Chapter 6 Governance arrangements and the coastal zone
we have reached a stage when Commonwealth leadership in
CZM is vital. Coastal problems are national, not just state or local. They do
have, of course, state, regional and local manifestations. However, the
implications of climate change, population growth and demographic change, and
infrastructure needs do require, in my view, national direction and technical
and financial support. I will argue that sustainable solutions for many of
these problems risk being limited in time and location unless the Commonwealth
can offer leadership in the form of consistent guidance and support to achieve
sustainable outcomes of benefit to local economies, environments and social
interests.[1]
Introduction
6.1
Chapter 6 focuses on the Committee’s terms of reference with regard to
governance and institutional arrangements in the coastal zone.
6.2
Major issues covered in the chapter include existing governance
arrangements in the coastal zone and perceived concerns with these
arrangements, and the roles played by state, territory and local governments in
coastal zone management. The chapter then looks at calls for national
leadership to improve the cooperative approach to coastal zone management and suggested
new models for coastal governance.
6.3
Ultimately, the Committee proposes an Intergovernmental Agreement on the
Coastal Zone to be endorsed through the Council of Australian Governments
(COAG), as well as:
n a National Coastal Zone
Policy
n a National
Catchment-Coast-Marine Management Program
n a Coastal
Sustainability Charter
n a National Coastal
Advisory Council
6.4
The Committee believes these recommendations will address current
concerns in this area and provide the basis for a cooperative approach to
coastal zone management. Such an approach is urgently required in the coastal
zone due to the potentially severe impacts of climate change on the coast, the
continuing environmental degradation of the coast, and the current complex and
fragmented governance arrangements for the coastal zone.
Existing coastal governance arrangements
6.5
Coastal zone planning and management is largely a state/territory
responsibility, with day-to-day decision making the responsibility of local
governments. However, the Australian Government has an important influence on
coastal environmental policy and planning through the Environment Protection
and Biodiversity Conservation Act 1999. It can also play an important role
in national policy making by setting policies both directly and through
national government councils, such as COAG, the Natural Resource Management Ministerial
Council (NRMMC) and the Local Government and Planning Minister’s Council
(LGPMC).
6.6
The major coordinating processes for coastal zone management at a
national level are:
n COAG, through the
COAG Working Group on Climate Change and Water
n the NRMMC and its Marine
and Coastal Committee (MACC), which administers the National Cooperative
Approach to Integrated Coastal Zone Management: Framework and Implementation
Plan, and Intergovernmental Coastal Advisory Group (ICAG)
n the NRMMC and its
Natural Resources Policies and Programs Committee and Climate Change in
Agriculture and Natural Resource Management Working Group, which covers coasts
and some marine matters
n the LGPMC and its
Planning Officials Group
6.7
In their evidence to the Committee, representatives from the Department
of Environment, Water, Heritage and the Arts (DEWHA) raised serious concerns
about this structure:
To date, coordination between these processes has been ad hoc
and there is a need to improve on communication and coordination of activities
within and between governments, as well as with key stakeholders. Identifying
the respective roles of each group will enable a clearer articulation of the
roles of the NRMMC committees vis-a-vis the COAG process on climate change, and
ensure that key NRM issues are adequately covered in coastal planning and
adaptation.
As a first step, the NRMMC MACC agreed in July 2008 to a
review of ICZM implementation, as well as reviewing the need and functioning of
the Intergovernmental Coastal Advisory Group (ICAG), which manages the
implementation of the ICZM for the MACC. This review should take into account
where the ICZM fits in with the other processes currently underway and may
provide an opportunity to better address some of the coordination issues above.[2]
6.8
The state and Northern Territory governments are primarily responsible
for areas up to three nautical miles out from the territorial sea baseline. The
Australian Government is responsible for all other waters within the outer
limit of Australia’s 200-nautical-mile exclusive economic zone (EEZ). In
addition, agreements under the Offshore Constitutional Settlement delegate
responsibility for some aquatic resource management between three nautical
miles and the EEZ (generally) to either the state or joint authorities.
