Item12Appendix3ValuationReportAffordableHousingLandValuationsandCommutedSumPayments
CAIRNGORMS NATIONAL PARK AUTHORITY Planning Committee Agenda Item 12 Appendix 3 25/06/2021
AGENDA ITEM 12
APPENDIX 3
VALUATION REPORT FOR CNPA: AFFORDABLE HOUSING LAND VALUATIONS AND COMMUTED SUM PAYMENTS
Valuation Office Agency DVS Property Specialists
Valuation Report for Cairngorms National Park Authority: Affordable Housing Land Valuations and Commuted Sum Payments
Strategic Settlement GRANTOWN-ON-SPEY A9 to Inverness Intermediate Settlement Rural Settlement Strategic Planning Consent/New Settlement A939 to Forres A95 to Aberlour Glenlivet Cromdale Dulnain Bridge Carr-Bridge Nethy Bridge Tomintoul Boat of Garten. AVIEMOREAN CAMAS MÒR Glenmore Kincraig KINGUSSIE Inverdruie & Insh Coylumbridge NEWTONMORE Laggan A86 to Spean Bridge Dalwhinnie Calvine, Bruar & Pitagowan 45% AFFORDABLE Braemar HOUSING REQUIREMENT Strathdon A944 to Alford Dinnet BALLATER A93 to Aboyne Angus Glens Glenshee née Blair Atholl Killiecrankie A9 to Perth A93 to Blairgowrie The VOA is an Executive Agency of HM Revenue and Customs
Report for: Dan Harris Cairngorms National Park Authority
Prepared by: Kate Paton MRICS Senior Surveyor RICS Registered Valuer DVS
Tel: 03000 506234
kate.paton@voa.gov.uk
Case Number: 1749005
Client Reference: CNP7603
Date: 13 November 2020
disability confident EMPLOYER
Client Ref: CNP7603 VOA Ref: 1749005 Date: 13 November 2020
Contents DVS Property Specialists
Executive Summary. 1. Introduction 1 3 2. Valuation Parameters 3 3. Property Information 7 4. Valuation. 18
- General Information .32 6. Appendices .34 6.1 Map 34 6.2 Brief. .35
Client Ref: CNP7603 VOA Ref: 1749005 DVS Property Specialists Date: 13 November 2020
Executive Summary 1.1 1.2 1.3 Description Cairngorms National Park Authority (CNPA) have commissioned research to determine at what level a commuted sum, defined as a ‘financial contribution to affordable housing’ should be set for each of the Local Authority areas in the National Park area and for the National Park as a whole, for developments under 4 units. Location The commuted payment policy is to apply to the CNPA area. Tenure Owner’s heritable interest with vacant possession. 1.4 Valuation Date 13 November 2020 1.5 1.6 Methodology and Basis of Valuation The methodology used to arrive at the level of developer contribution is taken as being the difference between the value of land for affordable housing and the market value of the land for private residential development, Although my advice will not constitute a formal valuation, it will generally accord with the concept of Market Value, which is defined at VPS 4, para 4 as: ‘The estimated amount for which an asset or liability should exchange on the valuation date between a willing buyer and a willing seller in an arm’s length transaction after proper marketing and where the parties had each acted knowledgeably, prudently and without compulsion.’ Special Assumptions The valuations are for notional house plots for the erection of a four apartment/three bedroom detached house within each of the Local Authority Areas within the National Park and a valuation for the National Park as a whole as shown on the Boundary Map at Appendix 2.
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Client Ref: CNP7603 VOA Ref: 1749005 DVS Property Specialists Date: 13 November 2020
1.7 Market Value The opinion of Market Value of the owner’s heritable interest with vacant possession of the notional house plots and the resultant commuted sums are as follows:
LA area Affordable Private Housing Commuted Housing Plot Plot Value Payment value Aberdeenshire £0 £32,500 £32,500 Angus £0 £16,000 £16,000 Highland £0 £18,500 £18,500 Moray £0 £17,000 £17,000 Perth and Kinross £0 £30,000 £30,000 CNPA (average of 5 LA) £0 £23,000 £23,000 1.8 Remarks The land values for the unrestricted plots are based on the assumptions stated within the report, specific sites with abnormal costs relating to infrastructure, site conditions or planning obligations could well produce different plot values. Similarly if the characteristics of the notional unit were to change, then higher or lower values could be generated. As the hypothetical site could be located anywhere within the radius of the Local Authority areas as shown, values in reality would likely vary within each area and there would likely be some ‘blurring’ at the borders of the authority areas.
