Managing Australia's World Heritage
CHAPTER 4: MANAGEMENT OF WORLD HERITAGE AREAS
Commonwealth and State responsibilities
4.1 According to Mr Lucas, Vice-Chair of World Heritage for the IUCN
Commission on National Parks and Protected Areas, Australia faces challenges
in managing its world heritage areas because of the involvement of different
levels of government. [1] Some of
the difficulties that have arisen between the Commonwealth and the States
on this score are discussed in Chapters 2 and
3.
4.2 In addition, world heritage properties comprise a wide variety of
land tenures including freehold, perpetual lease, pastoral lease, town
reserve, State forest, national park, nature reserve, Aboriginal reserve
and recreational and essential services reserves. For instance, the Central
Eastern Rainforest Reserves (CERRA) comprises parcels of land in New South
Wales and Queensland including national parks, nature reserves and flora
reserves. The Wet Tropics of Queensland includes private freehold land,
leasehold, national parks, State forests, Crown lands and Aboriginal land.
With so many stakeholders involved with such world heritage areas, there
is an added layer of interested parties who, for best results in world
heritage management, should be consulted about the areas' management.
4.3 With respect to Commonwealth/State relationships in managing world
heritage areas, State authorities have responsibility for day-to-day management
in the majority of cases, while the Commonwealth maintains an involvement
through regular consultations. Schedule 8 of the IGAE refers to the relationship
between the Commonwealth and States in the management of world heritage
properties:
Arrangements for the management of a property will be determined as far
as practical prior to the nomination. The management arrangements will
take into consideration the continuation of the State's management responsibilities
for the property while preserving the Commonwealth's responsibilities
under the World Heritage Convention.
DEST confirmed that it regarded cooperation with the States and Territories
as the best way of preserving Australia's natural and cultural heritage.
[2]
4.4 The primacy of the Commonwealth in world heritage management and
the need for shared responsibility with the States were recognised by
the participants at the ACIUCN's workshop on world heritage management.
These views were expressed formally among the principles of the Richmond
Communique as follows:
2.3.1 |
As the Commonwealth Government is the sole signatory to the World
Heritage Convention, it is the Commonwealth Government's ultimate
responsibility and duty to identify, protect, conserve, present,
and transmit world heritage areas to future generations. This should
be acknowledged and recognised in management structures. |
2.3.2 |
The Commonwealth Government's role is to ensure that its responsibilities
are met. This may be achieved through management agreements with
the appropriate states (for example, through ministerial councils)
or by other arrangements. |
2.3.3 |
Notwithstanding the Commonwealth Government's ultimate responsibility
under the convention, there should be a sharing of responsibilities.
This should include the states and should cover matters including
adequate resourcing, consultation, and management. [3]
|
4.5 Other witnesses emphasised the importance of the Commonwealth as
the ultimate authority in the management of world heritage areas. For
example, although the National Trust of Australia (Victoria) supported
the involvement of both State and Territory Governments in world heritage
management, it believed that the responsibility cannot be totally delegated
to the States and Territories:
[Its] analysis of differing government perspectives does not call for
the exclusion of government involvement at the more local level, rather
it calls for the retention of a veto power on the part of the Australian
Government. [4]
4.6 The Australian Conservation Foundation (ACF) pointed out that, while
consultation that fosters understanding and cooperation between all parties
is highly desirable, it cannot substitute for the national and international
obligations of the Commonwealth to intervene in world heritage matters.
[5] The North Queensland Conservation
Council (NQCC) also felt that, in State managed properties, the Commonwealth
must ensure that the States manage their world heritage properties to
a standard that world heritage status deserves. [6]
Professor Atherton claimed that an overriding authority is needed that
would set overall goals and strategies for greater consistency in the
management of world heritage areas. [7]
4.7 In addition, Mr Ian Dutton, Senior Lecturer in Planning at Southern
Cross University, maintained that the Commonwealth should be responsible
for the management of world heritage areas and clearer definitions of
these responsibilities need to be established:
As a national signatory to the World Heritage Convention and despite the
often unclear nature of Commonwealth powers with respect to environmental
management in Australia, the Commonwealth government is the obvious locus
of responsibility for management of WHAs [world heritage areas]. The Commonwealth
plays such a significant role in the listing process that it is inconceivable
that it should not also play a significant role in the ongoing management
and conservation of WHAs so listed. To this end, the view put to me by
a previous Commonwealth Environment Minister that ... certain WHA properties
are more rightly a State responsibility is clearly inappropriate. ...
It is clearly time to establish a more coherent and systematic definition
of Commonwealth responsibilities for WHA management. [8]
Management structures
Commonwealth management arrangements
4.8 DEST, through its World Heritage Unit, administers world heritage
matters in Australia, in consultation with other Commonwealth departments
and the States and Territories. The other Commonwealth agencies include:
- the Department of Foreign Affairs and Trade which is responsible for
treaties and other arrangements between the Commonwealth and international
governments;
- the Attorney-General's Department which advises on the legal and constitutional
propriety of the arrangements and provides ongoing legal advice; and
- specialist agencies, such as the Australian Heritage Commission, ANCA,
the Commonwealth Scientific and Research Organisation, and the GBRMPA.
[9]
Consistent management structures and the 'DEST model'
4.9 Part of DEST's responsibility is to negotiate with the States about
management arrangements with the intent of formalising consistent management
structures. The development of more consistent management arrangements
for all Australia's world heritage areas is a priority for Government.
In the then Prime Minister's 1992 statement Maintaining Our Natural Advantage,
$2.25 million was allocated over four years towards the development and
implementation of a more consistent world heritage management system.
4.10 Following that commitment, DEST held meetings with officials from
State Governments to develop consistent management arrangements. In seeking
to introduce such arrangements, DEST has been working towards the establishment
of a Commonwealth/State Ministerial Council for each State supported by
a committee of senior government officials, along with specific structures
such as community consultation committees and scientific advisory committees
tailored to the needs of individual properties. DEST expects these arrangements
to be formalised through a range of Commonwealth/State agreements. [10]
4.11 Support for DEST's management model has come from a number of sources.
For example, the ACIUCN recommended to the Committee a basic model for
world heritage management that closely resembles that promoted by DEST:
... a basic type of model that we would be looking at which would include
such things as some sort of an agreement between the Commonwealth and
the state in terms of how they exercise the functions. In some particular
world heritage areas, that would be exemplified by a ministerial council
that has been established.
We would look at boards of management that would tend to include the on-the-ground
management or bureaucratic structures and that, again, would be at both
the Commonwealth and state level. We would look at things like the provision
for community advisory committees or consultative committees or management
committees - they have different names in different areas - and we would
look at the sorts of provisions for technical and scientific advisory
committees ... . [11]
The same elements form part of the generic management model proposed
by Professors Boer and Fowler in their report on the adequacy of existing
legislative and administrative arrangements for protecting world heritage.
This model also includes DEST's World Heritage Unit with its advisory
and coordinating role in management, and the suggestion that certain elements
of the model should be anchored in complementary Commonwealth/State legislation
or formal agreement between the Commonwealth and the States. [12]
4.12 In addition, the ACIUCN's Richmond Conference on world heritage
management proposed management structures which resembled those of the
DEST model with respect to community and scientific committees for each
world heritage area. The Richmond Communique proposals were that:
2.3.4 |
... appropriate community mechanisms, such as community advisory
committees, should be established. |
2.3.5 |
Community advisory groups should be part of management structures
and should offer stakeholders:
- easy access to information
- assurance that their views are passed to managers; and
- feedback on management responses.
|
2.3.6 |
Consultative/advisory committees should adhere to codes of conduct
consistent with the principles of consultation ... including the
following elements: independent chair; clearly defined roles; records
of meetings; and transparent decision making. [13] |
4.13 Industry groups and conservation groups have also supported the
DEST model. The MCA claimed that the DEST model is structurally sound
and the industry has been prepared to work with it. [14]
The NFF stated that it strongly supported the principles of the Richmond
Communique that deal with community consultation and management structures.
[15] The Conservation Council of
Western Australia (CCWA) claimed that the inadequate consultation arrangements
up until now could be overcome by the establishment of Ministerial Councils,
community committees and scientific committees immediately after listing.
[16] According to the CCWA, some
areas have combined the community consultative committee and the scientific
and technical committee and this works well:
In some World Heritage Areas there is just one committee which is made
up of both community and scientific members. This has proved valuable
to both the community and the scientific/technical members, consideration
should be given to this option instead of the 2 different levels of committee.
[17]
4.14 Support for the DEST model has been forthcoming from the State Governments.
The Western Australian Government, for example, proposed that the State/Commonwealth
agreement for Shark Bay should contain provision for a Ministerial Council
comprising State and Commonwealth Ministers, a community consultative
committee with majority local membership and an expert scientific advisory
committee. [18] Queensland's Department
of Environment and Heritage (DEH) stated that it strongly supported the
use of community advisory committees and scientific advisory committees
as a means of engaging the community and achieving the objectives of the
Convention to make world heritage properties part of the life of the community.
[19] An assessment of the operation
of the arrangements established so far suggests that they have led to
significantly better relationships between the States and Commonwealth.
[20]
4.15 While recognising the usefulness of a consistent approach to management
structures, several witnesses pointed out that this does not mean that
the management arrangements in each world heritage area should be identical.
One model of management for all world heritage areas may not appropriate.
As Dr Ralph Chapman pointed out, the Commonwealth 'should not seek to
impose a "one best way" rather a "one best outcome".
The differences between WHAs is so great as to make one model totally
inappropriate'. [21]
4.16 DEST agreed that the arrangements established should take account
of local needs:
"Consistent arrangements" do not mean the same arrangement for
all properties. It would be counterproductive if consistency were taken
to the point of uniformity in a way which disregards sensitive attention
to local needs and differences. What it does mean is comparable, compatible,
"best practice" arrangements that will ensure the best management
of the World Heritage values for which a property is listed. [22]
Queensland's DEH believed that it is appropriate for the Commonwealth
in managing world heritage properties to ensure a consistency of approach
to management in all properties. However, recognising the particular needs
of each jurisdiction and the capability and willingness of each jurisdiction
to effectively manage World Heritage properties must also be considered.
[23]
4.17 The Wet Tropics Management Authority (WTMA) pointed out that the
size, tenure, ownership, complexity, history and management needs of world
heritage areas vary greatly. The most effective and appropriate management
arrangements for one area may be inappropriate for another. The WTMA maintained
that, although there may be a case for standardising certain elements
of management arrangements, there is no case for a fully standardised
set of management arrangements to be applied to all world heritage areas.
The WTMA suggested that an important factor to be considered in determining
the appropriateness of management arrangements is an analysis of the community
of interest. For example, a remote world heritage area which is all national
park, has no native title or other private interests and receives minimal
visitation, has a lesser case for fully participatory management arrangements
such as those in the Wet Tropics. [24]
4.18 The Committee considers that DEST's suggested management structures
are appropriate and agrees with the ACIUCN that the most useful approach
to establishing consistent arrangements across all properties is to modify
the basic model on the basis of an examination of each property's needs.
[25] The Committee recommends that:
(9) the Department of the Environment, Sport and Territories pursue
the implementation of consistent management arrangements for all Australia's
world heritage areas.
These arrangements should include Ministerial Councils (either property
based, State wide, or multiple State as appropriate), community advisory
committees, and scientific/technical advisory committees, and be tailored
to the needs of individual properties and States.
Existing management structures
4.19 The administrative arrangements vary in different world heritage
areas. The majority of Australia's world heritage areas are managed by
State agencies, either independently or under joint arrangement with the
Commonwealth. Three styles of management arrangements are in place in
Australia's world heritage areas:
- Aboriginal owned world heritage areas - In Kakadu and Uluru-Kata Tjuta
National Parks, Aboriginal people hold the title to the lands, which
are leased to the Director of the Australian National Parks and Wildlife
Service for the purposes of nature conservation. A Board of Management
for each park, with a majority of Aboriginal members, is responsible
for the preparation of management plans for the parks. Management itself
is undertaken by ANCA.
- State managed world heritage areas - This group includes the CERRA,
Willandra Lakes, Lord Howe Island, Fraser Island, the Tasmanian Wilderness,
Shark Bay, and the Australian Fossil Mammal Sites. Management is carried
out by the State agencies under the jurisdiction of State legislation.
- Joint State/Commonwealth managed world heritage areas - Formal arrangements
are in place for the joint management of the Wet Tropics and the Great
Barrier Reef by the Queensland and Commonwealth Governments. The Wet
Tropics is managed under State legislation and State agencies are responsible
for the management of the area. The majority of the Great Barrier Reef
world heritage area falls within Commonwealth jurisdiction and is managed
by a statutory authority constituted by the Commonwealth with enabling
State legislation. State staff are used on the day-to-day management
level.
4.20 Further description of the management structure in each world heritage
area in Australia is provided in Table 4.1 and
Appendix F. Table 4.1
shows the extent to which the elements of DEST's model have been established
for each world heritage area. It includes, as well, information about
an additional element in the management structure of world heritage areas,
the board of management, which provides another forum for input by different
stakeholders.
Comments on the operation of the management arrangements
a) Commonwealth administration of Northern Territory world heritage
areas
4.21 The two world heritage areas in the Northern Territory differ from
Australia's other world heritage areas in that they are managed entirely
by the Commonwealth. The Conservation Commission of the Northern Territory
suggested it is anomalous that the Territory should not have responsibility
for such a 'State-type' matter, given that executive authority for other
Territory parks and reserves was transferred to it when it achieved self
government in 1978. The Commission criticised this arrangement as 'inconsistent
with the constitutional development of the Northern Territory'. [26]
4.22 The Commission advanced other arguments in favour of its managing
Uluru and Kakadu. It claimed that, based on its performance with its existing
parks, it could manage Uluru and Kakadu more cheaply than ANCA does. [27]
It also saw:
The ongoing management of Kakadu and Uluru by the Australian Nature Conservation
Agency in isolation from the management of all other parks and protected
areas in the Northern Territory [as] ... an expensive administrative duplication.
[28]
The Commission also drew the Committee's attention to section 2.5.4 of
the IGAE which provides for the elimination of functional duplication
in environmental management, and suggested that, with the approval of
the traditional owners, both world heritage areas be transferred to Territory
control. [29] The Tourism Council
Australia (TCA) also supported such a transfer. [30]
Table 4.1Management arrangements in Australia's world heritage
properties, as at November 1995
|
|
Management Structure |
Property |
Date inscribed |
Ministerial Council |
Commonwealth, State and Local Government Committee
|
Board of Management |
Community Advisory Body or representation |
Scientific Advisory Body or representation |
Australian Fossil Mammal Sites (Riversleigh, Naracoorte) |
1994 |
under negotiation |
yes |
no |
no |
yes |
Central Eastern Rainforest Reserves (Australia) |
1986, 1994 |
yes |
yes - no local government representation. |
no |
no |
no |
Fraser Island |
1992 |
under negotiation |
under negotiation |
under negotiation |
yes |
yes |
Great Barrier Reef |
1981 |
yes |
yes |
yes |
yes |
several |
Kakadu National Park |
1981, 1987, 1992 |
not applicable |
yes
Commonwealth and Northern Territory
|
yes |
yes |
no |
Lord Howe Island Group |
1982 |
yes |
yes
no Commonwealth representation
|
yes |
no |
no |
Shark Bay |
1991 |
under negotiation |
under negotiation |
no |
under negotiation |
under negotiation |
Tasmanian Wilderness |
1982, 1989 |
yes |
yes |
no |
yes
combined with scientific advisory committee
|
yes
combined with community advisory committee
|
Uluru-Kata Tjuta National Park |
1986, 1994 |
not applicable |
no
Commonwealth only
|
yes |
yes |
no |
Wet Tropics of Queensland |
1988 |
yes |
yes |
yes |
yes |
yes |
Willandra Lakes Region |
1981 |
yes |
yes - no local government representative |
no |
yes |
yes |
Sources: Nicholls & King, pp 9-10 (see footnote
22, Chapter 4); Evaluation Report, p iii .(see footnote
20, Chapter 4).
4.23 The Aboriginal people of Kakadu and Uluru are the owners of the
land, which they currently lease to ANCA, and any transfer of management
responsibility from ANCA to the Northern Territory could not proceed without
their support. There appears to be a variety of views on this subject
among them. For example, during a visit to Kakadu, the Committee was told
that, the Gagadju people and the Board of Management opposed any transfer,
and the Board had written to the Prime Minister to point this out. The
Anangu of Uluru are also reported to prefer that the current management
arrangements continue. [31] However,
the Jawoyn Association take a different view: Jawoyn land, which is regarded
as indivisible, straddles the boundary between Kakadu and Nitmiluk and
is under the control of two different boards of management. The Association
is happy with the arrangement whereby their land in Nitmiluk National
Park is managed by the Parks and Wildlife Commission under the direction
of the Nitmiluk Board, and has also written to the Prime Minister to this
effect. [32] In its letter, the
Association stated that it saw no sense in not extending this arrangement
to all Jawoyn land. The views of the land councils would also need to
be considered in determining future responsibilities for Kakadu and Uluru
because the councils negotiate the leases for the parks.
4.24 The Committee heard criticism of ANCA by representatives of the
Northern Territory Parks and Wildlife Commission, particularly about ANCA's
performance at Kakadu. It was suggested that there was a lack of cooperation
on matters such as weed control and feral animal programs. Whether or
not these criticism are valid, it does appear that the relationship between
ANCA and the Commission has deteriorated and is in urgent need of improvement.
There is a risk that the lack of cooperation and failure to coordinate
activities will have an adverse impact on the integrity of the world heritage
areas. As a minimum the two agencies have much to learn from one another
and both could achieve some efficiencies in their operations by working
in concert. One way in which this might be achieved could be to re-establish
the arrangement whereby Kakadu National Park was staffed by officers of
the predecessors of both the Parks and Wildlife Commission and ANCA under
a memorandum of understanding between the two. This would facilitate communication
and cooperation between the two agencies at a local level, but there would
also be a need for more formal consultation at a higher level.
4.25 The Committee was advised that the Parks and Wildlife Commission
has recently been included in a planning team that is contributing to
the preparation of the new management plan for Kakadu. This arrangement
should also facilitate an improvement in relations between the two agencies
and other remedies might also be possible. For example, there should be
regular, formal meetings between senior officers of the two agencies and,
subject to the agreement of the traditional owners, a Commission officer
might attend Kakadu National Park Board meetings as an observer. The Committee
considers that the two agencies, working together, ought to be able to
resolve the current problems. The Committee recommends that:
(10) The Australian Nature Conservation Agency:
(a) urgently introduce measures to improve its relationship with
the Northern Territory Parks and Wildlife Commission at both the local
level and at the senior executive level; and
(b) subject to the agreement of the traditional owners, the Australian
Nature Conservation Agency seek, as an initial measure, to negotiate
a memorandum of understanding that provides for increased cooperation
with, and involvement of, the Northern Territory Parks and Wildlife
Commission in the management of Kakadu and Uluru-Kata Tjuta National
Parks.
b) The World Heritage Unit
4.26 The World Heritage Unit (WHU) was established in 1993 as the result
of the then Prime Minister's Environment Statement. Its responsibilities
are, as set out in paragraph 1.14, to
advise; coordinate legal, financial and management arrangements; monitor
and report; and promote awareness of world heritage. In 1995 the WHU's
effectiveness and efficiency was evaluated and the continued relevance
of its objectives and funding considered. The evaluation was carried out
by a steering committee comprising officers from the IUCN, ICOMOS, the
WHU, the Department of Finance, the Aboriginal and Torres Strait Islander
Commission, and management agencies in Queensland and New South Wales.
