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PA0043
P.A.Reg.Ref:
An Bord Pleamila
Charlotte Sheridan
Sheridan Woods Architects.
10 Adelaide Road,
Dublin 2.
An Bord Pleanala has received your recent submission in relation to the above mentioned proposed development and will
take it into consideration in its determination of the matter. A receipt for the fee lodged is enclosed.
The Board will revert to you in due course with regard to the matter.
Please be advised that copies of all submissions I observations received in relation to the application will be made
available for public inspection at the offices of Dublin City Council, Fingal County Council and South Dublin County
Council and at the offices of An Bord Pleamila when they have been processed by the Board.
If you have any queries in the meantime please contact the undersigned officer of the Board. Please quote the above
mentioned An Bord Pleami.Ja reference number in any correspondence or telephone contact with the Board.
Yours faithfully,
Encis.
ADHOC/PA0043/0 1
Sr;iid Manilnhridc.
Duhhn I
Paul O'Neill
National Paediatric Hospital Development Board
CIO G.V.A. Planning & Regeneration
Floor 2, Seagrave House
19-20 Earlsfort Terrace
Dublin 2
5th October 2015
If you have any queries in relation to the matter please contact the undersigned officer of the Board.
Please quote the above mentioned An Bord Pleamila reference number in any correspondence or telephone contact with
the Board.
Yours faithfully,
Encls.
PA08.LTR
-,;~ I
Tcil 101) XSX KIIKt Tel
Glao Aitiuil I K!lt 115 175 LoC.tll
An Bord Pleaml.la
Your Ref:
En cis.
ADHOC/PA0043/02
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An Bord Pleamila
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lfnSomers
x cutive Officer
Direct Line:O 1-8737107
Encls.
ADHOC/PA0043/02
Sraitl Mamlhhrit.lc.
ll.ulc Ath;t C liath I
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.Street
L>uhlin I
An Bord Pleamila
Your Ref:
I I
Chief Executive Officer
South Dublin County Council
County Hall
Tallaght
Dublin 24
5th October 2015
Re: Health Infrastructure Development comprising National Paediatric
Hospital, Innovation Centre and Family Accommodation Unit at St
James' Hospital Campus, Satellite Centres at Tallaght & Connolly
Hospitals and Construction Compound at Davitt Road, Dublin.
Dear Sir/Madam,
Enclosed for your information are two copies of submissions received by the Board in relation to the above mentioned
proposed development.
Please ensure that a copy of each submission is available for public inspection at the offices of the planning authority.
If you have any queries in relation to this matter please contact the undersigned officer of the Board. Please quote the
above mentioned An Bord Pleanala reference numberin any correspondence or telephone contact with the Board.
Yours faithfully,
ran Somers
cutive Officer
Direct Line:O1-8 737107
Encls.
ADHOC/PA0043/02
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AN BORD PLEANALA
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0 2 OCT 2015
L.TN.OATID
PL.
Prepared By
Sheridan Woods, Architects+ Urban Planners,
10 Adelaide Road, Dublin 2
October 1, 2015
Date Of Receipt Of Application By An Bord Pleanala
Final Date For Submissions
An Bord Pleanala Register Reference
10 August 2015
2 October 2015
29N.PA0043
II
IRISH PUNNING
t SJou t
Chorlollo
SWAUP
Kovfn Woods, SWAUP
Atc t11toct and Urban OoslgnOf, Dip Atch BAtch Sc MSc Urban Ooslgn MRIA'
T/A Shorldon Woods Arc hltocts + Urban PlannOfS Ltd RoglstOfed In Ireland Reg No. 3752~ VAT
P"OM.--t
SHERIDAN WOODS
1.0
Introduction
This submission has been prepared by Sheridan Woods Architects + Urban Planners Ltd, on
behalf of our client, Ms. Maria Conway of 47 Brookfield Road, Kilmainham, Dublin 8. Our
client wishes to object to the proposed development and we request that the development is
refused planning permission. We enclose here a cheque to the sum of 50.00 being the
appropriate fee. We set out here an over view of the overall development of the proposed
National Children's Hospital, and Family Accommodation Unit and set out grounds for refusal
in relation to the overall development, and with particular attention to the potential planning
impacts of the development on our clients property, No. 47 Brookfield Road.
