The RTPI agrees that the notice should require the local planning authority to give full reasons for the proposed condition and full reasons for making it a pre-commencement condition. It also suggests and alternative definition of 'substantive response' to the one set out in draft Regulation 2(6).
The RTPI pushes for local authority to be given discretion over the timing to respond to the notice.
We ask that this response be read in conjunction with our response in November 2016.