BAILII is celebrating 24 years of free online access to the law! Would you consider making a contribution?
No donation is too small. If every visitor before 31 December gives just £1, it will have a significant impact on BAILII's ability to continue providing free access to the law.
Thank you very much for your support!
[Home] [Databases] [World Law] [Multidatabase Search] [Help] [Feedback] | ||
England and Wales High Court (Administrative Court) Decisions |
||
You are here: BAILII >> Databases >> England and Wales High Court (Administrative Court) Decisions >> RWE Innogy UK Ltd v Secretary of State for Communities and Local Government [2014] EWHC 4136 (Admin) (12 December 2014) URL: http://www.bailii.org/ew/cases/EWHC/Admin/2014/4136.html Cite as: [2014] EWHC 4136 (Admin) |
[New search] [Printable RTF version] [Help]
QUEEN'S BENCH DIVISION
THE ADMINISTRATIVE COURT
Strand London WC2A 2LL |
||
B e f o r e :
____________________
RWE INNOGY UK LIMITED | Claimant | |
v | ||
SECRETARY OF STATE FOR COMMUNITIES AND LOCAL GOVERNMENT | Defendant |
____________________
WordWave International Ltd (a Merrill Corporation Company)
8th Floor, 165 Fleet Street, London, EC4A 2DY
Tel: 020 7421 4043 Fax: 020 7404 1424
E-mail: [email protected]
(Official Shorthand Writers to the Court)
The Defendant did not appear and was not represented
____________________
Crown Copyright ©
MR JUSTICE DOVE:
Introduction
History
"The development will be present in views out towards the countryside, particularly the view which is framed by the lychgate and which is further opened out when stepping through into the churchyard. However, it is considered that the development will not effect the way in which this view is interpreted or understood. The full assessment of the effect on this view is included within the landscape and visual assessment chapter 6 of Applicant's ES...
In conclusion, it is considered that in the case of the church, there is a potential for the development to have effect of "low" magnitude upon the building's setting. Therefore, the effect upon the building's setting is assessed as minor."
"Landscape, access and recreation including Yorkshire Wolds Way
Natural England does not consider that the proposal would have a significant effect on nationally designated landscapes, although it would be visible from areas of the North York Moors National Park (northern edge of detailed study area)."
"Whilst this assessment is a valid one in terms of the immediate setting of the Park, the proposal has been assessed from the landscape to the north of the villages of Hutton Buscel West and East Ayton where the boundary of the Park is at its closest to the proposed site, a distance of less than 10km. This is an area of elevated arable and pasture land characterised by linear roads and public footpaths that provide open views out across the Park and Vale of Pickering to the ridge of the Yorkshire Wolds.
Whilst not constituting the setting of the National Park, the Wolds escarpment forms an important visual backdrop to the extensive deeply rural views which characterise the southern vista from this part of the Park. The relationship between the landscape character areas of the Vale of Pickering and the Wolds and the southern dip slopes of the North York Moors is an important one where the lack of significant man made features and the linear character of the immediate and longer distance views are fundamental to the public enjoyment of the public enjoyment of the special qualities of the National Park.
The proposed wind farm would introduce a highly intrusive form of development which owing to its scale, vertical emphasis, the number of turbines, their elevated siting, movement and prominence in relatively close proximity to the National Park would seriously undermine these landscape features and therefore impact adversely upon the public enjoyment of the special qualities of the National Park within its south-eastern edge area."
"We consider the harm caused to the setting of heritage assets will compromise their appreciation. The development does not make a positive contribution to or better reveal the significance of the heritage assets in the area and the requirements of policy HE 10.1 of Planning Policy Statement 5 therefore apply (i.e. that the harm is weighed against the wider benefits. There is no evidence in the application that other less damaging sites or methods of power generation have been explored in accordance with policy HE 1.2 of PPS5. We recommend your Council weighs the harm against the benefits of the proposal and considers the justification for it. We also recommend in doing so your Council is mindful as to whether this case forms a precedent in respect of wind farms breaching the ridge of the Wolds' escarpment."
"The character of the views from this part of the NYMNP viewing south west towards the development are however invariably compromised by either land form and/or buildings/vegetation and from more elevated locations by either vegetation or telegraph poles which interfere with the view. Where there are open views across the Vale of Pickering towards the Yorkshire Wolds, these are more of an incidental nature and are not of a particularly high scenic quality in terms of presenting a vista or panoramic view. As in most cases, the Vale of Pickering and/or the Yorkshire Wolds are only partly visible or truncated. Further, it may be noted that there are no public viewpoints, viewing platforms or similar to indicate that the area is particularly valued for these views or that they are important to the special qualities of the Park or its integrity in whole or in part."