2.0
Context
The site for the proposed new children's hospital and associated Family Accommodation Unit
relates to the western section of the existing St. James's Hospital Campus contiguous to the
South Circular Road, Brookfield Road and Cameron Square.
The South Circular Road is characterised by two storey dwellings, set back from the pavement
with front gardens enclosed by railings. The South Circular is lined with mature deciduous
trees and presents a formal appearance. Brookfield Road comprises more varied house types
along the street, principally two storey dwellings, the dwellings to the west of the street are two
storey with the entrance and front garden up a number steps above the street, while the
dwellings to the east are two storey and entered at street level, also with front gardens
enclosed by railings. The dwellings to the eastern side of the road back onto the hospital
grounds. There are two single storey cottages along the street at the entrance to Cameron
Square. Cameron Square is accessed off Brookfield Road and comprises two storey dwellings
formally arrange in a square, with front gardens enclosed by railings. All three residential
areas present their own distinctive character, and benefit from a strong sense of place.
St. James Campus presents a two storey high rendered boundary walls to the South Circular
Road, with an entrance to the Campus from Brook Field Road, and further high walls and red
brick hospital buildings facing Brookfield Road. This boundary is characterised by trees, some
of which are mature specimens, they are located both along sections of the hospital boundary
and internally which are visible from the South Circular Road and Brookfield Road.
3.0
Proposed New Children's Hospital and Children's and Family Accommodation Unit
The proposed New Children's Hospital is proposed as a rectangular block facing St. James
Walk to the south, the South Circular Road, and Brookfield Road to the west, and the northern
and eastern facades are internal to the campus. It includes the replacement of the existing
boundary with a new boundary, a 'moat' separating the building from the street along the
'south fingers', a set back building line for the proposed podium structure, that further steps
back to an upper level Pavilion ward blocks. The building line steps in along the western
facade to create an entrance to the New Children's Hospital at Brookfield Road.
The proposed Family Accommodation unit will include the replacement of the existing
boundary wall to Brookfield Road, and the development the new building to the street edge.
The proposed building form returns into the campus, forming the new entrance to St. James
Campus. The Family Accommodation Unit extends to the rear of existing dwellings on
Brookfield Road and Cameron Square.
4.0
02 OCT '015
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SHERIDAN WOODS
4.1
4.2
4.2.1
Plot Ratio
The indicative plot ratio of Z151and is 0.5-2.5 in the Dublin City Development Plan. Plot ratio
is a tool to help control the bulk and mass of buildings. It expresses the amount of floor space
in relation (proportionally) to the site area.
The NCH Planning Report indicates that:
'The new children's hospital building, including the family accommodation unit (excluding the
Children's Research and Innovation Centre), measures 92,031sq.m. (above ground) on a site
of 48,350 sqm., which results in a plot ratio of 1.90'
We contend that the plot ratio expressed for the proposed development is not an accurate
representation of the extent of development proposed.
For the purposes of calculating plot ratio. it is conventional, and appropriate to calculate the
site area to include only such land as lies within the t artilage of the related buildings. It is
inappropriate to include the lands outside the site boundary or building line. Including these
lands gives a distorted view of the distribution of the bulk of the building fonns on the sites.
The red line boundary indicated in the proposed development drawing extends to the centre of
the road to the west, and it incorporates the linear park to the south. Furthennore the
cumulative site area includes the roads that separate the distinctive development areas within
the overall development. Appropriate site boundaries are illustrated in Figure 1 below.
In this regard we submit that the plot ratio should be calculated for the distinctive development
parcels independently including the Family Accommodation, and the New Children's Hospital.