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Client Ref: CNP7603 VOA Ref: 1749005 DVS Property Specialists Date: 13 November 2020 1. 2. 2.1 2.2 2.3 2.4 2.5 Introduction I refer to your original enquiry dated 11 February 2020 and subsequent email exchanges and my email of 19 March 2020, which included my fee quote. The case was put on hold for a number of weeks as a result of the Covid-19 pandemic, however you advised CNPA still required the advice in an email dated 14 August 2020 and I was able to confirm the fee quote was still valid. A purchase order number was received on 2 September and the case was taken on. I also refer you to my Terms of Engagement dated 3 September 2020. I have carried out the valuations and I am pleased to report to you as follows. Valuation Parameters Identification of Client The valuation advice is prepared for CNPA. Purpose of Valuation It is understood that you require the valuation advice in order to assess at what level a commuted sum, which is defined as a “financial contribution to affordable housing” should be set for each of the Local Authority area in the National Park area and the National Park as a whole, for developments under 4 units. Subject of the Valuation The valuations are for notional house plots for the erection of a four apartment/three bedroom detached house within a development of around ten houses in each of the five Local Authority Areas within CNPA, and also valuations for the CNPA area as a whole (as shown on the Map at Appendix 2 and the maps of the Housing Market Areas in Section 3.1) Date of Valuation The date of valuation is 13 November 2020. Please note that values change over time and that a valuation given on a particular date may not be valid on an earlier or later date. Confirmation of Standards The valuation has been prepared in accordance with the professional standards of the Royal Institution of Chartered Surveyors: RICS Valuation – Global Standards and RICS UK National Supplement, commonly known together as the Red Book.
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Client Ref: CNP7603 VOA Ref: 1749005 DVS Property Specialists Date: 13 November 2020 2.6 2.7 2.8 2.9 Compliance with the RICS professional standards and valuation practice statements gives assurance also of compliance with the International Valuations Standards (IVS). Measurements stated are in accordance with the RICS Professional Statement ‘RICS Property Measurement’ (2nd Edition) and, where relevant, the RICS Code of Measuring Practice (6th Edition). As specifically requested by you, the residential property has been reported upon using a measurement standard other than IPMS, and specifically Gross Internal Area (GIA) has been used. Such a measurement is an agreed departure from ‘RICS Property Measurement (2nd Edition)’. Agreed Departures from the RICS Professional Standards As specifically requested by you, and as captured above with explanation, certain property has been reported upon using a measurement standard other than IPMS. Basis of Value Although my advice will not constitute a formal valuation, it will generally accord with the concept of Market Value, which is defined at VPS 4, para 4 as: The basis of value adopted is Market Value which is defined at VPS 4, para 4 as: ‘The estimated amount for which an asset or liability should exchange on the valuation date between a willing buyer and a willing seller in an arm’s length transaction after proper marketing and where the parties had each acted knowledgeably, prudently and without compulsion.’ Special Assumptions The following agreed special assumptions have been applied: The valuations are for notional house plots and the following assumptions have been applied: • • • The house plots are for the erection of a standard new build four apartment/three bedroom detached house of approximately 96m² GIA. It should be assumed that it has private garden grounds, off-street parking but no garage. The plot will be ready for development with services located close by, which is in line with section 22 of PAN 2/2010 Affordable Housing and Housing Land Audits, which states the commuted sum should be of ‘a value equivalent to the cost of providing the amount of serviced land required by the policy’. Nature and Source of Information Relied Upon In addition to relying upon VOA held records and information, I have assumed that all information provided by, or on behalf of you, in connection with this instruction is correct without further verification – for example, details of tenure, tenancies, planning consents, etc.
