Showing posts with label Principal Heritage Officer. Show all posts
Showing posts with label Principal Heritage Officer. Show all posts

Thursday, 25 June 2020

1 Morland Gardens planning application – how significant is “significance”?

Guest blog by Philip Grant, in a personal capacity

Back in February, I first wrote about the 1 Morland Gardens planning application (Housing or Heritage? Or both?), under which Brent Council propose to demolish a locally listed Victorian villa in Stonebridge, to build a new adult education college and 65 affordable homes on the site.

2 Morland Gardens (not No. 1) - this is the "twin" Victorian villa. (Photo by Harry Brown)

Because of some defects in the original application, identified from “consultee comments”, a new batch of plans and documents has recently been submitted. Public consultation is now open again on application 20/0345, until Thursday 16 July. One of the new documents is a Heritage Impact Assessment (“HIA”) [see copy below], and this is what raises the important question in my title.

Locally listed buildings are those which have been identified by a Council as “heritage assets”.  “Significance” for planning purposes is defined as: “The value of a heritage asset to this and future generations because of its heritage interest. That interest may be archaeological, architectural, artistic or historic.”

Brent’s planning policies (like national ones, and the London Plan), acknowledge the importance of heritage assets, and set out how they should be protected when there are any proposals affecting them. The policy states: ‘The council will resist significant harm to or loss of heritage assets.’ Anyone considering a development should start with ‘an understanding of the architectural or historic significance of the heritage asset and its wider context.’
 
Brent Council is capable of doing this, as the current application for the locally listed Clock Cottage at Kenton Grange shows. Those plans conserve the old cottage, while building assisted-living flats for disabled people around a courtyard (former stables) behind it. Unfortunately, whoever was giving planning advice, to the Council Officers / Lead Member for the 1 Morland Gardens scheme, either did not understand the policies over heritage assets, or thought they could be ignored (because it was a Council scheme, Planning Committee would “rubber stamp” it?).

When the original application was submitted in February, Brent's planning agents claimed that the locally listed Victorian villa had 'minimal significance', without providing much evidence to support that, and ignoring existing evidence (such as Brent's existing local listing assessment, which gave it a significance score of 8 out of 12). Local historians knew this was nonsense, and launched a campaign to save the building (originally known as “Altamira”)’. Their petition, asking the Council not to demolish the building, achieved 368 signatures.

Cutting from the "Brent & Kilburn Times", 5 March 2020.


I submitted my objection comments in early March, explaining in detail why the application’s assessment of heritage significance was false, and recommending that Planning Officers should advise their Council colleagues to withdraw the application. This appeared to have no effect.


In April, a copy of the comments on the application by Brent's Principal Heritage Officer was obtained. He said that 1 Morland Gardens 'should be considered an important local heritage asset of high significance.' He also pointed out that the applicants (Brent Council) had not provided a proper appraisal of the heritage asset, and the impact of their proposals on it, as required by Brent's own planning policies, and said 'the applicants should seek further advice from a heritage specialist to gather further evidence in support of this application.'


The June 2020 HIA is in response to the Principal Heritage Officer’s comments. The document was prepared on the Council's behalf by Messrs Lichfields, who describe themselves as 'the pre-eminent planning and development consultancy in the UK.' Lichfields report was prepared by heritage specialists, but they were aware why their client (planning agents, acting on behalf of Brent Council) needed that report, at such a late stage in the planning process - to support their planned demolition of the building!


In the introduction to their report, Lichfields make clear that: 'The overview of the significance of the heritage assets has been undertaken using a combination of desk-based study and archival research.' They go on to say that: 'Fieldwork was not possible due to the current Covid-19 situation.' In other words, they only looked at a limited number of documents, and did not come to look at the building, its setting or the surrounding area. 


Despite the limited material available to them, they reached the conclusion: 'the building is of low significance’. Explaining how they reached this conclusion, their report says: ‘The methodology for our assessment of significance draws from the NPPF, HE’s Conservation Principles and the DMRB.’ The table they show for the criteria used is taken from the DMRB, and their conclusion is also: ‘In summary and according to DMRB significance criteria (set out in Section 1), the building is of low significance as it is of low historic and architectural importance and of local interest only.’ 


DMRB? No, I hadn’t heard of it either. It is actually the Design Manual for Roads and Bridges, issued by Highways England in 2019, as guidance for designing national infrastructure projects such as trunk roads and motorways. Your guess, as to why the HIA used those criteria, may be similar to mine – to get the “right” result for their client! Why not use Brent’s own significance scoring criteria for locally listed buildings, which was adopted by the Council’s Planning Committee in July 2015?

The HIA does refer to that system, claiming that the significance score for 1 Morland Gardens should be 6 out of 12, rather than the 8 out of 12 given to it for its entry in Brent’s local list. I will explain why I believe they are wrong.


One of the “sources” their desk-based assessment used for considering the historic development of the area was a “Brief History of Stonebridge”, produced by the Grange Museum and Brent Archives. The author of that booklet has already submitted an objection comment, pointing out that a quotation used from it was taken out of context. The HIA had used ‘it was never as grandiose as its planners had originally intended’ to play down the importance of the 1876 Stonebridge Park development. The author had actually compared the smart villas built to the scene originally envisaged in a lithograph by the architect.

