On behalf of its membership, the cross-party LGA regularly submits to Government
consultations, briefs parliamentarians and responds to a wide range of parliamentary inquiries. Our recent
responses to government consultations and parliamentary briefings can be found here.
The Local Government Association (LGA) welcomes the opportunity to submit a representation ahead of the Government’s March 2021 Budget. The LGA works to support, promote and improve local government. We will continue to contribute to Government’s national priorities and ambitions and support councils through challenging times by making the case for greater devolution, helping councils tackle their challenges and assisting them to deliver better value for money services that provide sustained outcomes for residents and communities. This submission has been approved by the LGA’s Chairman and leaders of all LGA political groups.
This paper outlines the learning from the LGA and its partner organisations on the critical success factors for achieving effective, joined-up and person-centred care and support to improve people’s experience of care and support and improve their health and wellbeing outcomes.
Giving councils a sustainable financial settlement is the long term solution to protecting and enhancing trees in public spaces, and this must be addressed in the forthcoming Spending Review.
The Department for Levelling Up, Housing and Communities (DLUHC) held a consultation on social housing rents between 31 August and 12 October 2022. The consultation sought views on the introduction of a rent ceiling from 1 April 2023 to 31 March 2024. Our response to the consultation questions can be found below.
The current flexible use of capital receipts scheme, which has run since 2016/17 and has now been extended until March 2030, has been welcomed by councils.
This consultation follows on from proposals originally made in 2021 to which we responded, and a further post consultation survey on revised proposed regulations that we also responded to. The proposals made in the current consultation have taken account of the comments we made in response to those earlier consultations and it is clear that the aim of the revised regulations and guidance is to avoid the potential problems with drafting in the original proposals that we and others in the sector highlighted. This is to be welcomed.