6.9
DEWHA explained that:
the Commonwealth’s constitutional powers are constrained in
terms of the reach of the Commonwealth’s jurisdiction in the coastal zone. The
offshore constitutional settlements that delineate the roles and
responsibilities between the Commonwealth and the states and territories
generally restrict what we can actually do. Generally, the states and the
Northern Territory have primary responsibility over coastal waters—that is,
from the territorial sea base line out to three nautical miles. This means that
the states and territories have primary jurisdiction for what is often
considered the coastal zone. And, of course, the states have primary
responsibility for land planning and management, including how local government
operates in each jurisdiction.[3]
6.10
The Heads of Agreement on Commonwealth and State Roles and
Responsibilities for the Environment, signed in 1997 by COAG and
representatives of local governments, sets out Commonwealth and state
responsibilities in the coastal zone as follows:
Commonwealth responsibility involves meeting obligations
contained in international agreements and in Commonwealth legislation in
relation to waters outside those waters under State control pursuant to the
Offshore Constitutional Settlement, except where formal Commonwealth/State
management arrangements are in place (e.g. specific fisheries) or where waters
are under Commonwealth direct management (e.g. the Great Barrier Reef Marine
Park). The Commonwealth has responsibility for control of sea dumping in
Australian waters.
Commonwealth interest involves co-operation with the States
to develop strategic approaches to ensure the management and protection of
Australia’s marine and coastal environment.[4]
6.11
As noted in Chapter 5, the existence of intergovernmental agreements on the
environment and related issues such as water, as well as joint federal/state
environment and natural resource management programs, suggests that, in recent
times, many environmental policies and approaches have been developed
nationally through cooperative federal-state processes.
6.12
Local government decision making on coastal planning and development is
generally steered by policy and legislation at state/territory government
level. However, in many instances local governments are at the forefront of
coastal zone planning and management.
6.13
The role of local government in coastal zone management is therefore significant.
As the Australian Local Government Association (ALGA) stated in its submission
to the inquiry, local government is:
n the agency
responsible for land use planning throughout much of the coastal zone
n the agency commonly
responsible for significant aspects of environmental management in the coastal
zone, including the provision of waste removal and treatment services, and the
provision of water, drainage and sewerage services
n the land manager for
many coastal reserves and other coastal buffer areas
n the agency commonly
responsible for provision and management of public infrastructure such as
roads, recreational areas and parks, in the coastal zone.[5]
6.14
The Committee also recognises the role that Indigenous Australians play
in the management of Australia’s coastal resources. As the Northern Territory
Government emphasised in their submission:
Indigenous stakeholders as significant land managers
(particularly in northern Australia), need to be included in all aspects of
national coordination, development and implementation of coastal climate change
policies, strategies and plans.[6]
6.15
The NT Government noted that Indigenous Territorians:
hold title to approximately 84 per cent of the NT’s
coastline; have strong cultural ties to the sea, a well developed system of
traditional custodianship and spiritual connections with numerous sites and
species of marine fauna and flora.[7]
Issues regarding coastal governance arrangements
6.16
The Committee heard from a full cross-section of stakeholders in coastal
zone management, from state and local governments through to coastal experts
and concerned community groups. Major challenges in current coastal zone governance
arrangements identified by these groups included the need for:
n national leadership
n improved cooperation
and coordination action across jurisdictions
The crucial challenge is how to improve coordination and
consistency of implementation of the necessary mechanisms. While each local
area will need tailored solutions, there is an urgent need for a federal framework,
under which the implementation of the necessary mechanisms can be provided for
and resourced. Enhanced cooperation between all levels of government is
essential if integrated natural resource management and adaptation planning is
to be realised and comprehensively implemented.[8]
n a regional strategic approach
Different standards cause community and developer frustration
and a lack of certainty for planning. [An] example is the differing
requirements in planning legislation to the incorporation of sea level rises
and the timeframes and data used in the calculations of storm surge and sea
level rises.
