Regulation 18 Draft Local Plan 2025 Online Version and Consultation
Other elements in this consultation
Chapter 9: Our Natural Places - Protecting and enhancing Torbay's countryside, landscape and natural environment Comment
Strategic Policy LS: Landscape Strategy Comment
The overarching strategy is to provide a high-quality landscape setting and strong green infrastructure framework; to protect, conserve and, wherever possible, enhance landscape character and local distinctiveness for the countryside and seascape by reference to the Torbay Landscape Character Assessment, including the Historic Landscape Characterisation. The rural landscape performs a crucial part of the identity and value of our settlements and the strategic gaps between the three main towns in Torbay and between Torbay, Teignbridge and the South Hams should be protected to prevent coalescence and to retain the separate identities of the settlements.
The South Devon National Landscape (SDNL) has the highest status of protection and great weight will be given to conserving and enhancing the landscape and scenic beauty; development within the SDNL setting should be sensitively located and designed to avoid or minimise adverse impacts on the designated area.
All new major development should be set sympathetically within the landscape, and promote a connection with green space and nature, providing appropriate green infrastructure including access to green space or water, such as ponds and streams; new streets should be tree-lined. Woodlands, trees and hedgerow features should be protected and provided appropriately to the scale of development and landscape context. Development should protect and enhance locally valued landscapes.
Urban open spaces and landscape/townscape features will be maintained or enhanced to support the overall character and appearance of the local environment.
Community and Corporate Plan – Pride in Place
Explanation
9.1 The local landscape setting as a crucial part of the identity and value of Torbay. Conserving the setting of our villages, towns, and protecting the South Devon National Landscape, is a central consideration in approving or refusing permission for new development.
Strategic Policy L1: Protecting our countryside and rural economy Comment
In the open countryside, away from existing settlements, and in rural areas surrounding the three towns of Torbay, development will be resisted where this would lead to the loss of open countryside or creation of urban sprawl, or where it would encourage the merging of urban areas and surrounding settlements to the detriment of their special rural character and setting. The countryside area and undeveloped coast (Policy L3) together define the settlement boundaries.
Major new development should focus on Future Growth Areas in the Strategic Delivery Areas set out in the Key Diagram, consistent with the ambition and policies of the Local Plan. Otherwise, development outside the main urban areas and Strategic Delivery Areas will only be supported within the established boundaries of villages and hamlets, provided that it is of an appropriate modest scale and consistent with relevant Local Plan Policies, including those relating to landscape, recreation, biodiversity, design and conservation. Suitable infill development, refurbishments and conversions will be supported within these settlements in order to meet the day-to-day needs of local communities, to promote the retention and development of local services and to help maintain their sustainability. Village Envelopes in Maidencombe and Churston/ Galmpton are defined on the Policies Map.
Outside settlement boundaries, the following forms of development may be permitted, provided that the rural and landscape character, wildlife habitats, green corridors and historic features are not adversely affected and necessary mitigation measures are carried out to minimise any harm to the environment:
- New homes for which there is a proven agricultural need, or self-build affordable housing where acceptable under Policy H8.
- Development required for forestry, horticulture or agriculture;
- Touring caravans and tents;
- Tourist facilities appropriate to the rural area;
- Development associated with outdoor sport and recreation appropriate in a rural area;
- Sensitive conversion, alteration and extension of existing buildings;
- Essential improvements to the highway network; and
- Appropriate renewable energy development.
Where new development proposals come forward, the council will also have regard to the need to protect, conserve or enhance the distinctive landscape characteristics and visual quality of a particular location, as identified in the Torbay Landscape Study and Character Assessment, the suitability of development and the capacity of the countryside to accommodate change.
Proposals must demonstrate how they have taken into account the most recent Landscape Character Assessment and assessed the potential impact of the proposal on the landscape. Where a proposed development is likely to have a significant impact on the landscape character or visual amenity of an area, a Landscape Visual Impact Assessments (LVIAs) or Environmental Impact Assessment will be required.
Development in the countryside should not have an adverse effect on the integrity of the South Hams SAC or other important habitats. It should also have regard to Policy NC1 to assess the in-combination effects of multiple developments that could affect Greater Horseshoe Bats, calcareous grassland features and the integrity of the South Hams SAC, and the scope for developer contributions to mitigate the impact of increased recreational pressure on the South Hams SAC.
The Countryside Area is shown on the Policies Map.
Community and Corporate Plan – Community and Place
Explanation
9.2 The open countryside of Torbay is a fundamental part of the sub-region's identity and a major component of the Bay's tourism offer. It provides amenity value and a range of recreational opportunities and is an integral part of the Bay's economy.
9.3 The Local Plan strikes a careful balance between protecting the integrity and character of the countryside whilst allowing development that is vital to the support of sustainable communities, such as rural exceptions affordable housing, and self-build schemes (see Policies H8 and H9) and the rural economy.
9.4 The Countryside Area is shown on the Policies Map and has been defined for the following reasons:-
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To identify the countryside around Torbay as a finite resource and to encourage its best use;
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To safeguard Torbay from further urban sprawl and maintain important green wedges;
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To prevent the main urban areas of Torbay from merging with each other and neighbouring settlements;
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To preserve the special character of the towns and villages within Torbay's overall landscape setting;
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To recognise the need to adapt to changing demands in the countryside around Torbay and priorities for development;
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To concentrate building development within the urban area and prevent the unnecessary spread of inappropriate uses into the countryside; and
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To maintain a connected network of landscape features to provide Green Infrastructure
9.5 Much of the rural hinterland will be covered by other designations including country parks other landscape designations as well as our best and most versatile agricultural land (Policy SC4). Proposals for development will be considered in the context of the Torbay Landscape Character Assessment which identifies the key characteristics to protect, conserve or enhance those features which contribute to a particular distinctive character.
9.6 Different towns and urban areas in Torbay have very distinct identities that should be protected and wherever possible enhanced. Strategic green wedges are important to prevent urban coalescence and retain the valuable landscape setting that is characteristic of Torbay's urban areas. About a quarter of the Countryside Area is also overlaid by the nationally important National Landscape (AONB) (Policy L2), and 40% is designated as undeveloped coast (Policy L3) and form part of the Strategic Local Nature Recovery Network (LNRN).
9.7 The Local Plan Update provides an opportunity to identify areas of non-coalescence, on the Policies Map, which would seek to retain a rural and open character of the land, and/or protect the separate identity of settlements (both existing and allocated).
Policy L2: National Landscape (previous Area of Outstanding Natural Beauty)[17] Comment
Great weight will be given to conserving and enhancing the landscape and scenic beauty of the South Devon National Landscape (previous Area of Outstanding Natural Beauty).
Major development in a designated National Landscape will be refused except in exceptional circumstances and where it can be demonstrated that it is in the public interest. Proposals within the setting of a National Landscape should be sensitively located and designed to avoid or minimise adverse impacts on the designated areas.
Consideration of such applications will assess:
- the need for the development, including in terms of any national considerations, and the impact of permitting it, or refusing it, upon the local economy;
- the cost of, and scope for, developing outside the designated area, or meeting the need for it in some other way; and
- any detrimental effect on the environment, the landscape and recreational opportunities, and the extent to which that could be moderated taking account of the relevant South Devon National Landscape (AONB) Management Plan and the special qualities alongside the Torbay Landscape Character Assessment.
Development which is permitted in the National Landscape should complement the scale, massing, footprint and spacing characteristic of the area. It should also adhere to guidance in the South Devon National Landscape (AONB) Management Plan, particularly in relation to building form and design. Mitigation measures may include planning contributions towards delivery of projects set out in the Management Plan.
Community and Corporate Plan – Pride in Place
Explanation
9.8 National Landscapes (formerly known as Area of Outstanding Natural Beauty- AONBs) are designated in recognition of the outstanding qualities of their 'natural beauty' under the National Parks and Access to the Countryside Act 1949. They contain the most beautiful, spectacular, and dramatic areas of countryside and form landscapes of national importance with designation conferring the highest status for the conservation of landscape and scenic beauty.