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Client Ref: CNP7603 VOA Ref: 1749005 DVS Property Specialists Date: 13 November 2020 My advice is dependent upon the accuracy of this information and should it prove to be incorrect or inadequate, the accuracy of my valuation may be affected. You provided a Brief outlining the approach, methodology expected and background information along with your instructions (copied in Appendix 6.2). The valuation methodology is outlined below in section 4 with reference to the Scottish Government PAN2/2010, More Homes Division Guidance Notes 2020⁄02 and the guidance notes issued by the RICS, in particular ‘Valuation of Land for Affordable Housing Scotland’ GN100/2013, VIP 12 ‘Valuation of Development Land’ and RICS “Valuation of Development Property” October 2019. I have also had regard to the Local Plans and Supplementary Planning Guidance published on the internet by the relevant Local Authorities. In undertaking my research I have also used property marketing websites such as TSPC, ASPC, Rightmove and local Estate Agents websites. 2.10 Date of Inspection The valuation reflects notional house plots and no inspections were undertaken. 2.11 Extent of Investigations, Survey Restrictions and Assumptions An assumption in this context is a limitation on the extent of the investigations or enquiries undertaken by the valuer. The following agreed assumptions have been applied in respect of your instruction, reflecting restrictions to the extent of our investigations. • • • As agreed with you, no inspection of the property was undertaken and the advice and valuation has been prepared on a ‘desk-top basis’; i.e. it is provided on the basis of ‘restricted information’. No detailed site survey, building survey or inspection of covered, unexposed or inaccessible parts of the property was undertaken. The Valuer has had regard to the apparent state of repair and condition, and assumed that inspection of those parts not inspected would neither reveal defects nor cause material alteration to the valuation, unless aware of indication to the contrary. The building services have not been tested and it is assumed that they are in working order and free from defect. No responsibility can therefore be accepted for identification or notification of property or services’ defects that would only be apparent following such a detailed survey, testing or inspection. It has been assumed that good title can be shown and that the property is not subject to any unusual or onerous restrictions, encumbrances or outgoings.
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Client Ref: CNP7603 VOA Ref: 1749005 Date: 13 November 2020 DVS Property Specialists • • • • • It has been assumed that the property and its value are unaffected by any statutory notice or proposal or by any matters that would be revealed by a local search and replies to the usual enquiries, and that neither the construction of the property nor its condition, use or intended use was, is or will be unlawful or in breach of any covenant. Valuations include that plant that is usually considered to be an integral part of the building or structure and essential for its effective use (for example building services installations), but exclude all machinery and business assets that comprise process plant, machinery and equipment unless otherwise stated and required. It has been assumed that no deleterious or hazardous materials or techniques were used in the construction of the property or have since been incorporated. However where an inspection was made and obvious signs of such materials or techniques were observed, this will be drawn to your attention and captured in this report. No access audit has been undertaken to ascertain compliance with the Equality Act 2010 and it has been assumed that the premises are compliant unless stated otherwise in this report. No environmental assessment of the property (including its site) and neighbouring properties has been provided to or by the VOA, nor is the VOA instructed to arrange consultants to investigate any matters with regard to flooding, contamination or the presence of radon gas or other hazardous substances. No search of contaminated land registers has been made. However, where an inspection was made and obvious signs of contamination or other adverse environmental impact were visible this will have been advised to you, further instructions requested and the observations captured in the report. Where such signs were not evident during any inspection made, it has been assumed that the property (including its site) and neighbouring properties are not contaminated and are free of radon gas, hazardous substances and other adverse environmental impacts. Where a risk of flooding is identified during any inspection made, or from knowledge of the locality, this will be reported to you. The absence of any such indication should not be taken as implying a guarantee that flooding can never occur.
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Client Ref: CNP7603 VOA Ref: Date: 1749005 DVS Property Specialists 13 November 2020 3. Property Information 3.1 Location The commuted payment policy is to apply to the CNPA area. There are five Local Authorities covering the National Park: • Aberdeenshire • Angus • Highland • Moray • Perth and Kinross. The identified Housing Market Areas (HMA’s) covering the national park area are as follows: Aberdeenshire The current Aberdeen City and Aberdeenshire HNDA was published in 2017. The area of Aberdeenshire within the Cairngorms National Park has been included in the Rural HMA. The Housing stock within the CNPA is only a very small percentage of the overall Aberdeenshire and Aberdeen City Housing Market areas. Figure 2: Housing Market Areas Ballater Caimgorms National Park (Aberdeenshire) Braemar
