The lack of adequate data on earnings and conditions of
employment contributes to poor understanding among the wider community about
the nature and extent of gender pay inequity in Australia.[1]
Chapter 9 Data collection and research
Current data
9.1
The International Labour Organisation Committee of Experts responsible
for reporting on the Convention Concerning Discrimination in Respect to
Employment and Occupation (ILO Convention 111) noted that, from an
international perspective, the difficulties in the application of equal pay for
equal work stem from:
n insufficient data and
research; and
n inadequate financial
resources for collection of data and instituting appropriate job evaluation schemes.[2]
9.2
Similar issues continue on a national scale, where the Committee on the
Elimination of Discrimination Against Women (CEDAW) commented that:
The Committee regrets that the report [Australia’s
Combined Fourth and Fifth Reports to the United Nations on CEDAW, June 2003]
neither provides sufficient statistical data, disaggregated by sex and
ethnicity on the practical realization of equality between women and men in all
areas covered by the Convention nor information on the impact and results
achieved of legal and policy measures taken. It also regrets the absence of
sufficient information and data on women with disabilities.[3]
Equal Opportunity for Women in the Workplace Agency
9.3
The Equal Opportunity for Women in the Workplace Agency (EOWA) is a
statutory authority of the Australian Commonwealth Department of Families,
Housing, Community Services and Indigenous Affairs.[4]
9.4
EOWA's role is to administer the Equal Opportunity for Women in the Workplace
Act 1999 (Commonwealth) and through education, assist organisations to
achieve equal opportunity for women. EOWA works with employers to improve equal
opportunity outcomes for women in the workplace by:
n delivering practical
solutions;
n building strategic
partnerships; and
n leading public debate
to increase the rate of change.[5]
EOWA research and resources
9.5
EOWA collects data and undertakes research each year to monitor the
issues facing women in the workplace. EOWA research and data relevant to the
inquiry:
n EOWA Census of
Women in Leadership and Top Earner Report;
§
Begun in 2002, this report analyses the numbers and positions of
women and men in corporate leadership roles in the top 200 companies on the Australian
Stock Exchange.[6]
§
EOWA has conducted the census and associated research producing
reports in 2002, 2003, 2004, 2006 and 2008.[7] Most recently, EOWA
released Pay, Power and Position: Beyond the 2008 EOWA Australian Census of
Women in Leadership, which adds to the Census of Women’s Leadership
findings.
n Generation F:
Attract, Engage, Retain;
§
In April 2008, EOWA released this report that analysed the
findings from a series of focus groups and an online survey of more than 1600
men and women across Australia. The report revealed that many employers are not
providing workplaces that enable women (aged between 16 – 65 years of age) to
fully participate in the Australian workforce, for reasons such as lack of
workplace flexibility towards work/life balance, and workplaces not providing
clear career development.[8]
n EOWA Annual Survey;
§
Based on an annual survey of report contacts in EOWA reporting
organisations (more than 2,300 organisations provided annual compliance report
in 2008), this survey collects data on the provision and prevalence of specific
employer initiatives, as well as opinion data on the emerging issues for
employers in maximising outcomes for both female employees and the business.[9]
The most recent report is titled EOWA Survey on Paid Maternity Leave,
Sex-based Harassment Initiatives and the Gender Pay Gap.[10]
n Auspoll Research
Consulting Survey on Australians’ Attitude to Pay Equity;
§
In partnership with Diversity Council Australia, EOWA
commissioned quantitative surveys conducted in September 2008. Two similar
surveys were conducted, a general population online interviews of approximately
1200 people, and an online survey of 2,213 Workplace Training Advisory
Australia business professionals. The purpose of the surveys was to identify
the level of community awareness and understanding of the pay gap in Australia,
and whether there is a need to educate the public on the complexities of gender
pay inequity.[11]
Compliance reporting
9.6
Currently, under the Equal Opportunity for Women in the Workplace Act
1999 (EOWW Act) businesses of over 100 employees[12]
are required to report to EOWA annually. EOWA explained that,
By legislation they [relevant organisations] are required to
have a program in place and tell the government about it. They are required to
analyse issues around seven employment matters being those areas where women
traditionally are touched by discrimination: recruitment and promotion, work
organisation, pregnancy, sexual harassment, training and development.[13]
9.7
As per Section 19 of the EOWW Act, a non-compliant organisation is one
that:
n fails to lodge a
public report or confidential report as required; or
n fails to provide
further information in accordance with a notice given under section 18.[14]
9.8
As a consequence, and in accordance with Section 19 of the EOWW Act, EOWA
is required to name non-compliant organisations in a list presented annually
before parliament. There is also a contract compliance policy, which renders
non-complaint organisations ineligible to tender for government contracts and some
industry assistance. Once a non-compliant organisation submits a compliant
report their name is removed from the list.[15]
9.9
Annual compliance reporting provides information and data that,
…enables EOWA to undertake research for the purpose of
measuring progress towards, and promoting, equal opportunity for women in the
workplace.[16]
Australian Bureau of Statistics
9.10
The Australian Bureau of Statistics (ABS) collects a wide range of
information on the structure and operations of the labour market, and the links
between work, family and community life. The ABS has a number of data sources
on employee earnings which enable the measurement and analysis of pay equity.[17]
9.11
ABS surveys collect information from businesses (business surveys) or
from individuals in a household (household surveys). The main differences
between the two types of survey methodologies are as follows:
n Business Surveys:
§
more robust earnings estimates as the data are obtained from
employers' payrolls;
§
the ability to collect the components of earnings separately (i.e.