9.9 The Levelling Up and Regeneration Act (2023) amended Section 85 of the Countryside and Rights of Way Act 2000[15], which means that rather than 'have regard to', relevant authorities (including the Local Planning Authority) must 'further the purposes' of Protected Landscapes of conserving and enhancing the natural beauty[16] of the National Landscape (NL). Each component of natural beauty identifies what is special about the landscape and should be afforded 'great weight' in planning decisions. Reference to the South Devon National Landscape (SDNL) Management Plan is a key tool to ensure that public bodies are meeting their duty and reference to the special qualities which define the unique 'natural beauty' for which the SDNL is designated. The SDNL Management Plan's policies and the special qualities of the SDNL establish criteria against which policy and actions can be assessed for compliance with the duty.
9.10 The SDNL Management and Delivery Plan sets out externally funded projects and identifies the key planned actions delivered by partners that contribute towards the conservation and enhancement of the South Devon National Landscape. Where residual harm results from new development, mitigation measures may include a request for planning contributions towards achieving relevant projects.
Policy L3: Coastal landscape and change management Comment
The undeveloped coast
The undeveloped coast is shown on the Policies Map.
The council and partnership organisations will conserve the character of the undeveloped coast and seek to enhance its distinctive landscape, seascape, biodiversity, geological, recreational and cultural value. Development will not be supported in the undeveloped coastal area unless proposals satisfy the following requirements:
- Maintain the unspoilt character of the coastline, coastal landscape and seascape;
- Maintain or improve public access for recreation; and
- Provide sensitively designed development, including tourism uses, where there are clear economic or sustainability benefits that cannot be realised in alternative locations.
Where new development proposals have met the above criteria, the council will also have regard to the need to protect, conserve or enhance the distinctive landscape characteristics and visual quality of a particular location, as identified in the Torbay Landscape Study and Character Assessment, the suitability of development and the capacity of the countryside to accommodate change and particular reference to coastal change management.
Development outside the undeveloped coast which may harm the intrinsic character of the area will be assessed with regard to visual impact.
The Developed Coast
The developed coast: In the developed areas of coast, development will be permitted where it provides benefit to Torbay's economy and does not unacceptably harm the landscape character and appearance of natural, historic or geological assets and coastal change management.
Community and Corporate Plan – Pride in Place
Explanation
9.11 Policy L3 deals with landscape and related matters to do with the coast. Policy ER7 deals with issues such as shoreline management, flooding and land stability which are associated with development in coastal areas.
9.12 The mean low water mark defines the limits within which Torbay Council has a statutory power to control the development and use of land. The coast is significant from an environmental, economic and social perspective and adds greatly to the quality of life for Torbay's residents. The scenic beauty, natural setting and seascape underpin Torbay's popularity as a place to live, work and visit and so it is important to protect the intrinsic landscape character of the undeveloped coast for its own sake, and as a significant, finite resource. The quality of life and distinctive local identity is enhanced by a large number of accessible award-winning bathing beaches and three harbours, which form an important recreational and amenity resource. The South West Coast Path extends along Torbay's coastline, providing an attractive environment for walking and is a popular tourist draw.
9.13 It is important that the qualities of the coastline are conserved for future generations, in particular the important areas of undeveloped coastline which extend landward to include areas that maintain a coastal character, and are within the visual envelope to and from the seaward side. Developments will only be permitted along the undeveloped coast to provide facilities for activities appropriate to the location, such as low-key rural tourism or recreation uses, where their introduction does not harm the scenic qualities and prevailing character, and any built development is kept to a minimum.
9.14 Consideration should be given to whether there are alternative locations where the development could feasibly be located, away from the undeveloped coast. The Torbay Landscape Character Assessment (LCA) identifies a number of coastal landscape character types which incorporate the majority of the land within the undeveloped coast. The LCA should be used (in combination with any seascape analysis) as a basis for assessing the character and sensitivity of the area and its ability to accommodate new development. This will include parts of the developed coast where the LCA has identified ‘undeveloped’ maritime cliffs, coastal plateau and low lying beaches.
Policy L4: Valued landscapes Comment
Landscapes which, by reason of their local distinctiveness, special qualities and features and or condition, that have a limited capacity to absorb change that will be considered to be valued landscapes. .
This will include the South Devon National Landscape and it's setting at a national level, alongside the undeveloped coast that may be considered to form locally valued landscapes (LVL);
Proposals within these areas must:
- Avoid loss of key characteristics, or their legibility, that underpin the scenic quality and the significance of the locally valued landscape and landscape character area.
- Respond effectively to the key characteristics and significance of the area referred to in the Torbay Landscape Character Assessment and Landscape Sensitivity Assessments (2025) and the specific recommendations within the LCA (or subsequent update).
Locally valued landscape is not limited to the undeveloped coast and may be identified through the Torbay Landscape Character Assessment. Individual proposals within or next to these valued landscape areas will be assessed based on their specific landscape and visual impact taking into account any mitigation proposals.
Development which protects and enhances the locally valued landscapes will be supported.
Community and Corporate Plan – Pride in Place
Explanation
9.15 There is no single definition of a valued landscape, however, legal decisions have tended to say that to be a 'valued landscape', there should be some local distinctiveness, special quality, or feature, rather than solely being 'valued' by local people. It will be a matter of planning judgement whether or not land forms part of a valued landscape, the council considers that the following are likely to qualify as valued landscapes which include but are not limited to: the South Devon National Landscape and its setting, undeveloped coast, land within or in the setting of a designated heritage asset, urban landscapes such as Local Green Spaces (LGS) and Urban Landscape Protection Areas (ULPAs).
9.16 The LCA provides additional advice on whether areas of landscape are likely to be considered as ‘valued’.
Policy L5: Urban Landscape Protection Areas (ULPAs) Comment
Development within Urban Landscape Protection Areas (ULPAs), as shown on the Policies Map, will only be supported where:
- It does not undermine the value of the ULPA as an open or landscaped feature within the urban area; and
- It makes a positive contribution to the urban environment or enhances the landscape character of the ULPA.
Designated Urban Landscape Protection Areas are as follows :
Table 14 Urban Landscape Protection Areas 13
Torquay
01 Watcombe Park and Watcombe Heights
02 Mincent Hill, Barton
03 Scotts Bridge/Barton
04 Riviera Way Corridor
05 Lummaton Hill, Combe Pafford
06 Hele Woods/Windmill Hill Woods
07 Daison Woods
08 St. Marychurch Road (formerly Oddicombe Downs)
09 Babbacombe Downs
10 Cary Park
11 Markham Plantation and Sherwell Valley
12 Shiphay Manor (Girls' Grammar School)
13 Rowcroft/Shiphay Plantation
14 Chapel Hill, Torre
15 Stantaway Hill, Upton
16 Grange Road/Warberry Copse
17 The Quinta
18 Lydwell Road
19 Palace Hotel Grounds (North)
20 Palace Hotel Grounds (South)
21 Ansteys Playing Field
22 Ilsham Valley/Lincombe Slopes
23 Torwood Gardens
24 Daddyhole Plain
25 St. Johns Wood, Park Hill
26 Stentiford Hill
27 Torre Abbey Meadows and Sports Grounds
28 Sherwell Park
29 Ashfield Gardens
30 St. Matthew's Field
Paignton
31 Preston Green
32 Parkfield
33 Paignton Green North
34 Paignton Green South
35 Queen's Park
36 Victoria Park
37 Paignton Cemetery and allotments
38 Monastery, Winner Hill
39 Primley Woods and Meadow to south
40 Goodrington Park/Roundham
41 Quay West Corner
42 Clennon Hill/Roselands Valley
43 Sugar Loaf Hill
Brixham
44 Tor Rocks, Broadsands
45 Brunel Woods, Galmpton
46 Battery Grounds
47 Furzeham Recreation Ground
48 St. Mary's Churchyard and Park
49 Summercombe
50 Shoalstone and Ashole Woods.
Community and Corporate Plan – Community and Place
Explanation
9.17 These enclaves of special landscape quality set in or bordering the urban areas (some of which also skirt the coastal fringe) vary in size and make a considerable contribution to the environment in a variety of ways. Taken as a whole these protected urban landscape areas form a valuable part of Torbay's green infrastructure (see Policy GIS) and help ensure a healthy Bay (see Policy SC1). They are considered to form 'valued landscapes'.
9.18 Some ULPAs act as local vantage points, some as amenity open space, some as green spaces that provide a natural and visual break within the local (urban) townscape and others as landmarks in the local scene. In some cases they perform all four roles. Designated ULPAs include both publicly owned/publicly accessible and privately owned/non-accessible sites. Some ULPAs are also of ecological significance and some have been subsequently allocated as Local Green Spaces (LGSs) in Neighbourhood Plans.