To illustrate this we have indicated the configuration of these parcels whic
l.TR..OAlEO 47 Brookfi~:~~~~~I.WW!i~
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SHERIDAN WOODS
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37,556
sqm
87677
2.3
sqm
Family Accommodation
Site area within the a artilaae of FamilY Accommodation Site
Total area development proposed above ground Family
Accommodation
Plot Ratio
B_ _ __,
sqm
s7sn
20,000
sqm
101.sn
sqm
2.9
2348
sqm
4024
sqm
1.7
Based on this calculation, the actual plot ratio for the New Children's Hospital is the upper level
of the 'indicative plot ratio' indicated in the development plan. This is inappropriate in the
context of a 'transitional zone', and together with the proposed extension to the hospital, the
eventual plot ratio will exceed the development plan standard.
4.2.2
Site Coverage
The development plan indicates that 'Site coverage is a control for the purpose of preventing
the adverse effects of over development, thereby safeguarding sunlight and daylight within or
adjoining a proposed layout of buildings. Site coverage is the percentage of the site covered by
building structures, excluding the public roads and footpaths. '
The development plan standard for Z15 land use zoning is 50% of the site. On the basis that
the site coverage excludes public roads and footpaths, the site areas as calculated in the plot
ratio assessment above apply (Appropriate site boundaries as illustrated in Figure 1 above) In
this regard the site coverage standards achieved are as follows:
lssue002C_October 1, 2015
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SHERIDAN WOODS
37,556
A
18.JJ 1 ~in
---
.sqm=
1\ f'l.l R 1
1RD PLEAr-4ALA
-- BY -
.I l_M_E
~%
~ 2 OCl 20\5
~IR ATI
~m
300
~l
FROM
1666
23047
61%
Total Area
Site Coverage
Family Accommodation
Site area within the curtilage of Family_Accommodation Slle
Total ground cover of Family Accommodation
Site Coverage
sqm
2348 __gm
1388
sqm
59%
Based on this calculation, the actual site coverage for the New Children's Hospital is the upper
level of the 'indicative site coverage' indicated in the development plan and together with the
proposed extension to the hospital, the eventual site coverage will significantly exceed the
development plan standard. Furthermore, the site coverage for the Family Accommodation
also exceeds the Development Plan standard. In the context of the location of the proposed
development in a 'transitional zone' this scale of development is contrary to the development
plan standards.
4.2.3
Building Height
The development plan indicates that the maximum height standards set out at section 17.6
shall have precedence over the indicative Site Coverage. Notwithstanding, the contention that
the proposed development conforms with the Development Plan Site Coverage standards in
the development proposals, building heights will take precedence. Dublin City Development
plan is prescriptive in terms of permissible building heights. The development plan defines the
permitted height for various areas in the Dublin context which is as follows- unless otherwise
approved in a local area plan: The St. James Campus is located within the area defined as the
inner city. This area is categorized as 'Low- rise (relates to the prevailing local height and
context)'. The permitted height is 'Below 28m' for commerdal development.
The development plan indicates that 'For the sake of clarity, plant rooms are included in the
height definition.' Also that: 'No height greater than that specified for the inner city category will
apply until a LAP is adopted. '
The development comprises a parapet building height of 12.6m, to 14.1m including the
proposed balustrade above ground level facing the South Circular Road, stepping up to a roof
height of 34.95m and 37 .95m to chimney height. Accordingly, the roof height exceeds the
permitted development plan height of 28m by 6.95m, and if permitted would materially
contravene the Development Plan.
The planning report relies on previous planning permissions as precedence, in particular the
Mercer's Institute for Successful Ageing (MISA) (3607/12), and the Co-Located Private
Hospital (Dublin City Council 2751/09 ABP Ref Pl29S.236070). We have illustrated the
building alignment and form of the previously permitted Co-Located Hospital in Figure 2 below.
