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Representation by Royal Mail (Royal Mail)

Date submitted
2 November 2023
Submitted by
Members of the public/businesses

Royal Mail (RM) does not have an in principle objection to the Rampion 2 Offshore Wind Farm DCO proposal but is seeking to secure mitigations to protect its operations during the construction and operational phases. Under section 35 of the Postal Services Act 2011 (the “Act”), RM has been designated by Ofcom as a provider of the Universal Postal Service. RM is the only such provider in the United Kingdom. The Act provides that Ofcom’s primary regulatory duty is to secure the provision of the Universal Postal Service. Ofcom discharges this duty by imposing regulatory conditions on RM, requiring it to provide the Universal Postal Service. The Act includes a set of minimum standards for Universal Service Providers, which Ofcom must secure. The conditions imposed by Ofcom reflect those standards. RM is under some of the highest specification performance obligations for quality of service in Europe. Its performance of the Universal Service Provider obligations is in the public interest and should not be affected detrimentally by any statutorily authorised project. RM’s postal sorting and delivery operations rely heavily on road communications. RM’s ability to provide efficient mail collection, sorting and delivery to the public is sensitive to changes in the capacity of the highway network. RM is a major road user nationally. Disruption to the highway network and traffic delays can have direct consequences on RM’s operations, its ability to meet the Universal Service Obligation and comply with the regulatory regime for postal services thereby presenting a significant risk to RM’s business. The A27 and A24 are important routes used by RM’s national and local collection, distribution and delivery operations. RM has four operational facilities within 2.2 km, including Arundel, Littlehampton and Storrington Delivery Offices. Every day, in exercising its statutory duties RM vehicles use all the other main roads that may potentially be affected by additional traffic arising / delays during construction and operation of this scheme. Any road disruption / closures, night or day, has potential to impact operations. Highway works and Traffic Management for this scheme risk impact on and delays to RM’s operations. RM does not wish to stop or delay this scheme from being constructed, but does wish to protect its future ability to provide an efficient mail sorting and delivering service. To do this, RM requests that: 1. the DCO includes specific requirements that during the construction phase RM is notified by Rampion Extension Development Limited or its contractors at least one month in advance of any proposed road closures / diversions / alternative access arrangements, hours of working, and on the content of the final CTMP, 2. the final CTMP includes a mechanism to inform major road users (including RM) about works affecting the local highways network (with particular regard to RM’s distribution facilities near the DCO application boundary), and 3. RM can join any highways / traffic management consultation group that is set up. RM reserves its position to object to the DCO application if the above requests are not adequately addressed.