4.27 The Committee notes the steering committee's conclusion that the
WHU was structured in such as way as to allow it to carry out its tasks
efficiently. The funding it had administered had 'significantly contributed
to advancement of more consistent management arrangements', and had been
'effective in helping the Commonwealth better meet its obligations under
the WH Convention'. [33] The Committee
identified two issues as needing greater attention in the future: the
development of best practice, and a more explicit basis for management
plans and arrangements in world heritage values. This latter point is
developed more fully later in this chapter.
c) Ministerial Councils
4.28 Under DEST's model there should be a Ministerial Council for each
world heritage property with the exception of the properties managed by
the Commonwealth. These councils oversee strategic long-term planning,
provide advice on forward expenditure programs and receive and act on
advice from the scientific and community advisory committees. A separate
Ministerial Council for each individual property is not necessary. For
instance, one Ministerial Council is in place for all New South Wales
properties. [34]
4.29 The Queensland Government stated that, while dialogue between State
and Commonwealth Ministers is desirable, it did not support a separate
Ministerial Council for each world heritage property. It proposed that
the Commonwealth should actively pursue Ministerial arrangements which
minimise the need for additional Ministerial Councils. [35]
DEST recognised the difficulties faced by the Queensland Government, particularly
with properties shared with other States, that is, the Australian Fossil
Mammal Sites and CERRA. DEST's view is that, although these are difficult
situations to sort through, there should be some oversight at Ministerial
level for all non-Commonwealth properties. [36]
The Committee notes that Lord Howe Island has been identified as a site
particularly in need of inter-governmental oversight. [37]
d) Involving the community
4.30 Participation by the community is an important aspect of DEST's
management model as described earlier in this chapter. Furthermore, participants
at the workshop on world heritage management organised by the ACIUCN recognised
the importance for the managers of world heritage areas of involving and
consulting the community and other stakeholders. The Richmond Communique
contained the following principles of information and consultation:
2.2.1 |
Key elements of community consultation are:
- early involvement in the process
- early identification of the range of issues involved
- a clearly identified process carried out in a timely manner
- clarity of purposes of consultation (e.g. decision making
or advisory)
- a properly targeted process
- ready access to appropriate information ...
- involvement in ongoing management and strategic planning
- involvement in both planning and implementation.
|
2.2.2 |
Best practice methods for consultation, including transparency
of process, the principle of inclusion not exclusion, the use of
independent chairs and the adoption of appropriate techniques, should
be developed and implemented. |
2.2.3 |
A continuing information process is required. |
2.2.4 |
Consultation processes should recognise stakeholders' need for
certainty. |
2.2.5 |
Consultation mechanisms should include identifying for stakeholders:
the benefits of listing; what world heritage criteria/values apply
to the property; the scope of activities that would be permitted
on the site; and penalties that would apply for non-compliance.
|
2.2.6 |
Mechanisms for consultation presently used in conjunction with
the various world heritage properties should be assessed for their
effectiveness and the details disseminated. [38]
|
4.31 Peak industry bodies also placed emphasis on local community participation
in management issues. They emphasised the notion that shared ownership
of world heritage processes and management by all affected business and
communities is important. An essential feature of management is ongoing
community support operating as an accompaniment to the preservation of
world heritage values. [39] The
Royal Australasian Ornithologists Union also made this point:
It is essential that the consultative arrangements provide sufficient
opportunity for the communities to become involved with the management
of the area and to take 'ownership' of the developments which occur. It
is only by having the local community fully involved that the opposition
to World Heritage listing which occurs can be broken down. [40]
Where consultation has not occurred, mistrust about the whole world heritage
process has developed. [41]
4.32 Other witnesses to the inquiry maintained that local communities
and industries know and understand their home areas better than city people
who have little rural experience and are based a long distance away. [42]
The Orchid Beach Community of Fraser Island, for example, claimed that:
The wealth of knowledge gained by local residents through many decades
of living in any particular area should be used in the future management
of any such area. This local knowledge far exceeds that of other user
groups, departmental officials and rangers, all of whom have limited and
in most cases, only recent experiences. [43]
From their extensive understanding of the area, local people can help
to identify issues, options and solutions in managing world heritage areas.
4.33 Participants at a workshop organised by the Committee identified
other benefits of consultation. When it is well-managed, consultation
with local communities builds trust between them and world heritage managers,
and reduces the likelihood of conflict and with it the cost of management.
It also allows the managers to 'test reality' before embarking on a course
of action. The Committee notes, however, that there are disadvantages
in consulting: it is expensive and time-consuming and, even when done
well, may not resolve difficulties - indeed it may exacerbate them.
4.34 The DEST model of management includes a community committee for
each world heritage area. The Committee heard evidence that community
consultation arrangements worked well in some world heritage areas, although
community groups are reported to have expressed some concern about the
adequacy, extent and frequency of consultation. [44]
Mr Dutton from Southern Cross University claimed that the consultation
arrangements in place in Commonwealth properties, with their 'excellent
mechanisms in place for community and technical input', were more developed
than in non-Commonwealth properties. [45]
DEST agreed that the management arrangements in properties for which the
Commonwealth has direct responsibility have worked effectively. It believed
that these arrangements have provided local communities with opportunities
to contribute to management planning and decision making. [46]
4.35 Mr Valentine of James Cook University, who is the chairman of the
Wet Tropics consultative committee, praised the community consultation
model in the Wet Tropics and recommended that it should be used as a model
for managing other multi-tenure world heritage areas. He claimed that
the model provides for the integration of the various activities within
the world heritage area with options for development in nearby areas.
Community participation is used to establish priorities and discuss management
issues, and cooperative land management arrangements have been put in
place with local government. [47]
In addition, the WTMA supports community development programs which increase
the skills and capacities of communities, particularly smaller rural communities,
to take a more active role in management. [48]
The Committee did, however, receive some criticism of the WTMA's consultative
processes leading up to the production of its draft management plan. [49]
The level of community consultation and participation was also singled
out by the Minister of the Environment, Senator Robert Hill, in his Budget
statement, as an area that could be improved. [50]
4.36 The GBRMPA has a policy of maximising public involvement in all
aspects of decision making. In its submission to the inquiry, it stated
that 'although such a policy has significant resource implications, we
believe, and it is our experience, that we cannot be effective without
community support, or at least understanding'. [51]
An example of the GBRMPA's consultative approach is the development of
the 25 Year Strategic Plan for the Marine Park, in which over 70 stakeholder
groups participated. The intent of the plan is that participating organisations
have joint responsibility for its implementation, [52]
so the plan is 'not an Authority document but rather represents a consensus
view from all levels of government and stakeholders as to how the area
should be managed'. [53] The GBRMPA
was awarded the UNESCO Einstein Medal for the quality of its planning
and management processes, which are largely based on effective public
participation.
4.37 The consultation arrangements used to draft the recently completed
management plan for the Willandra Lakes were rated highly by Mr Alastair
Howard, an executive director in the New South Wales National Parks and
Wildlife Service (NPWS). The Willandra Lakes draft management plan was
prepared in consultation with all the land-holders in the Willandra and
the Aboriginal groups in the area. Mr Howard claimed that the community
consultation process that occurred at Willandra Lakes sets a model for
other world heritage areas and made clear that consultation should start
at the outset:
The primary lesson is the consultation process at the very beginning.
When an area has been identified or nominated for assessment for possible
World Heritage listing, ... the community consultation process and involvement
of the community [should] start at that very point and continue, not in
some sort of superficial way, but be very real and meaningful. What we
have actually achieved in the last two years in the Willandra I think
could be looked at as setting a model for that process. [54]
The Committee was told, however, that the conservation movement was not
involved in, and had concerns about, the consultation processes. [55]
4.38 The Committee is pleased that the current consultative arrangements
for the Willandra Lakes world heritage area appear to be a great improvement
on previous practices. Mr Ted Richardson, Secretary of the Willandra Landholders
Protection Group, described how 'in 1980 we learnt of the Willandra nomination
via the newspapers, no notification, no consultation, no looking at the
possible social or economic impacts, just bang, you're nominated'. The
17 families that lived in the Willandra Lakes world heritage area then
experienced 'years of governmental procrastination and non commitment'
over the planning processes at Willandra Lakes that brought with them
'uncertainty, deceit, stress and financial disaster'. [56]
Mr Richardson told the Committee that:
By November 1994, nearly 14 years had passed without resolution of our
problems, the timeframe for the plan of management had just been broken
again, people were sick of attending never ending meetings ... At that
stage it had become evident that approximately half the landholders could
take no more and wanted out, this included families like ours, that had
held properties in the region for three generations. [57]
It is the Committee's view that such a situation should never have arisen,
even less that it should have been prolonged for so long. It welcomes
the fact that both State and Commonwealth Governments have learnt from
this unfortunate episode and put a model process in place.
4.39 Several witnesses from Fraser Island expressed disappointment at
the community consultation arrangements in place in that world heritage
area. It was suggested that members of the Community Advisory Committee
had lost interest because they saw the existence of the Committee as having
minimal value, being no more than a public relations exercise. Members
were disillusioned and frustrated because decisions made by the Committee
were not acted on by the managing agency. [58]
Consultation arrangements with local communities were also considered
inadequate because the Interim Board of Management and the Great Sandy
Region Community Advisory Committee had no decision making power, public
meetings were rarely held to explore community attitudes, and a survey
carried out to determine community opinions on the management plan failed
to employ a valid sample of respondents and the analysis and interpretation
were seen as biased. [59] It was
pointed out to the Committee at the time of its public hearing in Brisbane
that the representatives on the Community Advisory Committee were appointed
by DEH, with the person appointed to represent the community being a national
parks employee. [60] Mr Tony Charters,
Director of Environmental Management at Kingfisher Bay Resort, agreed
that the consultation arrangements were deficient. He explained that formal
processes for setting up advisory committees had not been established
and consultation with the Government on a strategic level was limited.
He also mentioned that representatives from the Resort had not been contacted
by Community Advisory Committee members; this was indicative of the lack
of communication on the Island. [61]
4.40 In response, DEH pointed out that the Government was interested
in the views of the people who are part of the Community Advisory Committee
because it provided an effective input into the way in which DEH managed
its responsibilities in world heritage areas. However, that did not mean
that all the advice given by community committees would be taken up by
the Government. [62]
4.41 Other world heritage area consultative groups also felt that their
concerns were being ignored. Ms Helen Gee, a member of the Tasmanian World
Heritage Area Consultative Committee (TWHACC), claimed that the advice
of the Committee was not taken up by the Ministerial Council:
... the Committee's functioning had been frustrated by the lack of Ministerial
Council meetings. ...
Frequently the recommendations of the committee have not been taken seriously
and I believe the government's obstinate stand has rendered the Consultative
Committee an extravagant public relations exercises. [63]
The National Council of Women of Tasmania was also critical of the consultative
arrangements in that State. It maintained that the community was divided
on matters relating to world heritage management because of the lack of
an ongoing national consultative or mediative process by which consensus
and compromise might be achieved. [64]
These views were, however, at odds with those expressed in the recent
evaluation of the World Heritage Unit. [65]
4.42 Furthermore, Professor Michael Archer, Head of the Riversleigh Research
Project, claimed that there was no formal involvement by the Queensland
NPWS of the palaeontologists most closely associated with research at
Riversleigh when the initial management plan for the area was produced:
It should not be done ... in such a manner in which the scientific group
- which, after all, developed and has a grip on the total resources for
why it became a World Heritage site - has a response that is reactive.
I am fairly convinced that there should be an intimate involvement in
the generation of the plan, as there have been in the management plans
[of fossil sites] overseas. [66]
The Committee agrees with the National Trust of Australia (Victoria)
which pointed to the useful contribution technical advisory committees
can make at a professional level to world heritage management. An example
of such a committee is that associated with the WTMA. [67]
Conclusion
4.43 From the evidence it collected, including the workshop it ran with
world heritage specialists, the Committee identified a number of critical
elements for successful consultation. Some of the more important elements
that contribute to effective consultative processes are listed below.
- Consultative groups should be established at the earliest possible
stage, well before the world heritage listing of a property, and continue
to operate thereafter. [68]
- Consultative groups tend to be more credible if their members are
not political appointments.
- Members should consult widely with their constituency, act as two-way
conduits between the consultative committee and their constituency,
and serve only limited terms on the committee to ensure that they remain
fully attuned to the needs of their constituents.
- Involving consultative groups in establishing the structures and processes
they are to use contributes to the success of their operation. It is
also useful if these structures and processes are well-known.
- It must be clear from the outset what the purpose of any particular
consultative exercise is: whether it is to gather, exchange and/or evaluate
information or whether it is to reach decisions.
- When managers do not act upon the advice and decisions of consultative
groups, they should provide their reasons for rejecting the outcomes
of these groups' deliberations.
- Timetables should be set for the consultative processes, and reviews
of outcomes scheduled.
- Sufficient funds and time must be provided.
- Consultative processes should be flexible; more extensive consultation
may be needed in some circumstances and the membership of existing community
groups may need to be reviewed from time to time. [69]
- Managers benefit most from consultation if they combine separate meetings
for specialist consultative groups with occasional meetings with mixed
membership.
In short, consultative processes must be clearly defined, transparent,
inclusive and accountable.
4.44 Based on its review of the operation of consultative processes involving
the community and scientific and technical groups, the Committee strongly
supports the involvement of the whole community in decision making processes
for world heritage areas. This process should start when the nomination
of an area is first considered and continue thereafter. The Committee
notes the suggestion from its workshop that one of the roles that the
Commonwealth might usefully assume is that of setting standards for consultation
and disseminating information about best practice. Professors Boer and
Fowler also nominated this as an appropriate topic for inclusion in a
world heritage manual. [70] The
Committee therefore recommends that:
(11) the Department of the Environment, Sport and Territories, in
consultation with managing agencies, introduce effective consultative
mechanisms with all stakeholders in world heritage areas, within one
year of the tabling of this report.
(12) the Commonwealth Government ensure that consultation with communities
occurs early in the world heritage listing process and continues after
listing.
(13) the Department of the Environment, Sport and Territories compile
and disseminate information on best practice in consultation for world
heritage management.
In later sections of the chapter, consultation with special interest
groups and segments of the community is considered in more detail.
e) Boards of management
4.45 Boards of management have been established under the legislation
of the world heritage areas where there is significant sharing of responsibilities
or ownership. Boards are responsible for the management of the Wet Tropics
and Great Barrier Reef world heritage areas and the two Commonwealth-operated
parks in the Northern Territory. Lord Howe Island also has a board, which
is responsible not only for the management of the island's world heritage
values but also the welfare of the island's community. In general, the
State-managed world heritage areas do not have boards of management, although
an interim board of management was established during the world heritage
nomination of Fraser Island to prepare a management plan and legislation
for the Great Sandy Region of which Fraser Island is part.
4.46 The boards represent forums where advice from government and the
community can be brought to bear on management policy and practice in
a very focussed manner, and advice can be provided to government on world
heritage management. There are Commonwealth and State Government nominees
on all the boards except that of Lord Howe Island which has only State
Government nominees. Five of the six directors on the board of management
of the Wet Tropics Management Authority are private citizens, and three
of the five Lord Howe Island board members are elected from the community.
The boards of both Kakadu and Uluru National Parks have Aboriginal majorities,
and there is an Aboriginal member on the GBRMPA board. Input from other
interests can be included by allowing them to attend board meetings as
observers.
4.47 From the evidence it received the Committee formed the opinion that
the boards of Kakadu, Uluru and the GBRMPA were operating effectively.
It observed, however, that there were some concerns about the WTMA board;
for example, considerable problems were experienced in appointing a board
chairman and some view the board as having too few members. The Committee
was particularly concerned, however, by criticisms of the operation of
Fraser Island's Interim Board of Management. Mr John Sinclair, for example,
told the Committee that:
There is no management structure, other than the Department of Environment
and Heritage. There has not been a board of management for more than two
years. It is held in abeyance indefinitely and indeterminately when there
will be a structure. When matters of concern about how the island should
be managed in the future are raised, I am told that is a matter of operational
management and that will be decided by the Department of Environment and
Heritage. It is really a degree of proprietorial wanting to hang on to
any sort of power and authority that it has, and not sharing it at all.
I really feel quite aggrieved about the way in which this whole process
is developing, and I am not alone on that. [71]
4.48 Mr Sinclair believed that DEH had failed to establish an independent
board of management because it was 'unwilling to expose itself to the
rigors of close examination of its management practices'. He claimed that
DEH wanted an exclusive monopoly to define as well as to implement management
policies which was inappropriate. [72]
The Committee notes Mr Sinclair's call for the shortcomings to be resolved
by greater Commonwealth involvement in the management of Fraser Island.
The Fraser Island Association also made suggestions about the composition
of the new board. [73]
4.49 DEST confirmed that the Interim Board had not met for two years,
nor had it been replaced by a permanent one as intended, despite ongoing
negotiations between the Commonwealth and Queensland Governments. DEST
commented in its submission of 5 July 1996 that the Queensland
Government has 'continued to be relatively unresponsive and no major progress
has been made on setting up permanent management structures'. According
to DEST, the Commonwealth has suggested that the membership of the board
should have a higher level of representation from the Commonwealth, more
representation from community groups and less from local government. [74]
4.50 The Committee noted that participants at its workshop supported
a role for boards in the administratively more complex world heritage
areas, but did not see a need for them elsewhere. It is possible that
one reason for the impasse between the Commonwealth and Queensland Governments
over the establishment of a board for Fraser Island may be the Queensland's
Government's view, which was articulated to the Committee in November
1995: 'it is not easy to see how, within the arrangements that we have
in Queensland for managing protected areas, you could create that sort
of organisational arrangement'. [75]
4.51 The Committee considers that boards backed by legislation are a
useful, if not essential, addition to the other elements of DEST's preferred
management structures for certain world heritage areas. However, more
thought needs to be given to the circumstances in which they are appropriate
and the factors to consider in setting the size and composition of each
board.
f) Involving indigenous people
4.52 During the inquiry, the Committee met with Aboriginal people at
Uluru and Kakadu and heard directly from one other Aboriginal group regarding
world heritage areas. In its submission, the Thoorgine Educational and
Cultural Centre Aboriginal Corporation (TECCAC) from Fraser Island complained
of a lack of consultation. Mr Duncan McInnes, the then Director of TECCAC,
told the Committee that the Aboriginal people on Fraser Island did not
believe that they were consulted properly during the drafting of the Great
Sandy Region management plan. While they had a good relationship with
DEH and their rangers on the ground, there had been breakdowns in communication
with middle to senior management. [76]
TECCAC concluded that the Commonwealth Government should become more involved
with local Aboriginal people within world heritage areas to ensure that
Aboriginal interests are not overridden because of expediency or a lack
of interest from the managing agencies:
There exists a grave need for new initiatives and improved relationship
arrangements between indigenous First Nations representative bodies, World
Heritage Area Management Agencies and the Commonwealth. [77]
4.53 One way of improving relationships with the Aboriginal people associated
with Fraser Island would be, as recommended by Mr McInnes, to appoint
Aboriginal people to the Fraser Island board of management, when established.
[78] Dr Dermot Smyth, a consultant
in cultural ecology, also claimed that managing agencies gave insufficient
attention to addressing Aboriginal peoples' cultures and other interests.
He identified the Great Barrier Reef, the Wet Tropics and Fraser Island
as areas where management fails to adequately recognise Aboriginal interests.
[79] DEH's response to these remarks
was that the Queensland Government's approach has been one of encouraging
Aboriginal involvement in the management of protected areas, both by employment
on the properties and by participation in decision making processes. [80]
For example, the WTMA board has an Aboriginal member, GBRMPA has had extensive
consultation over management and planning in the reef area with indigenous
people, and Aboriginal people have been involved in the Community Advisory
Committee on Fraser Island.
