Recommendations & Conclusions
6 items
3
Recommendation
Ninth Report - Revised (Draft) National…
Accepted
We recommend that revised (draft) EN-1 provides clearer direction in favour of the presumption of the delivery of new energy infrastructure required to deliver net zero. We recommend that revised (draft) EN-1 explicitly sets out that the NPS takes precedent over any other conflicting local or statutory bodies’ planning policies. …
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We recommend that revised (draft) EN-1 provides clearer direction in favour of the presumption of the delivery of new energy infrastructure required to deliver net zero. We recommend that revised (draft) EN-1 explicitly sets out that the NPS takes precedent over any other conflicting local or statutory bodies’ planning policies. We further recommend that the Government work closely with those local and statutory authorities, to make sure that their planning principles are more broadly in line with the UK Government’s commitment to deliver net zero.
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Government response AI summary
EN-1 and EN-3 are clear about the urgent need for all types of renewable electricity generation infrastructure and include government ambitions for certain types of renewable generating infrastructure. New text has been proposed in draft EN-3 setting out the Critical National Priority for offshore wind …
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Department for Business and Trade
5
Conclusion
Ninth Report - Revised (Draft) National…
Accepted
If the Government’s targets set for renewables are not to be included within the NPS planning regime, the link between those targets and planning principles must be made explicit in respect of each technology or generation capacity, so that they are clearly understood by planning authorities and industry to facilitate …
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If the Government’s targets set for renewables are not to be included within the NPS planning regime, the link between those targets and planning principles must be made explicit in respect of each technology or generation capacity, so that they are clearly understood by planning authorities and industry to facilitate the delivery of renewable energy infrastructure projects
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Government response AI summary
The government states that technology roadmaps associated with renewables have been referenced in the draft energy NPSs, including the Hydrogen Strategy, the CCUS investor roadmap, and the Biomass Policy Statement, and that further roadmaps will be developed as required.
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Department for Business and Trade
8
Recommendation
Ninth Report - Revised (Draft) National…
Accepted
We note that the current review of the NPS for Energy is the first to have taken place in 10 years. In order to properly take into account the rapid pace of technological change in the energy sector and the need for significant progress towards meeting our net zero target, …
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We note that the current review of the NPS for Energy is the first to have taken place in 10 years. In order to properly take into account the rapid pace of technological change in the energy sector and the need for significant progress towards meeting our net zero target, the NPS must be reviewed more frequently We recommend that the Energy NPS is reviewed every five years.
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Government response AI summary
The government accepts the recommendation and states that the need for hydrogen in the energy system is set out in section 3.4 of EN-1, which has been updated to reflect the BESS, Net Zero Strategy, Hydrogen Strategy, and government’s ambitions for Hydrogen and CCUS. Amendments …
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Department for Business and Trade
10
Recommendation
Ninth Report - Revised (Draft) National…
Accepted
As noted above, we recommend that the revised (draft) NPS, both EN-1 and EN-2, be updated to take into account the Hydrogen Strategy.
Government response AI summary
Draft EN-1 establishes an urgent need for hydrogen and CCS infrastructure. Draft EN-4 makes clear that policies and strategies are currently being developed to assist in establishing the pipelines and infrastructures that would be required to fully support the requirements for hydrogen and CCUS. No …
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Department for Business and Trade
12
Recommendation
Ninth Report - Revised (Draft) National…
Accepted
We recommend that revised (draft) EN-4 includes explicit and precise wording on hydrogen, Carbon Capture and Storage and other technologies that will more clearly demonstrate how the move away from fossil fuels will be achieved. This must specifically include reference to the infrastructure required, for example for the transmission of …
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We recommend that revised (draft) EN-4 includes explicit and precise wording on hydrogen, Carbon Capture and Storage and other technologies that will more clearly demonstrate how the move away from fossil fuels will be achieved. This must specifically include reference to the infrastructure required, for example for the transmission of CO2, and not just the specific types of technology used at source, such as Carbon Capture.
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Government response AI summary
The government agrees with the importance of reflecting the work of the Offshore Transmission Network Review (OTNR) and has updated the NPS to reflect the work undertaken under the OTNR. Draft EN-5 has been updated to reflect the work of all of the OTNR's workstreams. …
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Department for Business and Trade
14
Recommendation
Ninth Report - Revised (Draft) National…
Accepted
We recommend that EN-5 is updated to reflect the outcome of the Offshore Transmission Network Review (OTNR). We understand the revised Energy NPS is expected to be laid before Parliament before the OTNR is due to be completed. The Department should consider how the potential outcome of the OTNR should …
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We recommend that EN-5 is updated to reflect the outcome of the Offshore Transmission Network Review (OTNR). We understand the revised Energy NPS is expected to be laid before Parliament before the OTNR is due to be completed. The Department should consider how the potential outcome of the OTNR should be reflected in revised EN-5, but without causing significant delay to the publication of the revised NPS.
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Government response AI summary
The government agrees and has updated EN-5 to reflect the Offshore Transmission Network Review (OTNR), including references to the Holistic Network Design, and is consulting on a new policy presumption (CNP) for offshore wind.
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Department for Business and Trade