9.19 The preparation of an updated Local Plan offers the opportunity to review the designated ULPAs and provide further clarity and guidance in relation to these sites.
Policy L6: Local Green Spaces (LGSs) Comment
Development proposals that protect or enhance Local Green Spaces and that comply with other relevant policies will be permitted.
Development proposals that would have an unacceptable adverse impact on the use, function and appearance of these local green spaces or would result in their loss will not be permitted other than in very special circumstances and such circumstances will only exist where the harm resulting from the proposal is clearly outweighed by other considerations.
Very special circumstances may exist for development enabling community or sports use on LGSs used as playing fields, or café/ food and drink uses in Harbourside and Waterfront locations. In such instances to open nature of the wider LGS and public access should be retained.
Very special circumstances also cover the proposed railway station at Edginswell,
Development or change of use that would conflict with the reason for designation will be seen as inappropriate development.
Inappropriate development adjacent to a Local Green Space that would have a significant adverse impact upon the reason for the designation will not be supported.
Community and Corporate Plan – Community and Place
Explanation
9.20 The Neighbourhood Forums have included a number of Local Green Spaces that are green spaces that are demonstrably special to a local community. The preparation of an updated Local Plan offers the opportunity to review the designated Local Green Spaces. Designation should be consistent with the local planning of sustainable development and complement investment in sufficient homes, jobs and other essential services and be capable of enduring beyond the end of the plan period. Local Green Space must be reasonably close to the community it serves; have demonstrable local significance and interest; be local in character; and not cover an extensive tract of land.
9.21 Consideration of development proposals within a Local Green Space should be consistent with national policy for Green Belts (excluding provisions relating to ‘grey belt’ and previously developed land).
Strategic Policy THS: Trees and hedgerows Comment
The Local Plan seeks to assist the delivery of the most up-to-date Torbay Tree Strategy. Planning applications will set out how they achieve the vision set out in the Devon Tree and Woodland Strategy to: Expand, Improve, Protect, Inspire and Deliver.
Development that supports the planting of new trees or areas of woodland, especially in appropriate Devon Local Nature Recovery Areas, or which would include public access woodland schemes, will be encouraged where they conserve or enhance biodiversity, landscape, seascape character and best and most versatile agricultural land, or where they conserve and where appropriate enhance the significance of heritage assets and their settings, including historic landscapes. New streets should be tree lined.
All development proposals will retain good quality and healthy woodland, trees and hedgerows, including: ancient woodland; ancient and veteran trees; those with visual amenity; those that support wildlife or provide connectivity; those which positively contribute to the historic environment or the significance of a heritage asset and its setting; and rare or unusual species of trees. These will be incorporated into the overall design and landscape scheme, within public spaces where possible (see Policy TH1). The council will seek to adopt new public green spaces and may protect any new trees through the implementation of Tree Preservation Orders (TPO).
Ancient Woodland, Ancient Hedgerows and Veteran Trees:
Development proposals resulting in the loss or deterioration of ancient woodland, ancient hedgerows or ancient and veteran trees will only be permitted where there are wholly exceptional circumstances and the benefits of the development in that location clearly outweigh the loss. Where it is permitted, a compensation strategy will need to be agreed and secured prior to granting planning permission.
TPO/Conservation Area:
Where the proposal will result in the loss or deterioration of a tree protected by a Tree Preservation Order or a tree within a Conservation Area, then permission will be refused unless:
- the need for, and benefits of, the development in that location clearly outweigh the loss, and
- suitable and robust mitigation is provided through replacement tree planting or a suitable planning contribution
Trees elsewhere:
Any other tree, hedge or woodland not covered by the above and which makes a positive contribution to the landscape, amenity or biodiversity value of the area, should be retained as part of the design and layout of development schemes.
Where a loss of trees, hedges or woodland is unavoidable, replacement planting commensurate with the loss will be undertaken on site. Tree planting will be in accordance with Policy TH2. Where onsite replacement tree planting is not feasible, developer contributions will be required.
In instances where new trees and/or woodlands are proposed as part of wider development proposals, developer contributions may be required to ensure suitable management provision is made for their long-term management. This includes information provision of for residents and users about the appropriate positive management of private trees and landscape features.
Community and Corporate Plan – Protecting and enhancing our natural environment
Explanation
9.22 This policy aims to deliver strategic scale expansion of green landscape features and to ensure tree, woodland and other landscape features are protected, and where this is not possible suitable mitigation is provided.
9.23 Woodlands, trees and hedgerows can form important landscape features as well as providing valuable habitats and wildlife corridors.
9.24 Woodlands form traditional elements of the countryside or important islands of natural habitat within Torbay's urban areas. Once lost, this part of our heritage cannot be replaced.
9.25 Hedgerows, many of which are of traditional Devon Bank construction, are important elements within the landscape of Torbay. They can function as wildlife corridors linking wildlife sites. Hedges can also form very ancient land boundaries and may preserve historically important artifacts. A quarter of Devon's hedges are more than 800 years old. For these reasons, it is important that significant hedgerows are retained and their appropriate retention will be secured by planning conditions.
9.26 Established hedges have substantially more historic and environmental value than new hedges, which take time to mature and do not reflect historic enclosure patterns. Therefore, existing hedges should be retained wherever possible. This is particularly important where they form part of Greater Horseshoe Bat commuting routes identified in Policy NCS2. Maintenance of hedgerows may be essential to maintain the integrity of the South Hams SAC and must be considered at an early stage of the planning process, in accordance with Policies NCS2 and NC1.
Policy TH1: Trees, hedgerows and natural landscape features Comment
Development will not be permitted when it would seriously harm, either directly or indirectly, protected or veteran trees, hedgerows, ancient woodlands or other natural features of significant landscape, historic or nature conservation value. Harm can arise directly, through felling or damage during construction, or indirectly through pressure to fell or prune in the future due to the proximity of trees to a new development.
Development proposals should seek to retain and protect existing hedgerows, trees and natural landscape features wherever possible, particularly where they serve an important biodiversity or climate resilience role.
All development proposals will demonstrate how retained and new trees, hedges and woodland will have a satisfactory long-term relationship with: buildings; infrastructure; utilities and services; and highway movement; and will ensure the amenity and safety of occupiers of buildings and retain or create sightlines enabling public spaces to be well overlooked.
Planting schemes for public spaces and roadsides should include suitable native species that occur naturally in the locality, unless it can be demonstrated that native species are not appropriate (e.g. for arboricultural or ecological reasons). In accordance with Policy DE1, 'Living' boundary features should be used as an integral part of layouts in the first instance and must comprise native hedging species wherever possible.
New development will be designed and undertaken to prevent damage to root systems of retained or new woodland, trees and hedgerows and will allow for future above and below ground growth over the life of the development. New trees must maximise their potential to provide climate resilience, including surface water attenuation, through measures such as tree pits which are fully integrated to SuDS schemes.
Measures to protect retained trees, hedges and woodland must be in place before, and remain in place during, the development process. This must be demonstrated through an agreed Method Statement. Appropriate management will be secured in perpetuity, through agreed Landscape Management Plans. For major residential developments, this should include the provision of information for new occupants about the benefits of and appropriate positive management of private trees, hedges and landscape features.
Where building near trees or hedges is unavoidable, construction techniques and methods of working will be designed to prevent or minimise damage. Temporary netting of hedges or trees prior to, and during construction of, development will not be permitted. Where hedges cannot be retained, they should be translocated, rather than removed.
Where a loss of trees, hedges or woodland is unavoidable, compensatory planting must be provided. To compensate for losses of trees and/or woodland, the strategy in Policy TH2 should be used. Where new trees, hedges and/or woodlands are proposed, developer contributions may be required to ensure suitable provisions are in place for their long-term management and maintenance.
Community and Corporate Plan – Protecting and enhancing our natural environment
Explanation
9.27 Trees provide significant environmental benefits and are especially valuable in urban areas. Beyond their intrinsic beauty, they help soften the impact of development, enhance the quality of our streets, and create a green framework for towns. Trees can be important both individually and in groups, and in some parts of Torbay, they are a defining feature of the local character.
9.28 Orchards form an important part of green infrastructure and local heritage, as well as supporting sustainable food production. Traditional orchards are a priority habitat, and the Council has a statutory duty to conserve and enhance such habitats. Proposals affecting orchards will be assessed against Policies GIS, THS, and SC4.