ordinary time and overtime earnings);
§
better, more consistent, industry and sector estimates - industry
coding is based on the main activities of the business (as maintained on the
ABS Business Register);
§
little or no demographic information about employees.[18]
n Household Surveys:
§
less robust earnings estimates as they are reliant on respondents
accurate recall of their (pre-tax) earnings. In addition, for some household
surveys respondents report on behalf of others in the households and this can
affect the quality of data reported;
§
a wide range of socio-demographic and employment characteristics.[19]
9.12
The ABS suggested three main sources of data to monitor pay equity:
n survey of Average
Weekly Earnings (AWE) – (cat no. 6302.0);
§
AWE provides a quarterly business survey measure of the level of
earnings, and represents the ABS headline measure of average earnings. The
sample size is approximately 5,500 employers.[20]
n survey of Employee
Earnings and Hours (EEH) – (cat. no. 6306.0);
§
EEH provides two-yearly business survey statistics on the
composition and distribution of employee earnings, the hours they are paid for,
and the methods used to set their pay. The sample size is approximately 9,000
employers and 57,000 employees.[21]
n survey of Employee
Earnings, Benefits and Trade Union Membership (EEBTUM) – (cat. no.6310.0);
§
EEBTUM collects weekly earnings data together with a range of socio-demographic
information, including: sex; age; marital status; relationship in household;
geographic region; school attendance; country of birth and year of arrival in
Australia.
§
EEBTUM is a household survey conducted annually (in August) as a
supplement to the monthly Labour Force Survey (LFS). The survey has a sample
size of approximately 30,000 employees.[22]
n Labour Force Survey
(LFS)
§
LFS is a monthly survey of approximately 24,000 dwellings across Australia,
which provides estimates of labour market activity of Australia's resident civilian
population aged 15 years and over. Estimates are available by State/Territory,
capital city/balance of state, and sub-state regions.[23]
Household Income and Labour Dynamics in Australia
9.13
The Household Income and Labour Dynamics in Australia (HILDA) Survey is
a household–based panel study which began in 2001. The HILDA survey is funded
by the Department of Families, Housing, Community Services and Indigenous
Affairs (FaHCSIA), and responsibility for the design and management of the
survey lies with the Melbourne Institute of Applied Economic and Social
Research at the University of Melbourne.[24]
9.14
FaHCSIA stated that the primary objective of the HILDA survey is to
support research questions falling within three broad areas:
n income dynamics - with
a particular focus on how households respond to policy changes aimed at
improving financial incentives, and interactions between changes in family
status and poverty;
n labour market
dynamics - with a focus on low-to-middle income households, female participation,
and work to retirement transitions; and
n family dynamics -
focusing on family formation, well-being and separation, along with
post-separation arrangements for children and links between income support and
family formation and breakdown.[25]
9.15
The range of topics covered in HILDA extends well beyond the three aforementioned
identified areas to include such things as life satisfaction, health outcomes,
neighbourhood characteristics, time usage and work-family balance.
9.16
According to the 2006 WESKI report, the main advantages of the HILDA
survey, when monitoring developments of new or changing workplace regulations,
are that:
n the survey is
conducted annually, which means that it is available more regularly than the
some of the two yearly ABS survey reports; and
n as a longitudinal
data set, the same respondents are surveyed in each wave and it is possible to
undertake analysis examining variables for the same individuals through time.[26]
Workplace Industrial Relations Surveys
9.17
The Australian Workplace Industrial Relations Survey (AWIRS) was a large
national scale survey of industrial relations. Two AWIRS have been conducted,
the first in 1990 by the then Department of Industrial Relations, and the
second in 1995 by the then Department of Industrial Relations which later
became the Department of Employment and Small Business (DESB).[27]
AWIRS has not been undertaken since 1995.This type of national survey continues
to be conducted in other countries such as the British Workplace Employment
Relations Survey (WERS) which was most recently conducted in 2004.[28]
Women’s Interdepartmental Committee
9.18
In September 2008, when the Committee first spoke with government
departments and agencies regarding interdepartmental communication on pay
equity, there was little evidence of a formal mechanism for coordination of
monitoring pay equity issues.[29]
9.19
When DEEWR, EOWA and FaHCSIA returned in August 2009, progress had been
made with regard to interdepartmental communication and coordination.