Regional planning processes provide an excellent opportunity
to integrate social, economic and environmental issues and plan for future
growth in a co-ordinated way.[9]
n better integration in
environmental management of socioeconomic elements
A major contributor to this is the apparent failure of
assessment mechanisms to adequately consider and compare the social, economic
and environmental impacts of population growth. Resolution of sustainability
issues in the context of population growth will not be achieved by constraining
the development of approaches to environmental impacts alone. An holistic
response is needed that recognises limits to growth, and the sustainable use of
coastal resources must adequately consider economic and social values.[10]
n new governmental
arrangements to encompass climate change impacts
Climate change will have an impact on coastal communities
around the nation and will necessitate federal leadership with strong
coordination amongst Federal, State and Local Governments.[11]
n improved stakeholder
involvement and community engagement, education and awareness
A Community education and engagement strategy for coastal
communities should be a major priority of Coastal Policy. Such a strategy
should aim to increase understanding of the impacts of population increase,
development and climate change on the coastal environment and on coastal
communities and to gain support for and engagement in Government action to
address the emerging problems and assist in reducing community conflict
surrounding environment protection.[12]
n improved coastal zone
land use planning and population planning
There is pressing need to reconsider how we plan for coastal
development, the criteria we apply to approve or reject development
applications and the building regulations imposed for new structures to
safeguard against risks of sea effects on coastal assets. These revisions will
not be simple recasting of existing instruments but will need to be dynamic in
nature to take into account the fact that the points of reference for planning
(e.g., height above sea level, frequency of extreme sea levels) are now
constantly changing and will continue to change for the foreseeable future. It
is likely that appropriate guidelines, approval criteria and building
regulations will necessarily be more complex than the existing, familiar,
standards.[13]
n improved capacity
building and resources
not all local governments have the capacity, expertise and
resources to adequately address the impacts of climate change through the
planning process, management activities and capital works. In particular, there
are likely to be significant financial costs associated with the need to
undertake 'coastal hardening' (build or upgrade shoreline protective structures
to protect infrastructure and other development from increased erosion as a
result of climate change). This is an issue not just for local government but
for all jurisdictions as well as private landowners.[14]
n improved communication
and information
State, regional NRM entities, and especially local councils,
do not have the resources to provide continuity of policy thinking, of
technical and information back-up, and of funding to meet the challenges of
population growth, infrastructure needs and how best their communities can
adapt to climate change, especially the insidious effects of rising sea levels.[15]
n a reduction in
institutional complexity across jurisdictions
For coastal management to be most effective it is
increasingly necessary to ensure dialogue and cooperation between the
technical, scientific and policy making bodies, as well as between governments
at all levels and community groups that share responsibility for coastal
management.[16]
n improved monitoring
and reporting
Species and habitat mapping and coastal monitoring in
Australia is currently undertaken by various Natural Resource Management ... government,
and university groups. There are currently no nationally consistent reporting
and monitoring standards or protocols and significantly, no national databases
to assess the status and condition of coastal species or habitats in Australia.[17]
Current Australian Government role in coastal zone management
National Cooperative Approach to Integrated Coastal Zone Management
6.17
The Australian Government’s current role in coastal zone management is
primarily through the National Cooperative Approach to Integrated Coastal
Zone Management Framework and Implementation Plan.
6.18
Dr Geoff Wescott, a coastal management expert at Deakin University,
explained the principle behind the plan:
Integrated Coastal Zone Management (ICZM) has been the
international conceptual basis for the coastal zone planning and management
(CZM) for 15-25 years. The notion of ‘vertical integration’ of coastal zone
planning and management highlights close cooperation and coordination of all
three tiers of government: national, state and local.[18]
6.19
The plan acknowledges the differences in governance arrangements across
the jurisdictions, and the consequent benefit of having a national framework to
provide a coordinating function:
[the] jurisdictions have different legislative and
administrative frameworks for managing the coastal zone, [so] adopting a
national cooperative approach seeks to address cross border and sectoral
issues, harmonise joint action towards management of common issues, and
encourage investments from all jurisdictions.[19]
6.20
The plan also highlights climate change as a concern within coastal zone
management, stating that climate change is one of the four key economic, social
and environmental drivers that affect the sustainable use of coastal resources.[20]
6.21
As discussed in the previous chapter, the National Sea Change Taskforce
(NSCT) noted that the National
Cooperative Approach to Integrated Coastal Zone Management:
Framework and Implementation Plan needed to take a much broader approach to
‘social and economic issues related to the coastal zone’.[21]
6.22
In the Committee’s view the framework and implementation plan, while
commendable in content and principle, has failed to make inroads in improving Australia’s
coastal management structures. The Committee heard unanimous evidence from stakeholders
that problems in establishing responsibility for implementation of the plan, as
well as a lack of funding, has meant that ICZM has never been fully implemented
in Australia.
