Grassmarket Hotel proposal

Posted on: August 8, 2024

The proposals risk compromising the authentic character and historical integrity of one of the few remaining historic structures in the Old Town. 

The proposals risk compromising the authentic character and historical integrity of one of the few remaining historic structures in the Old Town. 

Cockburn Response

We ask that planning and listed building consent be refused.

The Association has studied the proposals at 94-96 Grassmarket (Scotsman Group, Convery Prenty Shields Architects) for the removal of render and exposure of stonework at ground and first floor and reinstatement of side elevation window and introduction of clock feature on corner, 2 new hanging signs and lettering above the ground floor window and door – 24/03209/FUL .

We wish to object to this proposal in the strongest of terms.  The proposals risk compromising the authentic character and historical integrity of one of the few remaining historic structures in the Old Town.

The buildings subject to this application are listed with the corner tenement block being listed Category A.  The proposal sits within the Old Town Conservation Area which forms part of the World Heritage Site.  We disagree completely that the proposals represent a “sensitive alterations” to these important buildings in a highly prominent area.  Instead, they are an insensitive, ill-judged set of proposals that exhibit little understanding of the architectural form of this important building and does not meet the statutory, policy or guidance tests for such developments.

The Statutory List description describes this set of buildings as “Early 17th century with later alterations and additions. 5-storey and attic tenement with gabled stair tower to left and 4-bays with nepus gable to Grassmarket and 2-bay gable with wallhead stack to West Bow. Yellow harled with stone margins.”  A key feature of the listing is the wall finish.

Firstly, we object to the proposed stripping of harling of this building and its replacement with roughcast rendering, which we presume will be cementitious.  The nature of this type of historic wall structure was for it to be harled with a lime-based material to protect the random rubble and to provide a permeable and somewhat sacrificial weather proofing layer.  This gives the building a distinctive quality in both colour and texture.  The proposed stripping of the harling at ground level is inappropriate and objectionable as it exposes the rubble walling and serious undermines both its historic integrity and visual appearance.  Also, the replacement on upper levels by a uniform render further impacts on the quality and characteristics of to the building, much to its detriment.  If it is a cement-based render, its impervious nature will prevent necessary moisture flow through the masonry, leading to increased moisture levels in the walls and interior spaces which could lead to other problems like dry rot.  Additionally, the resulting “banding” across the elevation serious affects its legibility as a single building.  The proposals suggest , a fundamental lack of understanding of the heritage importance of the buildings and  of historic building conservation.

Secondly, we also object to the proposed projecting clock and signs, which have no historic precedent in their proposed form.  The City’s advertisement guidelines suggest that high level overhanging signs, as here, are not normally considered acceptable, and if so should be no more that 0.5m2 in size.   Illuminated signs, as proposed, are also unacceptable.  The proposed clock is out of keeping with the area and has no historic precedent.  Overall, the appearance of these features is more Disney/Toytown than World Heritage Site and represents, in our view, serious impact on the authentic character and historical integrity of the structure.

The statutory tests for alterations to listed buildings can be found in the Planning (Listed Buildings and Conservation Areas)(Scotland) Act 1997.  Sections 14 and 59 apply and require any proposals to “have special regard to the desirability of preserving the building or its setting or any features of special architectural or historic interest which it possesses.”  In terms of Conservation Area management, section 64 requires that “special attention shall be paid to the desirability of preserving or enhancing the  character or appearance of that area.”

In each of these, the Association’s view is that the proposals fail the statutory tests as they pay no special regard to the historic interest of the listed buildings and is ill-considered in its impact on the special architectural characteristics.  In terms of its impact on the character of the Conservation Area, the loss of the historic rendering and intrusive signage and external interventions have a negative impact on the character of the Area.  As such, they fails the statutory tests for proposals in a Conservation Area.  The proposals  also undermine the authenticity and Outstanding Universal Value of the World Heritage Site and is therefore contrary to CEC policy ENV1.

 

 

 

 

Tartan Weaving Mill, Castlehill

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A welcome heritage addition to the city centre

A welcome heritage addition to the city centre

Cockburn Response

The Cockburn supports this application.

The Castlehill Tartan Weaving Mill, which was originally a water storage site, was converted into a shopping complex in 1995. It now has four floors dedicated to retail spaces and an underground weaving mill attraction that is currently inactive.

The present single entry and exit point frequently experiences heavy traffic. Should this application be approved, it will introduce an additional entry point on Ramsay Lane, which is expected to improve the movement of people both inside and outside the structure and its surroundings.

In the plan, the museum will undergo reconstruction to narrate and interpret the story of a significant element of the city’s public health legacy and the building’s initial function in delivering clean water from the Pentland hills to support the city industrial sector and eliminate illness. This is a particularly welcome addition to the heritage resources in the city centre.

 

 

Pitt Street PBSA

Posted on: July 19, 2024

This site should not be not ‘flipped’ to PBSA accommodation

This site should not be not ‘flipped’ to PBSA accommodation

Cockburn Response

Approval has been granted for the construction of a residential complex comprising 98 apartments for mainstream housing on this site.

The proposed development is set to include 80 student apartments, consisting of seven studios and 73 beds within 16 cluster units. It will also feature associated amenity spaces, cycle parking, and landscaping, all located on the same site.

Considering the City of Edinburgh’s and the Scottish Government’s declared Housing Emergency, it is our stance that this site should be developed for mainstream housing as initially intended, rather than being ‘flipped’ into Purpose-Built Student Accommodation (PBSA).

Castle Street Hotel

Posted on: July 18, 2024

More heritage and access detail is required

More heritage and access detail is required

Cockburn Response

This proposal may represent a sustainable use of an A-listed former office in the New Town.  However, clarification of and expanded detail on a number of important issues is required.

