5 Quiet Areas
5.1 Introduction to Agglomeration Quiet Areas
The Environmental Noise (Scotland) Regulations 2006 regulations require that Quiet Areas within agglomerations are included in maps. What does quiet mean? The Transport Research Laboratories ( TRL) undertook research for Defra ( http://www.defra.gov.uk/environment/noise/research/pdf/quiet-areas.pdf) on the subject of Quiet Areas. The research reported that defining, identifying and appreciating the benefits of preserving quiet or relatively Quiet Areas in urban conurbations cuts across many different fields including health, physical and psycho-acoustics, and environmental psychology. An important aspect of the research carried out into Quiet Areas has been to establish the positive effect natural sounds have on health and well-being.
5.2 Current Research into Quiet Areas
Research carried out in Sweden (Berglund et al., 2004) 1 has examined how adverse health effects of noise are related to individual exposure and perceived soundscapes in residential areas with and without access to Quiet Areas. Their results show that access to a quiet façade of a dwelling reduces annoyance to noise by 10-20%, depending on the sound level from road traffic at the most exposed side. Results suggest (Nilsson and Berglund, 2006) 2 that a good urban outdoor soundscape should (a) be dominated by positive sounds from nature, and (b) have an overall equivalent sound level below 50dB (A) during the daytime.
Research carried out in Norway has examined the relationship between localised areas of noise and quiet within a neighbourhood on residential noise annoyance in Oslo (Klaeboe, 2005) 3. Results indicate that noisy neighbourhoods have the potential to increase residential noise annoyance primarily for apartments exposed to low residential noise levels whereas quiet neighbourhood areas have the potential to reduce residential noise annoyance the most at intermediate and high residential noise levels.
In the Netherlands, reviews of current research has concluded that the percentage of time during which a disturbance is present (or the length of time during which a 'level of quiet' is regarded as acceptable) is generally more important than the actual noise level (van den Berg and van den Berg,2006) 4. Alongside these acoustic criteria additional criteria about the sounds heard which convey positive or negative feelings, with regard to appropriateness for a given context, are also important.
Research carried out in Italy to identify indicators to describe perceived soundscapes is following a similar approach to that found in the Netherlands in that it is related to temporal variations in noise although the method is more complex (Licitra and Memoli, 2006) 5.
Research in the UK into Quiet Areas has primarily been carried out to assist in the implementation of END (Symonds Group Ltd, 2003) 6. The TRL research recommended that public and open spaces in the UK, should fall within the noise band < 55 dB L day, as determined from the first round of noise mapping) and a minimum area (the candidate area must be at least 9 hectares). The specifications for the filter definitions and the candidate list of Quiet Areas should be reviewed and, where necessary, revised by the relevant authorities before the list is finalised.
The following filter specifications have been used:
- Noise Level filter: The specification of a 55 dB L day limit is seen as an appropriate compromise, based on the mapping requirements of the END and definitions for Quiet Areas used elsewhere in Europe;
- Minimum Area filter: The specification of a minimum area of 9 hectares is based upon consideration of both the minimum area that should lie within the defined noise limit to warrant preservation (50%) and the minimum area required to achieve 55 dB L day, based on the presence of at least one major road at the boundary.
- Minimum Area 'of Quiet' filter: The specification that a minimum area of 4.5 hectares must fall within the noise band < 55 dB L day is to allow areas significantly larger than 9 hectares to qualify as candidate Quiet Areas when less than 50% of the area falls within the specified noise band.
The Candidate Quiet Areas within the agglomeration of Glasgow are presented in Appendix 1. It will be noted that the candidate quiet areas have changed following responses to the first consultation. The quiet areas are now based on a source data set that is consistent across all the local authorities involved and consistent with the Edinburgh Agglomeration. The source data set comprises Historic Parks and Gardens, Metropolitan Open Land taken from the Land Use constraints dataset as well as relevant Scottish Natural Heritage designations. The TRL filters described above were then applied to that source.
5.3 Candidate Quiet Areas ( CQA) to Quiet Areas ( QA)
As with Candidate Noise Management Areas, during implementation of the Action Plan, a review process will be applied to each CQA to determine whether it should become a Quiet Area ( QA). To support this review process, separate Technical Guidance will be provided. The Technical Guidance will also assist the key organisations and their stakeholders in addressing the technical detail of the Noise Action Planning process.
Regulation 18 of the Environmental Noise (Scotland) Regulations 2006 states inter alia that the competent authority (in this case the Scottish Government) shall ensure that the public is consulted in the preparation and revision of action plans. We are of the view that concluding that an area is a QA is a revision to the action plan and thus should be consulted upon. We are proposing that the relevant LAs themselves carry out such consultations as such an approach and any follow up measures within the QA is envisaged by Regulation 19 of the 2006 Regulations. Given this need to consult it is recommended that a group of QAs is consulted upon at the one time and that the consultation also includes suggestions on the measures to be taken to preserve the QA. This approach ensures that those involved in delivery of any measures to manage noise lead on the consultation. After the consultation process is complete the Scottish Government would then adopt any required changes to the action plan under Regulation 22 of the 2006 Regulations.
Prior to any CQA being promoted to a QA it will be subject to detailed scrutiny. In so far as is reasonably practical efforts will be made to ensure that noise contours are accurate. Where the CQA status appears to be inaccurate either as a result of erroneous data or some other identified reason then the area will not be promoted to a QA. Where the CQA status is considered to be warranted the area will only be promoted if there are no conflicts in within existing local development plans. Consideration will also be given to likely impacts of protecting an area and whether or not they are affordable or desirable. A list of possible considerations is listed below. These considerations are not to be considered as absolute, but should be used with appropriate care:
- Is the area already identified for an alternate use within the local plan?
- Are alternate uses for the area currently being developed for a future local plan?
- Are there any developments planned in close proximity to the area that would be compromised?
- Are any significant changes to nearby roads proposed which would impact upon the are
5.4 Protection of Quiet Areas
The designation and protection of quiet areas is a proactive measure. It aims to ensure that changes do not happen within and to a certain extent out with the quiet area which will result in an increase of the noise level or a reduction in the size of the area. However, although quiet areas are significant because they are quiet, they remain an integral part of an agglomeration and should not necessarily be viewed in isolation. For this reason it is considered that once identified, though a noise action plan, quiet areas should only be incorporated into the local authority's local plan where appropriate. Thereafter, they should be protected via the development control process with the assistance and advice of Environmental Health.