Standing Committee on Employment, Education
and Workplace Relations
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Submission 94
CHAMBER OF COMMERCE AND INDUSTRY
Western Australia
A submission to the House Of Representatives Standing
Committee On Employment, Education And Training on:
- the appropriate roles of institutes of technical and further education;
and
- the extent to which those roles should overlap with universities
JANUARY 1998
Introduction
The Chamber of Commerce and Industry of Western Australia (CCI) is the
peak employer body in Australia's largest state. CCI draws its membership
from every sector of industry and represents the interests of small, medium
and large businesses. CCI has worked closely with Government to ensure
that the needs of business are taken into account in the development of
policies and has contributed significantly to reforms within the education
and training system.
There is general support from CO's membership for the education and training
reforms agreed through the ANTA/MINCO process by the Commonwealth and
State/Territory governments during the past 18 months. An industry led
outcome is critical to the successful implementation of these reforms.
CCI has emphasised at all levels of Government the need for policies to
focus on industry needs. Employers play an important role in setting training
direction, establishing links with education and training institutions,
providing training for employees, and most importantly, providing employment
opportunities for the graduates of education and training programs.
The pressure to increase the range and diversity of training and skills
acquisition programs is enormous. This pressure mainly stems from technological
and structural changes, industry competition and workplace change. A well
developed vocational education and training system is crucial to the broader
micro-economic reform agenda. This pressure has influenced (and will continue
to influence) the way in which education and training services are delivered.
The implementation of the agreed reforms in the vocational education
and training sector will assist in the expansion of employment opportunities
for all Australians and particularly for young people. In addition to
the positive effect on industry productivity, the reforms promote well
defined pathways from school to employment. Positioning of technical and
further education (TAFE) institutions in the light of the vocational education
and training reforms is an important issue which needs to be addressed
as a matter of some priority.
Background
The reforms to vocational education and training will ensure the development
of an open, competitive national training market. The reforms will place
competitive pressures on training providers to deliver quality training,
particularly structured training for apprenticeships and traineeships.
Measures such as user choice, national industry and enterprise competency
standards and customisation of training to suit enterprise needs will
produce a responsive and flexible training system.
TAFE colleges and institutes were established to provide courses which
articulate readily within the workplace and deliver the skills required
by industry. The traditional trade areas and fee-for-service training
provided by TAFE has in the main focused on industry needs with regard
to course content (although choice and flexibility has been restricted).
But there has been a tendency for elements of TAFE to enter the credential
race to get full articulation with universities or to maximise credit
transfer often overlooking industry needs and the requirement for real
vocational outcomes.
TAFE colleges and institutes have often found it difficult to respond
quickly and flexibly to training demands. They have operated on a supply
driven system where the needs of the system have been considered more
important than the needs of the system's clients. Although changes have
started to occur there is still a tendency for many full-time, institutional
based courses to provide alternative university entrance rather than focus
on the needs of industry.
The utilisation of capital assets in the TAFE system has been affected
by the move to more flexible training options which cannot always be accommodated
within existing facilities. The need for training diversity associated
with enterprise specific skills needs has added to this problem.
Public funding for the TAFE system has been tightened. Institutes and
colleges have become more reliant on other funding sources such as fee-for-service
activities and tendered programs in order to remain viable. Significant
variations have emerged in delivery costs for comparable training, within
the TAFE system and this has added to the pressures on the system and
the confusion amongst employers about the direction of vocational training.
The Roles of TAFE and Universities
The relationship between TAFE and universities may be described currently
by one of the following models:
- operating as separate institutions providing programs exclusively
at the TAFE or university level
- operating as separate institutions with clear articulation arrangements
in place to allow free movement between programs in each sector
- operating under an alliance arrangement where parts of a TAFE program
are offered in a university and/or parts of a university program are
offered in a TAFE institute or college
- operating as multi-sector institutions such as Royal Melbourne Institute
of Technology, Swinburne Institute of Technology and Northern Territory
University, where the single institution offers university and TAFE
programs
It is likely the Committee will be presented with arguments from TAFE
for a continuation of either of the first three models. The supporting
arguments will be that TAFE offers industry a focused, demand driven approach
which will be compromised by a move to the fourth model - the multi-sector
institution. The counter argument, likely to be presented by the existing
multi-sector institutions and other universities that would like to move
towards a multi-sector model, will be that there is a convergence of programs
driven by industry needs for higher skilled workers that makes the dichotomy
between TAFE and university redundant.
CCI does not favour any one of the four models over another. There are
probably issues related to competition and monopolies that are raised
by the establishment of multi-sector institutions that would concern CCI.
However, these same issues have arisen in the TAFE system with a move
to large regionally focused institutes. The introduction of a user choice
approach and the next further step of introducing student vouchers will
provide the necessary competition regardless of the model.
There are perceptions in industry that an increased role for universities
in TAFE activities will result in a reduced influence for employers to
negotiate program content, sequence and timing of training, assessment
arrangements etc. The establishment of user choice arrangements in the
vocational education and training sector has finally established industry's
rightful place in the development and delivery of training to its employees.
The involvement of universities in vocational training should not jeopardise
this hardfought for industry influence.
In considering the ongoing role of TAFE and the degree of overlap between
TAFE and universities, CCI advocates principles which:
- change the emphasis of the training market from a supply driven system,
based on the needs of the training provider, to a system based on demand
that is specifically aligned to employer and student needs-,
- encourage competition which will result in a more efficient and cost
effective process while increasing employer and student options irrespective
of the location of enterprises;
- diversify the supply of training and education and ensure all appointments
of practitioners are merit based;
- increase the participation of employers in the training market by
ensuring public funds are linked to employer needs and to provider of
choice;
- integrate education and training programs with nationally recognised
outcomes and standards;
- focus on training delivery models which are flexible and user friendly;
and
- promote training initiatives which are enterprise focused and devoid
of extensive bureaucracy.