The MISA building height to the top of the roof permitted is 28 metres, the proposed height in
metres to parapet is 29.1 metres and for a small section of the stair access core is 30.85
metres. This development generally conforms with the current development plan standards,
and given its context opposite existing 6 I 7 buildings at Herberton, it is more contextual with its
immediate environs. This development is lower in building height than the proposed National
Children's Hospital.
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SHERIDAN WOODS
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0 2 OCT
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The pennitted Co-Located Private Hospital located on part of the site of the proposed New
Children's Hospital comprised an eight storey block with roof level at 52.96 AOD Malin Head 1
32.85m over ground level. The top of the proposed parapet is set at 54.4 AOD or 34.29m over
ground. The eight storey block however, was set back from the South Circular Road by
40.5m. Also the foot print of the podium block was 60m in length along the South Circular
Road, with a set back, and further 13.5m length totaling 74.5m length. While the roof height of
the current proposed development is generally consistent with the previously proposed private
hospital, there are notable differences. The taller element of the previously pennitted private
hospital comprised a significantly smaller footprint of 95m length, and 20m width presenting a
slender building fonn that was substantially set back from the South Circular Road.
It is also notable that the previously grant of pennission for the private hospital development
has expired (Pennission granted in June 2010). The application was determined before the
adoption of the current development plan where height restrictions are more prescriptive.
There was no application to extend the duration of the permission, and we submit that it is
unlikely that the development would have been granted an extension of duration of permission,
on the basis that it would materially contravene the development plan in terms of building
height.
Accordingly the overall height of the proposed national Children's Hospital exceeds the
development plan. It is not reasonable or appropriate to rely on the precedence of the
previously permitted developments on the basis that the setting of the MISA contrasts with the
setting of the proposed national Children's hospital and is accordingly not comparable, and
also on the basis that the overall configuration of the previous co-located hospital contrasts
significantly with the current proposals in footprint, and building set backs and is also not
comparable.
4.4
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SHERIDAN WOODS
4.4.1
Overshadowing
The overshadowing analysis carried out in Chapter 13 of the EIS demonstrates that the
proposed development will cause overshadowing along the South Circular Road, and
Brookfield Road in the morning from early morning to mid morning. We note that the
assessment of the previously permitted co-located private hospital did not generate
overshadowing primarily due to the separation between residential properties and the upper
elements of the development, and the orientation thereof. (As noted in the Inspectors Report
PL29S.236070).
Given the separation distances and the proposed heights, the proposed development will
result in generating adverse overshadowing to the South Circular Road and Brookfield Road in
particular. The extent of overshadowing will result in the loss of sunlight on the street, and
consequently the overall appearance, ambiance and amenity of the streets, and a reduction in
the sunlight currently enjoyed by the residents of the South Circular Road and Brookfield Road
in particular.
4.4.2
Overlooking
The distances proposed between the proposed development and the existing residential
development are set out in the table here.
Location
Distance
Opposing Use
Previously permitted
Setback from existing
buildings
(12.5m tram boondry 10 plinth,
and 40m tram boondry to
towerelementl
32.5m
Setback from front wall
or dwellings to plinth
level
(20m to sile boundary,
with 12.5m setback)
60.&m set back rrom
front wall of dwelling to
tower
(20m to site boundary,
40.5""
ANAnR tlPLEANALA
to 'South Fingers'
to Floating Garden
Outpatient (Gnd)
Wards (Level1)
Davcare (Level 2)
Therapies (Level 3)
to Pavilion Ward
Wards
BV
TIME
02 OCT 2015
25m to garden
45m to accommodalion
LTRDAit.u
FROM
Pl
South Circular Road I
Junction with
Brookfield Road
to South Fingers
to Floating Garden
lo edge of Floating
Garden
to Pavilion Ward
NIA
Outpatient (Gnd)
Wards (Level 1)
Davcare (Level2)
Corporate Services I
offices
Open Space
38m
21.9m
49.4m
Brookfield Road
to Family
Accommodation
-7-
33.5m
SHERIDAN WOODS
NJA
Cameron Square
to gable of Family
Accommodation
Ground Floor
18.6m
First Floor
Second Floor
to 'North Flpgers
The development plan requires a separation of 22m between 2 storey dwellings in order to
protect their amenity. This standard is applicable in this context. This standard is not met
along the South Circular Road in relation to the New Children's Hospital, it is not met on
Brookfield Road in relation to the Family Accommodation Unit, and it is not met in relation to
the rear of Cameron Square. Furthermore, this distance is a minimum distance, and greater
distances should be provided where buildings exceed two storey in height.