The most significant development since the committee last
heard from us [FaHCSIA] is the formation of the women’s IDC working group on
economic security. A specific part of its responsibility is to bring together
the key agencies across the federal government with responsibility for pay
equity.[30]
9.20
A vital part of data collection is information sharing. As discussed in
chapter seven a Women’s Interdepartmental Committee (IDC) was established in
February 2009,[31] is co-chaired by DEEWR
and FaHCSIA,[32] and has senior-executive
representation from a range of government departments and agencies.[33]
9.21
In a speech given at the 2009 Australian Women’s Leadership Symposium,
the Minister for the Status of Women commented that:
Gender equality is best advanced through whole-of-government
engagement, otherwise known as gender mainstreaming or gender sensitive policy
making. The Government has created a Women’s Interdepartmental Committee (IDC)
so that departments do a better job of talking to one another regarding how
their policies are effecting and will affect women.[34]
Australian Public Service surveys
9.22
DEEWR reported three regular Australian Public Service (APS) surveys provide data on the gender wage gap and pay differences between APS departments:
n APS Remuneration
Survey conducted annually for DEEWR by Mercer Consulting - The Mercer
survey provides an overview of SES and Non SES remuneration trends across the
APS, state agencies and the wider market. The survey does not produce any
gender specific data.
n The Commonwealth
Remuneration Guide conducted annually by HBA Consulting - HBA’s Commonwealth
Remuneration Guide provides information on salary rates delivered through certified
and collective agreements across Commonwealth agencies. The survey does not
produce any gender specific data.
n State of the
Service reports produced by the APSC - Data is available by gender but the
survey is attitudinal and does not cover remuneration.[35]
Australian Public Service Commission
9.23
The Australian Public Service Commission (APSC) is an agency within the
Department of the Prime Minister and Cabinet. The Commission supports two
statutory office holders, the Public Service Commissioner—who is also agency
head—and the Merit Protection Commissioner. The Commission’s mission is to
support the Australian Public Service (APS) and the statutory responsibilities
that support that mission are outlined in the Public Service Act 1999.[36]
9.24
APSC stated that it,
…maintains the APS Employment Database (APSED) which has
recorded a variety of human resource details of individual APS employees for
over 40 years. The information collected includes remuneration (defined as base
salary plus allowances) for each APS employee. Remuneration data can be broken
down by many variables including gender, agency, classification, engagement
from outside the APS, and length of service.[37]
9.25
Whilst the data contained in APSED allows for some analysis of pay
equity issues within the APS, according to APSC some of the limitations of
APSED are:
n allowances cannot be
separately identified from base salary;
n it cannot be broken
down by collective or individual agreements (such as Australian Workplace
Agreements (AWAs) or determinations made under section 24(1) of the Act);
n and it does not
include key non-monetary benefits such as cars, superannuation or performance
bonuses.[38]
Issues and deficiencies in data collection
9.26
Stakeholders claimed that much of the current data used to monitor
employment changes that may impact on pay equity issues is inadequate. Where
relevant data is collected, it is not collected consistently or regularly
enough and not sufficiently comparable to prove useful in the analysis and
monitoring of any changes in pay inequity, or changes in issues affecting pay
equity.
9.27
For instance the Diversity Council of Australia noted:
The lack of a dedicated body funded to analyse data and
monitor pay equity progress over time has compromised Australia’s capacity to
readily and easily understand how we are tracking, including how changing
federal and state government policy and the associated changing employment
relations landscape is impacting upon the gender pay gap.[39]
Women’s employment status key indicators
9.28
In September 2006, the Australian Human Rights Commission[40]
partnered with the Women’s Electoral Lobby and the National Foundation for
Australian Women to fund Women in Social and Economic Research (WiSER) [41]
to produce a report examining the capacity of existing data collections to
monitor women’s pay and other employment conditions under the new regulatory
framework established by the Workplace Relations Amendment (Work Choices) Act
2005 (Work Choices).[42] As a result, WiSER
prepared and released its report, Women’s pay and conditions in an era of
changing workplace regulations: Towards a “Women’s Employment Status Key
Indicators” (WESKI) database.
9.29
The WESKI report called for ‘a comprehensive research program
systematically examining the wages and conditions in key industries and
occupations in which minimum wage women workers are employed’.[43]
WESKI recommended that a program be established for:
… monitoring and research with respect to the federal minimum
wage and its impact on particularly vulnerable groups of women employees with
limited bargaining power, especially women with a disability, young women,
women from CALD [culturally and linguistically diverse] and Indigenous
backgrounds, and women working in more less protected sectors of the labour
market such as outworkers.[44]
9.30
The AHRC endorsed the WESKI report and recommended that the ABS collect
and publish regular disaggregated data in areas identified by the WESKI report.[45]
9.31
The Australian Human Rights Commission referred to:
…the need to design new data collections in line with new
regulatory frameworks and the need for detailed, gender disaggregated data to
inform gender sensitive policy development.[46]
9.32
The Queensland Government noted:
…the need for a national response to the WESKI report
findings. It is crucial that new data collections are developed and currently
existing collections modified to provide capacity to accurately monitor women’s
wages and other employment related conditions.[47]
9.33
The Work and Family Policy Roundtable supported the recommendations of
the WESKI report, particularly,
n the re-establishment
of a regular Australian Workplace Industrial Relations Survey that collects data from both management and employees at national level;
n the need for accurate
data on hourly earnings for part-time and casual employees in ABS survey data;
and
n the inclusion of more
detailed information relevant to gender pay equity in HILDA.[48]
Committee Comment
9.34
The WESKI report was published in the environment of a previous
industrial relations regime but remains relevant and received wide support from
a number of organisations and agencies.