4.54 The GBRMPA claimed that it has taken a proactive role in consulting
with indigenous communities living adjacent to the marine park. Furthermore,
there is also Aboriginal representation on the Great Barrier Reef Consultative
Committee, and the Great Barrier Reef Marine Park Act 1975 has been amended
to appoint an Aboriginal person to the GBRMPA board to factor in the considerations
of indigenous people into the management of the park. [81]
4.55 ANCA told the Committee that its staff are committed to the success
of consultation and joint management. [82]
The statutory and legal arrangements pertaining to both the Kakadu and
Uluru-Kata Tjuta world heritage areas ensure the ongoing involvement of
local Aboriginal communities in the management of these National Parks.
Under the National Parks and Wildlife Conservation Act, the boards of
management of both parks have Aboriginal majorities. The boards act both
as advisers and the final arbiters in the preparation of management plans,
and oversee the ongoing management of the parks. In addition, the terms
of the lease arrangements for both parks cover the maintenance of Aboriginal
tradition, Aboriginal involvement through consultation, employment and
business development, and promoting an understanding of Aboriginal culture.
The Kakadu lease provides for its termination if issues of detriment to
the Aboriginal traditional owners cannot be resolved. [83]
The Committee notes that this provision could result in activities unfavourable
to the protection of the world heritage values of the park.
4.56 Apart from the advantages for local indigenous people, there are
clear benefits from their involvement for world heritage area management.
These benefits have been listed in the case of the Uluru-Kata Tjuta world
heritage area by Mr Julian Barry, the Park Manager, in relation to interpretation,
scientific research, land and visitor management, and infrastructure planning.
Mr Barry commented that 'the Uluru-Kata Tjuta model shows that when Aboriginal
people are remunerated and in a position of strength, they are enthusiastic
about sharing much of their cultural knowledge with non-Aboriginal people'.
As a result, visitors to Uluru have exceptional access to Aboriginal cultural
information and interpretation material, a fact much appreciated by the
tourist industry. [84]
4.57 The Committee notes that in April 1994 the Board of Management of
the Uluru-Kata Tjuta National Park and ANCA were awarded the UNESCO Picasso
Gold Medal for their outstanding achievements in the cultural sphere of
world heritage management. The medal recognised that Australia has set
new international standards for World Heritage management by indigenous
people through the arrangements put in place in the Park.
4.58 Some criticism of ANCA's involvement of Aboriginals in world heritage
management was made by the Conservation Commission of the Northern Territory.
The Commission claimed that the Northern Territory Government's consultative
arrangements with traditional Aboriginal owners of Nitmiluk National Park
are superior to the Commonwealth's arrangements for Kakadu and Uluru-Kata
Tjuta:
Although there are certain safeguards in place, the role of the park boards
in Uluru and especially in Kakadu are essentially advisory in nature.
Executive responsibility is retained by the Director of National Parks
and Wildlife, a distant figure in Canberra. The safeguards to guide the
Director are contained within lease agreements.
In comparison, in the NT situation the Traditional Owners of Nitmiluk
National Park have a clear executive role in the management of the park.
That role is protected by statute which cannot be changed except by resolution
of the Northern Territory Parliament, and then, if changed and found to
be substantially detrimental to the interests of the traditional Aboriginal
owners, may constitute a breach of the lease. [85]
4.59 ANCA acknowledged that there are differences in the management of
its and the Northern Territory Aboriginal parks, although there are also
considerable similarities. It pointed out that the arrangements for the
Northern Territory parks were established after those for ANCA's parks,
which allowed for the experiences of operating Uluru and Kakadu to be
built on. The differences between Nitmiluk and Kakadu's arrangements,
which are summarised in Table 4.2, suggest that
the Nitmiluk board has greater independence than Kakadu's. However, as
ANCA pointed out, the on-ground processes which give effect to the structural
arrangements work successfully from both ANCA's and the Aboriginals' points
of view. [86]
Table 4.2The main differences between the Australian Nature Conservation
Agency's management arrangements for Kakadu and the Northern Territory
Government's management arrangements for Nitmiluk
Item |
Australian Nature Conservation Agency (ANCA) |
Parks and Wildlife Commission of the Northern Territory
(PWC) |
Management plan |
Can be changed by the Minister for the Environment
before being presented to Parliament |
Cannot be altered by the Minister before it is laid
before the Legislative Assembly; the Assembly can reject it in whole
or part |
Board |
Manages jointly with ANCA's Director |
Is statutorily separate from PWC's Director and can
appoint staff and receive money |
Board membership |
10/14 members are traditional owners |
8/13 members are traditional owners |
|
ANCA officers are not required to sit on the board |
4/13 members must be permanent Parks and Wildlife Commission
staff |
|
Minister appoints members with approval from the Northern
Land Council |
|
Source: Australian Nature Conservation Agency, submission
(number 90), pp 3-4.
4.60 The Committee judges from the evidence received that the management
arrangements in Commonwealth managed properties effectively involve the
indigenous people, or are moving in that direction. The Committee considers
that agencies should monitor the effectiveness of the involvement of indigenous
people in managing national parks, analyse the practices used, and identify
improvements to combined management arrangements in world heritage areas.
It notes that one of DEST's functions is listed as 'increased involvement
with Aboriginal ... communities to ensure cultural values are protected
even though a property is not listed for cultural values', and commends
this approach. [87] To assist DEST
and world heritage management agencies, a number of protocols for involving
indigenous people have been suggested. [88]
The Committee recommends that:
(14) the Commonwealth Government encourage managing agencies to
review the involvement of indigenous people in the management of world
heritage areas where they have continuing, traditional associations,
with a view to:
a) identifying additional measures for their involvement; and
b) implementing these measures.
g) Involving the tourism industry
4.61 The tourism industry is involved with the management of world heritage
areas in a variety of ways. Tourism interests are represented on the boards
of Kakadu and Uluru-Kata Tjuta, on consultative committees in Tasmania
and at Uluru-Kata Tjuta and Kakadu, and on liaison groups associated with
the Great Barrier Reef and the Wet Tropics world heritage areas. The Commonwealth
Minister for Tourism is a member of the Ministerial Councils for the Great
Barrier Reef, the Wet Tropics and New South Wales's world heritage areas.
Commenting to the Committee in 1995, both the Department and TCA stated
that theconsultative model that had been established between the tourist
industry and the GBRMPA was successful. [89]
As of August 1996 the GBRMPA was about to start a review of tourism use
of the Reef in partnership with the tourist industry with the aim of developing
strategic tourism use policy and management mechanisms. [90]
The Committee was concerned, however, to learn that the TCA reported less
satisfactory experiences of consultation with ANCA, especially in relation
to Kakadu.
4.62 The tourism industry also indicated to the Committee that it wished
to play a greater participatory role in the decision making processes.
It saw itself as having potential to be a major player in the management
of protected areas in general. The then Commonwealth Department of Tourism
observed that 'it is important ... that the planning processes provide
for stakeholder input'; such input should extend to consultation about
development applications. [91] The
TCA also called for more tourist industry participation when decisions
about world heritage areas are being made, and called for an industry
representation on the Kakadu and Uluru boards. [92]
4.63 The Committee acknowledges that tourism is a major user of world
heritage areas and it is important that consultative links are established
between the managers and the tourism industry. As world heritage areas
are major drawcards for tourists, the tourism industry should be involved
in management. The Committee noted Professor Atherton's argument that
tourist operators should be more involved with world heritage management:
In the past, World Heritage sites have been managed largely by biologists,
who know, with all due respect, nothing about hospitality and nothing
about business or commercial management. ... Their main objective, obviously,
is the conservation of the site, but at the same time these sites do have
a commercial importance. They are an enormously valuable resource for
the host country. That resource can be squandered, ignored or not managed
properly, or that resource can be harnessed and, indeed, the returns from
that resource can be reinvested in the main objective of the site, which
is conservation. [93]
A greater role for the tourist industry, beyond that of simply being
consulted about the management of world heritage areas, is discussed further
in the last section of this chapter.
Management plans
World heritage area management plans
4.64 The Operational Guidelines for the Implementation of the World Heritage
Convention state that natural sites nominated for world heritage listing
'should have a management plan':
When a site does not have a management plan at the time when it is nominated
for the consideration of the World Heritage Committee, the State Party
concerned should indicate when such a plan will become available and how
it proposes to mobilize the resources required for the preparation and
implementation of the plan. The State Party should also provide other
documents(s) (e.g. operational plans) which will guide the management
of the site until such time when a management plan is finalized. [94]
4.65 DEST reported to the Committee that:
For each Australian World Heritage Area, management plans have been produced
or are planned. The Commonwealth considers such plans as vital in implementing
Australia's obligations under the World Heritage Convention to protect,
conserve and present World Heritage values of each property. State National
Park and conservation legislation usually provides a framework for preparation
of management plans, including the setting of goals and objectives, permitted
uses and community consultation. [95]
The progress that has been made in preparing plans for the management
of Australia's world heritage areas is summarised below. [96]
4.66 The management plan for the Tasmanian Wilderness covers 1992-97.
[97] It was agreed by the State
and Commonwealth Ministerial Council and details how the area should be
managed as world heritage. [98]
The management plan of the Great Sandy Region, which includes Fraser Island,
was prepared by the Queensland Government. [99]
The plan, which will be reviewed in 1999, also acknowledges Fraser Island's
world heritage values.
4.67 The management of the Great Barrier Reef is largely controlled by
four zoning plans established by the GBRMPA to determine broad use regimes
over the whole reef. Those parts of the world heritage area outside the
marine park are covered by plans of the Queensland DEH. The Authority's
zoning plans have the status of subordinate legislation, and are reviewed
every 5-7 years. Two lower level planning processes fine tune the zoning
plans and pay particular attention to heavily used or threatened sites;
several such plans are being prepared. However, as the Authority commented
in its submission, 'as use pressures increase, the zoning and management
planning framework as currently developed is not meeting changing needs'.
The Authority is therefore reviewing this framework and, although it does
not anticipate a significant change to statutory planning, the development
of non-statutory plans and policy will alter. [100]
4.68 When the Reef was nominated for listing in 1981, the current management
processes of the Park were seen as being sympathetic to, and aligned with,
attaining world heritage goals and were carried across as the management
arrangements for the world heritage area. More recently, the management
experiences of the Authority have brought it to the recognition that these
arrangements do not overtly address the values of the area, and a better
articulation between values and management arrangements is needed. [101]
The Authority has therefore sought to define more precisely the values
of the Reef, and has recently received a consultants' report that details
the Reef's values and uses them as the basis for proposing a series of
management options. [102] Furthermore,
with the amendment to the Great Barrier Reef Marine Park Act in 1995,
management plans must now focus on, among other matters, the protection
of heritage values. [103]
4.69 Kakadu and Uluru-Kata Tjuta National Parks are both currently managed
under their third plans which came into force in 1992 and will run until
December 1996 and December 1997 respectively. [104]
The plans for these two parks are prepared under the National Parks and
Wildlife Service Act 1975 for their management as national parks and the
homes of their traditional owners. The world heritage status of these
two areas receives no special emphasis.
4.70 Only draft management plans exist for several world heritage areas.
The Wet Tropics draft plan was released for public comment in October
1995, and area specific plans are being prepared. [105]
The Willandra Lakes draft management plan was also released for public
comment in October 1995 and was endorsed by the New South Wales and Commonwealth
Governments in January 1996. [106]
The world heritage values of both these areas are central to the plans,
which will eventually become statutory instruments under State legislation.
DEST commented to the Committee that the Willandra Lakes draft management
plan:
... goes to a very wide range of issues which are not strictly World Heritage
management issues. The reason for that is that it was quite clear to us
that the stakeholders in the region wanted a plan which dealt with the
full suite of values and the full suite of management issues that were
important to them in managing that area. [107]
4.71 Since its listing in 1991, the Shark Bay world heritage area has
been managed in accordance with a preexisting regional plan, which is
discussed further below. More recently, several plans for specific parts
of the Shark Bay world heritage area have been released for public comment,
others are being prepared, and a strategic plan for the whole area contemplated.
It is expected that these plans will be considered and approved by the
Ministerial Council. [108] With
respect to Lord Howe Island, draft plans are being prepared for the proposed
marine reserve and for the whole world heritage area. The existing plan
for the entire island was reviewed in 1994 and now refers to world heritage
matters, while that for the island's Permanent Preserve was revised in
1995. [109]
4.72 The management plans of the different sections of CERRA vary from
one to another, between areas that are designated national parks and those
that have other forms of conservation tenure. Management plans are at
various stages of completion for most components of the property, with
the most recent incorporating reference to world heritage protection.
[110] Commenting on the New South
Wales parcels of forest, Mr Howard, the Executive Director (Operations)
of the New South Wales NPWS said:
... the next thing that the CERRA World Heritage area needs is a World
Heritage plan of management that pulls all of those individual areas together.
Each of those either has or is having developed for it a plan of management
under the New South Wales National Parks and Wildlife Act. They basically
address individual reserve needs and make some attempt to link them together.
It really does need the overriding World Heritage area plan which would
also then incorporate the Queensland component. [111]
Mr Dutton from Southern Cross University made a similar point:
Of the 16+ parks and reserves which make up the fragmented NSW rainforests
property, most have component (single park or reserve) plans, however,
there has never been any strategic plan prepared for the entire property.
As a consequence, most sites are managed on the basis of their State-determined
or local conservation values rather than in sympathy with the goals and
objectives of the World Heritage Convention. [112]
A committee composed of New South Wales and Queensland agencies is now
preparing a strategic overview of CERRA which will help to produce a coordinated
and complementary approach to management throughout the area and lead
eventually to a strategic plan.
4.73 With respect to the most recently listed world heritage property,
the Fossil Mammal Sites, the Riversleigh site is covered by a draft management
plan for Lawn Hill National Park, which refers to the area's world heritage
values; work continues on this plan. The Naracoorte Caves, by contrast,
had a management plan, at the time of the Fossil Mammal Sites' listing.
Minor changes to the plans will be needed to acknowledge the links between
the two sites.
Regional and strategic plans
4.74 The Committee notes that in some of the larger regions of which
world heritage areas are part, regional plans exist that integrate these
areas with the uses of the surrounding land. After Shark Bay was nominated
to the World Heritage List, for example, it was managed in accordance
with the 1988 Shark Bay Region Plan, which includes strategies for land
use, community and economic development, and conservation of the natural
environment. This plan is now in the process of being revised. [113]
In the case of Willandra Lakes, it is proposed that the management plan
be incorporated into a regional environmental plan prepared under the
provisions of the New South Wales Environmental and Planning Assessment
Act. With respect to Uluru-Kata Tjuta, ANCA refers to its participation
in a regional planning group. [114]
4.75 In addition, strategic plans are being, or have been, developed
for some world heritage areas. In its submission to the inquiry, the Western
Australian Government explained that the various management plans for
the Shark Bay world heritage area:
... cover neither the entire area nor all the World Heritage values of
the Property, and also given the desirability of a single document which
states how the World Heritage values of the entire Property will be protected,
conserved, presented and transmitted to future generations as required
by Article 4 of the Convention, a Shark Bay World Heritage Property Strategic
Plan is also being prepared. ...
While each of the above plans has its logical place in the overall management
planning framework for the Shark Bay World Heritage Property, there is
the potential for overlap and confusion particularly among the local community
and users, especially when Shire plans ... and other possible site and
issue plans are also considered. The State Government is keen to ensure
that overlap and confusion are avoided. In this context any Commonwealth
proposals for management plans in World Heritage areas should be fully
integrated with normal State and Local Government planning procedures.
This has happened at Shark Bay, with respect to the Shark Bay World Heritage
Property Strategic Plan that is in preparation. [115]
In addition, the strategic plan would 'make comments where appropriate
on influences that might come from outside the World Heritage property
into the property itself'. [116]
4.76 In the context of seeking to manage the impact on the Great Barrier
Reef of activities which occur outside the world heritage area, the GBRMPA
coordinated the production of a 25 year strategic plan for the world heritage
area by an independent consultant. [117]
The Authority explained in its submission to the inquiry that:
It has always been recognised that activities outside the Park and the
Property could significantly affect both the Marine Park and the World
Heritage Area. Such impacts come from major tourist or industrial proposals
in or adjacent to the coastline, pressures to use the reef from the tourist
and resident population in the adjacent coastal areas and water runoff
from the catchments leading into the Region. ...
As one means of addressing this issue, the Authority facilitated, in 1992,
the development of a strategic plan for the Property which was a process
which involved all stakeholder groups and government agencies with an
interest in the Property ... this plan seeks to raise awareness among
stakeholders of our collective responsibilities for maintenance of the
World Heritage Property. Adoption of this plan by over 100 allied agencies
and other stakeholders has led to a new basis of negotiation being available
to the Authority when matters with potential to affect the Great Barrier
Reef are being contemplated. [118]
The Plan provides 'a shared vision of how the marine park will be managed
into the future', [119] but its
implementation is reported to have been delayed. [120]
Comments on progress with planning
4.77 The Committee acknowledges that progress is being made in the drafting
and revision of management plans. It notes that GBRMPA was awarded the
UNESCO Einstein Medal for the quality of its planning and management processes.
[121] Some witnesses to the inquiry
shared this view of the high standards of planning exhibited by at least
some of Australia's world heritage areas. For example, Mr Ian Dutton commented
on the widely acclaimed and well documented management plans of world
heritage areas such as Kakadu and the Great Barrier Reef. He also observed
that other areas, like the Wet Tropics, Fraser Island and the Tasmanian
Wilderness, had been slow in starting but 'are now making good progress
in plan development'. [122]
4.78 However, many witnesses, including Mr Dutton, drew the Committee's
attention to grossly inadequate planning and very slow progress in establishing
management plans in some world heritage areas. The most noteworthy of
these is the Willandra Lakes Region, listed in 1981 but only now, 15 years
later, reaching the stage of having its management plan released. Concern
was also registered about the Riversleigh Fossil Mammal Site, as well
as Shark Bay and the Wet Tropics where the production of plans since the
listing of these properties in 1991 and 1988 respectively has been tardy.
4.79 Much evidence was provided to the Committee about the ill effects
of failing to have management plans in place at the time when world heritage
areas are listed, or shortly afterwards. This is especially true when
the listed areas attract, or are perceived as being likely to require,
quite different management arrangements than hitherto. For example, grazing,
cropping, mining and forestry have ceased with the listing of some areas
as world heritage, and organisations representing these groups figured
prominently among those critical of the lack of planning. [123]
4.80 Without plans, both the managers and users of world heritage areas
lack guidance about what activities and developments are appropriate or
permitted. The MCA referred to 'confusion and uncertainty amongst land
users and investors about future land use', and the NFF to 'a lot of confusion
about appropriate management regimes'. [124]
Partly as a result of this uncertainty and confusion, those dependent
on the resources of world heritage areas for their livelihood have experienced
loss of income and reduced values for their investments in these areas.
For example, a 1994 assessment of the economic impact of listing on landholders
in the Willandra Lakes area estimated that they had lost $8.39 million
since 1981. [125]
4.81 As the Association of Mining and Exploration Companies (AMEC) pointed
out, the ideal situation is to have 'a management regime where everyone
knows where they stand'. [126]
In such circumstances, any negative effects of listing on local stakeholders
will be clear and the means of minimising them identified. Furthermore,
support by local communities for the concept of world heritage and the
ongoing management of the areas is likely to be much greater. [127]
4.82 In the face of the considerable concern about some aspects of world
heritage management, a group of peak industry bodies has called for an
emphasis on having management plans in place at the time a property is
nominated. [128] At a public hearing
with the Committee, Dr David Kay, the then Assistant Secretary of DEST's
World Heritage and Biodiversity Branch, commented that 'ideally, we would
wish all nominations went forward with a plan of management as part of
the nomination', although 'it may be a little different for some of the
cultural properties'. [129] He
continued:
... the procedures now in place under the Intergovernmental Agreement
on the Environment, and the Operational Guidelines now in force under
the Convention, should ensure that ... any nomination that does proceed
goes forward with an agreed management plan ... [130]
Furthermore, the then Minister had 'made it clear that he would expect
management plans to be agreed on and in place prior to nomination'. [131]
However, the Operational Guidelines do not require plans to be finalised
before listing, only that an indication be given about when the plan will
be ready and how the management of the world heritage area will be guided
until then. [132]
4.83 The Committee acknowledges that both the then Minister and DEST
had come to realise the importance of having management plans agreed prior
to the nomination of a property for listing. The Committee endorses their
intention that this should happen with any future nominations, and notes
that management plans were in place for the sub-antarctic islands nominated
for listing in July 1996. The Committee recommends that:
(15) the Commonwealth Government ensure that management plans are
in place before properties are nominated for world heritage listing.
