Biodiversity Net Gain looming large for developments of all sizes

PDP_Biodiversity Net Gain

The date on which biodiversity net gain (BNG) comes into law is fast approaching. Here, our Director Richard Pigott, provides answers to some FAQs about the whole process and what it will mean for applicants, landowners and homeowners.

What exactly is biodiversity net gain (BNG)?

Biodiversity net gain (BNG) is an approach to development, and/or land management, that aims to leave the natural environment in a measurably better state than it was beforehand. The minimum gain required will be 10% over and above the existing condition of the site. This habitat gain will need to be secured for at least 30 years via planning obligations or conservation covenants. BNG was stipulated in the Environment Act (2021) and the 2 year implementation period is drawing to an end.

When will BNG actually take effect?

BNG is set to become law in November 2023 with a transition period for small sites extended to April 2024. Small sites are defined as:

(i) For residential: 1-9 dwellings on a site having an area of less than one hectare, or where the number of dwellings to be provided is not known, a site area of less than 0.5 hectares.

(ii) For non-residential: where the floor space to be created is less than 1,000 square metres or where the site area is less than one hectare.

All applications submitted after these dates (the exact dates in November and April are yet to be confirmed) will need to meet the new requirements.

What are the current laws/requirements for BNG?

At present there are no laws covering BNG so it is applied inconsistently across different local authorities. Many now require some level of BNG (often as little as 0.1%) but will all change in November.

How is BNG calculated?

In simple terms, BNG is calculated by working out the baseline value of a site in habitat terms then working out the overall impact of a development using the Biodiversity Metric. This metric is designed to provide ecologists, developers, planners and other interested parties with a means of assessing changes in biodiversity value (losses or gains) brought about by development or changes in land management.

Are local planning authorities ready for the new system?

Almost certainly not. Local planning authorities and wildlife trusts are already stretched and the new system can only add more pressure to their workloads in the short term at the very least.

What if BNG cant be achieved on site?

There is a preference for onsite or local enhancements. However, in many cases it will not be possible to achieve biodiversity net gain on a development site or on adjacent land within the applicant’s ownership or control. In such circumstances, the developer can secure the unit shortfall by securing a bespoke site for net gain, or from appropriate sites on the local net gain habitat market from other landowners. These sites will need to meet the criteria of the biodiversity gain sites register when available. If a shortfall in units required to achieve BNG remains, having explored the onsite and local offsite options, a developer can purchase statutory biodiversity credits from government as a last resort.

What will off site BNG cost and will this impact viability?

At present it is very hard to predict what the cost of off-site BNG will be as there remain uncertainties about how the system will work. The Land Trust has previously suggested that BNG units could be worth around £10,000-£25,000 each, although local demand and supply are likely to be what ultimately sets unit prices. What can be said with certainty though is that BNG could be a very significant factor affecting the viability of some schemes, both large and small.

Comment

Whilst mandatory BNG is hardly an overnight concept, it certainly seems to have gone under the radar for many of our clients and eyebrows are often raised when we tell them what it could mean for their proposals. Some clients are determined to submit applications before November but this is not always possible for a variety of reasons. If you wish to discuss this issue further please do not hesitate to get in touch on 01332 347371 or email enquiries@planningdesign.co.uk.

Richard Pigott, Director – Chartered Town Planner, Planning & Design Practice Ltd

Planning Success: Biodiversity gains in rural Derbyshire

PDP_Biodiversity Gains

Planning & Design Practice is pleased to announce that retrospective planning permission has recently been secured for the retention of two wildlife ponds at Woodhay Farm, Marston Montgomery, Derbyshire, creating biodiversity gains.

Woodhay Farm is in the process of diversification and this latest approval relates to two wildlife ponds reconfigured following the change of use and conversion of a modern steel portal framed building under Class Q that we had obtained prior approval for.

The development provided an opportunity to maximise landscape, wildlife and biodiversity benefits through the reconfiguration of the ponds, creating an attractive landscape feature with excellent wildlife and biodiversity advantages.

A previous land owner diverted effluent from the farmstead into the pond for several decades which resulted in an extremely smelly and unattractive blot on the landscape.

Figure 1: Existing Pond

The creation of the two wildlife ponds have significantly improved the character and appearance of the immediate and wider landscape through appropriate management. The ponds were designed to encourage wildlife to thrive on site and the surrounding land providing a great habitat for invertebrates, newts and frogs alongside attracting other wildlife such as snails, insects and birds.

Figure 2: Reconfigured wildlife pond

When having regard to the condition of the pre-existing ponds the development has significantly increased the ecological value of the area and will benefit many different habitats within and immediately surrounding the site.

The assessment of Biodiversity Net Gain has become an increasingly important consideration for landowners, developers and Council’s following the publishing of the Environment Act (2021) which came into law in November 2021. An article on the importance and benefits of the Environment Act can be found here.

We have vast experience of working on rural projects for homeowners, landowners and farmers in rural areas. We can provide you with expert advice on issues to be taken into account prior to submission of your application through to receiving the decision. For a free, no obligation consultation to discuss your project, please don’t hesitate to get in touch on 01332 347371.

Andrew Stock, Principal Planner, Planning & Design Practice Ltd.

Could Agricultural Transition and Biodiversity Net Gain be unlikely bedfellows?

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Our Director and Chartered Town Planner, Richard Pigott reflects on Agricultural Transition and the links with biodiversity net gain targets incorporated in the Environment Act 2021.

I attended an event this week on Agricultural Transition which is being described as the most significant change in agricultural policy for over 50 years. As a consequence of Brexit the UK has the opportunity to devise its own system of rural grants and payments that provide help to the farming industry. This was of particular interest for two reasons. Firstly, because many of our clients are farmers or own rural properties and it is important to have some understanding of the pressures they are facing in this period of transition so that we can advise them on potential farm diversification projects. Secondly, there are a multiplicity of new environmental schemes which have implications for the whole development industry in light of the legal requirement (by virtue of the Environment Act 2021) that all development must achieve a 10% net gain in biodiversity by late 2023 . Biodiversity net gain can be achieved on-site, off-site or through a combination of on-site and off-site measures. To achieve biodiversity net gain, proposals must follow the ‘mitigation hierarchy’ which compels planning applicants to avoid harm in the first instance, then mitigate or finally compensate for losses on-site, off-site or through a combination of the two solutions. These measures will be required in planning conditions and legal agreements.

In some cases, applicants/developers will own land nearby that can help them to achieve the 10% figure but in more cases it will be necessary to identify land in 3rd party ownership that can be ‘improved’ and managed in an ecologically friendly way for at least 30 years in order to obtain planning consent. This could either be done by approaching landowners directly or by approaching a 3rd party organisation who effectively act as an agent, bringing together landowners and developers – as one such company puts it, “Through a network of habitat banks, we’ve launched Biodiversity Net Gain (BNG) Credits – a groundbreaking new product that gives developers a simple, risk-free way to implement BNG and at the same time provides the opportunity for landowners to diversify their business. It has the power to unlock sustainable development and restore nature.

Whether this approach will be quite so simple in practice remains to be seen. Will the costs of BNG credits be prohibitive, making some development unviable? Will there be enough BNG credits to go round once the legal requirement takes effect in around 18 months time? Is there the resource to enforce such management agreements in the long term?

These are interesting times for the agricultural industry and it could well be that Biodiversity Net Gain is coming along at the right time for farmers and landowners.

Richard Pigott, Director, Planning & Design Practice Ltd

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