Comment

Community Infrastructure Levy (CIL)

Representation ID: 1733

Received: 30/01/2015

Respondent: Cogent Land LLP (Cogent)

Representation Summary:

CLL would like to see further refinement of the proposed Regulation 123 list in conjunction with the production of an SPD on Planning Obligations to ensure that any potential for 'double dipping' is reduced. In addition to this whilst we welcome the close relationship between the IDP and the Regulation 123 list, the meaning of a number of the items on the Regulation 123 list is unclear and furthermore a number of items included on the list are very similar. We would therefore request that the level of complexity is reduced and clarity improved on the Regulation 123 List to ensure potential for 'double dipping' and/ or misinterpretation is minimised and certainty is provided to the development industry