"It is accepted that the Vale of Pickering and the enclosed Wolds and southern dip slopes of the North York Moors have an important geological formation that contribute to the areas' sense of place and visual character. The Vale of Pickering is, however, a settled rural landscape with pylons, agricultural sheds, roads, rail and some towns all within a minor rural setting. Skyline is simple and reposeful and it is claimed that this remote backdrop, however attractive, is fundamental to the public enjoyment of the special qualities of National Parks is overstated and conflicts with the information provided in the NYMNP management plan and the relevant landscape character assessment. As stated earlier, there are no viewpoints, platforms, visitor/tourist information or evidence to suggest that this is a fundamental valued quality to conclude the development would not significantly effect the special qualities, purpose and integrity of the NYMNP designation."
"Viewpoint figure PP 10.1 presents a view from Carr Lane (north of East Heslerton) facing south at National Grid reference SE9278477115. From this location the church appears as a landmark with the backdrop of the Wolds' escarpment with the spire just breaking the skyline. The church loses some of its presence against the backdrop of the escarpment and is not so prominent itself in this view as opposed to views from east or west along the valley/escarpment bottom where the spire is prominent above the horizon (but in which views the turbines and the church are not visible together). The presence of the church diminishes with distance the further north the viewer is. Although the turbines are not visible in this particular view, it is likely that the turbines would be more visible through intervening vegetation in winter and as the viewer moved along Carr Lane. Examination of the accompanying wire frame indicated that only parts of the turbines would be visible specifically from the hub and above. Not all of the proposed turbines would be visible in any case. It is recognised that the turbines introduce a new element above the ridge line and this is a change from the current situation. However, it is not considered that the architectural value and historic associations of the church are significantly affected by this. It is considered that although there is an effect on the wider setting of the church in terms of views including the church towards the south, this is still characterised as "low" in magnitude as it effects the church's wider setting and its presence of the landmark in views in one direction only. Viewpoint figure PP 10.3 protects the view along the A64 facing west and is designed to further inform the effect of the development upon St Andrew's in terms of the latter's value as a historic landmark. This view clearly demonstrates that the church will not be seen alongside the turbines in the forward views to the east and west along the A64 and where the church is clearly visible, there is considerable seperation between the spire and the turbines (effectively the turbines are at a 90 degree angle from the spa). Where the current views of church and turbines from the A64 potentially occur closer to and in East Heslerton, the available views become more distant due to screening vegetation and the built form of the village. It is considered that the church will not receive significant effects upon the setting in this view and that the development will not significantly detract from the presence of the spire as a prominent landmark viewed from the east/west orientated A64."
"It is apparent from figures PP 10.1A that the wind farm would have a harmful impact on the setting and therefore the significance of the Grade I listed church of St Andrew's at East Heslerton with its prominent spire. Additionally, it was apparent on our visit that parts of the turbines would be prominently visible in views adjacent to and within the churchyard of St Andrew's Church. This is not disputed in the Supplementary Environmental Information. We note the statement on page 25 (the first paragraph devoted to this church) that "the effect was not considered to be significant in terms of the EIA regulations, not least because the architectural and historic value of the church itself was not compromised." However, we consider that the presence of the turbines would harm its significance in that from adjacent to and within the churchyard, its relationship to the landscape as a dominant element within it would be compromised...
We consider the harm caused to the setting of the heritage assets will compromise their appreciation. in Paragraph 131 of NPPF states that in determining planning applications, Local Planning Authorities should take account of "the desirability of new development making a positive contribution to local character and distinctiveness". The wind farm proposal fails to do this. Nor does it "enhance or better reveal their significance" (paragraph 137). Paragraph 132 makes clear that "significance can be harmed or lost through alteration or disruption on the heritage asset or development within its setting". We consider that in this case, the harm to the setting and therefore the significance of St Andrew's and St Hilda's Churches would be less than substantial and therefore the harm should be weighed against the public benefits of the proposal (Paragraph 134)...
Recommendation
We consider the harm caused to the setting of the heritage asset will compromise their appreciation. The development does not make a positive contribution to local character and distinctiveness, nor does it enhance or better reveal the significance of heritage assets whose setting it effects. We therefore recommend your Council weighs the harm against the public benefits of the proposal."
"The proposed wind farm would undoubtedly have an adverse effect on the setting of the North York Moors National Park. However, it is considered the effects would not be significant and is unlikely that this would constitute a reason for refusal. It is also unlikely that an objection from the National Park Planning Authority could be upheld at inquiry."