4.84 There remains the task of finalising management plans for those
areas that were nominated without them or without ones that adequately
reflect the world heritage status of the areas. As the 1995 meeting of
parties interested in world heritage management resolved in the Richmond
Communique, a principle that should guide management planning is that
'management plans for each world heritage area must be developed and implemented
as a high priority'. [133] The
ACF suggested that these plans should be produced within three years.
[134]
4.85 The Committee notes that DEST is always involved in the preparation
of world heritage area management plans, although the extent of its involvement
differs from one area to another. Dr Kay told the Committee that:
We have taken a very significant lead role with Willandra because we were
concerned to see that process through to a successful conclusion. At the
other end of the spectrum would probably be our involvement with the two
Commonwealth properties in the Northern Territory, where we would see
drafts at various stages. But we certainly would not take a lead role.[135]
It is therefore appropriate that DEST should take the initiative to ensure
that management plans are finalised as soon as possible. The Committee
recommends that:
(16) the Department of the Environment, Sport and Territories give
priority to assisting the States to complete outstanding management
plans for their world heritage areas without further delay.
Ingredients for effective management planning
4.86 As some of the conservation organisations pointed out, the world
heritage values of an area are the basis on which the management plan
for that area should be built. [136]
Advice to DEST also emphasised this point; Professors Boer and Fowler
commented that the management plans for Kakadu and Uluru-Kata Tjuta should
'spell out much more explicitly ANCA's role in managing the parks for
World Heritage values'. [137] However,
as the Committee's examination of world heritage area plans showed, not
all of them have yet been revised to reflect the importance of the areas'
world heritage values. DEST acknowledged this fact and reported that:
For each listed property, [it] is working with the States on refining
existing management plans and developing new plans as necessary, which
focus on the protection of World Heritage values in a climate of increasing
use and visitation. [138]
The Committee considers that this is an important aspect of world heritage
management planning and recommends that:
(17) the Department of the Environment, Sport and Territories ensure
that the management plans for world heritage areas are based on the
protection of their world heritage values.
In a later section of this chapter, the Committee discusses the difficulties
that may arise in defining world heritage values.
4.87 In examining the plans in place for world heritage management, the
Committee noted that a number of regional and strategic plans have been
developed. These plans are a means by which world heritage areas can be
given 'a function in the life of the community' and integrated into 'comprehensive
planning programmes', as Article 5(a) of the Convention requires. [139]
Such plans, whether statutory or reflecting a partnership of interested
stakeholders, represent one approach to controlling impacts on world heritage
areas from beyond their boundaries. Furthermore, as the NQCC commented,
'World Heritage is best managed through a hierarchy of planning processes
starting with an overall regional planning process that places a particular
property within its local environmental and social context'. [140]
The Committee considers that these planning initiatives are significant
in the protection of world heritage values and, along with other approaches
to managing outside impacts, should be pursued. It notes that, in general,
the management and planning of protected areas in Australia is excluded
from regional planning processes, [141]
and so recommends that:
(18) the Department of the Environment, Sport and Territories:
(a) consult with the managing agencies of world heritage areas to
establish whether regional and/or strategic plans would be of value
in managing world heritage areas where such plans do not exist; and
(b) provide assistance in the preparation of such plans where they
are regarded as useful management tools.
4.88 All the plans relating to the management of world heritage areas
and the regions of which they are part must be regularly reviewed to ensure
that they remain appropriate to existing circumstances. [142]
As the GBRMPA commented to the Committee:
... any management system has to be flexible, over time in particular.
In the 20 years that we have been involved with the area, there has been
a changing management environment. First of all, this has been in relation
to community expectations about how we should be looking after the area,
particularly with regard to World Heritage. Secondly, our state of knowledge
has changed over that particular period of time. Thirdly, there has been
a considerable increase in demands for use, so our management has had
to change over that period of time to be flexible and take those things
into account. [143]
4.89 Furthermore, ongoing changes to natural systems can be expected
to occur, leading a meeting sponsored by the ACIUCN to expound the following
principle for world heritage management: 'management planning of natural
heritage in world heritage properties should incorporate adaptive management
principles to give flexibility to provide for dynamic change in natural
systems'. [144] The Committee notes
that the plans of most world heritage areas are regularly reviewed but,
to ensure that all plans are reviewed, it recommends that:
(19) the Department of the Environment, Sport and Territories ensure
that world heritage area management plans are reviewed every five years.
4.90 A number of additional elements for effective management planning
were identified at the Committee's workshop on world heritage management.
They include matters that are covered in more detail in other chapters
of the report, namely:
- funding, which is necessary if adequate plans are to be produced;
- extensive consultation, which should occur both before and after draft
plans are released and when plans are revised;
- formal government endorsement of plans; and
- monitoring of management outcomes.
Of these points, one of the most significant is consultation. Without
it, the likelihood of conflict is greatly increased; with it, all stakeholders
are given the opportunity to provide input and gain understanding of world
heritage issues and a sense of ownership of the resultant plans. The Committee
recommends that:
(20) management planning include extensive consultation with all
stakeholders at all stages in the planning cycle.
World heritage values
Defining values
4.91 World heritage areas contain outstanding, universal values of a
natural or cultural kind, which are the basis for which these areas should
be managed. UNESCO's Operational Guidelines provide a framework within
which these values can be assessed. In addition, as Mr David Buckingham
pointed out, on the basis of his experience both as a past officer of
DEST and in his then position as the MCA's Executive Director:
In the final analysis, there will always be a matter of judgment involved
[in defining values] and that is necessarily subjective. In my experience
with the World Heritage issue going back over quite a number of years
now, it is not often that you get an argument about whether something
is of outstanding value.
I will take a case that is under consideration at the moment as an example.
I do not think too many Australians would doubt the cultural quality of
the Opera House as an outstanding international example of cultural achievement.
[145]
4.92 The GBRMPA reported that it found the detailed definition of world
heritage values rather more difficult. Mr Colin Trinder of the Authority's
Canberra Office told the Committee that:
There is no consensus on what World Heritage values are because it is
not mentioned in the World Heritage Convention. We do not know what that
means; nor does anyone else. [146]
The Acting Executive Officer of the Authority, Ms Prue Keen, added:
When the Convention first came in, it was implicit that our management
regime within the marine park was in fact looking after the World Heritage
values. But the time has come for us to be more explicit about that, and
it is being explicit about that that is the difficulty. [147]
For example, how should the 'sense of place of the reef' for which visitors
come to the Marine Park be defined, and what does the 'concept of wilderness,
remoteness' encompass? [148]
4.93 As the GBRMPA attempts to develop responses to the need to minimise
the increasing pressures on the Reef from users, it has turned to the
values of the Reef described in the nomination document as the basis for
planning. It found that these values 'were given very broadly and the
challenge for us now is to take those and to understand those more explicitly,
in more detail'. [149] As Mr Valentine
of James Cook University pointed out, the documentation that accompanied
early nominations to the World Heritage List, such as the Great Barrier
Reef, was limited. However, even with more recent, better documented nominations:
It is unlikely that any nomination of a World Heritage area will be sufficient
in itself to provide answers to detailed management questions and further
elaboration of values will form a normal part of the ongoing management
of World Heritage areas. [150]
4.94 Some of the values for which world heritage properties are listed
are more difficult to pin down than others. The aesthetic qualities of
a landscape, for example, are elusive of definition, which is perhaps
the reason why they appear to have been neglected. Several witnesses to
the inquiry referred to the need to include them among an area's values.
Mr Haigh, for example, pointed out that aesthetics are a very important
factor in the management of world heritage areas. Article 2 of the Convention
makes clear that both science and aesthetics are important considerations
but, he claimed, the latter have been 'largely disregarded by the managers
of World Heritage areas'. [151]
Mr Revell, writing from Western Australia, also stated that very little
attention had been given to values such as the scenic beauty or the visual
quality of landscapes in world heritage areas in planning for their management.
[152] The NQCC called for the management
planning for world heritage areas to 'include and consider the aesthetics
and natural beauty of a property', and a review of environmental impact
assessment in world heritage areas recommended that aesthetic impacts
should be taken into account when development proposals are being considered.
[153]
4.95 A recent comprehensive assessment of the Great Barrier Reef's values
found that:
... natural beauty and aesthetics were the poorest documented and least
known set of attributes. There is a lack of consistent methodologies to
document and understand the aesthetic qualities. Some work has been done
... [on] the visual amenity of the Queensland coastline ... . It is important,
however, that the aesthetic qualities do not become reduced solely to
visual amenity. Aesthetic values are more expansive and contain an array
of meanings and attachments that people associate with particular places.
[154]
The assessment suggested that the methodologies and processes for documenting
aesthetic values should be investigated and aesthetic values incorporated
into world heritage management and planning.
4.96 The GBRMPA has approached the problem of defining the values which
it is charged to protect by engaging consultants 'to further clarify the
world heritage values of the GBR World Heritage Property'. This consultancy
will be followed by another to determine whether current management processes
are sufficient to meet world heritage obligations. [155]
The type of difficulty with which the GBRMPA has been grappling is exemplified
by an issue raised during the then Commonwealth Minister's intervention
to stop a development at Port Hinchinbrook:
... while an element such as seagrass may be important overall to the
maintenance of world heritage values, no guidance is available on the
scale at which protection should be applied. Should every blade of seagrass
be protected or is it only significant and/or broad impacts which may
be unacceptable? If damage to any seagrass or other bottom organisms was
unacceptable then trawling for example would be inappropriate in the Property
- such a view could lead to closure of an industry worth approximately
$130m.
Currently, it is the Authority's position that protection must be effected
at the broad ecosystem level, with individual projects modified as far
as possible to ameliorate unnecessary impacts on the environment (and
therefore on world heritage values) and refused if impacts are in doubt
or unacceptable. It has been its view that world heritage values have
been implicitly protected by its procedures. [156]
4.97 Some doubt has been expressed about the extent to which management
should be based on specific values, rather than focusing on the preservation
of the whole area. For example, the NQCC stated that:
In justifying an area for listing states identify particular attributes
that are of "outstanding universal value". These attributes,
articulated in the nomination documents represent the known values for
which a property was nominated, they represent the "World Heritage
values" of the property. ... So whilst a property contains particular
attributes that are of outstanding universal value, it is the property
as a whole that is considered to be World Heritage, the totality of the
parts is greater than the individual components. Indeed this is recognised
by instructions upon the nomination form stating:
"It should be realised that individual sites may not possess the
most spectacular or outstanding single example of the above [referring
to the criteria], but when the sites are viewed in a broader perspective
with a complex of many surrounding features of significance, the entire
area may qualify to demonstrate an array of features of global significance."
(Quoted by Tsamenyi et al.) [157]
Other witnesses to the inquiry also stressed the importance of whole
areas rather than their component parts. [158]
4.98 One of the principles of the Richmond Communique is that 'an holistic
and ecosystems approach to management should be adopted'. [159]
This approach is reflected in the Operational Guidelines' requirement
that the criterion of integrity be met if a property is to be listed as
world heritage. The Guidelines state that sites nominated for listing
should:
... contain all or most of the key interrelated and interdependent elements
in their natural relationships ... [and]
... have sufficient size and contain the necessary elements to demonstrate
the key aspects of processes that are essential for the long-term conservation
of the ecosystems and the biological diversity they contain ... . [160]
To rely on preserving specific values alone, rather than on whole ecosystems,
is seen as a flawed process because the available knowledge about any
natural area and the significance of its parts is never complete. This
situation is acknowledged in the uncertainty principle espoused in the
Interim Australian Natural Heritage Charter, which states that:
... the level of uncertainty about our knowledge of natural heritage is
very high and the full potential significance or value of a natural heritage
place remains unknown because of this uncertain state of knowledge. [161]
Updating values
4.99 Quite apart from the need to have the world heritage values of an
area more explicitly defined, there is also a need to regularly update
them in response to naturally occurring changes, new knowledge about the
local area and the operation of ecosystems and cultures, and changes in
the concept of world heritage and the criteria for listing. For example,
the Uluru-Kata Tjuta world heritage area was initially listed for its
natural outstanding, universal values, and was later renominated for its
values as a cultural landscape as well. There may well be a case for other
of the world heritage areas to be similarly renominated. As Mr Valentine
commented with respect to the Great Barrier Reef, since 1981 when it was
listed:
... a great deal more information has emerged about the cultural values
present within the area and it may be that the Commonwealth could now
prepare a more substantial argument for the listing of some of the north-eastern
Australian coastal and marine environments as cultural World Heritage
... [162]
In addition, Aboriginal culture in the Wet Tropics world heritage area
should receive greater recognition, according to the NQCC. [163]
4.100 In his submission to the inquiry, Dr Dermot Smyth called for a
strategic review of Aboriginal cultural values in all existing and proposed
world heritage areas, using the new cultural criteria for world heritage
listing to assess the adequacy of current recognition of Aboriginal interests.
He commented that, at the time when several of Australia's world heritage
areas were listed, restricted criteria for cultural values were in use
and Australian authorities failed to appreciate the nature and extent
of Aboriginal peoples' connections with the land. The lack of recognition
of Aboriginal interests in listing was reflected in subsequent management
arrangements and, although the situation has improved recently, [164]
Dr Smyth suggested that there is an urgent need for a review of the situation,
with the Commonwealth playing a lead role. [165]
The involvement of indigenous people is also a requirement of the Convention
on Biological Diversity, to which Australia is a signatory, and Agenda
21, the international program for the sustained and responsible development
of the planet.
4.101 DEST acknowledged that the criteria under which Australia's world
heritage properties were listed have evolved over the years such that
'we now have properties within Australia that are listed against criteria
which no longer appear in that particular phraseology in the Convention'.
DEST indicated that, in the course of monitoring the state of conservation
of world heritage properties every five years, as described in Chapter
5, it would also review the values of those properties. These reviews
would 'fall slightly short of a total renomination' but would be significant.
[166] Such reviews would, of course,
depend on adequate supporting information being available and, even with
recent nominations, 'there is still scope to improve the database of their
WH values'. [167] Another useful
tool in this respect is a recently developed approach to identifying and
assessing the level of values of a property that relies on testing the
attributes of the place against themes of outstanding, universal value.
While this approach was originally developed for cultural properties,
it is now being used in assessing natural areas. [168]
4.102 The Committee commends DEST's approach in reviewing and updating
world heritage values, and notes the outcome of the GBRMPA's work of defining
more precisely the Reef's world heritage values. In addition to detailing
the attributes of the Reef that relate to the current criteria for world
heritage listing, the consultants who undertook this work for the GBRMPA
identified two overriding values for the Reef that had not been formally
emphasised before. The first is the Reef's scale, with which is associated
an enormous diversity of habitats, and the second is its location within
Australia's jurisdiction which protects it well by comparison with that
afforded to many other tropical reef systems. Furthermore, the GBRMPA's
initiative in updating its values appears to be one of the first of its
kind to be carried out for any of the world's world heritage areas. As
such, the GBRMPA has broken ground where others are likely to follow.
[169]
4.103 The Committee considers that DEST should support managing agencies
in their efforts to refine their understanding of the values that they
are bound to protect, and recommends that:
(21) the Commonwealth Government allocate funds to assist with the
detailed definition of the world heritage values of each property for
use in management planning.
Related issues: boundaries and non-indigenous historical remains
4.104 With the emphasis on natural and indigenous cultural values in
Australia's world heritage areas, concerns have been expressed that the
importance of the record in the landscape of European exploitation of
the land has been downgraded. The Australian Council of National Trusts
claimed that in the past:
... management strategies have concentrated on the needs of the natural
environment even to the extent of destroying some cultural sites. Whilst
this is now less the case for Aboriginal heritage, ... there remains the
major issue of the current view that wilderness is to be marked by an
absence of colonial and modern technological society. ... Such an approach
is an incongruous denial of significant aspects of Australian history.
[170]
The Australian Council of National Trusts and the National Trust of Australia
(Victoria) both wanted to see records of the European use of land in world
heritage areas maintained and displayed. [171]
The Richmond Communique acknowledged that, while the primary objective
of management planning in world heritage areas must be to protect world
heritage values, the implications for management of other natural and
cultural values must be recognised. [172]
The Committee supports this approach and, in this connection, notes the
displays being developed at the Peron Homestead in the Shark Bay world
heritage area.
4.105 The boundaries of some world heritage areas have appeared in hindsight
to have been selected at the time of listing without a well-supportable
rationale in terms of their being needed to protect world heritage values.
For example, it was suggested to the Committee that the boundaries of
the Lord Howe Island world heritage area were defined such that 'when
the nomination went up they were easily discernible on a map base'. [173]
The original boundaries of the Willandra Lakes world heritage area followed
cadastral boundaries, [174] that
of Kakadu Stage 3 was determined by land tenure considerations, [175]
and in the case of the boundaries for the Shark Bay world heritage area:
The nomination document does not include a detailed, technical description
of the boundary. Essentially, the boundary is shown on an A4 map, which
with respect to the scale of Shark Bay leaves some uncertainties. [176]
4.106 Work has progressed on some of these matters. Precise boundaries
are being negotiated for Shark Bay, but formal agreement awaits the signing
of an agreement by the Commonwealth and State Governments. In addition,
the original boundaries at Willandra have been revised and now follow
the edges of the lake system. This change was made after the boundaries
were examined by that property's Technical and Scientific Advisory Committee,
and a recommendation to reduce the area of the property by about 30% was
forwarded to the World Heritage Committee and accepted by it in December
1995.
4.107 The Committee notes the NFF's view that world heritage areas should
be 'site specific' because:
... some of the nominations have been very broadly based in terms of geography
and it has been extremely difficult to identify the full implications
and the management requirements of those regions that are under consideration,
and that has generated great uncertainty and fear in the community. [177]
Revising world heritage area boundaries along these lines was suggested
for the Great Barrier Reef by Mr Haigh. He proposed to the Committee that
world heritage status should apply only to the most significant parts
of the area. [178] However, the
GBRMPA did not agree that its area should be reduced in this way.
... that actually would make it more difficult for us to manage [the Reef].
What we are trying to manage is the whole system. I acknowledge that that
means that we cannot put in a high protection regime over the whole of
that area because of the use pressures that there are there. However,
what it does mean is that we can manage the whole, putting aside core
areas ... that we protect and then have the middle buffer area where we
manage use ... [179]
The GBRMPA is considering the possibility of incorporating into the Marine
Park as much as possible of the area that is at present outside it but
inside the world heritage area, within constitutional limitations relating
to Queensland State Government property. [180]
4.108 The Committee's view is that all future nominations should go forward
with well-defined boundaries with solidly based relevance to world heritage
protection. Furthermore, when the world heritage values of a property
are being reviewed or renomination of an area considered, the appropriateness
of the boundaries of the area should be examined. The Committee recommends
that:
(22) when the world heritage values of an area are updated, the
boundaries of that area be examined to establish whether they are appropriate
for the protection of the values.
The appropriateness of the boundaries should be judged in terms
of whether they are sufficient to protect the values and whether they
include unnecessary tracts of land.
