BEFORE THE CHRISTCHURCH REPLACEMENT DISTRICT PLAN INDEPENDENT HEARINGS PANEL

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BEFORE THE CHRISTCHURCH REPLACEMENT DISTRICT PLAN INDEPENDENT HEARINGS PANEL IN THE MATTER of the Resource Management Act 1991 and the Canterbury Earthquake (Christchurch Replacement District Plan) Order 2014 AND IN THE MATTER of the hearing regarding the Natural and Cultural Heritage Proposal of Stage 3 of the Proposed Christchurch Replacement District Plan OPENING LEGAL SUBMISSIONS OF COUNSEL ON BEHALF OF THE CHURCH PROPERTY TRUSTEES (CHRISTCHURCH CATHEDRAL) (SUBMISSION 3610) 14 JANUARY 2016 WYNN WILLIAMS LAWYERS CHRISTCHURCH Solicitor: J W A Johnson (jeremyjohnson wynnwilliams.co.nz ) The Church Property Trustees' Solicitor Level 5, Wynn Williams House 47 Hereford Street, P 0 Box 4341, CHRISTCHURCH Tel 0064 3 3797622 Fax 0064 3 3792467

I MAY IT PLEASE THE HEARINGS PANEL: 1 These opening legal submissions are filed on behalf of the Church Property Trustees (CPT) in respect of Proposal 9 Natural and Cultural Heritage (Chapter 9) of Stage 3 of the Christchurch Replacement District Plan (Replacement Plan). 2 The submissions provide a brief overview of CPT's position on Chapter 9 with respect to the relief sought in relation to ChristChurch Cathedral only. Separate legal submissions are being presented on behalf of CPT in relation to other site specific issues by Mr Tony Hughes-Johnson QC and in relation to other general matters associated with Chapter 9 jointly with the Roman Catholic Diocese and Alpine Presbytery by Ms Jo Appleyard. CPT's interest in the Natural & Cultural Heritage Proposal 3 ChristChurch Cathedral is undoubtedly one of the most significant and iconic heritage buildings in Christchurch. The damage it sustained through the Canterbury earthquake sequence is substantial. Resolving its ongoing future is fundamental to the recovery of the City, and in particular Cathedral Square. 4 No matter the outcome of the ongoing investigation by the Government and CPT into whether cost and safety issues can be addressed to enable reinstatement of the Cathedral; the extent of the damage and the need for a safe building - is such that substantial deconstruction will be required whatever solution is pursued. 5 The Panel has a unique opportunity to put in place an appropriate planning framework to recognise the importance of CPT being able to advance progress in the Square regardless of whether reinstatement is found to be achievable or a new Cathedral is ultimately pursued. 6 Given the extent of deconstruction required, and concerns about the rule framework in the notified Plan, CPT made a specific submission (3610) in respect of the ChristChurch Cathedral (and a related further submission (5040)) on Chapter 9 of the Replacement Plan. The specific relief sought by CPT is set out in the Statement of Evidence of Mr Nixon. 7 The remainder of these submissions address:

2 (a) (b) (c) (d) (e) (f) The evidence being called by CPT in relation to ChristChurch Cathedral; The extent of agreement between CPT and other submitters, in particular the Great Christchurch Buildings Trust (GCBT) regarding the extent of damage to the Cathedral and the options for its future; The section 38 notice in respect of the Cathedral; The implications of the rule framework on the Cathedral and its recovery; The role of the replacement district plan process with respect to deciding on the future of the Cathedral; and The role of heritage protection within a sustainable management framework. Evidence on behalf of CPT 8 CPT is calling the following witnesses in relation to the Cathedral: (a) (b) (c) (d) (e) Mr Gavin Holley, the General Manager of CPT, will give evidence regarding the decisions made to date by CPT and its involvement regarding the Cathedral and will outline some of the funding constraints facing CPT. Mr John Hare, structural engineer at Holmes Consulting Group, will give expert evidence regarding the extent of damage to the Cathedral building. Mr David Doherr, quantity surveyor at Barnes Beagley Doherr Limited, will give expert evidence regarding the costs associated with the various options for the future of the Cathedral. Mr Mike Copeland, economist at Brown, Copeland and Company Limited, will give economic evidence regarding the Cathedral (in addition to the general evidence on Chapter 9 on behalf of CPT) Mr Bob Nixon, planner at Planz Consultants, will give planning evidence regarding the Cathedral (in addition to the general evidence on Chapter 9 on behalf of CPT).