9.29 Trees can be perceived negatively when located close to properties, where they can obstruct views, reduce light, or create maintenance and safety concerns. Development will not be supported if it is incompatible with the retention of trees. Proposals affecting trees will be carefully considered to ensure trees which are to remain do not cause unreasonable inconvenience to future occupiers.
9.30 Construction can easily damage tree roots through compaction or excavation. When determining planning applications, it is essential to ensure that construction activities do not occur in close proximity to trees in ways that could cause harm.
9.31 Trees will be safeguarded through planning conditions attached to development consents. These conditions may specify measures to protect trees during and after construction. Such conditions will be applied wherever trees of amenity value are adjacent to development. New planting should aim to enhance existing habitats, create new ones, or provide shelter belts.
9.32 Tree Preservation Orders (TPOs) may be used to protect trees of amenity value and prevent their removal. TPOs can apply to individual trees, groups, or entire areas. Torbay benefits from a rich legacy of trees, many of which are already protected by TPOs. Similar protections apply to trees within conservation areas, where there is generally a presumption against felling unless there are sound reasons for doing so.
Policy TH2: Mitigation for loss of trees, hedgerows and woodland Comment
Where principles of Strategic Policy THS have been followed and suitable evidence demonstrates that it is acceptable for tree(s), hedges and/or woodland to be lost as part of a development proposal, then appropriate mitigation, via compensatory tree planting, will be required.
Such tree planting should:
- take all opportunities to meet the five Tree Planting Principles (see supporting text); and
- unless demonstrably impractical or inappropriate, provide the following specific quantity of compensatory trees for the loss each tree within the size category indicated in Table 15 below.
Table 14 Tree Loss Compensation
|
Trunk girth (mm) at 1.5m above ground of tree lost to development |
Number of replacement trees required per tree lost* |
|
75 - 200 |
2 |
|
201 - 400 |
4 |
|
401 - 600 |
6 |
|
601 - 800 |
9 |
|
801 - 1000 |
10 |
|
1000+ |
11+** |
* Replacement based on selected standards 100-120 mm girth at 1.0m
**Depending on the value of the tree to be lost additional compensatory planting may be required
Where new compensatory hedges are provided, the principles of the Devon Hedge Group guidance on making new hedges should be followed.
In instances where new trees, hedges and/or woodlands are proposed, developer contributions may be required to ensure suitable provisions are in place for their long-term management and maintenance.
Community and Corporate Plan – Protecting and enhancing our natural environment
Explanation
9.33 Trees and other planting deliver a wide range of benefits, including wildlife habitat, urban cooling to help address climate change, adding maturity to new developments, softening and enhancing built form, providing screening and shade, reducing stormwater run-off, improving visual amenity, and supporting health and well-being.
9.34 New trees and planting can contribute to the government's 25 Year Environment Plan, the UK's efforts to hit net zero carbon emissions by 2050, biodiversity net gain and the Devon Tree and Woodland Strategy goal of achieving 20% tree cover in Torbay.
9.35 The tree compensation standard in this policy provides a mechanism to determine the appropriate level of mitigation for loss of trees. The council's preference is for on-site replacement in suitable locations, secured through planning conditions.
9.36 In exceptional cases where on-site planting would compromise good design, off-site planting may be considered as mitigation. This could include public land or locations identified through the Devon Local Nature Recovery Strategy and will be secured via planning obligations.
9.37 The council is committed to increasing the overall tree cover wherever possible. Opportunities for new tree planting should be explored in all development proposals. Planting schemes for public spaces and highways should include only native species that occur naturally in the locality, unless arboricultural or other considerations mean native species are not appropriate.
9.38 Where new tree planting is proposed (whether to compensate for losses on- site or as enhancement), the quantity, location and species selection of new trees will be expected to take practicable opportunities to meet the following five Tree Planting Principles:
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Create habitat and, if possible, connect the development site to the Strategic Green Infrastructure Network; and
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Assist in reducing or mitigating run-off and flood risk on the development site; and
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Assist in providing shade and shelter to address urban cooling, and in turn assist in mitigating against the effects of climate change; and
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Create a strong landscaping framework to either (a) enclose or mitigate the visual impact of a development or (b) create new and enhanced landscape, or both; and
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Be of an appropriate species for the site.
Strategic Policy NCS1: Biodiversity and Nature Recovery Network Comment
All development that contributes to the conservation and enhancement of the natural assets within the Bay will be supported.
The council will safeguard, conserve and enhance the valued qualities, features and attributes of sites in the Bay which are important for biodiversity and geodiversity.
In order to increase biodiversity, help achieve net zero, improve the local environment and enhance health and wellbeing, all development will be required to:
- Recognise the importance of and benefits provided by ecosystem services, and be located and designed to avoid negative impacts on biodiversity and geodiversity. This includes but is not limited to: tranquillity, dark night skies, bathing waters, biodiversity, geodiversity and soils within the Bay (commensurate with their importance). Only where this is not possible will mitigation, and as a last resort, compensation be considered.
- Protect, enhance and expand existing wildlife-rich habitats and geodiversity, and create new ones to support a nature recovery network. Development must seek to support and deliver the priorities and actions in the most up to date Torbay Green Infrastructure Strategy, Nature Recovery Network (NRN) and Devon, Plymouth and Torbay Local Nature Recovery Strategy (LNRS). These strategies must be utilised to ensure new development integrates wildlife and links new green spaces with habitats in the wider landscape.
- Protect local, national and internationally protected sites, priority species and habitats. The council will safeguard, conserve and enhance the valued qualities and features of sites protected under European legislation, including supporting habitats outside of the designation which ensures the favourable conservation status of the site. Where a proposal may have adverse effects on a European site which cannot be mitigated development will not be permitted. Particular attention must be paid to Greater Horseshoe Bat flight paths, and Cirl Buntings.
- Avoid impacts on irreplaceable habitats. Development that involves the loss of irreplaceable habitats will not be supported.
- Positively incorporate and promote biodiversity features, proportionate to their scale, including features which support priority or threatened species such as swifts, bats and hedgehogs.
- Provide a measurable and proportionate net gain in biodiversity, as set out in Policy NC2.
- Provide long term land management practices to maintain or restore landscapes, greenspace, watercourses, dark corridors and amenity open spaces, integrating biodiversity and green infrastructure objectives including improved public access.
All development must be located and designed to follow the mitigation hierarchy (avoid, minimise, mitigate, compensate) to prevent adverse impacts upon biodiversity, or geodiversity. Developer contributions may be required to allow monitoring of any mitigation, or to improve management or enhancement of the natural environment.
Community and Corporate Plan – Protecting and enhancing our natural environment
Explanation
9.39 Biodiversity is fundamental to our health, wellbeing, and economic prosperity. 'Biodiversity' means the variety of wild plants, animals, and their habitats, and also includes geological and geomorphological features. A healthy, resilient natural environment is a key asset for Torbay, contributing to its sense of place, tourism appeal, economy, and overall environmental quality. Biodiversity is also an essential consideration in achieving high-quality design.
9.40 The importance of biodiversity is increasingly recognised by government, reflected in the Environment Act 2021 and the 25 Year Environment Plan. Torbay contains internationally, nationally, and locally designated nature conservation sites, shown on the Policies Map, which support a wide range of species.
9.41 Development proposals should have regard to the Devon, Plymouth and Torbay Local Nature Recovery Strategy and any local biodiversity evidence relating to target habitats and species.
9.42 Landscape, biodiversity, and green infrastructure mitigation packages will be informed by these strategies and evidence. The Council will require no overall detriment and will seek net gains for the natural environment in line with the NPPF. Policy. Mitigation cannot compensate for intrinsically unsuitable development (see Policy NC1). High-quality bathing waters are also a key ecological and tourism asset; Policies ER2, ER3, and W5 aim to minimise wastewater impacts, including restricting new surface water connections to combined sewers.
9.43 Landscape can also be man-made and there is an interrelationship between the historic and natural environment for example when considering hedgerows, field patterns and other naturalised features (see Policies GIS and HES)
Strategic Policy NCS2: Habitats Regulations Assessment Comment
Development must not adversely affect the integrity of sites protected under the Conservation of Habitats and Species Regulations 2017 as amended[18], other than in exceptional circumstances.
Sufficient and up-to-date survey information, commensurate with the sensitivity of the site and the nature, location, and scale of the proposal, will be required to inform planning applications and allow the planning authority to carry out Habitats Regulations Assessment (HRA) of the proposal.
