farm buildings and the changes to their exterior which would have a harmful impact on the Castle. Historic England resolve to leave it to the Council to consider any public benefit resulting from the development and if the reuse of the buildings could be achieved without harm to the heritage assets but if the justification for the harm required by the NPPF is not made we recommend the application is refused.”
“The barns are in a state of disrepair. The main barn building is classified as being in poor condition and risk priority C under the risk register as slow decay and no solution agreed. Repairs have been carried out to the main roof, but it has proved difficult to prevent deterioration of the single storey elements resulting from theft of roof tiles. Therefore it has fallen into a worst state of repair since the 2006 refusal.”
“A further special circumstance listed in paragraph 55· of the NPPF [that indicates that new isolated dwellings in the countryside should be avoided unless there are special circumstances] is that the development would represent optimal viable use of a heritage asset. Paragraph 131 states that in determining planning applications local planning authorities should take account of the desirability of sustaining and enhancing the significance of heritage assets and putting them to viable uses consistent with their conservation. National Planning Practice Guidance (NPPG) details that it is important that any use is viable, not just for the owner, but also the future conservation of the asset. It desirable to avoid successive changes carried out in the interests of repeated speculative and failed uses. The NPPG defines the optimum viable use as the one likely to cause the least ·harm to the significance of the asset, not just through necessary initial changes, but also as a result of subsequent wear and tear and likely future changes. The optimum viable use may not necessarily be the most profitable one. It might be the original use, but that may no longer be economically viable or even the most compatible with the long-term conservation of the asset.”
“The Council is under duties in thePlanning (Listed Buildings and Conservation Areas) Act 1990 to have special regard to the desirability of preserving listed buildings and their settings. Accordingly harm to a building or its setting is to be given great weight in decision making, and in NPPF terms requires clear and convincing justification such as by way of public benefits, and by demonstration that harm has been minimised.”
“The applicant also states that the adjacent neighbour (occupier of Wingfield Castle) has been offered the barns to purchase on a number of occasions but there has been no commitment to date. Subsequently, Officers consider the residential conversion would represent the optimum viable use of the historic asset in accordance with paragraph 55 of the NPPF. Officers also consider that clear and convincing justification for the conversion has been provided. The conversion would secure the long-term preservation and retention of these Listed Buildings especially given that the long barn is listed on the Buildings at Risk Register.”
“Although the neighbour has commented on the application to confirm he still wishes to obtain these buildings to preserve them as they are. Given ten years has passed since the previous application and no resolution has been secured.”