3 The damage to the Cathedral 9 The Cathedral is substantially damaged as a result of the Canterbury earthquake sequence. 1 10 The only expert evidence before the Panel regarding the extent of damage to the Cathedral and the engineering options for its future is the evidence of Mr Hare. Mr Doherr's evidence is the only expert evidence addressing the costs of the various options. 11 No other party, including the Council, has provided any expert evidence regarding the extent of damage to the Cathedral, or the costs of repairing or replacing it. 12 Subsequent to the filing of Mr Hare and Mr Doherr's evidence, a copy of the report prepared by Miriam Dean QC (the Dean Report) regarding the options for future of the Cathedral was released. A copy of this report is attached as Appendix 3 to Mr Nixon's evidence. 13 This report was prepared by Ms Dean QC as an independent report regarding the Cathedral's future at the Government's request. It was prepared with input from Mr Hare and Mr Doherr, along with the expert advisors to the GCBT. While GCBT is not calling expert evidence for this matter it is clear from the Dean Report (along with Mr Hare's and Mr Doherr's evidence) that: (a) (b) (c) (d) It is feasible, from an engineering perspective, to "reinstate" the Cathedral (through a combination of repair, restoration, reconstruction and seismic strengthening), or to replace it entirely. Costs of a reinstatement are in the order of $105 million. A new Cathedral (of a similar size and scale) could be constructed for $63 to $66 million (although it would be possible to reduce the size and scale so that the design met the funds on hand). Delays will lead to further costs. 14 CPT currently has a significant shortfall in funding as outlined in the evidence of Gavin Holley. 2 1 Statement of Evidence of John Hare on behalf of the Church Property Trustees (Submission 3610) dated 10 December 2015 at [13(a)], [19], [22], [24], [49].

4 15 CPT is committed to fully investigating the reinstatement option for the Cathedral with the Government including exploring options for funding the shortfall for the reinstatement option. However, at this point it time, both a reinstatement and a new build remain options. A decision is expected in April 2016. The section 38 notice for the Cathedral 16 A section 38 notice in relation to the Cathedral was issued under the Canterbury Earthquake Recovery Act 2011. A copy of this is attached as Attachment A to Mr Holley's evidence. While it provides for demolition of the Cathedral, this is only to the extent necessary to remove the hazards associated with the Cathedral building. Further, there is a possibility of the notice being challenged, or not being carried over under any replacement legislation. 17 Accordingly, while Rule P8 provides for demolition of the Cathedral, this is only available to CPT if the section 38 notice for the Cathedral building continues to be upheld and to the extent that demolition or deconstruction is needed to remove hazards. 18 Bearing in mind the uncertainties about the section 38 notice, Rule P8 does not provide sufficient planning certainty regarding the demolition of the Cathedral, particularly given the extent of deconstruction that has been identified and agreed (through the Dean Report) as being required for either a reinstatement option or a new construction. Implications of the proposed rule framework 19 There is now some agreement regarding the extent of damage to the Cathedral and the level of deconstruction required to facilitate either the reinstatement of the Cathedral or the construction of a new Cathedral. 20 Importantly, the notified provisions in Chapter 9 and the provisions which continue to be pursued by the Council do not enable either option for the Cathedral. In the absence of the section 38 notice, the extent of deconstruction required means that whichever option is adopted a non- 2 Statement of Evidence of Gavin Holley on behalf of the Church Property Trustees (Submission 3610) dated 10 December 2015 at [39]-[40].