Where there are likely significant effects to a European site, alone or in-combination, from an application, mitigation measures will need to be secured. Habitats Regulations appropriate assessment will be necessary and will need to ensure mitigation measures are adequate and secured for as long as the impact might occur. Legislation and government guidance requires the planning authority to be confident beyond reasonable scientific doubt that the proposals will not result in an adverse effect on the integrity of the site. Consequently, the council will require high quality and accurate evidence to inform HRA and will seek the advice of the statutory conservation body (Natural England).
Where it is not possible to rule out adverse effects on integrity, alone or in combination with other plans or projects, permission will only be granted in exceptional circumstances. In such cases it will be necessary to demonstrate that there are no alternatives, there is over-riding public interest and compensation can be secured.
Plans and proposals should take into consideration and be in accordance with the latest versions of all council and wider HRA guidance documents and strategies. These documents and strategies are intended to facilitate HRA assessment by providing a coherent strategic approach to the delivery of mitigation requirements whilst avoiding unnecessary duplication of assessment effort. Specific HRA policy requirements in relation to avoiding, mitigating and compensating impacts on European sites (at the point of Local Plan publication) are set out in the Policy Table below.
Table 15 Habitats Regulations Appropriate Assessment (HRA) Requirements
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Habitats Regulations Appropriate Assessment (HRA) Requirements |
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Protected Site |
HRA Requirements |
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Berry Head to Sharkham Point component of the South Hams SAC |
In respect of the Berry Head to Sharkham Point component of the South Hams SAC, a strategic approach to HRA mitigation has been established and a new strategy is due to be completed in early 2026. The strategy will set out the mitigation measures required to ensure new residential and tourist accommodation does not have an adverse impact on Berry Head to Sharkham Point as a result of increased recreation pressures. Mitigation for the development of new residential or holiday accommodation within the Zone of Influence (ZoI) for recreation pressure will comprise:
Developers must clearly demonstrate that mitigation can and will be provided to ensure no adverse effect on the integrity of the European site. Mechanisms through which mitigation delivery will be achieved, secured in perpetuity, and delivered within agreed timescales must also be identified. All mitigation is to be delivered in accordance with the most recently adopted/approved version of the strategy and supporting guidance. Any deviation from the above measures must be clearly justified and will be considered on a case-by-case basis. |
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South Hams SAC Greater Horseshoe Bats |
Development that could impact Greater Horseshoe Bats will be located and designed to protect the integrity of the South Hams SAC by:
Where Greater Horseshoe Bat mitigation is required, a scheme of monitoring, to ensure mitigation has been carried out and is effective, including any remedial measures required, will be agreed and secured prior to granting planning permission. |
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Lyme Bay and Torbay Marine SAC |
Water Quality: In respect of the Lyme Bay and Torbay Marine SAC the council has commissioned a Water Cycle Study and a Sewer Capacity Assessment. This evidence sets out the measures required to ensure there are no cumulative adverse impacts on the Marine SAC resulting from combined sewer overspills (CSO). Mitigation for CSO increase and the removal of surface water from the combined sewer system is set out in detail in Policies ER2, ER3, ER4 and will comprise:
Additional mitigation for surface water runoff will be provided through the implementation of Policy GIS 'Strategic Green infrastructure'. Lyme Bay and Torbay Marine SAC Is also sensitive to changes in water quality arising due to the construction/operation of development. This typically includes, but is not limited to, major development or demolition located within 250m of the designated site, or near a watercourse which provides a hydrological link to the Lyme Bay and Torbay SAC. Where there is a risk of adverse effects on the Lyme Bay and Torbay SAC due to water quality, development proposals must prepare and submit, as part of a planning application, Pollution Prevention Plans. Recreation: Individual planning applications that have a clear link to increased recreational use of the coast will be subject to project-level HRA, and a bespoke package of measures will need to be secured to address the specific impacts of the proposed project. |
Community and Corporate Plan – Protecting and enhancing our natural environment
Explanation
9.44 As a Competent Authority, the planning authority must carry out Habitats Regulations Assessments (HRA) in accordance with the Conservation of Habitats and Species Regulations 2017 (as amended). Torbay currently contains two internationally important habitats sites: the South Hams SAC and the Lyme Bay and Torbay Marine SAC.
9.45 All plans and projects not directly connected with the conservation management of a habitats site require HRA Screening to assess potential significant effects. Where significant effects cannot be ruled out, an Appropriate Assessment must be undertaken. Planning permission can only be granted where adverse effects on site integrity are excluded, or where there are imperative reasons of overriding public interest and adequate compensatory measures are secured.
9.46 Sites protected under the Conservation of Habitats and Species Regulations 2017 consist of:
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Special Areas of Conservation (SAC);
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Special Protection Areas (SPA);
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Proposed SACs;
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Potential SPAs;
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Areas secured as sites compensating for damage to a European site.
9.47 South Hams SAC: The Berry Head to Sharkham Point component of the South Hams SAC forms part of the UK's national site network and is designated for its heathland, calcareous grassland, vegetated sea cliffs and caves. These habitats are of importance for conservation at a European level and are listed under Annex I of the Habitats Directive (Council Directive 92/43/EEC). Berry Head is also designated as a Site of Special Scientific Interest (SSSI), National Nature Reserve and Local Nature Reserve. The habitats at Berry Head are vulnerable to degradation through erosion by walkers and eutrophication through dog fouling, in addition to scrub encroachment.
9.48 A visitor survey in 2023 found that 75% of visitors to Berry Head came directly from home within 8 km of the site, compared to 5 km in 2016. This indicates that the primary Zone of Influence (ZoI) for recreational impacts on Berry Head is an 8 km radius (Figure 21).
9.49 The Local Plan will provide approximately 2850[19] new homes within the Zone of Influence for recreation pressure on the Berry Head to Sharkham Point Component of the South Hams SAC. Significant effects from increased recreation due to the development of housing or tourist accommodation within the ZoI cannot be ruled out and mitigation measures will be necessary.
9.50 The council, in collaboration with stakeholders, will develop detailed mitigation measures and associated cost estimates. A Supplementary Planning Document (SPD) will set out the mitigation costs and the mechanism for securing developer contributions.
9.51 Suitable Alternative Natural Greenspace' (SANG) is green space of a type and quality suitable to be used as mitigation for applications likely to affect European and internationally protected sites. Its role is to provide alternative green space to divert visitors away from the protected site.
9.52 The South Hams SAC is also been designated for Greater Horseshoe Bats (GHB), one of Britain's rarest bat species. Greater Horseshoe Bats use hedgerows (including remnant hedges and veteran trees) as flyways.
9.53 Greater Horseshoe Bats have only short-range echolocation, which means they must fly close to the ground and linear features, such as hedges, woodland edges, and vegetated watercourses. They actively avoid light levels above moonlight. As a result, development must protect natural features that provide landscape connectivity and avoid lighting that deters bats. The bats use a variety of different roosts at different times of the year, including maternity and hibernation roosts. They feed in different habitats throughout the year, depending on seasonality of prey, typically foraging up to 4km from the roost as an adult. This 4km radius is used to determine the "Sustenance Zones" around roosts, although they will travel further when moving between different roosts. Juveniles typically only forage within 1 km of the roost in their first summer, so foraging habitat close to maternity roosts is particularly important. Hibernating bats are known to feed less frequently and within shorter distances during winter months.
9.54 The council has jointly adopted the South Hams SAC Habitats Regulations Assessment Guidance. The guidance assists those submitting planning applications for development that could have an adverse effect on the integrity of the South Hams SAC Greater Horseshoe Bat population. The document identifies a Consultation Zone which includes roosts, Sustenance Zones, and Landscape Connectivity Zone. It also identifies pinch points, where further development could restrict the movement of bats and existing mitigation features required for previous developments.
9.55 The Lyme Bay and Torbay Marine SAC:Torbay has a rich marine environment with its coastal waters designated as both a Marine SAC and a Marine Conservation Zone (MCZ). The SAC includes reefs and sea caves, supporting a variety of marine life. The MCZ protects nine different marine habitats which include seagrass beds and the intertidal area.
9.56 The features of the Marine SAC and the MCZ are sensitive to changes in water quality. Sewer spills and sewer flooding must be avoided. Pollution from surface water run-off-such as oil, chemicals, and other contaminants-during construction and operation phases can have cumulative negative impacts on water quality and coastal species. Discharges of pollution from the land may alter physicochemical conditions of coastal waters, including temperature, turbidity, salinity, and nutrient levels, affecting designated features.
