Statutory Biodiversity Metric Rules

An overview of the statutory biodiversity metric rules and introduces guidance on the appropriate use of Rule 4, which allows limited deviations from the standard metric in exceptional ecological circumstances. It summarises key points from the Statutory Biodiversity Metric User Guide (SBMUG) and highlights what Local Planning Authorities should consider when assessing proposals that rely on Rule 4, including signposting to practical scenarios that show when its application is or isn’t justified.


The Biodiversity Metric Rules

The Statutory Biodiversity Metric User Guide (SBMUG) lists four fundamental rules:

  • Rule 1: The trading rules of the biodiversity metric must be followed. Trading rules require habitat loss to be compensated for on a like-for-like or like-for-better basis.

The metric tool classifies habitats into five levels of distinctiveness, which reflect the unique ecological characteristics of each habitat. These levels are very low, low, medium, high, and very high distinctiveness. The metric categorises area-based habitats into 15 broad habitat types, each comprising a range of specific habitat classifications that may vary in their level of distinctiveness. For hedgerows, the tool identifies 13 distinct types, while for watercourses there are five, each with differing levels of distinctiveness.

Table 3, located under the 'Biodiversity Metric Rules and Principles' section of the SBMUG, provides further guidance on how Rule 1 should be applied and how applicants can adequately compensate for habitat loss across all three tabs of the metric tool. The trading rules for the Small Sites Metric (SSM) are slightly different. This is because the SSM does not cater for high and very high distinctiveness habitats (if these are present, the Statutory Metric must be used).

  • Rule 2: Biodiversity unit outputs, for each type of unit, must not be summed, traded, or converted between types. The requirement to deliver at least a 10% net gain applies to each type of unit.

There are three ‘types’ of biodiversity unit: area habitat units, hedgerow units and watercourse units. Losses and gains for each biodiversity unit type have to be accounted for separately in the metric. For example, if an applicant proposes to remove an area of grassland, the creation of a length of hedgerow, regardless of its distinctiveness or type, would not be sufficient to offset the loss. In such cases, there remains a requirement to demonstrate a measurable uplift in area-based habitats. 

  • Rule 3: To accurately apply the biodiversity metric formula, you must use the statutory biodiversity metric calculation tool (SBM) or statutory biodiversity metric tool (SSM) for small sites.

Although the SSM is restricted to small sites, users can still use the SBM for small sites.

  • Rule 4: In exceptional ecological circumstances, deviation from this biodiversity metric methodology may be permitted by the relevant planning authority.

This rule applies only in cases where there is a clear ecological justification that a proposal will deliver significant environmental benefits not fully captured by the metric tool. The LPA will only permit the use of Rule 4 in cases where exceptional ecological circumstances are justified and evidenced. LPAs must consider and evaluate such justifications before permitting deviations. Rule 4 applies to both development sites and can apply to off-site gain locations. 

It is important to note that other metric rules still apply, even where Rule 4 is invoked. Rule 4 may be used to support proposals in specific circumstances, particularly where creating a proxy habitat could offer equivalent or enhanced ecological benefits to replace habitats that are difficult to recreate.

Application of Rule 4

This advice note provides practical examples and tips for assessing proposals that apply Rule 4 of the statutory biodiversity metric and determining compliance with mandatory Biodiversity Net Gain. It has been produced to support Local Planning Authorities and it is not legal or technical guidance . Rule 4, intended for exceptional ecological circumstances, requires clear ecological justification for any deviations from statutory biodiversity metric rules, which LPAs must carefully evaluate for both on-site and off-site gains. 

This advice note begins with a recap of the biodiversity metric rules set out in the Statutory Biodiversity Metric User Guide (SBMUG), with a particular focus on appropriately applying Rule 4. It includes real-world examples to help illustrate what does and does not meet the criteria when applying this rule. We also share additional tips to consider when reviewing applications that propose deviations from the trading rules. 

If you require and accessible version of this document please contact [email protected]

The advice note sets out:   

The note also provides a set of scenarios where Rule 4 has been applied. Each scenario details the applicant's proposal, highlights key factors determining the validity of applying Rule 4, and offers guidance on navigating such cases in line with legal requirements and Planning Practice Guidance (PPG). These scenarios have been carefully selected to address common concerns faced by local planning officers. 

DISCLAIMER: The PAS team updates these pages regularly to reflect current guidance on biodiversity net gain as best we can. Our goal is to provide accurate, timely information to support local planning authorities. If you are from a local authority and have any questions about the content or need further information, please contact us at [email protected]. This page was last updated on 28/11/25.