6.23
The National
Cooperative Approach to Integrated Coastal Zone Management: Framework and
Implementation Plan identifies seven areas for national
collaboration: integration across the catchment-coast-ocean continuum, land and
marine based sources of pollution, climate change, introduced pest plants and
animals, planning for population change, capacity building, and monitoring and
evaluation. The Committee notes that implementation of each of the plan’s
priority areas has specific timeframes and that the plan required an annual
report on progress on these areas to be provided to the NRMMC:
Australian, state and Northern Territory governments agree to
task the MACC [Marine and Coastal Committee] with preparing an annual report to
the NRMMC on progress in implementing the national approach to integrated
coastal zone management.[22]
6.24
The Committee believes it would have been helpful if these annual
reports on the implementation of the plan, in terms of monitoring and
evaluating progress towards improving sustainable coastal management, had been
made publicly available.
6.25
The submission to the inquiry from Dr Wescott sums up the concerns that the
Committee heard regarding the plan:
Whilst the framework established under the ‘National
Cooperative Approach to Integrated Coastal Zone Management’ ... identified
critical issues on the Australian coast it was very much a case of ‘policy
without implementation’—a good framework but no practical means of
implementation was specified.[23]
6.26
Professor Bruce Thom, a leading coastal management expert, elaborated on
this concern:
there were no incentives or direct leadership from the
Commonwealth to support state and local councils in ICZM by making the
Framework and Implementation Plan operational. … Furthermore, there is evidence
that State governments have simply ignored the agreement on the document that
was endorsed by the NRM Ministerial Council.[24]
6.27
The Environment Institute of Australia and New Zealand (EIANZ) noted
that the plan is ‘limited in its scope and there is little awareness of its
role and purpose, particularly in Local Government’.[25]
As Dr Wescott explained, missing from the implementation of the plan is the vertical
integration between levels of government called for by the principles of ICZM.[26]
For the framework, and therefore ICZM, to be successful in Australia,
cooperation between the Australian Government, the states and the NT was
required. However, while support for cooperation is expressed, no specific federal
funding was attached to its implementation. As the Victorian Government
submission stated:
The Victorian Government acknowledges the work to date so far
by the Federal Government in developing the National Cooperative Approach to
Integrated Coastal Zone Management and supports the continuation of efforts to
implement it across the states/territories. This could be strengthened with a
definitive structure in place at a national level to support its delivery.[27]
6.28
The federal department responsible for Australian Government interests
in the coastal zone, DEWHA, noted that ‘an important shortcoming of the
Framework is that it does not adequately address coastal development
holistically’.[28]
6.29
The Committee concludes that the implementation of the National Cooperative Approach to
Integrated Coastal Zone Management: Framework and Implementation
Plan had clear problems, including:
n the lack of a
definitive structure at a national level to support its delivery
n the lack of funding
attached to the framework
n the lack of clarity regarding
where responsibility lay for its implementation and lack of accountability in
reporting and timeframes
6.30
The Committee fully endorses the concept of ICZM as central to best practice
coastal zone management, and notes that the National Cooperative Approach to
Integrated Coastal Zone Management: Framework and Implementation Plan was
agreed to by Natural Resource Ministers throughout Australia. The Committee
recognises this as a sign of strong cooperation between governments in
integrated coastal zone management. The Intergovernmental Agreement on the
Coastal Zone, to be recommended by the Committee, could usefully draw on this
document, and the existing cooperative links between state, territory and local
governments it represents.