9.57 The Local Plan includes measures to reduce the impacts of development on coastal waters and minimise sewer outfalls, particularly at Hopes Nose, Torquay. Relevant policies include ER1, ER2, ER3, ER4, W5, and GIS.
9.58 The SAC Sea caves are unique within the UK and contain very sensitive fauna that are vulnerable to damage. Risk of damage of damage can arise due to recreational activities such as wild swimming, kayaking, paddleboarding, personal watercraft use, diving, coasteering, and shoreline access at low tide.
9.59 At present the SAC sea caves are recorded as being in Favourable condition. There is no evidence currently available to conclude that recreational activities are damaging the SAC features, or that recreational activities are attributable to the housing numbers identified in the Local Plan. Individual planning applications that have a clear link to increased recreational use of the coast will need to be subject to project-level HRA, and a bespoke package of measures will need to be secured to address the specific impacts of the proposed project.
Policy NC1: Biodiversity and ecology Comment
Part 1: Protection of internationally and nationally important wildlife sites
Internationally and nationally important sites and species will be protected. Development proposals must undertake a thorough assessment of impacts on internationally and nationally important sites (both individually and in combination with other developments) and must avoid impacts in the first instance. Development that enhances internationally and nationally important sites will be supported.
Development proposals that would cause a direct or indirect adverse effect upon internationally and nationally designated sites will not be permitted unless it is demonstrated that all the following criteria are met:
- Alternative sites have been considered, and the development cannot be located on an alternative site that would cause less or no harm.
- The proposal cannot be achieved through an alternative, less harmful design or form.
- Suitable avoidance and mitigation (and exceptionally compensation) measures are proposed, in accordance with the mitigation hierarchy.
- In respect of European sites, the effects can be fully mitigated and the integrity of the site will be maintained.
- The public benefits of the proposal clearly outweigh the harm.
- Where permanent or long-term temporary habitat loss or direct reduction of habitat condition is identified, bespoke compensation measures will need to be agreed. This must be undertaken as early as possible and include utilisation of the Discretionary Advice Service from Natural England.
Development likely to affect an international site will be subject to assessment under the Habitat Regulations. Currently there two European designated sites within the Torbay boundary, the South Hams SAC and the Lyme Bay and Torbay Marine SAC.
Internationally and nationally important designations are listed in detail in Appendix D.
Part 2: Protection of regionally and locally important wildlife sites and features
Development which conserves, restores or enhances regionally and locally important wildlife-rich sites, networks, priority habitats and geodiversity will be supported.
Development proposals that would cause a direct or indirect adverse effect upon the above will not be supported unless the following criteria are met:
- They cannot be located on alternative sites that would cause less or no harm. Every effort has been made to minimise any damage.
- The public benefits of the proposal clearly outweigh the impacts on the features of the site and the wider network of natural habitats and designated sites.
- Suitable avoidance, mitigation and compensation measures are proposed, in accordance with the mitigation hierarchy.
Developments should provide an assessment of biodiversity value. This should particularly include any features that have previously been identified that would support designation as a County Wildlife Site or Regionally Important Geological Site and measures to conserve and enhance them.
Community and Corporate Plan – Protecting and enhancing our natural environment
Explanation
9.60 Statutory designated wildlife sites benefit from substantial protection under national legislation. This policy does not duplicate these protections but provides additional detail on permissible impacts and biodiversity enhancement expectations.
9.61 International and nationally important sites falling under this policy include:
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Special Areas of Conservation (SAC)
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Special Protection Areas (SPA)
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Proposed SACs
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Potential SPAs
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Ramsar sites
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Areas secured as compensation for damage to an internationally or nationally designated site
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Sites of Special Scientific Interest (SSSI)
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Marine Conservation Zones (MCZ)
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National Nature Reserves (NNR)
9.62 Regionally and locally important wildlife and geological sites include:
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Local Nature Reserves (LNR)
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County Wildlife Sites (CWS)
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Other Sites of Wildlife Interest (OSWI)
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Regionally Important Geological Sites (RIGS)
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Special verges
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Habitats of Principal Importance, as listed under Section 41 of the Natural Environment and Rural Communities (NERC) Act 2006 (identified through site survey work or as identified through existing mapped resources)
9.63 The NPPF requires local plans to identify and map sites of international, national and local importance and to follow the mitigation hierarchy: avoid harm where possible, mitigate impacts where unavoidable, and compensate for harm only as a last resort. Where harm involves protected species of European significance, it must be noted that compensation can only be considered where it can be shown that the development proposal is in the national interest.
9.64 Torbay supports both European and UK protected species, as well as UK priority habitats. Notably, Torbay hosts a large population of Cirl Buntings-one of Britain's most endangered songbirds. Targeted conservation has increased their numbers, and guidance on safeguarding this species has been produced by Devon County Council and the RSPB (November 2014). Development must protect Cirl Bunting habitats directly or contribute to offsetting through provision of receptor habitats.
9.65 Torbay also supports populations of bat species, reptiles, seabirds and seahorses, which are protected under legislation including the EU Habitats Regulations and the Wildlife and Countryside Act 1981, as well as local frameworks such as County Wildlife Sites. Torbay also has several areas of ancient woodland that form an irreplaceable biodiversity resource both for its diversity of species and for its longevity as woodland. Veteran or aged trees outside ancient woodland are also particularly valuable. Irreplaceable habitats should be protected; to be acceptable, development would clearly need to outweigh any harm.
9.66 Torbay's coastal waters are designated as the Lyme Bay and Torbay Marine Special Area of Conservation (SAC) and as a Marine Conservation Zone (MCZ). These areas support reefs, sea caves, and diverse marine life. The Local Plan requires development to minimise impacts on sewer outfalls, particularly at Hopes Nose, Torquay. Sustainable urban drainage systems (SuDS) and water-sensitive urban design are promoted through Policies ER1, ER2, ER3, and W5.
9.67 The council will seek to improve Torbay's biodiversity and geodiversity, including increasing the number and proportion of Local Wildlife Sites (CWS and RIGS) in 'positive management'. This could include enhancing the status of Proposed and Unconfirmed Wildlife Sites (UWS). Development should be located to minimise its impact on biodiversity. Where impacts occur, mitigation and/or compensation will be required to achieve net biodiversity gain, following the mitigation hierarchy. Measures such as strengthening of flight paths, corridors, appropriate planting of biodiversity-rich species, the creation of habitats and biodiversity management programmes will be required through planning condition or s106 Planning Obligations. Biodiversity impact is an on-site acceptability matter and cannot be avoided to improve scheme viability.
9.68 New development should maximise opportunities to incorporate wildlife features through landscaping and design; this may include artificial bird nesting and bat roosting sites/boxes.
9.69 A schedule of Torbay's SSSIs, National Nature Reserves and Local Sites of Wildlife and Geological Interest is set out in Appendix D. The Local Plan Policy NC2 supports the RSPB's aspiration for an average provision of one new bird or bat box per new dwelling.
Policy NC2: Species of principal importance Comment
Development proposals that would have an adverse impact on European Protected Species (EPS), Nationally Protected Species, Section 41 Priority Species, or Devon Local Priority and Special Species will not be supported.
Particular regard must be given to potential impacts on Cirl Bunting habitats and territories. Development affecting Cirl Buntings will only be permitted where the benefits of the proposal clearly outweigh the impacts, including cumulative effects, and where those impacts can be fully mitigated.
Development must reflect species-specific guidance, including the Devon Local Nature Recovery Strategy and the most up-to-date Torbay Green Infrastructure Strategy.
All development should incorporate opportunities to enhance habitats for Protected and Priority Species within the built environment in addition to features required as part of biodiversity net gain, mitigation or compensation. This may include features such as bird, bat and invertebrate boxes, swift bricks, bee bricks, and hedgehog holes and permeable boundaries.
Enhancement provision should be proportionate to the scale of development. As a minimum guide, the following should be provided per dwelling or per 100 sqm of non-residential floorspace as a minimum, in suitable locations:
- 2-4 integrated bird boxes such as swift bricks
- 1-2 bat boxes
- 1 bee brick
Where appropriate, a monitoring scheme must be agreed and secured prior to granting planning permission. This should ensure mitigation measures are implemented effectively and include any necessary remedial actions.