"7.12. It is common ground between the Applicant and the Council that the proposed development will not have significant effects on any national landscape designations during construction, operational or decommissioning phases (both in terms of their special qualities and views in and out of such landscapes)."
"Inspector: At your letter at paragraph 3, you state, "Whilst not constituting the setting of the National Park, the Wolds escarpment forms important visual backdrop to the extensive deeply rural views which characterise the vista in this part of the Park." You identify "an important visual backdrop", but not the setting. How do you define the setting?
Mr France: This is unresolved given that there is no guidance regarding setting. At circa 10 kilometres from the nearest boundary, this is not the setting. Being close and visible to the National Park would impact on the promotion of enjoyment and special qualities. At the site visit, I saw linear public roads/rights of way. It is a rural view with no significant man made features. It is harming that rather than the setting.
Mr Male (on behalf of the Appellant): After your letter was submitted in June 2011, the Appellant submitted Supplementary Environmental Information in March 2012. The NYMNPA did not submit anything further in response to this. Did you review the Supplementary Environmental Information and undertake any further site visit with the supplementary information?
Mr France: I did review the Supplementary Environmental Information, but did not undertake any further site visit or review. This is a "in principle" objection."
"158. Chris France is Director of Planning at the North York Moors National Park Authority. The Authority considers that the wind turbines would be of sufficient distance from the southern boundary of the National Park not to impact adversely on its setting. Whilst this assessment is a valid one, the proposal has been assessed from the landscape to the north of the villages of Hutton Buscel West and East Ayton where the boundary of the Park is at its closest to the proposed site, a distance of less than 10km. This is an area of elevated arable and pasture land characterised by linear roads and public footpaths that provide open views out across the Park and Vale of Pickering to the ridge of the Yorkshire Wolds.
159. Whilst not constituting the setting of the National Park, the Wolds escarpment forms an important visual backdrop to the extensive deeply rural views which characterise the southern vista from this part of the Park. The relationship between the landscape character areas of the Vale of Pickering and the Wolds and the southern dip slopes of the North York Moors is an important one where the lack of significant man made features and the linear character of the immediate and longer distance views are fundamental to the public enjoyment of the special qualities of the National Park.
160. The proposed wind farm would introduce a highly intrusive form of development which owing to its scale, vertical emphasis, the number of turbines, their elevated siting, movement and prominence in relatively close proximity to the National Park would seriously undermine these landscape features and therefore impact adversely upon the public enjoyment of the special qualities of the National Park within its south-eastern edge area. As such, the proposal is considered to be contrary to national advice relating to the siting of renewable energy projects outside but close to designated areas."
"191. Whilst considering landscape impact, the effect on the North York Moors National Park (NP) needs to be assessed. The most obvious way in which the turbines would affect the NP is as a distracting element on the horizon, visible from the opposite side of the Vale of Pickering and from areas of the NP that extend southwards at Hutton Buscel and Thornton-le-Dale (a minimum distance of about 9 km). Viewpoint 10 illustrates the visibility of the proposal from a point near to Hutton Buscel at about 8.25 km. At this distance, this indicates that almost all of the hubs and blades would be visible above the crest of the scarp; but turbines would be sufficiently far back from the crest to avoid being seen at full height from any location in the Vale of Pickering or the NP.
192. However, the angle of view occupied by turbines would be small. The breadth and scale of the Vale of Pickering as a whole overwhelms the view south from any part of the NP. Whilst the turbines would represent a change in the view, there are no identified special qualities of the NP which comprise distant views towards the Wolds and as a result the development would not lead to any harm to any special qualities. Whilst the effect should not be completely disregarded, the development would not significantly detract from the natural beauty and special qualities of the NP or its setting. In coming to this conclusion I note that the Council has no objection on this ground. Moreover, the development would be removed after 25 years, a consideration that bears on landscape matters."
"215. However at East Heslerton, St Andrew's is a Grade I listed church by the well known Victorian architect G E Street with a significant presence in the village. It is a landmark in the Vale of Pickering, as it possesses a high octagonal tower and spire. Built in 1877, it also features a lychgate, an elaborate wrought iron lamp standard and churchyard cross, each separately listed at Grade II and all near the large western entrance porch. There is important group value in these assets, which are set within an extensive open churchyard without any trees of any significance. The building is approached from the west or the east and turbines would be visible on both approaches because of the lack of any buildings or significant screening between it and the escarpment. The conspicuous raised skyline draws the eye and contributes significantly to its setting at the southern edge of the village. Passing through the lychgate on the west side, blades and hubs would be visible on the ridge at a distance of just over 2 km beyond the conspicuous block of woodland on the crest at Manor Farm, in the same view as the other listed assets. Sheep graze up to the boundary of the churchyard.