The previously permitted co.located hospital development on part of the New Children's
Hospital site was positioned 12.5m from the St. James Boundary, which allowed for 32.5m
distances between opposing structures on the South Circular Road. The proposed
development is a significantly closer than the previously permitted development.
The proximity of three storey with a roof garden, stepping to four story. and a further three
storey structure facing the existing two storey structures will cause adverse overlooking that
will significantly detract from the amenity of the existing dwellings on the South Circular Road,
Brookfield Road, and Cameron Square. The proposed development is below and just within
the minimum distances required in the development plan for the lower level structures where
over1ooking is likely. Furthermore, given the height of the opposing structures at the lower and
upper levels, there will be a significant altered perception of overlooking generated and
resultant loss of residential amenity of the existing dwellings on the South Circular Road,
Brookfield Road and Cameron Square that will be visually obtrusive and have an overbearing
impact on the amenity of the residents. .
4.5
. LA
N aORO PLEANA
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0 2 oct 2o\s
FROM _ __,
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-8-
SHERIDAN WOODS
Existing Amenity
The front of the dwelling enjoys early
morning eastern sunlight from sunrise to mid
morning.
The dwelling faces an existing concrete
blockwork wall and a two storey structure
that fonns part of the hospital.
The street is characterised by two storey
structures.
Proposed Development
The proposed Family Accommodation Unit is
located to the east of the dwelling. The FAU
presents an 11.95m high facade that steps
up to a 15m high structure facing the
dwelling. The separation distance between
the new structure and the existing dwelling is
View Of Dwelling
14.16m
4.5.1
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Source: Extract
New Children's Hospital Phon,nlnn
Application Drawing BOP O'Connell Mahon Architects
level 00; Cropped by Sheridan Woods, 2015
Facades Facing The Rear of No. 49 Brookfield Road
AN BORD PLEANALA
TIME_ _ _ _ BY_ _ _- - t
02 OCT 2015
LTRDAlED
FROM- - - - - 1
PL
Issue 002C_October 1, 2015
-9-
SHERIDAN WOODS
Overshadowing
The EIS assesses the impact of the development on adjoining property, No. 49 Brookfield
Road and specifically calculates the Vertical Sky Component, and the access to sunlight. A
reduction in both in noted for both dwellings and the proposed Family Accommodation Unit is
the primary contributor to this reduction.
While the existing sky component and access to sunlight from the front of the property is low
for both dwellings, the combination of the proximity of the AFU and the reduction in the sky
component and access to sunlight will represent a serious depreciation in the enjoyment of
our client's property. This significantly detracts from the amenity of our clients property.
Overlooking
The separation distance between the Family
Accommodation Unit and the front fac;ade of
No. 41 is just 14.16m. The proposed ground
floor conference room will obliquely face the
living window of our clients property, and
bedrooms at first floor.
AN BORO PLEANA
TIME
BV----+--1
02 OCT 2015
I
TR-DATED
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FROM
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Pl
Landscaping
The landscaping plan suggests the provision
of street trees adjoining the proposed family
Accommodation opposite our client's
property.
-10-
SHERIDAN WOODS
Based on the above analysis and previous findings we submit the following to An Bord
Pleanala:
The close proximity of the family Accommodation Unit opposite the front facade of our
clients property will be visually intrusive and have an overbearing impact on the
amenity of our clients property.
