The British government has opened a consultation on proposed changes to the National Planning Statements (NPSS), which are designed to guide decision makers in determining energy planning applications.
Based on the Planning ACT 2008, the NPSS has been designated to inform decisions about nationally important infrastructure projects (NSIPs), so that a framework was given how government policy should be applied in the decision to approve a project.
In July 2024, the government launched an assessment of the explanations for energy from EN-1 to-5, the result of which has been worked up for updates for the umbrella energy NPs (EN-1), the infrastructure statement of renewable energy (EN-3) and the NPs for electricity networks (EN-5).
A consultation is now open until 29 May for relevant parties to return to the changes that the government has proposed.
At the end of last year, the The government published an updated National Planning Policy Framework (NPPF) To state that the planning authorities must “give considerable weight to the benefits related to renewable and low carbon production and the contribution of the proposal to a net zero future” in determining applications.
This made the considerations by making the planning of authorities closer to the NPSS.
The intended function of the NPSS is to clearly state an established need for the infrastructure that is considered for a development assignment order (DCO) and how the policy applies – this removes the discussion about the earnings of government policy from the research process and should mean that decisions are only based on planning considerations.
The changed NPSS only has an effect with regard to applications for a DCO that are made after the publication of the final changed NPSS and everything will use the current NPs for energy.
Clean power moved to the foreground
The first change sees the policy story via EN-1 Center on Clean Power 2030 (CP30). Projects that are relevant to CP30 can be considered as Critical National Priority (CNP), which makes permission the favorite decision.
CNP policy, which made the importance of low carbon infrastructure possible during the planning process, was introduced in 2024.
CP30 is the primary leading policy, means that energy from waste projects, not included in the definition of the CP30 action plan of a clean capital technology, is no longer referred to as CNP.
Electricity infrastructure and the CSNP
As part of planning the future energy network, the National Energy System Operator (NESO) will develop an independent, long -term approach of 2050 on how the transmission network should be delivered.
The Centralized Strategic Network Plan (CSNP) will be regulated by OFGEM and show how to develop the network to meet energy and carbon goals. NPS EN-5 has been adjusted to endorse the recommendations in the CSNP, which will be published in 2027.
The approval via the NPS would mean that the necessity and technological type for projects that adhere to the recommendations of the CSNP do not have to be investigated in the permission process.
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