" • approving development proposals that accord with the development plan without delay"
" • where the development plan is absent, silent or relevant policies are out-of-date, granting Permission unless: – any adverse impacts of doing so would significantly and demonstrably outweigh the benefits, when assessed against the policies in this Framework taken as a whole; or – specific policies in this Framework indicate development should be restricted."
"For example, those policies relating to sites protected under the Birds and Habitats Directives (see paragraph 119) and/or designated as Sites of Special Scientific Interest; land designated as Green Belt, Local Green Space, an Area of Outstanding Natural Beauty, Heritage Coast or within a National Park (or the Broads Authority) designated heritage assets; and locations at risk of flooding or coastal erosion."
"Inappropriate development in areas at risk of flooding should be avoided by directing development away from areas at highest risk, but where development is necessary, making it safe without increasing flood risk elsewhere."
"The aim of the Sequential Test is to steer new development to areas with the lowest probability of flooding. Development should not be allocated or permitted if there are reasonably available sites appropriate for the proposed development in areas with a lower probability of flooding. The Strategic Flood Risk Assessment will provide the basis for applying this test. A sequential approach should be used in areas known to be at risk from any form of flooding."
"If, following application of the Sequential Test, it is not possible, consistent with wider sustainability objectives, for the development to be located in zones with a lower probability of flooding, the Exception Test can be applied if appropriate."
"The National Planning Policy Framework sets strict tests to protect people and property from flooding which all local planning authorities are expected to follow. Where these tests are not met, national policy is clear that new development should not be allowed."
"[They] are designed to ensure that if there are better sites in terms of flood risk, or a proposed development cannot be made safe, it should not be permitted."
" • Where development needs to be in locations where there is a risk of flooding as alternative sites are not available, local planning authorities and developers ensure development is appropriately flood resilient and resistant, safe for its users for the development's lifetime..."
"This general approach is designed to ensure that areas at little or no risk of flooding from any source are developed in preference to areas at higher risk. The aim should be to keep development out of medium and high flood risk areas (Flood Zones 2 and 3) and other areas affected by other sources of flooding where possible. Application of the sequential approach in the plan-making process, in particular application of the Sequential Test, will help ensure that development can be safely and sustainably delivered and developers do not waste their time promoting proposals which are inappropriate on flood risk grounds."
"... The aim is to steer new development to Flood Zone 1 (areas with a low probability of river or sea flooding). Where there are no reasonably available sites in Flood Zone 1, local planning authorities in their decision making should take into account the flood risk vulnerability of land uses and consider reasonably available sites in Flood Zone 2 (areas with a medium probability of river or sea flooding), applying the Exception Test if required. Only where there are no reasonably available sites in Flood Zones 1 or 2 should the suitability of sites in Flood Zone 3..."
"It is for local planning authorities, taking advice from the Environment Agency as appropriate, to consider the extent to which Sequential Test considerations have been satisfied, taking into account the particular circumstances in any given case. The developer should justify with evidence to the local planning authority what area of search has been used when making the application. Ultimately the local planning authority needs to be satisfied in all cases that the proposed development would be safe and not lead to increased flood risk elsewhere."
"Zone 1 - low probability 'having a less than 1 in 1,000 annual probability of river or sea flooding'... Zone 2 - medium probability 'land having between a 1 in 100 and 1 in 1,000 annual probability of river flooding'... 3a - high probability 'land having a 1 in 100 or greater annual probability'... 3b - functional floodplain 'this zone comprises land where the water has to flow or be stored in the time of flood.'"
"Sequential Test The proposal is for a demolition and rebuild, which does not constitute a change of use. We understand the built development would be located on the slopes of the hill, mostly Flood Zone 1 but partly Flood Zone 3, and access roads will be formed on the low lying land (Flood Zone 3b). Therefore, in compliance with the national planning policy, the Sequential Test will need to be discussed with Aylesbury Vale District Council at the earliest possible opportunity. We agree this is classified as 'less vulnerable' development in the Technical Guidance to the NPPF and should the Sequential Test be passed, the build development would be appropriate in Flood Zone 3a providing the FRA demonstrations that it would not be at an unacceptable risk of flooding and will not increase flood risk elsewhere."
"Section 104 of NPPF refers to changes of use and states that these should not be subject to the Sequential Test or Exception Test, which replaces the requirements of Table 3 in the [technical guidance] TG-NPPF. The Agency does not consider this as a change of use, because it is the site not the building being refused, but it is considered [that is CML are saying] to be relevant, since there is such a dramatic benefit to the river bank conditions with the removal of the restaurant, which would not occur if this scheme was not to proceed."
"The proposed development will improve flood storage, will not significantly affect flood flow characteristics and will therefore not cause increased flood risk elsewhere. Runoff will be attenuated to greenfield rates or less. The overall proposal would therefore be described as 'betterment'."
"The applicant can overcome our objection by submitting an FRA which covers the deficiencies highlighted above and demonstrates that the development will not increase flood risk elsewhere and where possible reduces flood risk overall. If this cannot be achieved we are likely to maintain our objection to the application. The applicant will need to submit a floodplain compensation scheme that is designed to provide compensation on a level for level basis."
"Development proposals are to be considered in the context of the policies within the NPPF which sets out the presumption in favour of development at paragraph 14."
"At the heart of the NPPF is the presumption in favour of sustainable development which should be seen as a golden thread running through both plan-making and decision-taking."
"... unless material considerations indicate otherwise, approving development proposals that accord with the plan or where the development plan is absent, granting Permission unless any adverse impact would so significantly and demonstrably outweigh the benefits when assessed against the policy and the NPPF taken as a whole, or specific policies in the NPPF indicate development should be restricted."
"A Flood Risk Assessment was submitted with this application. This site is adjacent to the River Thame, within an area liable to flood. Initially, the proposal gave rise to objection from EA, however following a lengthy process of negotiation, the developers have amended the scheme to satisfy EA requirements in relation to flood risk (both on the site and elsewhere) and ecology. The proposal relates to an already developed site, and therefore a sequential assessment is unnecessary. Subject to amendments and additional information as recommended by EA, it is considered that the proposal would not give rise to increased flood risk. This is considered a neutral factor in the planning balance. However, in view of the fundamental importance of the flood risk issue, it is considered that the amended details of the flood compensation scheme, along with the addendum to the FRA, should be submitted and agreed prior to approval of the application."
"... paragraph 14 of the NPPF requires that where the development plan is absent, silent, of relevant policies are out of date, planning Permission should be granted unless any adverse impacts of doing so would significantly and demonstrably outweigh the benefits, when addressed against the policies of the NPPF taken as a whole."
"... in terms of adverse impact these are in relation to the impact on the character of the site, the adjacent land and the settlement character of Watermead. These are weighed in the planning balance and it is considered this is a balanced judgment, but overall the adverse impacts of the proposal do not significantly and demonstrably outweigh the benefits."
"... have regard to the provision of the development plan so far as material to the application and to any other material considerations."
"The presumption in favour of sustainable development (paragraph 14) does not apply where development requiring appropriate assessment under the Birds or Habitats Directives is being considered, planned or determined."