9.35
Some of the following recommendations in this chapter refer and are
drawn from recommendations of the WESKI report. Further consideration of the
findings of the WESKI report need to be considered by the proposed Pay Equity
Unit or an appropriate government organisation.
Recommendation 48 |
|
That the Pay Equity Unit consider and respond to the
findings and recommendations of the Women in Social and Economic Research
2006 report Women’s pay and conditions in an era of changing workplace
regulations: Towards a “Women’s Employment Status Key Indicators” (WESKI)
database. |
Equal Opportunity for Women in the Workplace Agency
Compliance Reporting to EOWA
9.36
Stakeholders raised a series of issues in relation to EOWA’s ability to
extract reliable data from organisations required to report. ACTU stated that
EOWA,
… is not a particularly well resourced organisation, and the
sanction is being named in parliament…If you read the reports that are
submitted by firms—and they are available on the web—quite often it is the same
report now that is being submitted every year—year in, year out. That is a
waste of everybody’s time, frankly.[49]
9.37
A common criticism of the EOWW Act, and more specifically the
requirement of organisations of over 100 employees to report to EOWA, has been
that the reporting process is not rigorous enough, and that businesses of fewer
than 100 employees escape having to report to EOWA at all.
Reports to the Agency must be more rigorous and provide more
and better information on wages, employment structures, access to leave,
training, forms of employment contracts and occupational arrangements. This
information will provide useful data in assessing effects, causes and drivers
of gender inequality in pay.[50]
9.38
EOWA effectively referred to the voluntary nature of the reporting
regime,
Remuneration and Pay Equity issues fall within the EOWW Act
under Employment Matter 5 (Conditions of Service). The workplace profile may
include pay data; however this is not mandatory under the current Compliance
Guidelines.[51]
9.39
EOWA stated that whilst pay data, which looks at average salary data by
occupational category, is not mandatory under the compliance reporting
requirements, over 90 per cent of businesses supply in this format.[52]
9.40
The issue of self-identification of organisations of more than 100
employees was also raised. EOWA stated that,
There are businesses with over 100 employees in the private
sector that we do not know about. They are meant to self-identify to the agency...
[They] should be reporting but are not. Trying to find them is very, very hard.[53]
9.41
Whilst EOWA resources, through its website, are available to business of
all sizes, there remains a concern that pay equity issues may still be left
unidentified in businesses of fewer than 100 employees that are not required to
report under the EOWW Act.
9.42
The Diversity Council of Australia (DCA) reported that,
DCA members have indicated that, in particular, leading edge
industry-specific benchmarking information on pay equity gap would greatly
assist them progress the pay equity agenda within their own workplaces through
providing a meaningful point of comparison and an incentive for their
organisation to aspire to industry best practice.[54]
Committee Comment
9.43
Regular reporting from organisations and businesses is essential to not
only ensuring compliance with responsibilities under legislation, but regular
reporting can show trends over time and across industries.
9.44
Research and data collection functions and responsibilities for the
proposed Pay Equity Unit discussed in chapter seven would build on and expand
information gathered by EOWA.
9.45
In seeking to address pay equity, public service departments, agencies
and authorities should lead by example and be required to complete pay equity
audits regardless of their size. The Australian Government has a responsibility
and capability in demonstrating best practice reporting of pay and gender
equity issues in the workplace.
Australian Bureau of Statistics
9.46
The Western Australian Department of Consumer Protection and Government
Employment identified specific data inadequacies within current data sets to
enable accurate analysis of gender pay equity issues.[55]
With regard to ABS data, these deficiencies include:
n Average Weekly
Earnings:
§
sample size not large enough;
§
lack of detail of industrial instrument;
§
no data on different occupation or occupational categories;
§
data not disaggregated to managerial and non-managerial
employees; and
§
no information on compositional change.
n Employee Earnings
and Hours:
§
only conducted every two years; and
§
does not measure the spread (split-shifts) or time (weekends) of
hours.