The proposed development will result in the loss of sunlight to the property in particular
in the morning at sun rise to mid morning,
The proposed development will result in the loss of vertical sky component as a
consequent of the proximity and height of the proposed development, and will have a
closing effect on the dwelling.
The proposed development will generate adverse over1ooking as a consequence of
proximity and separation distance between the proposal and our clients dwelling, and
will result in the loss of privacy enjoyed by our client.
The change in scale of development along the street is incongruous and detracts from
the integrity of the two storey architectural character of the street of the street.
The provision of the new entrance to the hospital northwards to Brookfield Road will
result in a significant change of use along the street, giving a sense of being part of the
hospital activity and will detract from the existing residential amenity. This will have a
particular impact on our clients property.
The scale of new development along the street, together with the intensified hospital
use on the street will significantly erode the existing sense of place currently enjoyed
by the Brookfield Road community.
The increased traffic will significantly alter the character, noise levels, and
environmental quality of the street.
There is insufficient space along the proposed footpath to accommodate the proposed
street trees to the front of the proposed Family Accommodation Unit.
It is requested that the proposed development is refused permission on these grounds.
Mitigation Measures:
If it is intended to permit the proposed development, we request that the Family
Accommodation Unit is redesigned to take account of the negative impact that the structure
has on the amenity of our client property and the provision of additional landscaping. in this
regard we request the following:
4.6
That the building is set back further to increase the street width, that the overall height
of the structure is reduced to limit the enclosing and overbearing impact.
We request that the street pavement is designed to allow for the successful planting of
new street trees opposite our clients property adjoining the proposed Family
Accommodation Unit.
That the extent of tree planting is increased to the front of the Family Accommodation
Unit to further lessen the immediate impact to our clients.
That landscaping, such as the provision of a line of trees is positioned to the edge of
the proposed plaza, to create a separation between the proposed entrance to th~
hospital, and Brookfield Road. The purpose of this is to limitthe ~t:me - c:; ANALA
residents on Brookfield Road to the activity of the Hospital, an~~~~Q..Pdfme
main entrance from Brookfield Road in order to maintain the ntity_of Brookfield B~ L ----,
distinct neighbourhood, and not part of the overall hospital ca ii~E---
01 OCl 20\S
Impact On Streetscape
In addition to the impact of the proposed development on the residentia amen~y ..oJ""
fR~ _
surrounding properties, the scale, massing and design of the proposed U1b~
have a considerable negative impact on the immediate streetscape and lthliJ~(a~ct
~e;r~o~f~i#l~f:::;::::::::;;
The existing South Circular Road, Brookfield Road, and Cameron Squart
rom
a strong sense of place and identity. Paragraph 16.1.8 of the Development Plan gives
guidance on urban form and architecture, and indicates that urban blocks should be designed
to promote permeability and walkabllity, thereby integrating with the existing urban fabric. It is
reasonable that the hospital campus should conform to this aspiration. The development plan
indicates that urban block lengths greater than 1OOm should be avoided. Developments should
relate to the local context of building patterns or typologies.
11
SHERIDAN WOODS
The photomontage views of the proposed development however illustrate the visual impact of
the proposal on the neighboring streets and demonstrate the vast scale of the proposal relative
to the existing local context. The proposed building 'moat' separating the street edge and the
building, the proposed setback at third floor with intensive planted roof garden level is
incongruous, and the curved three storey form is discordant.
Furthermore, the continuous length of the urban block measuring over 1OOm facing James
Walk, and greater than 200m along the South Circular Road, and Brookfield Road presents an
building scale that is contrary to the local and city building block. This is notably illustrated in
Appendix 5:2 of the EIS "National Paediatric Hospital- Local Regeneration Opportunitiesft
where the existing context is illustrated, the regeneration opportunities indicatively illustrated in
careful urban blocks and the proposed Children's Hospital representing the single largest
urban block (Extract included above for illustration purposes). As a consequence the overall
development will overwhelm, detract from and result in the Joss of the existing local character.