Protecting values
4.109 Preventable impacts on world heritage areas come from a variety
of sources, most of them the result of people's activities. The Richmond
Communique issued at the end of the ACIUCN's workshop stated that:
It is recognised that natural world heritage values are likely to be endangered
by human activities such as: human settlement; construction of reservoirs
which flood important parts of the property; industrial and agricultural
development including use of pesticides and fertilizers; major public
works; mining; pollution; logging; human encroachment on boundaries or
in upstream areas which threaten the integrity of the property. [181]
Protection from impacts within
4.110 Visitation by tourists impact on all world heritage areas to a
greater or lesser extent. Grazing, cropping, hunting, fishing, mining,
and defence-related activities occur in some world heritage areas, and
some world heritage areas act as water catchments. Debate surrounds all
the uses to which world heritage areas are put: should these uses be allowed
and, if so, to what extent? Those engaged in these activities claim that
the activities can be carried out without prejudicing the conservation
and preservation of their surroundings. These activities should therefore
be permitted, provided that they do not damage the world heritage values
of the areas. The NFF, for example:
... would like to see greater recognition of the ability to have multiple
land use which could be accommodated within World Heritage areas and which
obviously would not affect World Heritage values. [182]
4.111 For his part, Mr Buckingham then of the MCA stated that:
The point that needs to be recognised is that World Heritage listing is
not of itself a matter that necessarily involves the denials of access
or economic rights. ...
The critical question - and this needs to be addressed in the management
planning context - is, 'What is it about the World Heritage values that
would deny the right to explore and the right to mine?' [183]
He added that:
There are certain areas that clearly will never be mined. Ayers Rock is
not going to be chipped away for gravel tomorrow. The industry has no
expectation that cases such as that would ever be contemplated. But there
are a lot of other situations. For example, the industry is not happy
with the blanket ban on exploration and mining in the Tasmanian World
Heritage areas. There is the whole Mount Reid volcaics area, which is
highly prospective. The question of whether or not mining in those areas
would be detrimental to the values upon which those areas have been nominated
is a very real question. [184]
This is particularly the case with the non-intrusive exploration techniques
and the capacity to rehabilitate mined sites that are now available. Other
mining organisations also supported the multiple use of world heritage
areas. [185]
4.112 The Chamber of Mines, Metals and Extractive Industries (NSW) referred
to 'a perception in government and the general public that World Heritage
listing and multiple land use are incompatible concepts'. [186]
S Kidman & Co shared this view. [187]
However, this was not borne out by the statements of Government agencies
to the Committee. DEST stated that:
The Commonwealth has an international obligation to protect and conserve
World Heritage Areas. However, there is no impediment to existing land
uses unless they threaten the universal natural and/or cultural values
of the property.
Experience in Australia's World Heritage Areas shows that a wide range
of activities can be undertaken and that local communities are not unduly
inconvenienced. For instance, on Lord Howe Island residents carry out
normal day to day community activities. Grazing, recreational and commercial
fishing, mining and tourism continue to operate in Australia's World Heritage
Areas. [188]
The GBRMPA confirmed that multiple use is appropriate in the Reef world
heritage area. [189]
4.113 In their comments to the Committee, conservation organisations
indicated that they were generally unimpressed by the level of use permitted
in world heritage areas. The CCWA, for example, considered that 'in Shark
Bay there are significant areas being used for activities that are incompatible
with the maintenance of World Heritage values'. [190]
The NQCC and CAFNEC were critical of the Commonwealth's willingness to
allow the construction of Skyrail in the Wet Tropics world heritage area.
[191] The World Wide Fund for Nature
Australia referred to the 'failure to rule out incompatible activities,
such as mining and the expansion of cropping' in the Willandra Lakes Region.
[192]
4.114 While certain activities have been prohibited in world heritage
areas, as MCA for example pointed out, [193]
tourism has generally been allowed with relatively minor restrictions
only. Tourism, of course, is a means by which world heritage can be presented
to the public, in keeping with the obligations imposed by the Convention.
[194] Yet, the greatest threat
to world heritage sites around the world in the developed countries is
said to come from tourism, both small and large scale. [195]
The Chief Executive Officer of ANCA provided an example of this point:
... too high a level of tourism is causing us considerable problems -
particularly for somewhere like Uluru, where tourists at the moment come
for one particular thing at one particular time, and you have between
20 and 40 buses lining up with a very large number of ... cameras ...
all capturing the sight of the sun setting on Uluru. ...
With rare exceptions, concentration of people means degradation, and it
is as simple as that. That is the biggest single management problem, not
only for us, but for any agency that is involved in managing natural areas
with strong tourism. [196]
Other witnesses to the inquiry also drew the Committee's attention to
the damage to the environment that visitors can cause. [197]
4.115 There is widespread appreciation in the tourist industry of the
facts that tourism can damage the environment, and that such damage must
be avoided if the industry is to remain viable. As the Tourism Council
Australia observed, 'the industry generally understands the relationship
or the nexus between sustainable tourism and also ecologically sustainable
development'. [198] ANCA pointed
to 'the physical degradation of sites by large numbers of visitors' as
the most obvious impact, and listed among other impacts:
... deterioration of visitor experience caused by crowding; weed invasion
caused by physical disturbance or by visitors as weed vectors; and other
impacts on biodiversity caused by water use, indirect pollution or physical
alteration to landscape by the construction of roads and infrastructure.
[199]
Limiting the damage that visitors cause therefore has high priority.
This is particularly the case in places where visitor numbers are escalating
rapidly, as in the Wet Tropics where visitor numbers have increased 54%
in the last three years.
4.116 Limiting the impact of tourists on world heritage areas can be
achieved by determining the carrying capacities of the different areas
and designing facilities and infrastructure that minimise impacts. [200]
In other words, a proactive approach to the management of tourism is required.
During a public hearing with the Committee, Professor Atherton elaborated
on this point:
The starting point in managing tourism in World Heritage areas is ...
to consciously determine the carrying capacity of the site and then determine
what kind of tourism facilities are required to support that capacity.
We should then choose the most appropriate location for those facilities
and then set about putting in the infrastructure for those facilities
so we actually take control of the process.
I am very fearful. If we leave it on an ad hoc, laissez-faire basis as
it is now, what will our World Heritage sites look like in five, 10, 50
or 100 years' time? If we are preserving them for the long haul, we have
to start thinking about that. Firstly, take it as a given that they are
major international attractions. People are going to visit and facilities
are going to develop in one way or another in one place or another. Unless
we take control of that process, they are going to look abominable in
five, 10 or 50 years. Look around the world where the lesson has been
learned the hard way. I am talking particularly about some North American
sites where they realised what was happening and took control of the process.
You will see that we really are not learning from the mistakes of others.
[201]
4.117 ANCA has adopted the type of approach advocated by Professor Atherton
and is moving to develop a 10-year visitor management strategy for the
Uluru-Kata Tjuta world heritage area that will have regard to, among other
things:
- distributing visitors strategically around the park so that impacts
on the environment are minimised while visitor satisfaction is maximised;
- systems for transporting visitors in the park;
- scheduling access to the park and sites within the park; and
- assessing visitor management infrastructure and developing an infrastructure
plan. [202]
However, it is not always easy to manage tourist impacts as the GBRMPA
observed on the basis of its experience with limiting tourist numbers
through its zone and management plans and controls on mooring and anchoring:
... it is actually very difficult to establish what the limits should
be. It is easier to establish the limits on environmental grounds than
it is on social or experience or amenity grounds. [203]
4.118 CAFNEC has taken an interesting approach to dealing with impacts
on world heritage areas . It rejected the notion of minimising impacts
on world heritage areas as incompatible with protecting world heritage
values. The Centre stated that 'our concept is that there should never
be any less than there is now of the natural area in a World Heritage
site', and suggested a form of payback be established. Thus for example,
if tourist operators wished to establish a walking trail which would damage
or modify a section of a world heritage area, they should compensate for
this by funding the rehabilitation of another area or adding to the existing
world heritage area. CAFNEC reported that, although no such arrangements
have been finalised yet, the local tourist industry 'seem quite comfortable
with the idea'. [204]
4.119 Fishing is another activity which has been little limited in world
heritage areas, a fact that Mr Peter Valentine identified as anomalous
with respect to the Great Barrier Reef:
An interesting comparison may be made between the Wet Tropics WHA and
the GBR WHA. In the former case, prior to listing the forests were exploited
for their timber (in a sustainable way according to the Queensland Government,
but not a view widely shared). The Australian Government bought this activity
to a halt in order to protect the World Heritage values. In the case of
the GBR WHA a possible equivalent situation might be the widespread fishing
industry. Believed by some to be sustainable but by others not to be sustainable
and also believed by many to be environmentally damaging, the Government
has to a large extent ignored this particular question ... [205]
Witnesses to the inquiry also commented on the reluctance of politicians
nationally to address the possible threat to the conservation of fish
stocks posed by recreational fishing. [206]
4.120 The control of fishing in Shark Bay and around Lord Howe Island
is the responsibility of the respective State fisheries departments. Commercial
fishing in the Great Barrier Reef world heritage area is controlled by
the Queensland Fish Management Authority, while recreational fishing falls
within the jurisdiction of the GBRMPA. There is thus more than one agency
involved in managing different parts of these world heritage areas, and
the potential for differing approaches to the management of world heritage
values. As Mr Howard of the New South Wales NPWS pointed out, many of
the issues raised by this sort of situation could be resolved with a plan
of management for the whole world heritage area. [207]
4.121 Another activity in the three world heritage areas that contain
large marine areas is shipping. Shipping is of particular significance
in the Great Barrier Reef Region, and here the Committee notes that in
1995 the Commonwealth Government announced measures to improve the accuracy
of the navigational aids available to ships in the area and to reduce
the number of ships travelling between the Reef and mainland Australia.
The announcement also referred to measures to reduce collisions between
small boats and to improve response capabilities to oil spills. [208]
4.122 Concerns have also been raised about the effect on the conservation
of world heritage areas of hunting, gathering and fishing by indigenous
people as they exercise their traditional rights. The Committee notes
that, in general, their approach to exploiting the resources of their
lands is to do so in a sustainable manner. [209]
The activities of indigenous peoples should therefore be no more destructive
than some other uses allowed in world heritage areas, and may be less
damaging. The Aboriginal and Torres Strait Islanders' approach to harvesting
the environment was grounded traditionally in their systems of beliefs
and maintained by the moral force of these beliefs. [210]
With changes in indigenous societies and the use of new hunting technologies
some of the constraints that operated previously may have broken down.
There is, however, no firm evidence that this has resulted in unsustainable
practices. [211]
4.123 Managing the impact of indigenous harvesting activities nowadays
depends on understanding the dynamics of target species and, where these
are threatened, reaching agreement with the local communities to limit
or stop harvesting. In some cases, as with hunting dugong in the Mackay
region of the Great Barrier Reef, the issuing of hunting permits has been
handed over by the GBRMPA to a Council of Elders. [212]
The Committee considers that the guiding principle in cases where harvesting
threatens the sustainability of species is that the emphasis must be on
protecting threatened species rather than permitting the continuation
of traditional practices.
4.124 A further source of impacts in some areas stems from previous and
current settlement and use of the area by Europeans. In the Wet Tropics
world heritage area, for example, erosion from old forestry roads, damage
by feral pigs, and the spread of weeds are major problems. Weeds are also
a major problem on Lord Howe Island.
Conclusion
4.125 The Committee notes that, unlike many world heritage areas in developed
countries overseas, some segments of most of Australia's world heritage
areas did not have the status of a national park before they were listed
as world heritage areas. These segments frequently carried with them into
the world heritage areas their former uses. Rather than being 'national
parks' within the IUCN's classification of protected areas, they are 'Managed
Resource Protected Areas'. [213]
The Committee considers that multiple use of world heritage areas is reasonable,
particularly in very large world heritage areas, provided that all activities
are 'subject to the overriding requirement to maintain world heritage
values', as specified in the Richmond Communique. [214]
The Committee notes the view of ANCA's Chief Executive when he said that:
One has to be very careful in saying that tourism is good and mining is
bad, or pastoralism is good and mining is bad. Each of those activities
has to be strictly assessed against whether there will be any long-term
compromise ... sense and sensibility are the criteria which need to govern
assessing whether multiple use, and what sort of multiple use, would be
allowable. [215]
Not only should the impacts of activities be assessed in this way, but
the approach to monitoring and controlling them should be proactive. It
is important that such an approach be well-founded, based on a good inventory
of each area, on the regular and consistent monitoring of the health of
each area's world heritage values, as discussed in Chapter
5, and on research into the characteristics of different kinds of
impacts and methods of minimising them. The research needs for the management
of world heritage areas is covered in a later section of this chapter.
Protection from impacts outside the world heritage area
4.126 According to the IUCN, the years ahead will see the Australian
authorities responsible for world heritage protection continuing to face
the challenge of dealing with developments in areas adjacent to world
heritage areas. [216] Impacts from
adjacent areas range from those on the boundaries to those that originate
far afield. A dramatic illustration of the latter situation is seen in
the case of the Great Barrier Reef where sediment in runoff from the mainland
smothers reef organisms and clouds the waters, thereby reducing the amount
of light penetrating through the water. Increased nutrient levels to Reef
waters also result from terrestrial land use and settlement. Coastal development
and runoff are, in fact, greater threats to the Reef than tourism. [217]
4.127 The existing regional and strategic plans have already been referred
to as a means of integrating world heritage areas with the activities
of surrounding areas. They were advocated by several witnesses to the
inquiry as an appropriate approach to reducing impacts within world heritage
areas. [218] Professor Atherton,
for example, advocated the coordination of planning and management of
tourism within a region with the planning and management of tourism in
world heritage areas. [219] Through
regional planning, it may be possible to attract tourists away from the
most heavily used world heritage sites to areas outside that share some
of the same values. Several well-known places, such as some parts of the
Daintree and Fraser Island, are not only heavily used but also visited
to the exclusion of significant alternative destinations. [220]
The Tasmanian Government has also grappled with this problem. [221]
4.128 The Operating Guidelines provide guidance on managing threats to
world heritage values from activities and developments close to world
heritage areas. They specify that:
Whenever necessary for the proper conservation of a cultural or natural
property nominated, an adequate "buffer zone" around a property
should be provided and should be afforded the necessary protection. A
buffer zone can be defined as an area surrounding the property which has
restrictions placed on its use to give an added layer of protection ...
[222]
ANCA agreed that 'any national park that is not buffered adequately by
appropriately sensitive use of the surrounding landscape is a waste of
investment by any community'. It pointed out, however, that the purpose
served by a buffer zone could be achieved in either of two ways:
... a World Heritage area either would need to be comprehensive in its
boundaries - in other words, it would have within it cores that are absolutely,
ultimately the reasons for the listing, with areas of less significance
on a reductionist approach around it, but nonetheless important to keep
those cores there - or else would need to be set within a landscape that
is appropriately managed. [223]
4.129 The first of these two options is the approach that has been taken
in Australia. As DEST's Dr Kay told the Committee:
None of Australia's World Heritage properties have formally recognised
or prescribed ... buffer zones. Our view has always been that, in drawing
the boundaries of the properties, one draws them in such a way that the
total property protects adequately the values for which the property is
listed. In essence, whilst one would desire sympathetic management outside,
the view is that the values are protected within the boundary of the property
... [224]
The Committee notes that:
- the nomination documents for the Tasmanian Wilderness world heritage
area stated that 'the boundaries of the nominated areas have been selected
to ensure adequate protection of the integrity of the area'; [225]
- with respect to the Shark Bay world heritage area, the Western Australian
Government said that 'the approach we would wish to take is to clearly
define the boundary of the World Heritage area and not put in place
or define or seek to push the notion of some buffer area'; [226]
and
- the draft management plan for the Wet Tropics world heritage area
states that 'there will be no "buffer zones"'. [227]
Acting Director of the GBRMPA explained to the Committee that the Authority
makes use of two buffer zones, one within the GBRMPA's boundary where
the use of the zone is managed under the GBRMPA Act and a second one:
... within which we have no legislative control at all, although there
are impacts that come from that area. In that area, we work in a regime
of partnerships with other agencies, particularly the Queensland government.
[228]
4.130 One of the principles from the Richmond Communique states that:
Activities in areas outside the boundary of world heritage properties
but which impact, or potentially impact, on the world heritage property
should be managed so as to ensure compatibility with the maintenance of
world heritage values. [229]
However, in the circumstance of buffers for world heritage value protection
being included within world heritage area boundaries, it is generally
the case that no special measures appear necessary in managing adjacent
areas.
4.131 According to Mr Keiran McNamara, Director of Nature Conservation
with the Western Australian Department of Conservation and Land Management:
What is required outside the [Shark Bay] World Heritage area is normal
standards of environmental management through the range of legislation
up in that part of the world; that is, the Environmental Protection Act.
Up in that part of the world, it is the legislation governing the operations
of pastoralists, the normal legislation governing the management of fisheries
and so on, which acts to meet normal environmental standards. [230]
4.132 The view that Australia's world heritage areas are adequately buffered
within their boundaries or by agreements with neighbours was challenged
by a number of conservation groups. CAFNEC, commenting on the absence
of formal buffer zones for the Wet Tropics world heritage area, pointed
out that 'rather than reflecting the boundary of the area with outstanding
universal value, plus a buffer, the boundaries have tended to be the area
of outstanding universal value on Crown land'. CAFNEC believed that this
situation resulted from 'a reluctance to develop management approaches
to private lands', and suggested that this is not a workable long-term
solution, especially when much of the Crown land may fall under native
title and hence become a form of private property. [231]
4.133 However, attempts are being made to introduce management practices
on surrounding lands that are sympathetic with those of the world heritage
areas. The GBRMPA referred to working in 'a regime of partnerships with
other agencies, particularly the Queensland Government'. [232]
In the Wet Tropics, cooperative management arrangements with the neighbours
of the world heritage area are provided for by Queensland's Wet Tropics
World Heritage Protection and Management Act 1993. The Act allows the
WTMA to enter into formal contractual agreements with landholders and
others to facilitate or augment management of the world heritage area.
Although no agreements have been finalised, a number are under negotiation.
As the Authority pointed out in its submission to the inquiry:
CMAs [Contractual Management Agreements] are potentially a very cost-effective
way of achieving management outcomes without resorting to total government
ownership, control and hence financial responsibility. They also provide
means of formalising partnership arrangements with the many land owners
and managers in the WHA and the neighbours of the WHA. [233]
The WTMA's draft management plan refers to minimising negative impacts
(both the area's impact on neighbours and the neighbours' impact on the
area) and promoting a good neighbour policy through cooperative work on
shared concerns such as control of feral pigs and fire management. [234]
A similar approach has been adopted by the New South Wales NPWS which
told the Committee that:
Where we see some conservation interest in adjoining areas, we will talk
to private land-holders about voluntary conservation agreements. If they
agree to that, then there is a conservation agreement negotiated and it
becomes part of the title of that land. [235]
4.134 The Tasmanian Conservation Trust, the Wilderness Society (Tasmania)
and the NQCC observed that there was also some form of recognition of
the need for buffer zones on the part of the Commonwealth Government,
but it was not acted on, at least not consistently. The two Tasmanian
groups asserted that:
... clearfelling of a number of forest areas adjacent to the [Tasmanian
Wilderness] WHA is considered by the WH Bureau, the Commonwealth Department
of Environment, Sport and Territories ... and an independent consultant's
report to that department ... to be degrading recognised WH values both
outside and within the WHA. In addition, these areas are widely considered
to contain WH values in their own right. ... Despite all of this formally
expressed concern and considerable documentation, the Commonwealth has
yet to act on this matter to protect WH values. [236]
The NQCC claimed in its March 1995 submission that, when it stopped the
Port Hinchinbrook development, the previous Government was implicitly
recognising that world heritage values may need to be buffered in some
cases:
The Federal Government has recognised the importance of the region surrounding
a WHA in that Areas integrity, through its recent action in stopping work
on the Oyster Point site until further studies can be carried out. ...