9.47
The Western Australian Government also commented that the Employees
Earnings and Hours survey is,
…possibly the most valuable publicly released earnings
dataset with information relevant to pay equity. Any proposal to reduce the
survey’s sample size and/or its frequency should be firmly resisted.[56]
9.48
The Finance Sector Union (FSU) submitted that the most rigorous ABS data
is based on “average hourly ordinary time earnings of full-time non-managerial
employees” which is currently collected biennially at an industry level through
the ABS Employees Earnings and Hours survey. FSU highlighted that:
…the two year publication cycle does not align with many
other economic indicators and allows the issue of the gender pay gap to ‘fade’
between editions.[57]
9.49
The Industrial Relations Research Centre (University of New South Wales)
recognised efforts of agencies such as ABS, especially in the current financial
environment, seeing greater consultation as a way to address the shortcoming of
current data.
We have found the Australian Bureau of Statistics to be
highly responsive to client data requirements, within the constraints imposed
by budgets and data collection methods[58]… We welcome the current
initiative by the Australian Bureau of Statistics to consult with researchers
on ways to enhance data collection to assist monitoring gender equity.[59]
Committee Comment
9.50
At the very least, sample sizes and frequency of current ABS surveys should not be decreased.
9.51
In light of the suggestions made of ABS regarding a number of existing
surveys where possible, ABS should review existing data from previous surveys
with a specific emphasis on gender pay equity issues or indicators. Conducting
this review would provide some background to the gender pay equity research
conducted by the ABS for the proposed Pay Equity Unit and other relevant
stakeholders.
9.52
Evidence further supported amendments to existing data series so as to
better assess gender pay equity issues. Dialogue should continue between the
ABS and stakeholders to ensure that pay equity issues are better analysed
through existing data series.
Recommendation 49 |
|
That the Australian Bureau of Statistics, where possible, review
all existing surveys and data, relevant to pay equity, for evidence of any trends
over time in pay inequity and issues affecting female participation in the
workforce. |
Recommendation 50 |
|
That the Australian Bureau of Statistics amend data surveys as follows:
n Survey
of Average Weekly Earnings (cat no. 6302.0)
seek
further detail of industrial instrument;
seek further
detail of different occupation or occupational categories; disaggregate data
to managerial and non-managerial employee level. |
Recommendation 51 |
|
That the Australian Bureau of Statistics, where possible,
introduce gender disaggregation into all surveys that relate to pay equity
issues. |
Workplace Industrial Relations Surveys
9.53
The NSW Government commented that, the absence of AWIRS as a baseline
study of workplace conditions over time left an information gap that needed to
be filled. In 2005, Workplace Industrial Relations Surveys were commissioned independently
by the NSW, Queensland, and Victorian Governments which provided limited additional
information for the eastern seaboard states.[60]
9.54
According to the then Department of Employment and Small Business summary
of major findings:
Prior to AWIRS 90 there were no comprehensive and
statistically reliable nationwide data available on workplace relations… AWIRS
95 had the additional aim of assessing changes since AWIRS 90. Comparisons
between AWIRS 90 and AWIRS 95 data provide insight into the impact of these
changes at the workplace level, and allow trends in workplace relations that emerged
between the survey periods to be explored.[61]
9.55
With reference to AWIRS, the Community and Public Sector Union (CPSU)
stated that:
The data collected in the survey provided invaluable
longitudinal information that could be used to address pay equity concerns –
not least by identifying differing equity outcomes and showing how these
changed over time.[62]
9.56
The CPSU recommended that AWIRS be conducted every five years and the
results made publicly available free of charge.[63]
This reinstatement, and adequate funding, of AWIRS was also endorsed by many
organisations such as the National Tertiary Education Union,[64]
the Work and Family Policy Roundtable,[65] and the National Pay
Equity Coalition and Women’s Electoral Lobby.[66]
9.57
The Industrial Relations Research Centre further supported the
re-introduction of AWIRS,
… which provided a statistically valid and reliable window
into workplaces. We submit that the revival of this ongoing research agenda by
the Department of Education, Employment and Workplace Relations could provide a
vehicle for a contextual understanding of issues relating to pay equity.[67]
9.58
The WESKI report in 2006 commented on the need to increase the
regularity of key surveys and recommended the collection of comprehensive
detailed indicators of employment across time. A national workplace industrial
relations survey of the type being conducted in Queensland, New South Wales and
Victoria was suggested as a way to address this issue.[68]
9.59
In 2005, the Queensland Government undertook its own longitudinal
research survey, the Queensland Workplace Industrial Relations Survey (QWIRS) with the intention to produce regular data every 3 to 5 years. The
Queensland Government emphasise that whilst its state-run surveys provides a certain degree of functional data,
…they cannot truly replace a regular national survey such as
AWIRS. The demise of AWIRS has left a significant void in the amount and
quality of data available to monitor the conditions and wages of Australian
workers.[69]
9.60
Similarly, the Western Australian Government’s Department of Consumer
Protection and Government Employment recommended that AWIRS,
… would need to be conducted regularly (no less than every 5
years), include all variables relating to gender equity issues; allow
state-level analysis; provide an ability to easily compare disaggregated survey
results over time; and be developed in consultation with stakeholders,
including the states.[70]
9.61
