Watermead Parish Council, R (on the application of) v Crematoria Management Ltd

Watermead Parish Council, R (on the application of) v Crematoria Management Ltd

The Council lawfully exercised its planning judgment in determining that the sequential test was unnecessary due to the existing development, betterment, and analogy to minor development; no error of law or irrationality occurred, and the presumption in favour of development was properly applied.

Source-derived case information.

Parties
Claimant: Watermead Parish Council; Defendant: Aylesbury Vale District Council; Interested Party: Crematoria Management Ltd
Jurisdiction
England and Wales
Judgment Date
04 March 2016
Procedural Posture
Judicial Review / Final Judgment
Outcome
Claim dismissed
Legal Topics
Flood Risk Assessment, Sequential Test, Presumption in Favour of Development, National Planning Policy Framework, Material Considerations
Planning Law Administrative Law Flood Risk Assessment Sequential Test Presumption in Favour of Development National Planning Policy Framework Material Considerations

Source-derived case record

Summary, issues, holding and outcome

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Parties

Watermead Parish Council

Claimant

Aylesbury Vale District Council

Defendant

Crematoria Management Ltd

Interested Party

Procedural Posture

Judicial Review / Final Judgment

  1. 1 Whether the Council unlawfully applied the presumption in favour of development under NPPF paragraph 14
  2. 2 Whether the Council unlawfully failed to carry out the sequential test for flood risk

Ratio Decidendi

The Council lawfully exercised its planning judgment in determining that the sequential test was unnecessary due to the existing development, betterment, and analogy to minor development; no error of law or irrationality occurred, and the presumption in favour of development was properly applied.

Court Disposition

Claim dismissed