Community and Corporate Plan – Protecting and enhancing our natural environment
Explanation
9.70 A wide range of species are protected under international and national legislation both within and outside designated protected habitats. In Torbay, European Protected Species include bats, hazel dormouse, and great crested newt. UK Protected Species include cirl bunting, barn owl, and Deptford pink.
9.71 Species listed as of Principal Importance under Section 41 of the Natural Environment and Rural Communities Act 2006 are also protected through national planning policy. The list includes over 800 species such as hedgehog, skylark, and brown hairstreak butterfly.
9.72 The Devon Local Nature Partnership has identified approximately 1,600 species considered rare in Devon (Devon Priority Species), along with a list of 96 species known as Devon's Special Species, for which the county has a particular conservation responsibility, including the long-snouted sea horse, grey long eared bat and hazel dormouse.
9.73 Further species-specific guidance is available on the council's website and Devon County Council's website.
9.74 Development can positively or negatively affect biodiversity, depending on its location, design, and mitigation. This policy aims to ensure development delivers biodiversity benefits and supports the objectives of the Environment Act 2021.
9.75 The NPPF (paragraph 185b) emphasises enhancing ecological networks and recovering priority species. This policy supports those aims by requiring features that benefit priority species which can thrive in urban environments if provided with suitable habitats.
9.76 Guidance from organisations such as the National House Building Council and UK Green Building Council highlights cost-effective, low-maintenance measures that integrate biodiversity into the built environment.
9.77 Additional features for wildlife enhancement:
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Reptile/amphibian hibernacula;
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Brash and log piles;
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Invertebrate bricks and bee hotels;
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Wildlife ponds;
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Sustainable urban drainage systems (e.g. swales and pools with native vegetation);
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Native hedge planting;
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Swift/wildlife towers and green roofs;
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Barn owl lofts;
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Bat, bird, and dormouse boxes in trees and hedges.
9.78 These features should be designed with input from qualified ecologists and integrated into development to ensure longevity and retention.
Policy NC3: Biodiversity Net Gain Comment
On all development sites, a measurable 10% Biodiversity Net Gain (BNG) must be achieved, except that which is exempt as set out within The Biodiversity Gain Requirements (Exemptions) Regulations 2024.
The 10% BNG should be delivered on-site wherever possible. Where it is not possible to achieve this level of biodiversity net gain on site, or where onsite net gain would not generate the most benefits for nature conservation, off-site provision will be considered, in accordance with the Biodiversity Gain Hierarchy (avoid harm in the first instance).
When identifying opportunities for on- and offsite biodiversity net gain, the location, type and form of net gain should seek to support nature-based solutions to climate change, reduce flood risk, preserve best and most versatile agricultural land. Net gains should be located to help to deliver the most up to date Torbay Green Infrastructure Strategy and/or the Devon Local Nature Recovery Strategy by reflecting the strategic significance of sites (defined in glossary).
Where practicable, off-site provision should be directed towards areas within Torbay, unless an alternative location offers more appropriate biodiversity net gains and is agreed by the council.
Notwithstanding the Biodiversity Gain Requirements (Exemptions) Regulations 2024, all development proposals should incorporate biodiversity enhancements into designs. Development proposals where the main objective is to conserve or enhance biodiversity or geodiversity, or to create greater resilience of biodiversity or geodiversity to climate change, will be supported in principle.
Development that results in the loss or deterioration of 'irreplaceable habitats' will not be permitted.
Community and Corporate Plan – Protecting and enhancing our natural environment
Explanation
9.79 This policy seeks to achieve 10% BNG (as required by legislation) and provides additional guidance on how and where BNG should be delivered, with a preference for delivery locally within Torbay and reflecting the Devon, Plymouth and Torbay Local Nature Recovery Strategy.
Policy NC4: Light pollution Comment
All development proposals will be designed to avoid, minimise, and mitigate, any harm arising from light pollution, lightspill or glare. Proposals for external lighting, new development/uses that will require external lighting, or designs that includes large areas of glazing or reflective materials will only be permitted where all the following apply:
- Any external lighting is demonstrated to be necessary for the development or use and the amount of lighting used is the minimum required for security/safety and/or operational purposes;
- Light spillage or glare will be minimised to an acceptable level;
- The character of the surrounding landscape and seascape, character and visual amenity of streetscape or townscape, and heritage significance is conserved or enhanced, taking account of existing light levels. Particular weight will be given to the conservation or enhancement of the South Devon National Landscape's dark skies and Greater Horseshoe Bat foraging and commuting habitats;
- Ecological interests are conserved or enhanced, taking account of the level of protection of the species and habitats and the type, duration, and intensity of artificial light/light spill/glare;
- There is no adverse effect on the integrity of a European Wildlife Site. Proposals likely to affect South Hams SAC bats through increased lighting will require a lighting assessment and design strategy prior to inform a project level HRA prior to permission being approved.
Any harm that remains once a proposal has been mitigated will be balanced against the need for the development/use, along with any public benefits that would result.
Where new development would require artificial lighting to operate, e.g. for reasons of security or safety, or where development would introduce a new use sensitive to light intrusion, particular consideration will be given to the suitability of the location for the development.
Proposals for lighting schemes that would improve the safety or visual amenity of areas within the public realm, historic townscapes or better reveal the significance of a heritage asset and its setting will be supported subject to the above.
Community and Corporate Plan – Protecting and enhancing our natural environment
Explanation
9.80 Artificial lighting can provide social benefits, such as street lighting and enabling recreation outside daylight hours. It can also help to enhance the public realm or heritage significance. However, there is a growing body of evidence that shows how Artificial Light At Night (ALAN) can have negative impacts on the health of both terrestrial and marine ecosystems through disrupting natural light-driven cycles that regulate marine life, migration, reproduction and feeding patterns.
9.81 Light pollution is a driver of insect decline and many night-flying species of insect that bats hunt are attracted to light, especially those light sources that emit an ultraviolet component or have a high blue spectral content. Broad winged bat species (including Greater Horseshoe Bats) have been shown to avoid illuminated commuting and foraging. Consequently, these bat species are put at a competitive disadvantage and are less able to forage successfully and efficiently in well-lit areas. Continuous lighting in the landscape, such as along roads or waterways, creates barriers which many bat species cannot cross, even at very low light levels.
9.82 In addition to the environmental impacts, ALAN can affect human health and well-being, with links to cancer, diabetes and sleep disorders.
9.83 The proliferation of short-wavelength, blue-toned white lights since the advent of energy-efficient light-emitting diodes (LEDs) in the early 2000s has compounded this issue. This type of light is strong enough to penetrate deep into coastal waters, reaching more than 40 metres beneath the surface in areas with clear water and high intensity illumination.
9.84 Alongside our rare terrestrial and marine life, parts of Torbay are within the South Devon National Landscape. The impact of light pollution and skyglow can be seen across the National Landscape and can negatively impact landscape, seascape, townscape/streetscape character and heritage significance.
9.85 There are often technical and practical ways that the impacts of ALAN can be reduced or removed, e.g. through careful design, positioning and direction, sensors, or reduction in the intensity or hours of use. Impacts can also be reduced by avoiding short wavelength blue light and using longer-wavelength, redder bulbs or, at a minimum, lower colour temperature LEDs.
9.86 Proposals including significant external lighting will require a lighting impact assessment prepared by a lighting specialist. Where permission is granted, conditions may control hours of illumination, light angles, intensity, column heights, colour specification, and retention or provision of screening vegetation or bunding.
Policy GE1: Geodiversity and English Riviera UNESCO Global Geopark Comment
All development must conserve and enhance Torbay's terrestrial and marine geodiversity, particularly the geosites identified within the English Riviera UNESCO Global Geopark (ERUGGp).
Development must provide a level of protection to locally significant geological sites which are undesignated, commensurate with their importance.
Development proposals that would cause a direct or indirect adverse effect upon both of the above will not be supported unless the following criteria are met:
- They cannot be located on alternative sites that would cause less or no harm. Every effort has been made to minimise any damage.
- The public benefits of the proposal clearly outweigh the impacts on the features of the site and the wider network of geosites.
- Suitable avoidance, mitigation and compensation measures are proposed, in accordance with the mitigation hierarchy.
Developments should provide an assessment of geological interest, including any features that would support designation as a Regionally Important Geological Site and measures to conserve and enhance them. The objectives of the most up to date ERUGGp Management Plan must also be taken into consideration.