However in other sites the Federal Government has shown much less concern
for the integrity of World Heritage. The regular release of radioactive
tailings into Kakadu WHA from the adjacent uranium mining operation is
but one example. [237]
The NQCC recommended that appropriate buffer zones be established around
world heritage areas, and CAFNEC suggested that legislation was needed
to regulate activities outside world heritage areas. [238]
4.135 The Committee recognises, however, that there is considerable antagonism
in some sections of the community to buffer zones. Mr Robert Hadler, Deputy
Director of the NFF, told the Committee that:
Deep suspicion has applied within local communities and landowners, in
particular, about the requirements of buffer zones. They tend to be applied
in a very fluid administrative manner and without the same sorts of administrative
or management guidelines in place, and often applied in an arbitrary way
without adequate consultation with communities.
In principle, NFF does not see any need for buffer zones. However, stakeholders
might want a voluntary code of practice in place with land-holders outside
of formal areas to ensure that activities outside of nominated areas are
sympathetic with the land use in the nominated area. [239]
The New South Wales NPWS also acknowledged the existence of these concerns;
it indicated that such concerns had 'always been an issue that has been
raised with us, that you actually end up creating buffer zones on surrounding
land which become de facto national parks'. [240]
Conclusion
4.136 The Committee has already indicated its support for strategic and
regional planning earlier in this chapter with a recommendation that it
be pursued further where useful. With respect to the need for buffer zones
for Australia's world heritage properties, the Committee notes DEST's
claim that these areas were deemed large enough at the time of nomination
to protect the world heritage values concerned. The Committee also acknowledges
that they were accepted as such by the World Heritage Committee. Nevertheless,
the Committee observes that, as time passes, it may become evident that
some areas are not large enough to fully protect the properties' values
and the establishment of buffer zones outside the boundaries of the world
heritage properties may then need to be considered. It argues that this
situation may already be evident in the world heritage areas composed
of small, fragmented parcels of land. The Committee considers that, with
the monitoring arrangements which are discussed further in Chapter
5, any deterioration in, or potential threat to, the condition of
world heritage values will be noticed. Once spotted, the threats and the
causes of any deterioration, which might include inadequate buffering
of the areas, can be examined and solutions sought. Furthermore, the Committee's
recommendation that world heritage area boundaries be one of the matters
considered when world heritage areas are reviewed also addresses this
concern. Whenever world heritage areas are reviewed, the Committee expects
that the focus of protection will not be on values alone, but take whole
ecosystems into account.
Research needs
4.137 Protecting world heritage values depends on effective management
of world heritage areas which in turn depends, among other factors, on
research. Article 5 of the World Heritage Convention calls on States Parties
'to develop scientific and technical studies and research and to work
out such operating methods as will make the State capable of counteracting
the dangers that threaten its cultural or natural heritage'. Participants
at the Committee's workshop also pointed out to the Committee that research
is an integral and very important element of monitoring world heritage
protection. As an example, the Tasmanian Government, in its submission
to the inquiry, listed the potential threats to the Wilderness Area that
were mentioned in the 1988 nomination document for the area:
- management of access;
- fire management;
- long term management of Gordon River erosion;
- the need to control walking track and campsite erosion and damage;
and
- the need to control Phytophthora cinnamoni.
The Tasmanian Government pointed out that 'all of the above require research'.
[241]
4.138 The Committee notes that research relevant to world heritage management
is being carried out in a number of areas, funded by both industry and
government. [242] In Queensland,
for example, research is being done by the Cooperative Research Centre
for Tropical Rainforest Ecology and Management. Furthermore, the Cooperative
Research Centre for Ecologically Sustainable Development of the Great
Barrier Reef is carrying out research that has a particular emphasis on
tourism and recreational fishing, and improving the scientific basis for
managing the Reef and regulating economic activities. It is also investigating
the effects of prawn trawling. [243]
The Western Australian Fisheries Department is engaged in fisheries research
that includes the Shark Bay area, and among the further research identified
as needed there is the effect of fishing on world heritage values. [244]
In addition, ANCA reported that it 'conducts and commissions a modest
level of park management oriented research' which contributes to managing
pressures on heritage values. [245]
4.139 Under the National Ecotourism Program administered by the Department
of Industry, Science and Tourism, funds have been provided for baseline
studies and monitoring of tourist impacts in several world heritage areas,
and a study of ecological sanitation strategies has been supported. [246]
In addition, the Department's Sites of National Tourism Significance Program
is focused on natural areas under pressure or emerging pressures from
tourists. [247]
4.140 In the light of this discussion about impacts from fishing and
visitors, the Committee views them as a particularly important areas for
research and recommends that:
(23) the Department of the Environment, Sport and Territories work
with the Department of Primary Industries and Energy and State fisheries
agencies to support research on the impact of fishing on world heritage
values.
4.141 With respect to impacts from visitors to world heritage areas,
considerable concerns have been expressed in relation to the Great Barrier
Reef. While some research is being carried out, it appears to the Committee
that it should be pursued on a larger scale. It notes Mr Valentine's comments
that:
The Oyster Point proposal has highlighted a series of deficiencies in
knowledge and management practices and the Commonwealth may take the opportunity
to undertake a review of the links between World Heritage and tourism
to the benefit of all sites. There may be considerable value in inviting
the support of the IUCN in this task. [248]
In relation to the world heritage area, he argued for 'an urgent review
of the entire coastal component of the GBRWHA to identify key conservation
sites and appropriate development areas'. The Committee concurs with Mr
Valentine's views and recommends that:
(24) the Department of the Environment, Sport and Territories' World
Heritage Unit sponsor a review of the links between world heritage and
appropriate forms of tourism in all Australia's world heritage areas,
with a view to:
a) identifying the best ways of managing visitors;
b) producing guidelines for the management of tourist visitation
to world heritage areas; and
c) encouraging the provision of appropriate tourist infrastructure
such as pathways, board walks, floating barges, and information centres.
Standards for management
4.142 High standards of management are expected for world heritage areas.
As the NQCC put it, 'it follows from the universal value of these properties
that the standard of management must be the highest attainable within
the land'. [249] CAFNEC stated
that 'the standard for protecting all World Heritage sites should be very
high'. [250]
4.143 As discussed earlier, world heritage areas in Australia, or at
least the significant parts of them, have national park status and are
managed as such. This approach is similar to that favoured by the ACF.
Its policy for world heritage areas states that:
Each natural area which has been identified as eligible for listing, as
well as each area already listed on the World Heritage list, should be
protected either as a national park or, where the area is modified to
such an extent so as to make national park status inappropriate, by such
other means as will preserve the natural and other special values of the
area. [251]
The New South Wales NPWS reported, however, that although there is nothing
in the World Heritage Convention that specifies the level of management
required for world heritage areas, there appears to be an expectation,
both domestically and internationally, that they will be managed to a
higher standard than other areas. [252]
The ACIUCN agreed, stating that management to the level of that of a State
national park would be the minimum acceptable. [253]
The NQCC took the view that managing world heritage areas to national
park standards would be sufficient in an ideal world. The world, however,
is less than ideal:
... in the case of Australia, the standard of management of our national
parks is lacking, and whilst providing a basis for World Heritage management,
it cannot be assumed that [by] merely giving an area national park status,
will its outstanding universal value be protected, conserved and transmitted.
For example the failure of protected areas status to deliver World Heritage
standard protection can be seen in the building of the Kuranda Skyrail
through the Barron Gorge National Park. [254]
4.144 The NQCC acknowledged that it is difficult for the Commonwealth
'to determine what standard of management is appropriate for the protection
of our World Heritage properties'. As the Director of Queensland's NPWS
observed:
There is a dilemma in discerning what is meant by higher standards in
relation to world heritage areas. All of the management authorities that
I know of have a set of standards which are ... at a very high level.
[255]
Mr McNamara, the Director of Nature Conservation in Western Australia,
expanded on the difficulties facing management authorities when he pointed
out that:
As an agency, we are responsible for nature conservation in the parks
and reserves throughout the state. The extra recognition and attention
that World Heritage brings is warranted and welcome. It makes the area
a priority for resourcing for management. But that is using a World Heritage
criterion. There are 10 or 11 Ramsar wetlands in this state. There are
two biosphere reserves, and three of our national parks are recognised
worldwide as amongst the most important for botanical diversity. There
are other parks that have much higher visitation levels than Shark Bay
does. So there is a range of criteria that one can apply. While recognising
the importance of Shark Bay, part of our job is to, in effect, not create
first- and second-class national parks and reserves but to try to maintain
standards across the state. [256]
4.145 The Committee agrees that the highest standards of management should
be applied to world heritage areas. The category of national park is the
highest in the IUCN's classification of protected areas that allows widespread
visitation. Only Category I, which includes scientific or strict nature
reserves and wilderness areas, has a higher classification. The purpose
of Category I reserves is to disturb nature and natural processes as little
as possible by limiting access to these sites; this objective is at odds
with the requirements of the World Heritage Convention. The Committee
therefore considers that the management of world heritage areas to a similar
standard to a national park is appropriate.
4.146 A significant issue in the management of world heritage areas that
was raised with the Committee is to what extent managers should attempt
to preserve an ecosystem at one point in time, as opposed to allowing
it to change while still protecting world heritage values. This appears
to be an unresolved issue that requires more understanding and debate
to establish appropriate approaches. Points raised in this context by
the participants at the Committee's workshop included the re-introduction
of traditional Aboriginal burning practices at Kakadu and Uluru and the
question of restoring areas modified by European use.
Permitting multiple use of world heritage areas and adjacent areas
4.147 The extent to which developments or activities should proceed in
world heritage areas is a controversial topic. This is particularly true
of those areas where multiple use of certain parts of the area is allowed.
In its submission to the inquiry, the IUCN observed that:
A broader issue that ... must be faced in Australia and elsewhere is what
amount of development and range of activities can be accommodated in sites
that are managed for multiple uses. The Great Barrier Reef, Wet Tropics
and Shark Bay sites are three examples where conflicts in public perception
have occurred. ... It is in multiple use sites and in situations where
adjacent boundary developments are proposed that will provide management
challenges in the years ahead. [257]
4.148 Many witnesses to the inquiry commented on these matters. The conservationists
called for a more careful assessment of the likely impact of proposed
activities than is carried out at present. They believed that decisions
should be based on:
- the precautionary principle which states that, in the case of any
doubt about the likely outcome of a development or permitting an activity,
they should not be allowed to proceed; [258]
and
- a holistic approach that considers possible impacts on ecosystems
or world heritage areas as a whole, including taking cumulative impacts
into account. [259]
Generally speaking, the principles of ecologically sustainable development
should be applied to the management of world heritage areas and, as Professors
Boer and Fowler pointed out, they require further development to reflect
the duties of protection, conservation, presentation and transmission
to future generations. [260]
4.149 The precautionary principle, as defined in the IGAE, may be applied
in the context of administering the World Heritage Properties Conservation
Act. [261] Mr Valentine referred
to the precautionary principle, when he was acting as an adviser in 1994
when the then Minister for the Environment, Sport and Territories was
considering intervening to stop developments in the Hinchinbrook Channel
under the World Heritage Properties Conservation Act. [262]
Furthermore, amendments to the Great Barrier Reef Marine Park Act made
in 1995 require management plans to be drawn up with regard to the precautionary
principle.
4.150 The IUCN commented that the principle had been used wisely in South
West Tasmania and the Great Barrier Reef. [263]
The conservationists, however, would like to see the precautionary principle
used to a greater extent. Some of them have also suggested that developments
not needed for bone fide management purposes should not be approved if
there is no management plan in place. When such developments have been
allowed in these circumstances in the past, considerable controversy has
erupted. [264]
4.151 With respect to the need to take a more holistic approach to assessing
impacts on world heritage areas, the NQCC pointed to:
... a gradual and incremental eroding in the standard of our World Heritage.
This is occurring through small decisions about developments or activities
that individually do not appear to have much effect upon World Heritage
but cumulatively have a devastating effect. A resort here, a radar tower
on the mountain top, a clam farm over there, a marina up the estuary,
an airport on the flat and before very long Old McDonald's Farm looks
decidedly vacant when compared to our World Heritage Areas. The impact
of each individual project/activity/development may well be limited, however
the resulting overall impact is very large. [265]
Other witnesses also believed that the developments and activities that
are being permitted in some world heritage areas are having a cumulative,
negative impact on world heritage areas. [266]
One of the principles for management planning contained in the Richmond
Communique calls for the use of 'a mechanism to address the effect of
cumulative impacts'; this mechanism should include taking care 'not to
set precedents that, further in time, will create conflicts or difficulties
in effective management decision making or action'. [267]
Professors Boer and Fowler agreed that cumulative impacts should be considered
when developments are being assessed, and recommended as much. [268]
4.152 The Committee's view is that the precautionary principle, when
reasonably interpreted, should be employed whenever permits for developments
and activities are being considered. In addition, a holistic approach
should be taken in assessing the likely impact of developments and activities;
in particular, it should have regard to the likelihood of cumulative impacts
on world heritage values from different developments and activities. In
supporting the use of the precautionary principle, the Committee warns
that the principle should not be so zealously applied as to lock away
large tracts of land for extensive periods of time.
4.153 Another set of criticisms of the permitting processes for developments
came from people with an economic interest in world heritage areas. Their
criticisms centred on:
- the 'environment of uncertainty for developers and operators in or
close to World Heritage Listed areas'; [269]
and
- deficiencies in the measures available for appeals against land use
decisions. [270]
4.154 Uncertainty stems from knowing that the Commonwealth may intervene
in developments that have been approved by the States. As AMEC pointed
out:
We may meet all the state government's criteria as things stand at the
present time. .... There is still uncertainty because the Commonwealth
government might come along and say no, even though you have measured
up with state authorities on an environmental basis and you have met all
the state's regulations and conditions. [271]
In addition, according to the Tourism Council Australia:
The time frame for approval of new developments is already extremely long,
indeed so long that new legislative and regulatory changes frequently
appear to overtake a project before it has completed the approval cycle,
injecting further delay into the process. [272]
Not only is the approval process a long one, it is also complex and the
ground rules of the Commonwealth's role in approval processes appeared
to be still evolving. [273]
4.155 Although writing about the tourism industry, the comments by the
then Commonwealth Department of Tourism about the needs of developers
and operators apply equally to anyone using the resources in world heritage
areas for economic gain. The Department pointed out:
In general, if Australia is to maximise the net benefits from tourism,
investors, developers and managers need to operate in an environment where
decisions are made relatively quickly with as clear a rationale as possible,
based on criteria that are known to all players and are not subject to
constant change. There is a need, therefore, to ensure that there is a
streamlined consultative, planning and approval process for development
applications in or adjacent to WHAs which provides transparency, certainty,
equity and consistency. One step toward such a process would be to minimise
any duplication that may exist between the different tiers of government
in managing WHAs. [274]
The Tourism Council Australia agreed that 'it is clearly important for
developers and operators to be able to develop proposals against a known
framework'. [275] Such a framework
might be provided by establishing what categories of development proposals
should be subject to environmental assessment. [276]
4.156 The Committee is concerned about cases where lengthy, complex approval
processes for development and activities are unreasonably delaying economic
activity. The Committee also recognises the difficulties that changes
to approval processes may cause when the changes occur after an application
has been submitted. Permit systems should be as outcome-oriented as possible;
process should not dominate. The Committee mmends that:
(25) the Department of the Environment, Sport and Territories encourage
the managers of world heritage areas to implement permit systems that
are simple, streamlined, and transparent.
4.157 Enforcement of the regulations permitting multiple use of world
heritage areas is clearly an important element in protecting world heritage
values. The Committee gained the impression during the inquiry that the
preferred approach of most managers was to reach desired outcomes through
education and persuasion, rather than through legal means. However, the
GBRMPA, which places great emphasis on education and consultation, admitted
that it had not been tough enough on offenders in the past and was pursuing
them more strenuously now. [277]
The Committee's view is that managing agencies must concentrate on education
and persuasion as their primary approach to enforcing regulations, but
encourages them to firmly pursue offenders and to do so more extensively.
Accordingly, the Committee recommends that:
(26) the Department of the Environment, Sport and Territories, encourage
management agencies:
a) to foster the public's compliance with regulations relating to
the activities permitted in world heritage areas through education and
persuasion as their preferred approach; but
b) to rigorously enforce regulations when necessary.
4.158 An alternative approach to enforcing regulations which may be appropriate
in some circumstances was mentioned to the Committee at its workshop.
It entails involving users in controlling their impacts through incentives
that build on self interest, for example, offering rate rebates or tax
deductions for desirable actions like weed control on properties adjacent
to world heritage areas.
Management agreements
4.159 Along with other elements of managing world heritage areas, management
arrangements and plans are most effective when they are agreed between
the Commonwealth and State Governments. This view was shared by both Government
and non-Government witnesses to the inquiry. For example, Mr Dutton stated
that:
The Commonwealth government should enter into legally binding agreements
with all relevant State governments with respect to joint management of
WHA properties - these agreements should cover matters such as the specific
responsibilities of each party, consultative and dispute resolution processes,
... and arrangements for community input to management. As a policy guide,
such agreements should be in place prior to the nomination of any future
potential WHAs. [278]
Other witnesses also took the view that it is most appropriate if agreements
are finalised before properties are nominated to the World Heritage List,
[279] and are made at the highest
possible level, that is, by a Ministerial Council. [280]
The 1995 review of the IGAE took a similar view. [281]
4.160 DEST reported that 'the Commonwealth Government has been active
for some years in developing joint agreements with the States and Territories
over the funding and management of Australia's inscribed World Heritage
Areas'. [282] As indicated earlier
in this chapter, the Tasmanian management plan was agreed by the State/Commonwealth
Ministerial Council, and the same level of agreement for Shark Bay's management
plan and management arrangements is being sought. The management arrangements
for the Wet Tropics are part of a comprehensive, inter-governmental agreement,
and a draft agreement has been negotiated for the Great Barrier Reef but
has not been finalised yet. The Committee notes that agreement on management
arrangements and plans has still to be reached for the other world heritage
areas. It considers that work on the agreements for these areas should
be expedited and finalised at Ministerial level. It therefore recommends
that:
(27) the Commonwealth Government finalise, without further delay,
joint agreements on world heritage area management plans and arrangements
with those States with which agreements have yet to be signed.
The private sector's role
4.161 In recent years, contracting out for the supply of certain services
has been increasingly employed. The letting of concessions to provide
services to visitors in world heritage areas is an example of this trend.
In some overseas protected areas, management has been extensively privatised
and is performed by businesses or non-government organisations. The Kenyan
Wildlife Service, for example, is 90% privately owned. [283]
4.162 There was, however, no support among the witnesses to the inquiry
for the idea that total responsibility for the management of Australia's
world heritage areas should be carried out by the private sector. Professor
Atherton maintained that the private sector should not manage world heritage
areas in Australia:
In Australia, I think, for goodness sake, surely we have sophisticated
enough administrative facilities to be able to have a proper public sector
managed World Heritage system. But that is not to say that we should not
be listening to the private sector and we should not be taking a more
private-public approach. [284]
4.163 The Industry Commission's Environment Commissioner agreed with
this sentiment, when he pointed out to a conference in 1994 that:
... notions of privatising national parks and protected areas would only
make economic sense if ... the private sector could undertake resource
management and other related functions at lower cost, and faced the appropriate
incentives to do this on a sustainable basis - and the evidence of both
of these crucial issues is, at the best, equivocal.
... even if it was found on empirical evidence that the private sector
was more efficient (and nothing could be done to make the public sector
as efficient), there is a much more fundamental issue to be resolved.
This is the question of whether a private owner would necessarily maintain
the environmental quality of a park into perpetuity? [285]
He concluded that maintaining environmental quality into perpetuity is
clearly a government responsibility, conceding that, in fact, it was 'not
obvious that any one is actually proposing the privatising of existing
parks'. [286]
4.164 The private sector's role is widely seen as that of a partner with
the public sector in protecting world heritage areas; it can complement
the work of world heritage managers through its skills in providing services.