216. The development would influence the way the asset is interpreted and understood because partial views of moving blades on a significant part of the conspicuous crest of the escarpment on the main approach and from within the churchyard would be a distracting element in this quiet rural setting, which apart from a few 20th century dwellings to the west, is unaffected by modern development. The view up to the crest is not a 'designed' view but it is prominent in the experience of visiting the church. The harm caused to the setting would not be so severe as to amount to 'substantial harm' in the terms of the NPPF. The impact would be adverse and this weighs against the proposal. The public benefits have to be considered in the final balance."
"229. The supporting text to LPS policy SP18 refers at paragraph 7.33 to the 2011 AECOM Report and the fact that it identified a variety of sources of renewable and low carbon energy as being feasible and viable within Ryedale. Commercial wind is one such source, with its potential contribution towards Ryedale's installed capacity being assessed at 10MW. Whilst that provision was anticipated in the Vale of York, development is not precluded in AHLVs. The recent PPGRE does not rule out energy development in designated areas such as National Parks and AONBs and reiterates that in all cases, detailed landscape assessment is necessary. That is what has been done here, independently professionally reviewed by the Council at application stage, agreed to be properly carried out in the SOCG and extensively discussed at the Inquiry in the light of up to date national and local policies. The proposed development of the appeal site conforms with the aims of LPS policy SP18 and the likely contribution it would make to renewable energy production and CO2 savings attracts very significant weight.
230. Moreover, acknowledging that on-shore wind development will always have significant landscape and visual effects, the proposal has been designed to relate to the undulating contours of the Wolds landscape and would not conflict with the design quality aims of LPS policy SP16. Additional benefits that weigh in favour concern the economic benefits that flow from construction work such as employment; and the improvement and reinstatement of hedging which has suffered from intensive agricultural encroachment and removal.
231. Against that, there would be a conflict with LPS landscape protection policies by way of a moderate degree of harm to landscape character and tranquillity within a 3.5 km radius of the site, but the scheme would be satisfactorily assimilated further into the wider landscapes on each side of the escarpment, which are of very substantial scale and extend for many kilometres. The visual impact would be major for users of the few public rights of way through the site itself, but would only affect a limited part of the Wolds Way, where only a small part of the experience would be affected. The minor overall level of harm caused in terms of visual intrusion would not compromise people's enjoyment of the Wolds Way or any other PROW, except for a very short distance.
232. There would be a minor degree of harm to the setting of St Andrew's Church at East Heslerton, but this would not amount to substantial harm. No other heritage asset would be significantly adversely affected."
"15. When viewed from parts of the South-Eastern edge of the North York Moors National Park almost all of the turbine hubs and blades would be visible above the crest of the Wolds scarp, albeit they would be sufficiently far back from the crest to avoid being seen at full height from any location in the National Park. Nevertheless they would be a distracting element on the horizon visible from areas of the National Park that extend southwards at Hutton Buscel and Thornton-le-Dale. The Secretary of State has had regard to the facts that the turbines would be at least 9 km away from the Park, the angle of view occupied by them would be small and there are no specifically identified special qualities of the National Park which comprise distant views toward the Wolds specifically. However he agrees with the assessment of the Director of Planning at the North York Moors National Park that, whilst not constituting part of the setting of the National Park, the Wolds escarpment forms an important visual backdrop to the extensive deeply rural views which characterise the southern vista from the southern fringe of the Park. The Secretary of State also agrees with the Director that the relationship between the landscape character areas of the Vale of Pickering and the Wolds and the southern dip slopes of the North York Moors is an important one where the lack of significant man made features and the linear character of the immediate and longer distance views are fundamental to the public enjoyment of the special qualities of the National Park. Despite the distance from the Park boundary, the Secretary of State agrees with the Director that the proposal would introduce a highly intrusive form of development which owing to its scale, vertical emphasis, the number of turbines, their elevated siting, movement and prominence on the horizon would seriously undermine these landscape features. Though there are no specifically identified special qualities of the National Park which comprise distant views towards the Wolds, the Secretary of State accepts the Director's view that the relationship between the various component parts of the wider landscape is such that the proposal would impact adversely upon the public enjoyment of the special qualities of the National Park within its south-eastern edge area. The Secretary of State attaches significant weight to the adverse impact on public enjoyment of the Park."
