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CRR IV FEIR ~ 26042010 [FINAL].pdf - Environmental Projects

CRR IV FEIR ~ 26042010 [FINAL].pdf - Environmental Projects

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EIA FOR THE PROPOSED LANGEZANDT QUAYS DEVELOPMENT IN STRUISBAAI HARBOUR: <strong>CRR</strong><br />

3.1.64<br />

81, 79, 95, 85, 84,<br />

90, 160, 162, 164,<br />

154, 155, 156, 157,<br />

158, 153, 150, 151,<br />

116, 102, 103, 101,<br />

99, 100, 98, 92, 94,<br />

163, 174, 175, 176,<br />

177, 178, 33, 179,<br />

180, 181, 182<br />

The draft report uses distorted images in<br />

which the proposed 4 storey building is<br />

made to appear just higher than a 2 storey.<br />

Please refer to Section 3.1.12, 3.1.13 and<br />

3.1.15 of this Comment and Response<br />

Report.<br />

Process<br />

3.1.65<br />

3.1.66<br />

3.1.67<br />

3.1.68<br />

David McKinstry<br />

(21)<br />

David McKinstry<br />

(21)<br />

Evan Meirion<br />

Williams (31)<br />

Neville Van der<br />

Westhuizen (71)<br />

The precedents cited of other buildings in<br />

the area are misleading. Firstly those that<br />

have circumvented the two storey limit by<br />

fraudulent or other means including<br />

planning authority incompetence can never<br />

constitute a new set of regulations.<br />

The examples given are largely irrelevant<br />

because they are either on sloping ground<br />

so that at least one side is only two stories<br />

above ground level, or they are situated<br />

against a mountain, or they do not<br />

substantially interfere with neighbour‟ views.<br />

The developer is clutching at straws in<br />

regard to precedent.<br />

I have a major problem with the way the EIA<br />

was presented to a carefully orchestrated<br />

group of 22 affected parties. This underlined<br />

the partiality of the presentation and the<br />

lack of independence of the Aurecon group<br />

The Draft EIA Report is flawed, it is biased<br />

and is in favour of the developer's proposal.<br />

Your point is noted. The other examples<br />

merely point out what has been deemed<br />

acceptable by the public and how it compares<br />

to the proposed design.<br />

Please refer to Section 1.7.145 of this<br />

Comment and Response Report.<br />

All registered I&APs were invited to attend the<br />

October public meetings. A public meeting is<br />

not mandatory for the draft EIR phase and<br />

thus is viewed as a step in the EIA process to<br />

provide registered I&APs with an opportunity<br />

to engage with the EAP. All documents are<br />

available for the public to scrutinize in detail<br />

as required.<br />

Strongly disagree. Please refer to Section 1.8<br />

of the <strong>FEIR</strong>.<br />

Process<br />

Process<br />

Process<br />

Process<br />

I:\ENV\PROJECTS\401807~Struisbaai\Public Participation\Comments & Response\EIR\<strong>CRR</strong> <strong>IV</strong> <strong>FEIR</strong> ~ <strong>26042010</strong> [<strong>FINAL</strong>].doc 137 of 193

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