These principles apply to all post-compulsory education and training
and do not rely on the adoption of a particular structural arrangement
for TAFE and/or university programs.
Although the Committee is required to consider the appropriate roles
of institutes of technical and further education, it should not be overlooked
that an increasing amount of public-funded vocational training is delivered
by non-TAFE providers.
The competitive tendering of vocational training and the implementation
of user choice will have an increasing impact on the role of TAFE institutes
and colleges. Many employers will choose non-TAFE providers for apprenticeship
and traineeship training.
The competitive forces which TAFE has finally been required to face must
become a fixed element in the vocational training environment.
User Choice
CCI supports the full introduction of user choice. User choice in vocational
education and training will encourage partnerships between industry and
training providers. These partnerships will ensure effective local relationships
between TAFE institutes and colleges and industry at the enterprise level.
The New Apprenticeship system will enable employers and trainees to choose
a training provider and negotiate the means by which the training will
be delivered. CCI supports the expansion of user choice to include all
full-time vocational courses. Individuals should be able to select a registered
training provider from the public or private training sector and expect
the public funds allocated for the training to flow to the selected provider.
The next step in the evolution of user choice is the acceptance that a
student voucher system or training credit arrangement will increase competition
and bring further efficiencies to the TAFE sector. A student voucher system
will ensure that training needs are properly addressed by registered training
providers who understand that poor performance will result in a move by
students to better performing TAFE colleges, institutes or private training
providers.
CCI acknowledges the progress made by State and Territory Training Authorities
in agreeing on the framework for the introduction of user choice. However,
CCI believes far more work is required to ensure the TAFE system becomes
fully responsive to the needs of industry and individual students. CCI
will maintain an interest in the implementation of user choice particularly
in:
- the operation of user choice in regional areas
- the operation of user choice across state/territory boundaries and
the progress towards national training market
- access to publicly funded training infrastructure (third party access)
- registration of providers, tendering processes, quality assurance
and audit arrangements.
During 1997 a detailed study was undertaken by ANTA of ten selected user
choice pilot projects. The results of the study and the outcomes from
these projects have provided a positive picture of the benefits of user
choice. Employers, community groups and individuals involved in the pilot
projects are strongly committed to the user choice concept. The pilot
projects also indicate that user choice has the potential to improve access
and equity by encouraging greater responsiveness by training providers
to the needs of disadvantaged groups.
The majority of the pilot projects were delivered by TAFE institutes
and colleges and have shown how the TAFE system can respond to local level
needs in a flexible way when required to.
Third Party Access
The increase in the competitiveness of the training market will pressure
providers to deliver affordable and quality training. CCI supports measures
which enable training providers other than TAFE to have access to publicly
funded vocational training infrastructure (facilities and equipment).
Access by third parties to TAFE facilities is already being granted on
commercial terms in some cases, but currently there is no general right
of access. Some State Training Authorities have established a policy on
third party access but a consistent approach is required which ensures
industry can access the best available trainers and training equipment
facilities. Third party access is appropriate where:
- access enables the training needs of employers to be better satisfied;
- duplication of existing infrastructure in uneconomical;
- denial of access would unduly restrict entry to the training market,
limiting contestability and competition; and
- fair and reasonable terms are established relating to price, terms
of access and related matters.
Third party access increases utilisation of facilities and maximises
the return on the public funded capital investment. A market based approach
to access requires the separation of the role of managing the public infrastructure
from the training and service delivery role. This separation would benefit
the TAFE system because the asset managers will need to maximise the rate
of return on the assets and not simply manage, in a bureaucratic sense,
a depreciating asset.
The market based approach to third party access also:
- places emphasis on public providers to operate as business units-
- is consistent with user choice principles;
- maximises the return on public infrastructure; and
- reduces the potential of the public provider to forego some revenue
in order to maintain market advantage.
Third party access will benefit public and private providers wanting
to deliver services within and across regions and will enhance the national
training market concept.
Positioning TAFE's
The move to open up the training market has ensured the placement of
training delivery as a commercial activity. Like private training providers,
TAFE institutes and colleges must focus on the development of a business
culture and conduct their activities within competitive neutrality principles.
TAFE institutes and colleges must optimise funding and operate as 'business
units' with much more autonomy and control over their activities. Institutes
and colleges should be able to rationalise and modernise facilities to
meet training demands. A separation between the management of training
facilities and the purchasing of training will give institutes and colleges
far greater control over local decision-making. TAFE institutes and colleges
can respond to industry needs when given the autonomy to operate in a
flexible way. Partnerships and alliances with industry at the local level
will produce efficiencies in operation which will benefit both TAFE and
its clients. The ability of institutes and colleges to respond to local
needs will depend on how much central control is exerted by the State
and Territory Training Authorities.
Summary
CCI supports the following initiatives:
- a demand driven training system focusing on full implementation of
user choice;
- full and open competition within the training sector encompassing
competitive neutrality principles;
- introduction of a simple and flexible student voucher system for vocational
education and training;
- establishing TAFE institutes and colleges as flexible and responsive
'business units' operating within the vocational and education training
market-,
- third party access to TAFE infrastructure and facilities based on
a market approach;
- nationally consistent articulation outcomes which maximise pathways
between the TAFE and the University sectors; and
- partnership arrangements between Universities and TAFE Institutes
which maximise
- public funds and focus on student outcomes.
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