"24. The Secretary of state has carefully considered the Inspector's reasoning and conclusions at IR215-216 about the degree of harm to the setting of the Grade I listed church of St Andrew's in East Heslerton. He agrees that the development would influence the way the asset is interpreted and understood because partial views of moving blades on a significant part of the conspicuous crest of the escarpment on the main approach to, and from within the churchyard would be a distracting element in this quiet rural setting, which apart from a few 20th century dwellings to the west is unaffected by modern development. Though the view up to the crest is not a 'designed' view, he notes that it is prominent in the experience of visiting the church. He agrees that the harm caused to the setting would not be so severe as to amount to 'substantial harm' in the terms of paragraph 133 of the NPPF, but that the impact would be adverse. Given that the view up to the crest is prominent in the experience of visiting the church and that partial views of moving blades would be a distracting element in this rural setting, the Secretary of State considers that the Inspector's description of harm to the church's setting as 'minor' underplays the degree of harm. The Secretary of State considers that the development would conflict with LPS Policy SP18 due to the adverse impact on historical interests.
25. In view [of] his duty under s66 of the LBCA, the Secretary of State attaches considerable importance and weight to the desirability of preserving the setting of St Andrew's Church and to the finding that the impact on this would be adverse."
"Overall Conclusions
28. The Secretary of State has given careful consideration to the Inspector's overall balancing exercise at IR226-238. The Secretary of State agrees that the contribution the development would make to renewable energy production and CO2 savings attracts very significant weight. He also gives some weight to the economic benefits from construction and the benefit through the improvement and reinstatement of hedging.
29. However, he places significant weight on the high magnitude of change and the moderate adverse effect on the highly valued Wolds landscape within about 3 km of the development. He also places moderate weight on the distracting view of parts of turbines above the horizon when viewed from many parts of the Vale of Pickering. Those views extend to the south-eastern edge area of the North York moors National Park and he places significant weight on the harm to public enjoyment of the special qualities of the National Park within this part of it. Overall, he ascribes very significant weight to the sum of harm to the landscape, the corresponding conflict with LPS Policy SP13 and the harm to public enjoyment of the North York Moors National Park.
30. The Secretary of State places some weight on the intrusive impact that would be experienced by users of the byway open to all traffic that crosses the site and users of the Yorkshire Wolds Way where this passes the development.
31. The development would lead to an adverse impact on the setting of St Andrew's Church at East Heslerton and consequently would conflict with LPS Policy SP18. The Secretary of State attaches considerable importance and weight to the desirability of preserving the setting of St Andrew's Church and to the finding that the impact on this setting would be adverse.
32. The proposal conflicts with the development plan and, having had particular regard to paragraph 98 of the Framework, the Secretary of State considers that the sum of environmental impacts of the proposal are not and cannot be made acceptable."
The law
"The reasons for a decision must be intelligible and they must be adequate. They must enable the reader to understand why the matter was decided as it was and what conclusions were reached on the "principal important controversial issues", disclosing how any issue of law or fact was resolved. Reasons can be briefly stated, the degree of particularity required depending entirely on the nature of the issues falling for decision. The reasoning must not give rise to a substantial doubt as to whether the decision-maker erred in law, for example by misunderstanding some relevant policy or some other important matter or by failing to reach a rational decision on relevant grounds but such adverse inference will not readily be drawn. The reasons need refer only to the main issues in the dispute, not to every material consideration. They should enable disappointed developers to assess their prospects of obtaining some alternative development permission, or, as the case may be, their unsuccessful opponents to understand how the policy or approach underlying the grant of permission may impact upon future such applications. Decision letters must be read in a straightforward manner, recognising that they are addressed to parties well aware of the issues involved and the arguments advanced. A reasons challenge will only succeed if the party aggrieved can satisfy the court that he has genuinely been substantially prejudiced by the failure to provide an adequately reasoned decision."
NYMNP
"Developments outside nationally designated areas which might affect them
5.9.12. The duty to have regard to the purposes of nationally designated areas also applies when considering applications for projects outside the boundaries of these areas which may have impacts within them. The aim should be to avoid compromising the purposes of designation and such projects should be designed sensitively given the various siting, operational, and other relevant constraints. This should include projects in England which may have impacts on National Scenic Areas in Scotland.
5.9.13. The fact that a proposed project will be visible from within a designated area should not in itself be a reason for refusing consent."
"Conserve and enhance the natural beauty, wildlife and cultural heritage of the Park...
And promote opportunities for the understanding and enjoyment of the special qualities of the Park by the Public."
"Great diversity of landscape; sudden dramatic contrasts associated with this.
Wide sweeps of open heather moorland; distinctive dales, valley and inland headlands.
A rich and diverse countryside for recreation; an extensive network of public paths and tracks.
Strong feeling of remoteness; a place for spiritual refreshment."
St Andrew's Church