5 complying activity resource consent would be required. Even, with the section 38 notice, a (currently) non-complying demolition/deconstruction consent may be required if the demolition/deconstruction is not required to 'remove hazards' 21 Given the importance of the Cathedral in the recovery of central Christchurch it is submitted that it is highly appropriate to recognise the Cathedral with a specific rule in the plan, which provides certainty regardless of the outcome chosen (i.e. a consent will be granted) but which allows the Council control over certain matters. 22 While the Council has acknowledged that it may be appropriate for a specific rule for the Cathedral, the rule proposed by the Council does not provide certainty as the rule is still tied to the existence of a section 38 notice. It provides no certainty that a consent would be obtained and could see additional years added to the process before resource consents could be obtained to proceed with the necessary works. 23 The rule sought by CPT would provide for planning certainty by making demolition or deconstruction of the ChristChurch Cathedral a controlled activity, even in the absence of a section 38 notice. 24 While the Plan provides for reconstruction as a permitted activity this is problematic as it requires a new building to resemble as closely as possible the existing Cathedral with the following consequences: (a) (b) if reinstatement is pursued it will limit the manner in which reinstatement could be carried out which may impact the ability to make the building fully earthquake resilient; it would not allow a new building to a different design if reinstatement ultimately does not prove possible. 25 Separate relief in relation to Chapters 6 and 13 of the Plan has been sought in relation to this. The role of the replacement district plan process 26 Some submitters, in particular GCBT, seem fixated on a future contentious resource consent process being the appropriate mechanism

6 for deciding the fate of the Cathedra1. 3 The relief sought by GCBT would remove the application of Rule P8 to Group 1 buildings such as the Cathedral, such that a non-complying activity would be required regardless of the section 38 notice. 27 It is submitted that this position will not facilitate recovery. It provides no certainty that a consent will even be granted, and will lead to additional delays. 28 There is no certainty that a consent to demolish/deconstruct the Cathedral could be obtained, particularly as it is proposed to be a noncomplying activity. If consent is not granted it could lead to the Cathedral simply being left in its current state if reinstatement cannot be afforded. 29 The Replacement District Plan process is a public process. All people in the region have had an opportunity to lodge submissions on the Plan and further submissions against CPT's submission seeking a controlled activity rule specifically facilitating the demolition and deconstruction of the Cathedral under the Chapter 9 relief) and the building of a new Cathedral (through the Chapter 13 relief). 30 Accordingly there has been the opportunity for this matter to be publicly tested and some have taken up that opportunity. 31 As a final point, it is submitted that the controlled activity framework in relation to the Cathedral will help achieve a number of the Strategic Directions including, Objective 3.3.1 (Enabling recovery and facilitating the future enhancement of the district), 3.3.2 (Clarity of language and efficiency) and 3.3.8 (Revitalising the Central City). Heritage protection and sustainable management 32 The final point to make at this point is that heritage protection under the RMA is not an absolute protection. Ultimately, the requirement under section 6(h) of the RMA to protect historic heritage is limited to a protection from inappropriate subdivision, use and development. 33 Further, the overarching requirement of sustainable management as expressed in section 5 of the RMA must be met. 3 Statement of Evidence of Hon James Anderton on behalf of the Great Christchurch Building Trust dated 10 December 2015 at [7.3] and [8].

7 34 In that regard particular attention should be had to the enablement of people and communities to provide for their social, economic and cultural wellbeing and for their health and safety and the evidence of Mr Copeland and Mr Nixon in relation to this. 4 35 In respect of the Cathedral it is submitted that sustainable management of resources is best achieved by the relief sought by CPT in relation to Chapter 9; it recognises that while heritage is important it is not an absolute value and must yield to questions of financial viability and safety. Conclusion 36 The Hearing Panel has the opportunity to help put to an end the significant delays and arguments regarding the future of the Cathedral, by ensuring that an appropriate and efficient planning framework is established so that further unnecessary delays are avoided. 37 The expert evidence is compelling. Whatever the future of the Cathedral, substantial deconstruction, in terms of the Plan's definitions, is required. 38 While the funding options for the Cathedral are still be resolved, it is appropriate and necessary for specific rule recognition that the Cathedral requires substantial deconstruction and/or demolition. The relief sought, including a specific controlled activity rule, will provide the planning certainty and help achieve recovery of this important building and the City as a whole. Dated this 14 th day of January 2016 Counse Church Pro A Johnson y Trustees 4 Statement of Evidence of Michael Copeland on behalf of the Roman Catholic Bishop of the Diocese of Christchurch and the Church Property Trustees dated 14 December 2015; and Statement of Evidence of Bob Nixon on behalf of the Church Property Trustees, The Catholic Bishop of Christchurch, and Alpine Presbytery dated 13 January 2016.