As it stands, the application fails to make completely clear which elements of internal heritage interest are to be retained, restored or removed.  It is particularly concerning that remaining items of original heritage interest may be at risk.

In addition, given the nature of the change of use proposed, details of servicing arrangements and of visitor access provision should have been included in the application.

Fringe Hub

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There is broad stakeholder support for the redevelopment

There is broad stakeholder support for the redevelopment

Cockburn Response

The Cockburn Association agrees with the broad stakeholder support for the redevelopment of a B-listed building, aiming to create a centralized, modern, and accessible facility for the Fringe Society.

The removal of non-original extensions, the installation of energy efficient windows and the internal cladding of external walls are not of concern.

However, it is unclear whether DDA compliant accessible parking will be retained the remodeling of the former playground.  This  is a real concern given the effort being made to improve accessibility to and within the former resource centre and the lack of publicly accessible DDA compliant parking spaces  in the local area.

The layout of the playground, as proposed, is a lost opportunity to introduced more climate-ready greenspace into this part of the city.  Much more could be done in terms of low cost, low maintenance urban greening.

Moving forward, the modernization of heritage buildings poses numerous challenges. The Fringe Society must adopt best practices and innovative solutions to sustainably utilize their new headquarters. Striking a balance between modern requirements and the conservation of historical charm and ambiance necessitates meticulous planning and inventive strategies. Specifically, meeting energy efficiency standards affordably while preserving the building’s historical integrity will require innovative  methods, especially as the city broadens its low carbon energy infrastructure. Nevertheless, the Fringe Society is in an excellent position to set a precedent for the sustainable adaptation of historic buildings.

 

Inverleith Row Telecoms Mast

Posted on: July 12, 2024

Proposed telecommunications installation  in  a conservation area should be located in an inconspicuous location

Proposed telecommunications installation  in  a conservation area should be located in an inconspicuous location

Cockburn Response

Proposals for prominent telecommunications installations in conservation areas continue to come forward and generally result in  significant local concern regarding their siting and their potential negative impact on the character and amenity of  individual conservation areas.

Local planning authorities are under a duty to formulate and publish proposals for the preservation and enhancement of conservation areas . Policies need to be developed which clearly identify what it is about the character or appearance of the area which should be preserved or enhanced and the means of achieving that objective.

Given the frequency with which telecommunications  installations are proliferating across the city.  The need to clarify if, when and how such installations  can be sited within a conservation areas is urgent.

It is our view that such proposals  should not add to street clutter on busy pedestrian thoroughfares or in vicinity of  busy road  junctions.  Applications in conservation  areas should certainly be refused if it is determined that the benefits of the proposed installation are deemed not to outweigh the harm caused to the unique character  of the conservation area and if there is insufficient evidence that alternative sites or mast sharing opportunities have been adequately explored.

We understand the essential requirement for modern telecommunications infrastructure in our city and its importance to residents, visitors and businesses. However, we believe that, in consultation with local stakeholders, any  proposed telecommunications installation  in  a conservation area should be located in an inconspicuous location, dis-aggregated into smaller, less conspicuous arrays or co-located on an existing installation if this is achievable.

Granton Development

Posted on: July 11, 2024

More information is required on affordable housing

More information is required on affordable housing

Cockburn Response

The Cockburn supports this application.

Members of our Policy and Development Committee benefited from an in-depth presentation on this development by the development team during the consultation phase.

In relation to this planning application, in our view it is essential that community infrastructure is delivered in a timely manner in support of the planned residential development.

Surprisingly little information is provided in relation to the affordable housing component of this proposal. There is no affordable housing statement, only a broad statement of intent. As a result, it is unclear what specific housing needs are to be addressed and if affordable family homes are included, for example.

The proposed district heating scheme may be a viable, low carbon energy resource for future residents.  But it is not clear it this can be guaranteed to be an affordable option for future residents in the long term. More information on energy affordability is required.

Proposed Jesus The Homeless Sculpture

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This sculpture has promoted public discourse on homelessness

This sculpture has promoted public discourse on homelessness

Cockburn Response

The Cockburn supports this application.

Many of the statues around the city centre are large and imposing and celebrate the lives and achievements of prominent citizens.. Jesus The Homeless is more down to earth and speaks of the fragility of the human condition.  It seems an  evocative and appropriate addition to the cityscape, especially in the current Housing Emergency.

Its proposed location is consistent with the positioning of duplicate statues in relation to prominent building and churches in other major cities.

Around the world, this sculpture has promoted public discourse on homelessness and motivated action towards its eradication. It is to be hoped that the same will be true in Edinburgh.

Carlton Highland Hotel

Posted on: June 14, 2024

Significant and welcome improvements

Significant and welcome improvements

Cockburn Response

The Cockburn supports this application.

North Bridge is an important and high traffic thoroughfare. The proposed unification and upgrading of retail units along the hotel’s façade will result in a significant and welcome aesthetic improvement to the street.

The introduction of new retails units into Jeffrey Street is also to  Jeffrey Street is also welcome.  In addition to an aesthetic improvement, this should encourage more street activation and support pedestrian security along the street.

Filmhouse

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All essential steps towards re-establishing this venue

All essential steps towards re-establishing this venue

Cockburn Response

The Cockburn supports this application associated with re-establishing Filmhouse.

The proposed improvements and essential internal maintenance projects  should make the Filmhouse a more comfortable, accessible and welcoming venue for people to come together to watch films and to talk about them.

Upgrading seating, improving movement across foyer areas and the building more generally, refurbishing  toilets, improving support for the less able and general redecoration are all essential steps towards re-establishing the Filmhouse after a difficult hiatus in its availability to Edinburgh residents and visitors.