- Huntly Banff Fraserburgh • Turriff Peterhead ABERDEENSHIRE Alford Westhill. Ellon. Inverurie ABERDEEN CITY Aboyne Banchory Stonehaven Laurencekirk Aberdeen Housing Market Area Rural Housing Market Area Housing Need and Demand Assessment Aberdeen City and Shire 2017
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Client Ref: CNP7603 VOA Ref: 1749005 Date: 13 November 2020 Angus DVS Property Specialists Angus has been designated as 4 HMAs. The area within the National Park is within the West Angus HMA. According to the Brief, there are only 33 dwellings in the Angus area of the National Park. Housing Market Area Profile Angus Overview (2019 Update) West HMA KIRRIEMUIR FORFAR North HMA BRECHIN MONTROSE East HMA South HMA CARNOUSTIE ARBROATH https://www.angus.gov.uk/sites/angus-cms/files/2020 – 01/Housing market area profile — Angus Overview 2019.pdf Highland The Highland Housing Need and Demand Assessment (HDNA) (2015) identifies Badenoch and Strathspey as a HMA, the majority of the housing stock (97.6%) of the HMA lies within the National Park’s Boundary. Map 1 – 1 Housing Market Areas in Highland ER IDES Housing Market Areas in Highland Sutherland East Ross West Ross Mid Ross HIGHLAND Nairn Skye and Lochalsh ISLE OF Skye and Lochalsh Inverness Lochaber Badenoch and Strathspey SCOTLAND Caithness MORAY FIRT MOUNTAINS Crown copyright All rights reserved 100023369 Source: Highland Council in-house analysis file:///C:/Users/7207314/Downloads/HNDA oct2015 third CHMA submission 2.1%20(1).pdf
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Client Ref: CNP7603 VOA Ref: 1749005 Date: 13 November 2020 DVS Property Specialists Moray The Moray Council HNDA (2018) concludes that the whole of Moray is a functional HMA, within which six sub or local HMAs exist. One of these local HMAs lies within CNPA and is described as Cairngorms Local HMA. MoRay Housing Need and Demand Assessment 2017 Functional Housing Markets Moray Council Housing Need and Demand Assessment 2017 Lossiemouth Burghead Kinloss Forres A941 Elgin A96 A941 Spey Bay Buckie A942 A98 Cullen Portsoy A939 Grantown ‑on-Spey A938 A940 Rothes Charlestown of Aberlour Belleheiglash A95 Dufftown MORAY Glenlivet R Spey Nethy Bridge Tomintoul A939 Aviemore Cairn Gorm 1244m orm ains Ben Macdui 1309m CAIRNGORMS Braemar A944 A939 Spey Keith A95 A920 Huntly ASS A96 Rhynie Auchleven R Don Alford ABERDEE Legend AreaName Abo Buckle A93 Cairngorms NP Elgin Ballater Fames Keth Speyside Perth and Kinross Perth and Kinross Local Housing Strategy 2017 – 2021 identifies the area within the National Park area as part of two HMA’s — Highland HMA and Eastern HMA. Map of Housing Market Areas CALENGORNS MOUNNS-KH EASTERN HIGHLAND GREATER PERTH LOCH LORICND THE TROSSACHS STRATHEARN Title: Perth and Kinross Housing Market Areas Stiri Perth and Kinross Local Housing Strategy | 2016 – 2021 KONROSS PE CO Fortar Kirkcaldy OF FORTH EDINBURGH ↑ Scale: 1:849,330
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Client Ref: CNP7603 VOA Ref: 1749005 Date: 13 November 2020 3.2 3.3 3.4 Description DVS Property Specialists The valuation methodology is outlined below in section 4 with reference to the Scottish Government PAN2/2010, More Homes Division Guidance Notes 2020⁄02 and the guidance notes issued by the RICS, in particular ‘Valuation of Land for Affordable Housing Scotland’ GN100/2013, VIP 12 “Valuation of Development Land” and GN “Valuation of Development Property” October 2019. In line with this guidance and in order to assess the value of the notional plots the following has been assumed, regarding the notional plot, within each of the Local Authority areas and for the National Park as a whole. The notional house type is a 2‑storey, 4‑apartment (3‑bedroom), detached house built to a good standard of specification. It is assumed that it has private garden grounds, off-street parking but no garage. The property is assumed to have a GIA of 96m² and the accommodation is assumed to comprise: Ground Floor: Living room, kitchen, cloak room. First Floor: 3‑bedrooms and bathroom. It is assumed that the units will be built to a good quality finish meeting all required Building Standards. It is further assumed that the units will adhere to the required RSL standards for affordable housing, these tend to be higher than mainstream requirements which can, in our experience, lead to higher construction costs. Heating is not specified, but it is assumed to be a good standard and could comprise for example electric (including forms of renewable energy such as ground or air- source heat pump) or gas where available. Parking provision is assumed to be available and in line with the local authorities current policy on parking. It is also assumed that the plots will be serviced up to the site boundary with the necessary infrastructure in place. Tenure Owner’s heritable interest with vacant possession is assumed. Title Restrictions In terms of the valuation for private sale, it is assumed there are no title restrictions. In terms of the valuations for the Social Rented accommodation it is assumed the land will be restricted to the provision of Affordable Housing in perpetuity.