The promotion, improvement and appropriate management of Torbay's special geological qualities will be supported and will be a key element in promoting sustainable tourism and fostering pride in the area's unique environment. The council will seek to promote public access to, appreciation and interpretation of geodiversity.
Community and Corporate Plan – Protecting and enhancing our natural environment and heritage
Explanation
9.87 Torbay's designation as a Global Geopark is based upon the outstanding international importance of 32 geosites (i.e. sites of significant geological interest within the Geopark) spanning a story of three geological time periods over 400 million years. In this context, Torbay has made a huge historical contribution in terms of the development of geological and archaeological sciences. The consideration of geology as part of the planning process alongside appropriate conservation, management, and enhancement of geology is fundamental to the retention of the status.
9.88 Within Torbay there are eleven geological Sites of Special Scientific Interest (SSSIs) and sixteen Regionally Important Geological Sites (RIGS). The designation integrates these sites, which are listed in Appendix D. Many of Torbay's geologically important sites are disused quarries that have exposed geological and fossilised features. Development affecting geological sites of interest should retain, protect and provide for the appropriate management of such features.
9.89 It is known that there are sites of geological significance in Torbay where the geological value is yet to be recognised/recorded because the sites have not yet been designated. As such, any new or temporary exposures may reveal new sites of value worth recording and/or protection. These sites could be in the form of an old quarry, cliff face or cutting, or sites subject to coastal erosion on the foreshore.
Strategic Policy GIS: Green and blue infrastructure Comment
Development will be required to protect, enhance and integrate with the existing green and blue infrastructure (GBI) network and deliver new high quality GBI tailored for and accessible to local needs.
Development will support the strategic local needs for specific GBI as identified in relevant local strategies such as GBI Plans and Open Space Strategies, including appropriate standards and metrics. Three Country Parks are designated in Torbay: i) Cockington, Torquay, ii) Occombe Farm, Paignton and iii) Berry Head, Brixham.
The Local Plan makes specific provision for:
- A new local burial facility
- A Suitable Alternative Natural Greenspace (SANG)
Site and context analysis must be used to determine the appropriateness of a development proposal in responding to its surroundings, in the context of GBI.
Developments should ensure that new and existing GBI forms a multifunctional network which maximises the full range of potential benefits as far as possible. In doing so, development will support the Local Plan's strategic aims by increasing the quantum, quality and capability of GBI to be a resource that underpins Torbay's environmental, social and economic success.
All development should be located and designed to avoid the loss and fragmentation of GBI. Developments will be required to make contributions proportionate to their scale for the management and improvement of GBI. The integration of new GBI with the active travel network (including South West Coast Path and existing foot/cycle paths) will be supported and secured as part of design where possible.
Development will be assessed against how it complies with the following criteria, proportionate to its scale:
- GBI is central to the design of new development at the outset. Development must respond to the site and its surroundings in terms of the landscape context and any existing GBI assets. GBI which addresses local issues (such as flood risk, health, biodiversity) and most effectively benefits the wider area should be incorporated.
- Multifunctional spaces are provided which connect to the existing network of green infrastructure. The provision of new or improvement of existing GBI which contributes to multiple objectives including climate change mitigation/adaptation, flood risk mitigation, physical and mental health, nature recovery, the local economy, etc will be supported.
- Public open space and public access are considered at an early stage and form a key driver for the layout of development schemes. The type of open space provided should respond to the needs of local communities. Proposals which undertake early practical engagement with communities and utilise evidence around green infrastructure needs will be considered favourably;
- The safety, amenity and use of public open space, access routes and green corridors (including urban wildlife corridors) is considered. Schemes which are publicly accessible should be designed to encourage community integration, civic pride, healthy active lifestyles and safe access for all;
- GBI has been designed to create and restore native wildlife rich habitats and to help deliver the most up-to-date local GBI objectives, such as those set out in the Local Nature Recovery Strategy, Tree Strategy, and local Green Infrastructure Strategies in Torbay;
- Where necessary, GBI should be designed to mitigate for loss of foraging habitat and/or linear features used as flyways by Greater Horseshoe Bats where the features lost contribute to the integrity of the South Hams SAC; and
- Long term stewardship of new and existing GBI will be provided, including effective management and maintenance covering the funding arrangements for the delivery and upkeep. Torbay Council will seek to adopt GBI provided as part of new development in the first instance.
Community and Corporate Plan – Place and Community
Explanation
9.90 Green and blue infrastructure refers to a network of multi-functional green and blue spaces and other natural features - both urban and rural - which is capable of delivering a wide range of environmental, economic, health and wellbeing benefits for nature, climate, local and wider communities and prosperity.
9.91 Green and blue infrastructure is present in a variety of scales and forms throughout Torbay. Even local/small scale assets can contribute significantly to the green infrastructure network. The Local Plan identifies Torbay's three Country Parks (Cockington, Occombe and Berry Head) as contributing to the green and blue infrastructure network and these are shown on the Policies Map.
9.92 The Local Plan makes provision for a burial facility and a SANG, as key specific green infrastructure needs.
9.93 Analysis shows that burial facilities in Torbay are nearing capacity. Local evidence suggests that Torbay needs to provide up to 1,500 burial plots over the Plan period, equating to at least 1ha of land. This will be identified by the Local Plan in the Broadsands, Churston, Galmpton Neighbourhood Plan Area, with potential additional provision around Torquay Gateway.
9.94 Visitor monitoring at Berry Head during the summer of 2023 showed a 16% increase in total footfall per hour, compared to 2016. Vegetation monitoring carried out in the same year revealed changes in the character of the habitats for which Berry Head is designated, with a decline in the condition of sensitive areas compared to monitoring in 2016. This is evidence that visitor numbers at Berry Head have exceeded capacity, and mitigation alone is unlikely to prevent further degradation from recreation linked to new housing and tourism development. A SANG will need to be provided for in the Local Plan update within the Broadsands Churston and Galmpton (BCG Villages) / Brixham area (see Policy NCS2).
9.95 Green infrastructure is integral to sustainable development, supporting health and wellbeing, economic vitality, air quality, nature recovery, and climate adaptation. It contributes to net zero targets and provides urban cooling and flood risk management. The Council will seek to protect and enhance the green infrastructure network.
9.96 Green infrastructure can be viewed at a variety of scales, from trees, grass verges, green roofs, and living walls to larger elements such as parks, wetlands, and community gardens. Green infrastructure at all scales is important and contribute to delivering Torbay's wider network. Development at all scales must consider opportunities to provide, safeguard and improve it. Green infrastructure provides an important element of sustainable drainage. Drainage and flood resilience measures should prioritise natural solutions and water sensitive urban design, rather than relying on engineering solutions. See Policies ER1, ER2, ER3 and ER4 for detailed drainage requirements.
9.97 In assessing the needs and opportunities for green infrastructure, proportionate to its scale, development should be sensitive to its local context and make best use of local evidence. This evidence should be used to determine the strategy and design of green infrastructure elements. This may include utilising landscape assessments, ecological data, health and wellbeing data, local sources of information on communities, etc. Careful and targeted engagement as part of the development design process, with the local authority, stakeholders and the wider community offers rich potential to understand local needs and design the best solutions. When considering access for all potentially disadvantaged groups of people based upon age, socio-economic status, sex and mobility should be considered.
9.98 Where green infrastructure provision is supported by quality assessments aligned with industry standards (e.g., Building for a Healthy Life, Building with Nature), this will be encouraged and adds weight to the justification of approach.
9.99 The council will work with partners to improve Torbay's terrestrial and marine environments through a network-wide approach that includes the links between spaces, the multiple purposes they can have and wider environmental benefits.
9.100 Country parks and other green infrastructure often have historic importance, notably Cockington (Torquay) and Berry Head (Brixham). Policies HES and HE1 apply to the consideration of these historic assets.
[15]As amended by the Levelling-up and Regeneration Act 2023
[16]Natural beauty' has no legal definition but legally consideration must be given to the 'flora, fauna, geological and physiographical' features of the designated area.
[17]National Landscapes: areas legally designated as areas of outstanding natural beauty under the National Parks and Access to the Countryside Act 1949 and Countryside and Rights of Way Act 2000
[18] The Conservation of Habitats Species Regulations 2017, https://www.legislation.gov.uk/uksi/2017/1012/contents [accessed 20th Aug 2025]
[19] Note this is a draft figure which may be subject to change