The importance of data raised through AWIRS was further supported by the
Victorian Government:
In order to enable the collection of national workplace and
employee level data, to monitor comprehensively employment changes influencing
pay equity, the Victorian Government recommends that the Commonwealth
Government consider conducting an Australian Workplace Industrial Relations Survey (AWIRS).[71]
9.62
The National Foundation for Australian Women suggested one way to
improve monitoring systems of workplace data was to,
Conduct annual national workplace industrial relations surveys of the type undertaken in Queensland, New South Wales and Victoria.[72]
9.63
WESKI identified the following data sets as invaluable to plotting pay
equity trends:
n average hourly and
weekly wage rates for employees in non-managerial and non-professional
occupations;
n provisions for the
adjustment of wages rates during the life of the agreement;
n compensatory wage
payments for the absorption of penalty rates and/or other employment
conditions;
n the inclusion of non
wage benefits such as bonus payments;
n the incidence of
trading off provisions, such as annual leave for wage payments;
n the incidence of
averaging ordinary working hours across several weeks or months and common
averaging periods used for this purpose;
n ordinary working
hours, including the incidence of ordinary working hours of more than forty per
week;
n the availability of
flexible start and finish times and breaks;
n developments or
changes in the standards of family-friendly provisions such as access to paid family
or parental leave;
n the availability of
other forms of leave such as annual leave, unpaid leave and long service leave;
and
n access to family
friendly employment benefits such as employer provided or subsidized childcare.[73]
Committee Comment
9.64
The fundamental problem with pay equity data formerly available from
AWIRS is that it is no longer available. The reintroduction of AWIRS is
supported by a number of organisations as a method of addressing the lack of
adequate information, and is one of the major recommendations of the WESKI
report.
9.65
A survey, such as AWIRS, provided national scale data on industrial
relations. An updated survey that incorporates variables relating to gender
equity issues into the original survey would show results in any workforce changes,
and also provide information on the outcomes of any gender pay equity
initiatives.
9.66
Cognisant that the cost of reinstating AWIRS in full may prove
problematic, it is proposed that a National Pay Equity Workplace Survey be
developed. Like AWIRS this survey would be national in scale and at workplace
level, however focussed primarily on pay equity issues.
9.67
Allowing for a more focussed approach in survey data collection on pay
equity, as well as more regular collection of every two years rather than five,
provides accurate and adequate data that is needed to better analyse and
monitor Australia’s pay equity issues.
9.68
As the previous AWIRS were conducted by the then Department of
Industrial Relations, it would be appropriate that the current Department of
Education, Employment and Workplace Relations be responsible for undertaking the
new survey. The Pay Equity Unit, in conjunction with DEEWR, would develop the
survey and analyse its results. To allow adequate time for collation and
analysis of survey outcomes but keeping the information timely, this survey
should be conducted every two years.
Recommendation 52 |
|
That a National Pay Equity Workplace Survey be developed and
conducted biennially by the Department of Education, Employment and Workplace
Relations in partnership with the Pay Equity Unit.
The survey should cover, but not be limited to:
n average
hourly and weekly wage rates for employees in non-managerial and
non-professional occupations;
n provisions
for the adjustment of wages rates during the life of the agreement;
n compensatory
wage payments for the absorption of penalty rates and/or other employment
conditions;
n the
inclusion of non wage benefits such as bonus payments;
n the
incidence of trading off provisions, such as annual leave for wage payments;
n the
incidence of averaging ordinary working hours across several weeks or months
and common averaging periods used for this purpose;
n ordinary
working hours, including the incidence of ordinary working hours of more than
forty per week;
n the
availability of flexible start and finish times and breaks;
n developments
or changes in the standards of family-friendly provisions such as access to
paid family or parental leave;
n the
availability of other forms of leave such as annual leave, unpaid leave and
long service leave; and
n access
to family friendly employment benefits such as employer provided or
subsidized childcare. |
Household Income and Labour Dynamics Australia
9.69
Not unlike the AWIRS, there was widespread support from a number of
submissions and witnesses for maintaining the HILDA survey. As pointed out by
the Western Australian Government, the HILDA survey is household-based, which
provides a helpful counterpoint to employer or workplace-based surveys.[74]
9.70
Whilst the Work and Family Policy Roundtable acknowledged the
development in Australia of longitudinal studies being established, the
Roundtable continued;
…some extension would be needed to adapt a survey such as
HILDA as an effective vehicle for tracking gender pay equity issues.[75]
9.71
Suggestions for improvement to the HILDA survey supported a
recommendation of the WESKI report which highlighted that currently, HILDA
survey respondents are not asked about their specific type of employment
contract or agreement relevant to determining respondents’ conditions of
employment which:
…limits [HILDA] usefulness as a database for monitoring
relationships between forms of employment contract and employment benefits.[76]
9.72
Recommendation 12 of the WESKI 2006 report states that:
Consultation should take place as soon as possible between
the Government, key users of workplace relations information and administrators
of the Household Income and Labour Dynamics in Australia (HILDA) survey to
discuss the feasibility of including a question about respondents’ type of
employment contract.[77]
Committee Comment