Professor Atherton, for example, suggested that:
You need a public-private sector partnership approach, because the developers
do have the resources to build the hotels and the facilities. They have
the understanding of the market and they can deliver the visitors. So
they are an important part of the equation. You cannot just exclude them
and say that it is a 'them and us' approach, which was a common approach
in the past. There needs to be a partnership. There needs to be, to some
extent, joint management of the tourism aspects of the World Heritage
site. [287]
Bramley believed that unless ways are found of establishing constructive
partnerships between the public sector managers and private sector tourist
operators, conflicts between the two will escalate. [288]
4.165 Contributors to a book on the private sector's role in relation
to national parks saw the possibility of the skills of the public and
private sectors being drawn upon to complement each other to a greater
extent than at present, effectively balancing out the imperfections in
both systems. [289] A greater role
for the private sector in the provision of infrastructure and services
than hitherto was suggested, with the proviso that the public sector retain
strict control over the private sector's activities. As an example, Uluru's
Park Manager, Mr Barry, foresaw the possibility of 'non-government contributions
to capital development and maintenance' and an expanded role for Aboriginal
and non-Aboriginal enterprises in the park. [290]
Looking to the future, Beeton and Horneman commented that 'increasingly,
agency withdrawal from direct service delivery to service quality control
and resource management is being canvassed as an alternative' to current
arrangements. [291] A situation
where this approach would be appropriate has been identified by the Fraser
Island Association, which suggested that activities such as capital and
maintenance work, managing and maintaining camp sites and waste disposal
be undertaken by contractors. [292]
4.166 Not everyone is comfortable with this model. Carter, for example,
observed that 'even when business is willing to provide infrastructure
capital, the offer has not been accepted', and Charters stated that 'the
involvement of the private sector on protected areas very promptly invokes
philosophical stances about appropriateness, equity and trustworthiness
of the private sector'. [293] As
Ms Penelope Figgis, then Vice President of the Australian Conservation
Foundation (ACF), pointed out:
... it is often argued that if an adequate regulatory framework is in
place it shouldn't matter who delivers services. However, the conservation
viewpoint is coloured by many years of observing that governments can
amend and adapt regulations in the face of the power of an economic interest.
[294]
The private sector's interest in profit and personal gain is seen as
potentially inimical to the environment and the ACF is totally opposed
to, for example, accommodation in national parks. It will be necessary
for some rapprochement of views before greater public-private sector cooperation
on world heritage management is established.
4.167 The Committee's view is that responsibility for the management
of world heritage areas should rest at this stage with the public sector,
but the private sector has expertise to contribute. The private sector
can assist in some aspects of management, and should be used where this
is the case, as in contracting out for the provision of certain services
supplied in world heritage areas. The Committee therefore recommends that:
(28) the Department of the Environment, Sport and Territories encourage
managing agencies to seek the most effective means for the supply of
services in world heritage areas, such as contracting and market testing.
4.168 The Committee also considers that it would be valuable to examine
how far the private sector could contribute its expertise to a greater
extent in the management of world heritage areas, for example in providing
infrastructure. [295] In suggesting
this, the Committee recognises that any private sector involvement with
management must be carefully controlled by the public sector, and it would
be essential for regulatory mechanisms to be established to ensure that
the conservation of the areas remains the paramount consideration. The
Committee therefore recommends that:
(29) the Department of the Environment, Sport and Territories consult
with all stakeholders in world heritage area management on:
(a) possible ways of involving the private sector to a greater extent
in the provision of infrastructure, works and services and their management;
and
(b) the regulatory mechanisms needed to guide and control that involvement.
Best practice in management
4.169 From the evidence that it has received the Committee has identified
several existing management arrangements for world heritage properties
that represent good practice. The Committee notes that:
- the funding agreement concluded between the Tasmanian and Commonwealth
Governments for the Tasmanian Wilderness world heritage area has been
hailed as a good model for others;
- DEST's management structure for world heritage areas appears to have
widespread support, with the proviso that it is applied flexibly to
suit local circumstances;
- the process by which agreement was finally reached on the management
of Willandra Lakes has been praised; it involved extensive consultations
with all stakeholders and, at the stakeholders' request, covered more
than just management issues;
- the drafting of some of the recent plans for the national parks in
the NSW part of the Central Eastern Rainforests has been singled out
for praise, because the plans give clear guidance on the protection
and presentation of world heritage values;
- the Wet Tropics Management Authority has been held up as a model for
managing multi-use areas;
- the arrangements for consulting with and involving traditional owners
in Kakadu and Uluru were also put forward as models of effective joint
management; and
- the strategic planning processes adopted by the Great Barrier Reef
Management Authority appears to be regarded as a prime example of effective
community consultation and a basis for management.
4.170 As there are no formally recognised models of best practice, the
approaches listed above can be looked to as sources of guidance. When
this is of no help, the consensus seems to be that, for the time being,
world heritage managers should look to the manner in which the Commonwealth
manages its world heritage areas for guidance. This is either because
the Commonwealth's arrangements represent best practice, or because the
Commonwealth given its world heritage obligations should be setting the
benchmark.
4.171 The Committee's view is that continuing efforts must be made to
develop good practices in world heritage management. It notes the recommendation
from the evaluation of the WHU's performance that:
... future Commonwealth efforts in this area adopt "best practice"
terminology in preference to the word "consistent" and that
the elements of best practice be specified so far as is possible. [296]
Best practice is defined here as the most appropriate means to meet international
obligations through an approach that seeks 'continuous improvement without
any false expectation that fixed means and absolute goals are involved'.
4.172 The wide ranging review by Professors Boer and Fowler proposed
further systematising the legislative and administrative arrangements
for world heritage properties, starting with a survey of existing practices
here and overseas. It recommended that a world heritage management strategy
should then be prepared, general management principles developed for all
properties and additional ones specific to individual properties, and
finally a world heritage management manual should be compiled. [297]
These proposals look as though they would provide a framework into which
existing and future best practice arrangements could be incorporated.
The Committee supports the proposals.
4.173 An important element in the development of best practice is networking
among world heritage managers. Communication among on-the-ground managers
has been facilitated by annual meetings convened by the WHU. The review
of the WHU's work judged these meetings to be successful forums and recommended
that they be continued. It also suggested that these meetings be complemented
by others for officers involved at a policy level who are in a position
to influence overriding decisions. [298]
Footnotes
[1] Mr P Lucas, submission (number 72), p 2.
[2] Department of the Environment, Sport and
Territories, submission (number 62), p 7.
[3] Australian Committee for IUCN, The Richmond
Communique: Principles and Guidelines for the Management of Australia's
World Heritage Areas, Richmond, NSW, 7-9 August 1995, p 5.
[4] National Trust of Australia (Victoria),
submission (number 48), p 12.
[5] Australian Conservation Foundation, submission
(number 35), p 3.
[6] North Queensland Conservation Council, submission
(number 45), p 9.
[7] Professor Trevor Atherton, transcript, 15
November 1995, p 192.
[8] Mr Ian Dutton, submission (number 1), p
2.
[9] Department of the Environment, Sport and
Territories, submission (number 62), p 7.
[10] Department of the Environment, Sport and
Territories, submission (number 62), p 18.
[11] Australian Committee for IUCN, transcript,
1 November 1995, p 150.
[12] Ben Boer & Robert J Fowler, The
Management of World Heritage Properties in Australia: Report to the Department
of the Environment, Sport and Territories, Part II, undated, issued
May 1996, pp. 115-20.
[13] Australian Committee for IUCN, The
Richmond Communique, p 6 (see footnote 3, Chapter 4).
[14] Minerals Council of Australia, transcript,
30 November 1995, p 340.
[15] National Farmers' Federation, transcript,
27 November 1995, p 316.
[16] Conservation Council of Western Australia,
supplementary submission (number 71), p 3.
[17] Conservation Council of Western Australia,
supplementary submission (number 71), p 1.
[18] Western Australian Government, submission
(number 56), p 3.
[19] Queensland Department of Environment and
Heritage, transcript, 15 November 1995, p 265.
[20] Evaluation Report: World Heritage Management
Arrangements, Department of the Environment, Sport and Territories,
November 1995, p 3.
[21] Dr Ralph J K Chapman, submission (number
5), p 3.
[22] Warren Nicholls & Daryl King, Department
of the Environment, Sport and Territories, 'Consistent management arrangements',
presented at the Australian Committee for IUCN Workshop on World Heritage
Management, Richmond, 7-9 August 1995, p 1.
[23] Queensland Government, submission (number
74), pp 2-3.
[24] Wet Tropics Management Authority, submission
(number 77), p 12-13.
[25] Australian Committee for IUCN, transcript,
1 November 1995, pp 150-1.
[26] Conservation Commission of the Northern
Territory (now Parks and Wildlife Commission of the Northern Territory),
submission (number 33), p 11.
[27] Conservation Commission of the Northern
Territory, p 16. ANCA, however, disputed this point (submission, number
90, pp 5-6); this issue is discussed further in Chapter
7.
[28] Conservation Commission of the Northern
Territory, submission (number 33), p 11.
[29] Conservation Commission of the Northern
Territory, submission (number 33), pp 12, 14, 15, 19.
[30] Tourism Council Australia, submission
(number 88), p 4.
[31] James Woodford, 'Uluru at centre of NT
struggle', The Sydney Morning Herald, 10 June 1996, p 1.
[32] Copies of these letters were provided
to the Committee.
[33] Evaluation Report, pp ii-iii (see
footnote 20, Chapter 4).
[34] Department of the Environment, Sport and
Territories, transcript, 27 November 1995, p 330.
[35] Queensland Government, submission (number
74), p 1; transcript, 15 November 1995, p 264.
[36] Department of the Environment, Sport and
Territories, transcript, 27 November 1995, p 331.
[37] Boer & Fowler, p 87 (see footnote
12, Chapter 4).
[38] Australian Committee for IUCN, The
Richmond Communique, pp 4-5 (see footnote 3, Chapter 4).
[39] Australian Mining Industry Council, Australian
Petroleum Exploration Association, Business Council of Australia, National
Association of Forest Industries & National Farmers' Federation, World
Heritage in Australia: Proposed Management Reforms, December 1994,
p 3.
[40] Royal Australasian Ornithologists Union,
submission (number 19), p 2. A similar point was made by the consultant
who carried out a socio-economic assessment of the Willandra Lakes world
heritage area and recommended that mechanisms must be developed to ensure
that all those affected feel ownership of the world heritage region and
can contribute to, and preferably participate in, its management (National
Farmers' Federation, submission, number 7, p 7.).
[41] Australian Mining Industry Council, submission
(number 28), p 22.
[42] Alliance for Sustainable Tourism, submission
(number 84), p 2; South Australian Country Women's Association, submission
(number 15), p 2.
[43] Orchid Beach Community, submission (number
17), p 2.
[44] Evaluation Report, p 4 (see footnote
20, Chapter 4).
[45] Mr Ian Dutton, submission (number 1),
p 5.
[46] Department of the Environment, Sport and
Territories, submission (number 62), p 20.
[47] Mr Peter Valentine, submission (number
29), p 4.
[48] Wet Tropics Management Authority, Draft
Wet Tropics Plan: Protection through Partnerships: Wet Tropics World Heritage
Area, Wet Tropics Management Authority, Cairns, October 1995, p 20.
[49] Far North Queensland Promotion Bureau,
submission (number 85), p 1.
[50] Minister for the Environment, Senator
Robert Hill, 'Investing in our natural heritage', Budget statement, 20
August 1996.
[51] Great Barrier Reef Marine Park Authority,
submission (number 59), p 8.
[52] Great Barrier Reef Marine Park Authority,
submission (number 59), p 10.
[53] Great Barrier Reef Marine Park Authority,
submission (number 59), p 3.
[54] New South Wales National Parks and Wildlife
Service, transcript, 1 November 1995, p 136.
[55] National Parks Association of NSW, transcript,
1 November 1995, p 159; World Wide Fund for Nature Australia, submission
(number 83), p 2.
[56] Willandra Landholders Protection Society,
submission (number 23), pp 1-2.
[57] Willandra Landholders Protection Society,
submission (number 23), p 4.
[58] Eurong Beach Resort, submission (number
10), p 5; Orchid Beach Community, submission (number 17), p 3; Cathedral
Beach Resort & Camping Park, submission (number 43), p 7; The Fraser
Island Association Inc., submission (number 46), p 2.
[59] Fraser Island Association, submission
(number 46), p 2.
[60] Fraser Island Association, transcript,
15 November 1995, p 257.
[61] Mr Tony Charters, transcript, 15 November
1995, p 209. Kingfisher Bay Resort is the largest employer on Fraser Island.
[62] Queensland Department of Environment and
Heritage, transcript, 15 November 1995, p 270.
[63] Helen Gee, submission (number 12), attachment
11.
[64] The National Council of Women of Tasmania,
submission (number 20), p 1.
[65] Evaluation Report, p 13 (see footnote
20, Chapter 4).
[66] Professor Michael Archer, transcript,
1 November 1995, pp 174-5.
[67] National Trust of Australia (Victoria),
submission (number 48), p 14.
[68] Australian Conservation Foundation, submission
(number 79), p 3.
[69] Evaluation Report, p 27 (see footnote
20, Chapter 4).
[70] Boer & Fowler, p 126 (see footnote
12, Chapter 4).
[71] Mr John Sinclair, transcript, 1 November
1995, pp 186-7.
[72] Fraser Island Defenders Organization,
submission (number 44), pp 1-2.
[73] Fraser Island Association, submission
(number 80), attachment.
[74] Department of the Environment, Sport and
Territories, transcript, 27 November 1995, p 330; submission (number 78),
pp 3-4.
[75] Queensland Department of Environment and
Heritage, transcript, 15 November 1995, p 266.
[76] Mr Duncan McInnes, transcript, 15 November
1995, p 223.
[77] Thoorgine Educational & Culture Centre
Aboriginal Corporation, submission (number 11), p 4.
[78] Mr Duncan McInnes, transcript, 15 November
1995, p 223.
[79] Dr Dermot Smyth, submission (number 24),
p 2.
[80] Queensland Department of Environment and
Heritage, transcript, 15 November 1995, pp 266-7.
[81] Great Barrier Reef Marine Park Authority,
transcript, 27 November 1995, p 294.
[82] Acting Chief Executive Officer, Australian
Nature Conservation Agency, covering letter dated 22 March 1995 to
submission (number 37).
[83] Australian Nature Conservation Agency,
submission (number 37), pp 6-10.
[84] Julian Barry, 'Enhancing protected area
management through indigenous involvement: the Uluru model', paper given
to the World Heritage Managers Conference, Ravenshoe, Queensland, April
1996, pp 1-3.
[85] Conservation Commission of the Northern
Territory, submission (number 33), pp 9-10.
[86] Australian Nature Conservation Agency,
submission (number 90), pp 3-5.
[87] Evaluation Report, p 15 (see footnote
20, Chapter 4).
[88] Boer & Fowler, pp. 132-3 (see footnote
12, Chapter 4).
[89] Commonwealth Department of Tourism, submission
(number 68), p 5; Tourism Council Australia, submission (number 73), p
7. As discussed at greater length in Chapter 8, the imposition in the
1996-97 Budget of an increased environment management charge on tourist
operators without any consultation is likely to have substantially undermined
the effectiveness of the consultative process.
[90] Australia, House of Representatives, 1996,
Debates, vol. HR, 20 August, p 3298.
[91] Commonwealth Department of Tourism, submission
(number 68), pp 5-6.
[92] Tourism Council Australia, transcript,
27 November 1995, p 302; submission (number 88), p 2.
[93] Professor Trevor Atherton, transcript,
15 November 1995, p 192.
[94] UNESCO, Intergovernmental Committee for
the Protection of the World Cultural and Natural Heritage, Operational
Guidelines for the Implementation of the World Heritage Convention,
February 1996, paragraph 44(b)(v). For cultural sites, a management plan
is not required, but the nominating State Party 'should be able to provide
evidence of suitable administrative arrangements to cover the management
of the property' (paragraph 24(b)(ii)).
[95] Department of the Environment, Sport and
Territories, submission (number 62), p 17.
[96] Some of the information provided in the
following paragraphs is taken from Attachment F of the submission by the
Department of the Environment, Sport and Territories, submission (number
62), pp 34-8.
[97] Department of Parks, Wildlife and Heritage,
Tasmania, Tasmanian Wilderness World Heritage Area Management Plan
1992, 1992.
[98] Tasmanian Wilderness World Heritage Area
Consultative Committee, submission (number 25), p 2.
[99] Queensland Government, Great Sandy
Region Management Plan, 1994-2010, 1994.
[100] Great Barrier Reef Marine Park Authority,
submission (number 59), pp 10-11.
[101] Great Barrier Reef Marine Park Authority,
submission (number 59), pp 1, 8.
[102] P H C Lucas, T J Webb, P S Valentine
& H Marsh, The Outstanding Universal Value of the Great Barrier
Reef World Heritage Area, Vol. 1, A Draft Report to the Great Barrier
Reef Marine Park Authority, undated, pp 68-9.
[103] A more inclusive requirement exists
in Queensland's Nature Conservation Act 1994, which is regarded
as superior to this amendment (Lucas & others, The Outstanding
Universal Value of the Great Barrier Reef World Heritage Area, p 38).
[104] Uluru-Kata Tjuta Board of Management
& Australian National Parks and Wildlife Service, Uluru (Ayers
Rock - Mount Olga) National Park Plan of Management, 1991; Australian
National Parks and Wildlife Service & Kakadu National Park Board of
Management, Kakadu National Park Plan of Management, 1991.
[105] Wet Tropics Management Authority, Draft
Wet Tropics Plan (see footnote 48, Chapter 4).
[106] Sustaining the Willandra: the Willandra
Lakes Region World Heritage Property Plan of Management, 1996;
Department of the Environment, Sport and Territories, submission (number
78), p 4.
[107] Department of the Environment, Sport
and Territories, transcript, 28 August 1995, p 87.
[108] Western Australian Government, transcript,
13 July 1995, p 10.
[109] Boer & Fowler, p 86 (see footnote
12, Chapter 4); Department of the Environment, Sport and Territories,
submission (number 62), p 37.
[110] Boer & Fowler, p. 91; Nicholls &
King, p 11 (see footnote 22, Chapter 4).
[111] New South Wales Government, transcript,
1 November 1995, p 143.
[112] Mr Ian Dutton, submission (number 1),
p 3.
[113] Western Australian Government, submission
(number 56), pp 2, 5.
[114] Australian Nature Conservation Agency,
submission (number 37), p 15.
[115] Western Australian Government, submission
(number 56), p 5.
[116] Western Australian Government, transcript,
13 July 1995, p 8.
[117] The Great Barrier Reef: Keeping It
Great: a 25 Year Strategic Plan for the Great Barrier Reef World Heritage
Area, 1994-2019, GBRMPA, 1994.
[118] Great Barrier Reef Marine Park Authority,
submission (number 59), p 7.
[119] Great Barrier Reef Marine Park Authority,
transcript, 27 November 1995, p 292.
[120] Lucas & others, The Outstanding
Universal Value of the Great Barrier Reef World Heritage Area, p 39
(see footnote 102, Chapter 4).
[121] Department of the Environment, Sport
and Territories, submission (number 62), p 8.
[122] Mr Ian Dutton, submission (number 1)
p 3.
[123] For example, South Australian Farmers
Federation, submission (number 6), pp 3-4; The South Australian Country
Women's Association, submission (number 15), p 1; S Kidman & Co.,
submission (number 13), p 5; Pastoralists' and Graziers' Association of
WA (Inc.), submission (number 22), p 2.