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Client Ref: CNP7603 VOA Ref: 1749005 Date: 13 November 2020 3.5 Services DVS Property Specialists 3.6 3.7 3.8 PAN 2/2010 states that the commuted payment should be of a “value equivalent to the cost of providing a percentage of serviced land required by the policy” and would therefore assume that the mains services of water, drainage and electricity will be provided up to the site boundary. Access and Highways It is understood that the land is serviced with the necessary infrastructure, including roads up to the site boundary. It is further assumed that the maintenance of roads and footpaths ex adverso the property is the responsibility of the local authority. Energy Performance Certificate As the valuation is for notional plots, EPC ratings are not known. However, it is assumed that the units will be constructed to meet building standards in force at the time of construction and will have a relatively good energy rating. Planning Relevant national guidance is contained in Planning Advice Note (PAN) 2/2010 and More Homes Division Guidance Notes 2020⁄02. I have summarised below the current policies and guidance from each Local Authority area. CNPA The current Local Development Plan 2015 was adopted on 27 March 2015. Policy 1 New Housing Development outlines the contribution to Affordable Housing for new developments. Non-statutory Supplementary Guidance has also been published in relation to Policy 1. The level of affordable housing required under the 2015 is generally no more than 25% of the total number of units. Proposals for less than four open market dwellings are required to make a contribution towards affordable housing. This is in the form of a cash payment towards the meeting of housing need in the local area. (Proposals for offsite contributions will be considered where community needs assessments, or similar assessments, support this as a better way of meeting the housing needs of the community). The Supplementary Guidance states that ‘The value of the financial contribution will be specifically related to the value of the site being developed. The guide for this financial contribution is £25,000 per unit for developments of four houses or more. This may however vary due to the location and value (higher value sites requiring higher contributions) of the development, or the specifics of the site’.
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Client Ref: CNP7603 VOA Ref: 1749005 Date: 13 November 2020 DVS Property Specialists It further recognises that where a development is of less than four houses, a percentage of the £25,000 benchmark is sought and in these cases the following values act as a guide: One house: 5% of the £25,000 benchmark = £1,250 Two houses: 10% of the £25,000 benchmark = £2,500 Three houses: 15% of the £25,000 benchmark = £3,750 CNPA are currently in the process of preparing the next LDP (2020). The Reporter published the Examination Report on 24 August 2020, which sets out their findings and a list of recommended modifications to the Plan. The CNPA has three months to consider the Reporter’s recommendations and submit the Proposed Plan as modified to Scottish Ministers. During this period the board will review the recommendations before seeking final approval from Scottish Ministers prior to adoption of the new Local Development Plan 2020. The proposed housing policy has been consulted on during the Proposed Plan consultation. It requires that 45% of all housing be affordable for sites of 4 units or more in the settlements of Aviemore, Ballater, Blair Atholl and Braemar. Other settlements and areas will be required to provide 25%. There is also a requirement for a financial contribution to be made for sites under 4 units. Therefore a robust method of calculating the level of contribution is required which will be used in the supplementary guidance. It should be noted that whilst the responsibility for producing the LDP lies with the Cairngorms National Park Authority (CNPA), most planning applications in the National Park are determined by the relevant local authority although CNPA “calls in” and determines the applications which are of general significance to the aims of the Park. The CNPA also does not produce its own Housing Need and Demand Assessments (HNDA) as these are the responsibility of the Local Authorities. Aberdeenshire Aberdeenshire Council has a policy for Affordable Housing set out in the Aberdeenshire Local Plan 2017 — supplementary guidance- Affordable Housing 2017. It is stated that: ‘In the rare and exceptional cases where a commuted sum is considered appropriate in lieu of on-site provision, the amount payable will be a value equivalent to the cost of providing the percentage of serviced land required by the policy. The amount will be based on an exercise undertaken by the District Valuer using a benchmark approach. The benchmark approach is based on plot values for a notional 3 bedroomed semi-detached property for unrestricted market sale and for the value of an identical plot restricted in perpetuity to the provision of affordable housing. The difference between the affordable housing plot value and the market plot value represents the commuted sum payable (for a single plot). This benchmark analysis is undertaken for areas within Aberdeenshire with comparable market characteristics (based on Academy catchments) to produce a range of commuted sum requirements that reflect local market conditions. The total commuted sum requirement for any development site will be calculated by multiplying the relevant individual plot value by the total number of affordable housing units required by the policy. Based on an assessment undertaken in 2014, the commuted sum requirements are:
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Client Ref: CNP7603 VOA Ref: 1749005 Date: 13 November 2020 DVS Property Specialists Commuted sum requirement (per plot) £50,000 Location Westhill, Stonehaven Portlethen, Banchory, Inverurie £48,000 Stonehaven Kemnay, Inverurie £46,000 Ellon, Oldmeldrum, Aboyne, Alford £40,000 Laurencekirk £38,000 Peterhead, Huntly, Turriff £30,000 Fraserburgh, Turriff, Huntly, Banff, Macduff £27,000 After making enquiries of the Planning Authority, I understand that there is likely to be a move away from statutory Supplementary Guidance in favour of Planning Advice Notes following the adoption of the new Local Development Plan which is aimed for mid-2021. The planning advice notes are hoped to be more flexible so that stakeholders can react more quickly although they might not have as much weight as the statutory guidance. Aberdeenshire Council rarely allow commuted payments, it is usually only where viability is called into question. Whilst there is no current guidance of what form commuted payments will take under the 2021 LDP it is likely that the benchmark approach will continue. It appears to be accepted by both LA and developers as it offers an element of certainty. It is likely the 2014 figures (which are index linked) will be reviewed and updated. Angus Angus Council has a policy for Affordable Housing set out in the Angus Local Plan adopted by Angus Council in September 2016 – policy TC3: Affordable Housing states: “Angus Council will seek to secure the delivery of affordable housing equivalent to 25% of the total number of residential units proposed on all residential sites of 10 or more units, or where a site is equal to or exceeds 0.5ha. Where a qualifying site is being developed in phases of less than 10 units or less than 0.5 hectares the affordable housing requirement will be applied based on the overall capacity of the site. Angus Council will work in partnership with developers and consider innovative and flexible approaches to secure delivery of an appropriate affordable housing contribution. Where appropriate, Section 75 or other legal agreements may be used”. In addition to the above Local Plan, Angus Council published Developer Contributions and Affordable Housing Supplementary Guidance in December 2016. This outlines the process for delivering the required Affordable Housing and the circumstances where a commuted sum can be made in lieu of on-site provision.
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Client Ref: CNP7603 VOA Ref: 1749005 Date: 13 November 2020 DVS Property Specialists The VOA has recently provided valuation advice to Angus Council, which is based on the ‘benchmark approach’. The published figures (valid until 30 June 2019) are as follows and are not expected to change for 30 June 2020: Housing Market Value for Private Sale (£) Area (HMA) Value for Social Rent (£) Commuted Payment (£) Range < Range > Typical West £23,000 £29,000 £26,000 £1,000 £25,000 Highland The review of the Highland-wide Local Development Plan (HwLDP) is currently postponed until the implications of the Planning Bill are more clearly understood. There is currently an interim position based on an initial review of comments received, which was agreed by the Planning, Development and Infrastructure Committee on 17 August 2016. With regards to Affordable Housing, this is set out in Policy 32 of HwLDP. Developments of four or more homes require to contribute 25% equivalent of affordable housing in areas of need. Currently affordable housing contributions are required for developments of four or more houses, however developments of less than four units also require to make an equivalent affordable housing contribution in certain circumstances. Highland areas within CNP are classed as one of these exceptional circumstances as the National Park LDP specifies the need for affordable housing contributions for developments of less than four units. Commuted affordable housing payments will only be acceptable on an exceptional basis and will be assessed on a case by case basis. Developers are required to enter into early discussions with the Housing Authority to agree the tenure split and type of affordable housing required on a case by case basis. It is recognised that fixed commuted sums payable to the Council will vary over time and will differ by area. They are updated regularly and published online via the Council’s website. The published guidance states that for indicative budgeting purposes, a four house development would be expected to make an affordable housing contribution in the order of £25,000 to £35,000, equating to £6,250 to £8,750 per home.
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Client Ref: CNP7603 VOA Ref: 1749005 Date: 13 November 2020 Moray DVS Property Specialists The Moray Local Development Plan (MLDP) 2020 Affordable Housing Policy is found at DP2 Housing ‘(d) Affordable Housing Proposals for all housing developments (including conversions) must provide a contribution towards the provision of affordable housing. Proposals for new housing developments of 4 or more units (including conversions) must provide 25% of the total units as affordable housing in affordable tenures to be agreed by the Housing Strategy and Development Manager. For proposals of less than