9.73
HILDA provides valuable data, and has advantages of a regular annual reporting
period to analyse trends over time. Recommendation 12 of the WESKI report proposes
the inclusion of a question, or questions, about type of employment contract or
agreement. Consultation over this extension to HILDA should be undertaken
between:
n Department of
Families, Housing, Community Services and Indigenous Affairs (as the government
agency responsible for funding and managing HILDA); and
n Melbourne Institute
of Applied Economic and Social Research at the University of Melbourne;
n Australian Council
for Educational Research; and
n Australian Institute
of Family Studies (as members of the research consortium contracted to design,
develop and conduct HILDA).[78]
Recommendation 53 |
|
That the Department of Families, Housing, Community Services
and Indigenous Affairs consult with:
n Melbourne
Institute of Applied Economic and Social Research at the University of
Melbourne;
n Australian
Council for Educational Research;
n Australian
Institute of Family Studies, and
n the
Pay Equity Unit,
in relation to possible improvements to Household Income and
Labour Dynamics Australia survey to encompass pay equity considerations. |
Women’s Interdepartmental Committee
9.74
The list of agencies that have senior executive representation is
promising, and other Commonwealth departments and agencies are urged to join
the WIDC.
9.75
The concern with overlap or duplication of responsibilities remained a
theme from the beginning of the inquiry as there appeared to be no formerly
established form of coordination between Commonwealth departments and agencies.
The Women’s Interdepartmental Committee is a welcome initiative as it provides
a mechanism for this dialogue to occur.
9.76
Given the current agency representation, specifically FaHCSIA, DEEWR,
ABS, the Treasury, and the Department of Finance and Deregulation, there is an
opportunity for the sharing and compilation of data specific for the research
and analysis of issues affecting pay equity. This information should be
submitted to the Pay Equity Unit.
Committee Comment
9.77
The Office for Women is to be commended on its establishment of the
Women’s IDC since its appearance before the Committee at the beginning of the
inquiry. The Women’s IDC is one of the first steps to greater consultation
between government departments and agencies.
9.78
In line with the recommendations of this report, the Women’s IDC should continue
into the future gaining greater representation from the wider public service.
Pay Equity Unit – Research Function
9.79
The proposed federal Pay Equity Unit would have three general functions.
One of which would be undertaking and coordinating a variety of research to
provide further information on issues related to pay equity in Australia. The
Pay Equity Unit must have the capacity and resources to undertake monitoring
and research if it is to act effectively to ensure compliance and identify
areas where education is required.
9.80
The rationale behind the comprehensive research functions of the Pay
Equity Unit is that arguing pay equity cases is impossible without reliable
accurate and up to date data on pay and conditions in industries and occupations
when performing a gender neutral work value evaluation. Fair Work Australia
needs reliable pay equity data to perform its award and minimum wage fixing
functions. Furthermore, the data is necessary for Australia’s reporting
obligations under ILO and CEDAW.
9.81
Much of the data collection is likely to be obtained through existing
systems, but the data must also be disaggregated if it is to identify and track
pay equity.
Data, research and analysis function
9.82
The establishment of a Pay Equity Unit with a substantial research role
would provide the required information to form the basis for future policy
directions and enable Australia to reduce the gender pay gap and meet its
commitment under its international obligations. The functions of the research
facility within the Pay Equity Unit in relation to data collection would
include:
n developing
appropriate tools and programs to assist employers to design pay equity plans
and implement the audits for reporting purposes;
n monitoring and
evaluating the effectiveness of workplace programs;
n preparing relevant
reports to the Minister and Government on wages and conditions and changes in
pay equity outcomes;
n providing
information and assistance to employers through the maintenance of a website;
and
n facilitating the
collection of consistent and comparable data through liaison with Australian
Bureau of Statistics, Australian Taxation Office and other relevant Federal
agencies and the Australian Public Service Commission, State and Local
Governments, research institutions, business and industry bodies, unions and
other relevant groups.
Committee Comment
9.83
A number of changes would be needed to ensure the effectiveness of the
establishment of the research branch within the Pay Equity Unit, and should
include:
n that the data,
research and analysis be available for tri-annual reporting to Fair Work
Australia with an obligation on the relevant Minister to table the report in
Parliament within 10 sitting days;
n the
collection of data may be sourced through the Australian Taxation Office and
the Australian Bureau of Statistics and be available on an occupation and
industry basis and able to track trends over time.
n that
a cross agency working group be established to ensure the data collection is
comprehensive and fit for purpose;
n amending
the Fair Work Act to extend the statutory research obligations of Fair
Work Australia to conduct three yearly reports to include additional three
yearly separate reporting on pay equity;
n that
the amendment make clear that for pay equity purposes the data must be
disaggregated on the basis of gender and, in recognition that additional
factors aggravate pay equity, include also disability, age, ethnicity, child
care responsibilities, and martial status.
n that
the data also be available for industry and occupational analysis at the
direction of the Fair Work Australia for the purpose of exercising its own
functions under the Act (e.g. equal remuneration case or annual wage review).