[124] Australian Mining Industry Council,
submission (number 28) p 20; National Farmers' Federation, transcript,
27 November 1995, p 318.
[125] Willandra Landholders Protection Group,
submission (number 23), p 4.
[126] Association of Mining and Exploration
Companies, transcript, 13 July 1995, p 40.
[127] Mr Ian Dutton, submission (number 1),
p 9.
[128] Australian Mining Industry Council &
others, p 1 (see footnote 39, Chapter 4).
[129] Department of the Environment, Sport
and Territories, transcript, 28 August 1995, p 81.
[130] Department of the Environment, Sport
and Territories, transcript, 28 August 1995, p 82.
[131] Department of the Environment,, Sport
and territories, 28 August 1995, p 90.
[132] UNESCO, Operational Guidelines,
paragraph 44(b)(v) (see footnote 94).
[133] Australian Committee for IUCN, The
Richmond Communique, p 6 (see footnote 3, Chapter 4).
[134] Australian Conservation Foundation,
submission (number 79), p 6.
[135] Department of the Environment, Sport
and Territories, transcript, 27 November 1995, p 331. The Australian Heritage
Commission also advises on management plans (submission, number 32, pp
1-2.)
[136] Australian Conservation Foundation,
submission (number 79), p 6; National Parks Association of New South Wales,
transcript, 1 November 1995, p 158; North Queensland Conservation Council,
submission (number 45), p 2.
[137] Boer & Fowler, p 44 (see footnote
12, Chapter 4).
[138] Department of the Environment, Sport
and Territories, submission (number 62), p 18.
[139] UNESCO, Convention concerning the
Protection of the World Cultural and Natural Heritage, 1972.
[140] North Queensland Conservation Council,
submission (number 45), p 11.
[141] Application of IUCN Protected Area
Management Categories: Draft Australian Handbook, Australian Nature
Conservation Agency, July 1996, p 13.
[142] Commonwealth Department of Tourism,
submission (number 68), p 6.
[143] Great Barrier Reef Marine Park Authority,
transcript, 27 November 1995, p 283.
[144] Australian Committee for IUCN, The
Richmond Communique, p 7 (see footnote 3, Chapter 4).
[145] Minerals Council of Australia, transcript,
30 November 1995, p 345.
[146] Great Barrier Reef Marine Park Authority,
transcript, 27 November 1995, p 296.
[147] See footnote 146.
[148] See footnote 146.
[149] Great Barrier Reef Marine Park Authority,
transcript, 27 November 1995, p 296.
[150] P S Valentine, Hinchinbrook Area
World Heritage Values and the Oyster Point Proposals, A report to
Department of the Environment, Sport and Territories, August 1994, p 3.
[151] Mr David Haigh, submission (number 16),
p 7.
[152] Mr Grant Revell, submission (number
2), pp 1-2.
[153] North Queensland Conservation Council,
submission (number 45), p 2; Boer & Fowler, p 124 (see footnote 12,
Chapter 4).
[154] Lucas & others, The Outstanding
Universal Value of the Great Barrier Reef World Heritage Area, p 49
(see footnote 102, Chapter 4).
[155] Great Barrier Reef Marine Park Authority,
submission (number 59), p 2.
[156] Great Barrier Reef Marine Park Authority,
submission (number 59), pp 6-7.
[157] North Queensland Conservation Council,
submission (number 45), p 6. The source of the quotation from Tsamenyi
et al. is as follows: Tsamenyi B M, Bedding J & Wall J, 'Determining
the World Heritage values of the Lemonthyme and Southern Forests: lessons
from the Helsham Inquiry', Environmental and Planning Law Journal,
vol 6, 1989, p 87.
[158] For example, Mr David Haigh, submission
(number 16), p 3; transcript, 15 November 1995, p 227; Cairns and Far
North Environment Centre, transcript, 15 November 1995, pp 241-2.
[159] Australian Committee for IUCN, The
Richmond Communique, p 6 (see footnote 3, Chapter 4).
[160] UNESCO, Operational Guidelines,
paragraph 44(b)(i), (ii) (see footnote 94, Chapter 4).
[161] Steering Committee (Australian Committee
of the International Union for the Conservation of Nature, Australian
Heritage Commission, Australian Local Government Association & Environment
Institute of Australia), Interim Australian Natural Heritage Charter
for the Conservation of Places of Natural Heritage Significance, January
1996, p 11.
[162] Valentine, Hinchinbrook Area World
Heritage Values, p 3 (see footnote 150, Chapter 4).
[163] North Queensland Conservation Council,
submission (number 45), p 18.
[164] See, for example, the inclusion of Aboriginal
cultural values in the 25-year strategic plan for the Great Barrier Reef
world heritage area.
[165] Dr Dermot Smyth, submission (number
24), pp 1-2.
[166] Department of the Environment, Sport
and Territories, transcript, 27 November 1995, pp 323-4.
[167] Evaluation Report, p 29 (see
footnote 20, Chapter 4).
[168] Australia, Senate, Environment, Recreation,
Communications and the Arts Legislation Committee, 1996, Consideration
of Estimates, 17 September 1996, pp 39-40.
[169] Lucas & others, The Outstanding
Universal Value of the Great Barrier Reef World Heritage Area, pp
48, 56 (see footnote 102, Chapter 4).
[170] Australian Council of National Trusts,
submission (number 52), p 2.
[171] Australian Council of National Trusts,
submission (number 52), pp 1-2; National Trust of Australia (Victoria),
submission (number 48), pp 7-8.
[172] Australian Committee for the IUCN, The
Richmond Communique, p 7 (see footnote 3, Chapter 4).
[173] New South Wales National Parks and Wildlife
Service, transcript, 1 November 1995, p 142.
[174] New South Wales National Parks and Wildlife
Service, transcript, 1 November 1995, p 133.
[175] Conservation Commission of the Northern
Territory, submission (number 33), p 8.
[176] Western Australian Government, transcript,
13 July 1995, p 21.
[177] National Farmers' Federation, transcript,
27 November 1995, p 315.
[178] Mr David Haigh, transcript, 15 November
1995, pp 229-30.
[179] Great Barrier Reef Marine Park Authority,
transcript, 27 November 1995, pp 290-1.
[180] The issue of whether the boundary of
the Great Barrier Reef world heritage area should be altered is discussed
in greater detail in Chapter 3, paragraphs 3.55-3.56.
[181] Australian Committee for IUCN, The
Richmond Communique, p 3 (see footnote 3, Chapter 4).
[182] National Farmers' Federation, transcript,
27 November 1995, p 316.
[183] Minerals Council of Australia, transcript,
30 November 1995, p 341.
[184] Minerals Council of Australia, transcript,
30 November 1995, pp 344-5.
[185] For example, Geco-Prakla, submission
(number 69), pp 12-13; Association of Mining and Exploration Companies,
transcript, 13 July 1995, pp 38, 48.
[186] Chamber of Mines, Metals and Extractive
Industries (NSW), submission (number 31), p 4.
[187] S Kidman & Co., submission (number
13), p 6.
[188] Department of the Environment, Sport
and Territories, submission (number 62), p 17.
[189] Great Barrier Reef Marine Park Authority,
transcript, 27 November 1995, p 296.
[190] Conservation Council of Western Australia,
submission (number 51), p 2.
[191] Cairns and Far North Environment Centre,
submission (number 53), pp 5-6; North Queensland Conservation Council,
submission (number 45), p 8.
[192] World Wide Fund for Nature Australia,
submission (number 83), p 2.
[193] Australian Mining Industry Council,
submission (number 28), pp 30-32.
[194] Commonwealth Department of Tourism,
transcript, 31 August 1995, p 117.
[195] Cairns and Far North Environment Centre,
transcript, 15 November 1995, p 248; Geco-Prakla, submission (number 69),
p 11; Lucas & others, The Outstanding Universal Value of the Great
Barrier Reef World Heritage Area, (see footnote 102, Chapter 4).
[196] Australian Nature Conservation Agency,
transcript, 28 August 1995, pp 88-9.
[197] For example, Mr Michael C Byers, submission
(number 3), p 3.
[198] Tourism Council Australia, transcript,
27 November 1995, p 305.
[199] Australian Nature Conservation Agency,
submission (number 37), p 26.
[200] Professor Trevor Atherton, submission
(number 49), pp 1-2.
[201] Professor Trevor Atherton, transcript,
15 November 1995, p 194. Morgans gives a detailed account of problems
in North American parks and the authorities' solutions ('Commercialising
protected areas: lessons from the USA', in National Parks: Private
Sector's Role, eds T Charters, M Gabriel & S Prasser, USQ Press,
Toowoomba, 1996, p 98).
[202] Julian Barry, '"User pays"
at Uluru-Kata Tjuta National Park: current and future directions', paper
given to the Best Practice Ecotourism National Conference, Coolangatta,
Queensland, July 1996, pp 4-5.
[203] Great Barrier Reef Marine Park Authority,
transcript, 27 November 1995, p 295.
[204] Cairns and Far North Environment Centre,
transcript, 15 November 1995, p 241.
[205] Mr Peter S Valentine, submission (number
29), p 3.
[206] Western Australian Government, transcript,
13 July 1995, pp 29-30.
[207] New South Wales National Parks and Wildlife
Service, transcript, 1 November 1995, p 141.
[208] The Hon Mr Laurie Brereton, MP, then
Minister for Transport, media release, 8 September 1995.
[209] Anne Ross, 'Traditional hunting in national
parks and the cultural heritage paradigm', Ngulaig, no. 11, Aboriginal
and Torres Strait Islander Studies Unit, The University of Queensland,
1994, p 7.
[210] Julie Collins, Nicholas Klomp &
Jim Birckhead, 'Aboriginal use of wildlife: past, present and future',
in Sustainable Use of Wildlife by Aboriginal Peoples and Torres Strait
Islanders, eds M Bomford & J Caughley, AGPS, Canberra, 1996, p
14.
[211] Mary Bomford & Judy Caughley, 'Ecologically
sustainable harvesting of wildlife by aboriginal peoples', in Sustainable
Use of Wildlife by Aboriginal Peoples and Torres Strait Islanders,
eds M Bomford & J Caughley, AGPS, Canberra, 1996, p 71.
[212] Helene Marsh, 'Progress towards the
sustainable use of dugongs by indigenous peoples in Queensland', in Sustainable
Use of Wildlife by Aboriginal Peoples and Torres Strait Islanders,
eds M Bomford & J Caughley, AGPS, Canberra, 1996, p 147.
[213] IUCN, Guidelines for Protected Area
Management Categories, IUCN, Cambridge, 1994, p 23.
[214] Australian Committee for the IUCN, The
Richmond Communique, p 7 (see footnote 3, Chapter 4).
[215] Australian Nature Conservation Agency,
transcript, 28 August 1995, p 94. The Committee also noted the view of
some critics that the managers of some world heritage areas had been too
pragmatic in allowing multiple use in these areas (Fraser Island Defenders
Organization, submission number 44, p 2; Wildlife Preservation Society
of Queensland, submission number 55, p 2).
[216] IUCN, submission (number 14), p 1.
[217] Brendan O'Malley, 'Reef not being harmed
by tourism: report', Courier Mail, 1 December 1995, p 2.
[218] For example, Australian Nature Conservation
Agency, transcript, 28 August 1995, p 96.
[219] Professor Trevor Atherton, transcript,
15 November 1995, p 193.
[220] Department of the Environment, Sport
and Territories, transcript, 28 August 1995, p 89; Mr Tony Charters, transcript,
15 November 1995, p 213.
[221] Dr Ralph Chapman, submission (number
5), p 5; Tasmanian Government, submission (number 63), p 14.
[222] UNESCO, Intergovernmental Committee
for the Protection of the World Cultural and Natural Heritage, Operational
Guidelines for the Implementation of the World Heritage Convention,
February 1996, paragraph 17.
[223] Australian Nature Conservation Agency,
transcript, 28 August 1995, p 94.
[224] Department of the Environment, Sport
and Territories, transcript, 28 August 1995, p 95. By way of explanation,
Dr Kay said that 'internationally the debate on buffer zones is mostly
around cultural properties, to prevent large, high-rise hotels from being
built on the doorstep of ancient monuments. It really is that issue which
brings in buffer zones far more than the natural properties.'
[225] Tasmanian Government, submission (number
63), p 4.
[226] Western Australian Government, transcript,
13 July 1995, p 7.
[227] Wet Tropics Management Authority, Draft
Wet Tropics Plan, p 19 (see footnote 48, Chapter 4).
[228] Great Barrier Reef Marine Park Authority,
transcript, 27 November 1995, pp 283, 291.
[229] Australian Committee for IUCN, The
Richmond Communique, p 6 (see footnote 3, Chapter 4).
[230] Western Australian Government, transcript,
13 July 1995, p 8.
[231] Cairns and Far North Environment Centre,
submission (number 53), p 5.
[232] Great Barrier Reef Marine Park Authority,
transcript, 27 November 1995, p 283.
[233] Wet Tropics Management Authority, submission
(number 77), p 12.
[234] Wet Tropics Management Authority, Draft
Wet Tropics Plan, p 19 (see footnote 48, Chapter 4).
[235] New South Wales National Parks and Wildlife
Service, transcript, 1 November 1995, p 143.
[236] The Tasmanian Conservation Trust and
the Wilderness Society (Tasmania), submission (number 21), p 2. It should
be noted, however, that, according to the Tasmanian Government, the nomination
documents for the Tasmanian Wilderness permit forestry operations close
to the world heritage area boundary (submission, number 63, p 4).
[237] North Queensland Conservation Council,
submission (number 45), p 14.
[238] Cairns and Far North Environment Centre,
submission (number 53), p 5.
[239] National Farmers' Federation, transcript,
27 November 1995, p 319.
[240] New South Wales National Parks and Wildlife
Service, transcript, 1 November 1995, p 143.
[241] Tasmanian Government, submission (number
63), p 4.
[242] The Tourism Council Australia indicated
that it supported 'objective research for environmental preservation whether
these are base line studies prior to activities being undertaken and/or
monitoring any impacts of activities' (submission, number 73, p 9).
[243] Australian Institute of Marine Science,
Annual Report 1994-95, p 51; Mr Ted Lindsay, MP, Parliamentary
Secretary, Industry, Technology and Regional Development, media release,
17 August 1994.
[244] Western Australian Fisheries Department,
submission (number 67), p 2.
[245] Australian Nature Conservation Agency,
submission (number 37), p 28.
[246] Commonwealth Department of Tourism,
submission (number 68), appendix D, p 2.
[247] Commonwealth Department of Tourism,
transcript, 31 August 1995, p 114.
[248] Valentine, Hinchinbrook Area World
Heritage Values, p viii (see footnote 150, Chapter 4).
[249] North Queensland Conservation Council,
submission (number 45), p 10.
[250] Cairns and Far North Environment Centre,
submission (number 53), pp 5-6.
[251] Australian Conservation Foundation,
Policy Statement No. 41, National and World Heritage Areas, p 1.
[252] New South Wales Government, transcript,
1 November 1995, pp 143-4.
[253] Australian Committee for IUCN, transcript,
1 November 1995, p 153.
[254] North Queensland Conservation Council,
submission (number 45), p 10.
[255] Queensland Department of Environment
and Heritage, transcript, 15 November 1995, p 263.
[256] Western Australian Government, transcript,
13 July 1995, p 7.
[257] IUCN, submission (number 14), p 1.
[258] Mr David Haigh, submission (number 16),
pp 5-6; National Parks Association of New South Wales, submission (number
57), p 3; Wildlife Preservation Society of Queensland, submission (number
55), p 1. The Richmond Communique also endorsed the use of the precautionary
principle.
[259] Conservation Council of Western Australia,
submission (number 51), p 2; North Queensland Conservation Council, submission
(number 45), p 16.
[260] Boer & Fowler, p 57 (see footnote
12, Chapter 4).
[261] Boer & Fowler, p 32.
[262] Valentine, Hinchinbrook Area World
Heritage Values, p vii (see footnote 150, Chapter 4).
[263] IUCN, submission (number 14), p 1.
[264] National Parks Association of NSW, transcript,
1 November 1995, p 159; North Queensland Conservation Council, submission
(number 45), p 14.
[265] North Queensland Conservation Council,
submission (number 45), p 12.
[266] For example, Mr David Haigh, transcript,
15 November 1995, p 226.
[267] Australian Committee for IUCN, The
Richmond Communique, p 7 (see footnote 3, Chapter 4).
[268] Boer & Fowler, p 124 (see footnote
12, Chapter 4).
[269] Tourism Council Australia, submission
(number 73), p 5.
[270] S Kidman & Co., submission (number
13), pp 2, 7.
[271] Association of Mining and Exploration
Companies, transcript, 13 July 1995, pp 45-6.
[272] Tourism Council Australia, submission
(number 73), p 6.
[273] Tourism Council Australia, submission
(number 73), pp 3, 5.
[274] Commonwealth Department of Tourism,
submission (number 68), pp 5-6.
[275] Tourism Council Australia, submission
(number 73), p 6.
[276] Boer & Fowler, p. 123 (see footnote
12, Chapter 4).
[277] Great Barrier Reef Marine Park Authority,
transcript, 27 November 1995, p 297.
[278] Mr Ian Dutton, submission (number 1),
p 4.
[279] Department of the Environment, Sport
and Territories, transcript, 28 August 1995, p 90; South Australian Government,
submission (number 60), p 2.
[280] Department of the Environment, Sport
and Territories, transcript, 27 November 1995, p 331; Western Australian
Government, transcript, 13 July 1995, p 10.
[281] Intergovernmental Committee on Ecologically
Sustainable Development, Report to the Council of Australian Governments
on the Review of the Intergovernmental Agreement on the Environment,
July 1995, quoted by Boer & Fowler, p 29 (see footnote 12, Chapter
4).
[282] Department of the Environment, Sport
and Territories, submission (number 62), p 28.
[283] Kreg Lindberg, Policies for Maximizing
Nature Tourism's Ecological and Economic Benefits, International Conservation
Financing Project Working Paper, World Resources Institute, 1991,
pp 24-5.
[284] Professor Trevor Atherton, transcript,
15 November 1995, p 195.
[285] Tor Hundloe, 'The private sector and
resource management in parks and protected areas', in National Parks:
Private Sector's Role, eds T Charter, M Gabriel & S Prasser, USQ
Press, Toowoomba, 1996, pp 38, 49-50.
[286] Hundloe, pp 48, 51.
[287] Professor Trevor Atherton, transcript,
15 November 1995, pp 194-5.
[288] Richard Bramley, 'Ecotourism and recreation
management: a tourism industry perspective', in National Parks: Private
Sector's Role, p 103.
[289] Hundloe, p 45; David Morgans, 'Commercialising
protected areas: lessons from the USA', in National Parks: Private
Sector's Role, p 101.
[290] Julian Barry, '"User pays"
at Uluru-Kata Tjuta National Park', p 5 (see footnote 202, Chapter 4).
[291] Robert Beeton & Louise Horneman,
'The state of the environment: how did we get here and where are we going?',
in National Parks: Private Sector's Role, p 14.
[292] Fraser Island Association, submission
(number 80), attachment.
[293] Bill Carter, 'Private sector involvement
in recreation and nature conservation in Australia', in National Parks:
Private Sector's Role, p 24; Tony Charters, 'Ecotourism: a tool for
conservation', in National Parks: Private Sector's Role, p 81.
[294] Penelope J Figgis, 'A conservation perspective',
in National Parks: Private Sector's Role, p 57.
[295] Board walks and the proposed light railway
for Fraser Island are examples of the infrastructure that private operators
might provide (Mr Tony Charters, transcript, 15 November 1995, p 208).
[296] Evaluation Report, p 5 (see footnote
20, Chapter 4).
[297] Boer & Fowler, pp 121-6 (see footnote
12, Chapter 4).
[298] Evaluation Report, p 31 (see
footnote 20, Chapter 4).
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