H.E. Kendall Junior's lithograph of his proposed estate development, c.1872. (Brent Archives image 1776)


The HIA devotes just eight lines to assessing the historic significance of 1 Morland Gardens, before marking down its score to just 1 out of 3. The author of the booklet, who became an expert on the local history of Brent in his 17 years at our Museum and Archives, has made clear that this assessment is totally flawed. Its key statements are that Stonebridge Park ‘was typical of the late-19th century suburban expansion of London,’ and that ‘1 Morland Gardens is not a rare survival, but typical of the eclectic late-Victorian villas seen across Brent. Therefore, the historic significance of the building is considered to be lower than originally assessed, scoring 1/3.' 

The entrance to Stonebridge Park from Hillside, c.1905. (Brent Archives online image 7914)
 

The 1876 development, was the first housing development in this part of Willesden, and gave its name to the Stonebridge Park area. It was built when Willesden’s population was around 25,000, before the massive late-Victorian influx that saw most of the area’s mainly working-class housing constructed, and the population rise to 114,000 by 1901. Added to this, 1 and 2 Morland Gardens are the only two surviving Italianate-style villas in Brent, so they are rare survivals. Any change to the existing historic significance score should be up to 3/3, not down to 1/3.

 1 and 2 Morland Gardens from Hillside, February 2020.

The other significance criteria that the HIA seeks to mark the building down on is its authenticity.


Because it ceased to be a private house 100 years ago, and has undergone internal alterations several times since then, Lichfields argue that the building is ‘much altered’, and therefore only worth 1/3. But the alterations had already been taken into account when Brent scored it 2 out of 3. It is the authentic Victorian outside appearance of the villa, in its setting with the similarly styled 2 Morland Gardens, which has hardly changed since they were built, which makes them so valuable and significant. Just compare the two views above, taken 115 years apart!


If you agree that the Victorian villa at 1 Morland Gardens has a high significance, not a low one, and that it still has value to this and future generations, then I hope you will help to persuade Brent Council that it should not be demolished. The planning application, 20/0345, is open for public consultation again, and you can submit your comments (hopefully objecting to the plans to demolish “Altamira”) on the planning website


Significance is significant. We can try to ensure that the true significance of this building is what decides the planning application, not the false appraisal of it presented in the Heritage Impact Assessment!


Philip Grant.

THE HERITAGE IMPACT ASSESSMENT



Wednesday, 29 April 2020

1 Morland Gardens should be considered 'an important local heritage asset of high significance' - Brent Heritage Officer



The proposals for the redevelopment of 1 Morland Gardens on a prominent corner site in Harlesden/Stonebridge have attracted much controversy over the loss of a well-loved landmark in the Italianate style villa presently occupying the site. LINK  There has been an argument about its relative heritage merit and whether alternative proposals should be considered which would preserve the villa. LINK

Brent Council have kindly supplied me with the advice of the Council's Principal Heritage Officer which I hope will be given due weight.


Application Number 20/0345

Consultee Details 

Name: Mr Mark Price Principal Heritage Officer
Email: mark.price@brent.gov.uk
On Behalf Of: Principal Heritage Conservation Officer 


Comments 

SIGNIFICANCE: 1 Morland Gardens is a Locally Listed Building [a non-designated heritage asset] but not in a conservation area nor a statutory listed building. The local list description (attached) confirms and sets out its significance. It has a significance score of 8 out of 12 and therefore it should be considered an important local heritage asset of high significance. 

ADVICE:
The Heritage Statement submitted with the planning application [at 8.8] confirms the authenticity and the intactness of the building and therefore its relative significance and states that Externally, the Victorian house remains mostly intact and The houses south-facing façade still makes an impression on those passing along Hillside. However, although the report considers the history and use of the building, it does not put it into the immediate local context of Stonebridge nor as a building type within the Borough of Brent. It is therefore difficult to come to any judgement about its potential loss. Furthermore, it does not make a case for its demolition or give any comment on the merits of the replacement building. 


The NPPF at paragraph 8 states that an Analysis of relevant information can generate a clear understanding of the affected asset, the heritage interests represented in it, and their relative importance. It goes on to point out at paragraph 9 that Applicants are expected to describe in their application the significance of any heritage assets affected, including any contribution made by their setting (National Planning Policy Framework paragraph 189). In doing so, applicants should include analysis of the significance of the asset and its setting, and, where relevant, how this has informed the development of the proposals. 

Unfortunately, such information has not been provided. 

Brents DMP 7 [b] is quite clear that applicants should provide a detailed analysis and justification of the potential impact (including incremental and cumulative) of the development on the heritage asset and its context as well as any public benefit and [at c] argues to retain buildings where their loss would cause harm. With this in mind, the applicants should seek further advice from a heritage specialist to gather further evidence in support of this application. The specialist might offer different conclusions or mitigation measures for the Council to consider. 

I am aware that the D&A Statement at section 5.1, Heritage, alludes to the fact that the Design Team have carefully considered a wide range of development options for the application site, including options that retain the historic core of the building. Also that the proposed building is not without considerable design merit. However, the development options need to be carefully set out and argued as part of the planning application and form part of the heritage statement along with the architectural merits of the new design as well as the other public benefits [as defined by the NPPF] to countenance demolition. 

In my view, therefore, this additional information needs to be obtained before a proper assessment of the proposals can be determined.