9.84
The Committee believes that in order to address pay equity issues within
and across industries, it is vital that current, consistent relevant data be
collected and analysed by the Pay Equity Unit.
9.85
The Pay Equity Unit will provide an annual report to the Minister for
the Status of Women, highlighting any pay equity issues and progress made in
achieving gender pay equity.
Working Group - Consistency of Data
Figure 9.1 Female earnings as a proportion of male
earnings
Source Department
of Families, Housing, Community Services and Indigenous Affairs, 2008, Gender
Earning differentials in Australia: A statistical overview of women’s earnings, unpublished,
p. 4.
9.86
Vital to developing a national approach to the analysis, and subsequent
addressing, of gender pay equity issues, is the consistency in collection and
analysis of data.
There are two broad ways of examining the gender pay gap. The
first is by using weekly earnings measures. The second is using hourly earnings
measures. Hourly earnings measures provide a narrower gender pay gap than
weekly measures because women tend to work fewer hours per week than men.
Indeed, males employed full-time work about 10 per cent more total hours per
week than full-time females.[79]
Using total average weekly ordinary time earnings of
full-time adults (exclusive of overtime payments), the gender pay gap stood at
16.2 per cent in May 2008 based on AWE, and 15.4 per cent in May 2006 based on
EEH. Women do not receive overtime earnings to the same extent as men. When
overtime payments are included in the average weekly total earnings, the gender
pay gap estimates in the three surveys are higher at 19.5 per cent for AWE,
18.8 per cent for EEH and 19.9 per cent for EEBTUM.[80]
9.87
There is a need for greater coordination amongst stakeholders and
relevant government agencies, and this should be facilitated by the proposed
Pay Equity Unit. Effective consultation between research bodies will reduce the
possibility of repetition of research, and help to provide a focussed approach
to addressing pay equity issues. Similarly, coordination and consultation
between government bodies is paramount to avoiding any overlap of
responsibilities, and make best use of existing resources.
9.88
The NSW Office for Women stated that;
One of the challenges in building public awareness of pay
equity issues is the fact that gender pay gaps can be measured in different
ways, and that there is no consistently reported measure or common access point
for research and data analysis of these matters in the Australian context.[81]
9.89
In regard to hourly versus weekly earnings, ABS stated that the gender
wage gap can be quite different when looking at an hourly perspective, not
unlike comparing gender wage gaps between full time employees and part time
employees.[82]
9.90
Similarly the use of mean, rather than median, in earnings analysis is
not necessarily the most representative of average as it can be skewed by
outliers. In one example of a data series provided by the ABS, 65 percent of
employees surveyed earned less than the mean.[83]
9.91
A national working group within the Pay Equity Unit of Fair Work
Australia would be best placed to coordinate the national collection and
analysis of data with regard to pay equity issues. Membership of the working
group should include:
n Commonwealth
departments and agencies:
§
Australian Bureau of Statistics;
§
Australian Public Service Commission;
§
Australian Taxation Office;
§
Department of Education, Employment and Workplace Relations
§
Department of Families, Housing, Community Services and
Indigenous Affairs;
n relevant
stakeholders:
§
State and local government;
§
Industry groups and individual businesses;
§
Unions
§
Universities;
§
Research bodies and institutions.
9.92
Depending on the focus of the working group at a particular point in
time, persons or organisations with specialist knowledge may be invited to have
input into any research or initiatives being established and developed.
9.93
The working group also presents an opportunity for sharing of knowledge
and initiatives that departments and relevant stakeholders may undertake to
address issues concerning gender inequality in their respective organisations.
Much of the concern with assessing the gender pay gap, pay inequity and women’s
participation in the workforce has been the lack of consistent data upon which
to assess and analyse these issues.
9.94
Industry groups, private businesses, academics and government agencies
conduct a number of surveys that are relevant to pay equity considerations.
However, the type of data collected often lacks comparability to other surveys
thus limited its usefulness. An important function of the working group would
be to liaise with private organisations and public sector entities in relation
to the surveys being conducted to encourage greater comparability of
measurements.
9.95
Consequently, the role of this working group should be outlined as
follows:
n to manage the sharing
of existing data and resources in relation to pay equity, ensuring consistency
and relevance; and
n to coordinate further
national scale pay equity research, initiatives, programs and surveys.
Recommendation 54 |
|
That a working group consisting of Commonwealth departments
and agencies, as well as relevant stakeholders be established within the Pay
Equity Unit to progress greater comparability of data collections. |