4.7
SHERIDAN WOODS
children's hospital site, and which will set a precedence for the further over development of the
remainder of the site in order to meet the strategic health needs. We submit that this does not
represent proper planning and sustainable development.
--~- --
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0 2 OCT l.u 5
Figure 4 Extract From Draft Site Capacity Study
Source: Extract From St. James Campus Site Capacity Study BOP O'Connell M(h~YJl
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hit~ect
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4.8
to ensure that the impact of the traffic proposals will not exacerbate the existing traffic and
transport context. The marginal manner in which traffic is managed to ensure that increased
levels in traffic and associated impacts are kept to a minimum suggests that the site and
adjoining road network does not have the capacity to accommodate the proposed
development in accordance with proper planning and development.
In relation to car parking, there is currently significant pressure on car parking in the locality.
The reliance on the modal shift from car use to public transport while commendable is
ambitious. Furthermore, the development has the potential to result in the loss of existing car
parking spaces at Brookfield Road in particular. It is submitted that there will be inadequate
parking available for residents in the area who rely on on-street parking, as a consequence of
the development during the construction period, and the following operation of the
development.
lssue002C_October 1, 2015
13 -
SHERIDAN WOODS
Concluding Comment
Notwithstanding the Strategic Infrastructure Development status of the proposed development
and its importance to the future development of the City and the State, the proposed
development of the New Children's Hospital does not conform with the proper planning and
sustainable development of the area and should be refused pennission.
Having regard to the provisions of Dublin City Development Plan 2011 - 2017 in
relation to 'Taller Buildings as Part of the Urban Form and Spatial Structure of Dublin'
and in particular to Polley SC17 which seeks to 'protect and enhance the intrinsic
quality of Dublin as a predominantly low-rise city and to provide for taller buildings in
the designated limited locations, it is considered that the proposed development would
exceed the defined height identified for Inner City locations, and would contravene
Dublin City Policy in this regard.
Having regard to the transitional zone area, to the height and scale of the proposed
development, its location in close proximity to residential properties adjoining the site
to the west, and by reason of overbearing aspect, excessive over1ooking, and visual
intrusion and that the development is an abrupt transition between the Z15 and
residential land use zoning (zone 1 and Zone 2, the development does not accord with
the policies and objectives of the Dublin City Development Plan).
Having regard to the height, scale, massing of the development it would be visually
intrusive in relation to the existing character and scale of the immediate local
streetscape along the South Circular Road, and Brookfield Road. The development
would seriously injure the amenities of the area and would therefore be contrary to the
proper planning and development of the area.
The proposed development will seriously injure the amenity of our client's property,
No. 47 Brookfield Road in particular through visual intrusion, over1ooking and
overshadowing as a consequence of the location, height, and uses proposed within
the Family Accommodation Unit opposite our clients dwelling.
The capacity of St. James Hospital to accommodate the children hospital and future
hospitals is marginal, and requires further 6 and 7 storey structures over basement
levels, without any notable enhancement of the public realm, which would suggest that
the site does not have sufficient capacity to accommodate the children's hospital or
future development of two additional hospitals.
The operational and construction impact of the development on traffic in the area will
seriously Impact on the existing road network and car parking in the area, noise and
deterioration of the environment quality of the area and does not conform with proper
planning and development of the area.
In the event that An Bord Pleanala intend to grant permission, we request that the mitigation
measures presented in this submission are included in a condition attaching to the grant of
permission in order to protect the amenity of our clients property.
Our client would welcome an opportunity to present their concerns to the Board, in the event it
is intended to hold an oral hearing in respect of the proposed devetopment; cmcn:eqo~ an
opportunity to do so.
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02 OCT
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Issue 002C_October 1, 2015
- 14.
SHERIDAN WOODS
[JvwJ\otCc ~M/
Charlotte Sheridan
Sheridan Woods
October 1, 2015
Encl
An Botd Pleamila Fee 50.00
0 2 OCT
2ui~
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- 15 -