State and territory role in coastal zone management
6.31
As noted earlier, state and territory governments are primarily
responsibly for planning and management of the coastal zone. The Committee
acknowledges that coastal governance arrangements and coastal planning policies
vary considerably in each state and the NT. Not all jurisdictions have a coastal
act and dedicated coastal governance body and not all have comprehensively
updated their coastal planning policies to address the projected impacts of
climate change on the coastal zone. As the Australian Network of Environmental
Defender’s Offices (ANEDO) commented:
Common themes can be observed from the overview of state and
territory approaches:
n not all states have a
key coastal protection Act, and in many states planning and resource
legislation regulate the most significant impacts on the coast
n detail is mostly
delegated to policies, manuals and guidelines (subordinate to legislation);
n multiple layers of
policies exist, and the status of some initiatives is unclear;
n while policies may be
sound, implementation may be poor, or policy considerations can be easily
discounted by other considerations (for example a decision maker may need only
“have regard to” a policy rather than actually implement it). Aspirational
principles in guidelines may be difficult to enforce;
n local implementation
may be hindered by limited resources, and lack of appropriate data; and
n many different
coastal management/advisory bodies exist with varied effectiveness.[29]
6.32
Over the course of the inquiry, many states were actively reviewing
their coastal zone management policy frameworks to incorporate revised planning
arrangements for coastal climate change impacts and adaptation.
6.33
While not having scope to comment on each state’s coastal governance
structure, the Committee conveys concerns about two aspects of state coastal
policy that were drawn to its attention during the inquiry process. Firstly,
there was concern about Queensland’s injurious affection provision:
there is a peculiarity in Queensland planning legislation
known as injurious affection, whereby in simple terms if a local government
seeks to change the designation or the zoning, as it used to be referred to, in
relation to a particular block of land then the owners of that block of land
have an avenue to compensation.[30]
6.34
Secondly, there was also concern, particularly from environmental and
community groups, about the NSW planning minister’s call-in powers for major
projects under part 3A of the Environmental Planning and Assessment Act 1979
(NSW). As ANEDO commented:
A consequence of the listing of developments in the coastal
zone as Part 3A projects ... is that developments that are likely to have the
greatest impact on the coastal environment in NSW will be decided by the
Planning Minister who determines the scope of any environmental assessment.
This would be appropriate, provided that there is a clear process in place to
ensure that environmental impacts are adequately considered, that the public is
involved in the process and that concurrence is obtained from Minister for
Climate Change, Environment and Water. This is not currently the case.[31]
6.35
This issue was of particular concern to the Catherine Hill Bay Progress
Association and Gwandalan/Summerland Point Action Group.[32]
6.36
The Committee received comprehensive descriptions of coastal governance
arrangements across jurisdictions from each of the states and the NT,[33]
as well as a useful summary of these arrangements in the submission from ANEDO,
and in Ms Barbara Norman’s recent international coastal governance comparison
study.[34] This information is set
out in Appendix F of this report. The Committee noted the strengths of South
Australia’s coastal governance model.[35] Another example of best
practice ICZM frequently drawn to the Committee’s attention was the Victorian
Coastal Strategy.
Victorian Coastal Strategy
6.37
Several stakeholders pointed to the model of coastal governance in
Victoria under the Victorian Coastal Strategy 2008, as developed by the
Victorian Department of Sustainability and Environment and the Victorian
Coastal Council:
What works … is that it is an integrated strategy. It looks
at social impacts as well as environmental impacts. One of the overriding
objectives of the coastal strategy in previous iterations has been restriction
of further development to within existing settlement boundaries. I think that
is a very good principle where possible. Establish boundaries where settlement
can occur and maybe move towards an increased density or allow increased
densities within those existing settlement boundaries, because this helps to
protect the areas of natural coastline in between the settlements. I see this
as being effective in the long term.[36]
6.38
The Committee commends the Victorian model and believes that the integrated
nature of the strategy is of major importance in establishing best practice
coastal management. The Committee further believes that this model could be
effectively implemented across Australia’s coastal zone. Figure 6.1 provides an
outline of the key aspects of the Victorian Coastal Strategy 2008.
6.39
The Committee was also impressed by the coastal governance structures in
Victoria. Under the Victorian Coastal Management Act 1995, the Victorian
Coastal Council is appointed as the peak body for the strategic planning and
management of the Victorian coast, and provides advice to the Victorian
Minister for Environment and Climate Change. The council also has three
regional boards: the Western Coastal Board, the Central Coastal Board and the
Gippsland Coastal Board. These boards work to ensure coordination, planning and
management of the coast and marine environment for long term sustainability
along Victoria’s coastal zone region. The boards are responsible for developing
Coastal Action Plans that guide the implementation of the Victorian Coastal
Strategy and approved coastal policy in the regions. The boards do not have
core works budgets but seek funding for specific projects and research. The boards
also seek partnerships with organisations in order to maximise resources.[37]
Figure 6.1 Victorian Coastal Strategy 2008
The Victorian
Coastal Strategy 2008 provides an integrated management framework for the coast
of Victoria. It is established under the Coastal Management Act 1995. The Act
directs the Victorian Coastal Strategy to provide for long-term planning of the
Victorian coast for the next 100 years and beyond.
The purpose of
the strategy is to provide:
1.
a vision for the planning, management and use of coastal, estuarine and
marine environments
2.
the government’s policy commitment for coastal, estuarine and marine
environments
3. a
framework for the development and implementation of other specific strategies
and plans such as Coastal Action Plans, management plans and planning schemes
4.
a guide for exercising discretion by decision-makers, where appropriate.
Structure
A hierarchy of
principles sets the foundation of the strategy. The hierarchy of principles
provides the basis for a series of policies and actions to guide planning,
management and decision-making on coastal private and Crown land, as well as in
coastal catchments, estuarine and marine waters.
Hierarchy of
principles for coastal, estuarine and marine environment planning and
management:
1.
Provide for the protection of significant cultural and environmental values.
2.
Undertake integrated planning and provide clear direction for the future.
3.
Ensure the sustainable use of natural coastal resources.
4.
Ensure suitable development on the coast.
Scope
This strategy
applies to all Victorian coastal waters (i.e. the sea and seabed to the state
limit—three nautical miles or 5.5 kilometres off shore) and all private and
coastal Crown land directly influenced by the sea or directly influencing the
coastline.
This strategy
is a policy document intended for use by coastal, estuarine and marine planners,
and managers. As the government’s framework for the long-term stewardship of
the Victorian coast, the application of this strategy relies on effective
partnerships between stakeholders.
This strategy
gives direction for planning and managing the impacts of activities on and in
the:
• marine environment—includes the near
shore marine environment, the seabed and waters out to the state limit or 5.5
kilometres.
• foreshore—or coastal Crown land 200 metres from
the high water mark
• coastal hinterland—on private
and Crown land directly influenced by the sea or directly influencing the
coastline and land within critical views of the foreshore and near shore
environment
• catchments—feeding rivers and drainage systems
and including estuaries
The strategy
addresses all activities or processes that may impact on coastal and marine
areas.
Ecologically
sustainable development
Also
underpinning this strategy is the Victorian Coastal Council’s commitment to
ecologically sustainable development which is influenced through integrated
coastal zone management, ecosystem-based management and adaptive management.
The key
concepts are:
• Ecologically sustainable development
(ESD) which incorporates caring for the environment, economic performance and
social responsibility, often called the triple bottom line.
• Integrated coastal zone management
(ICZM) which integrates coastal planning and management across the land and sea
and the private and Crown land interfaces. It also integrates the activities
of:
- various
government agencies, industry, non-government organisations and communities
along the coastal zone (horizontal integration)
- Commonwealth, state and local
government and the community (vertical integration).
The Australian
Government’s framework for a national cooperative approach to integrated
coastal zone management (2006) outlines national priorities and sets the scene
for an agreed approach on ICZM in each state.
• Ecosystem-based management
(EBM) which protects and manages the environment, recognising that humans and
human needs are an integral part of the system.
• Adaptive management which
learns from the current management activities to inform and improve the next
phase of management. It is systematic and means continuously improving our
planning and management approaches.
The Victorian
Government is also undertaking a ‘Future Coasts’ project, working towards
preparing Victorian coasts for the impacts of climate change. The ‘Future
Coasts’ project involves significant vulnerability assessment of the coastline
in that state and will provide information that will support the Victorian
Coastal Strategy.
Source Victorian
Coastal Council website <http://www.vcc.vic.gov.au/2008vcs/purpose.htm>
Local government role in coastal zone management
6.40
Local government is often referred to as being the front line in coastal
zone management. The Committee heard throughout the inquiry that capacity
building, as well as increased resourcing, is urgently required to improve local
government’s ability to manage the coastal zone effectively. It was noted that
‘many councils are struggling to attract and retain staff that have enough
knowledge and experience to manage their coasts. Without technical support at
the state level for these council officers many poor decisions can be made’.[38]
As the Local Government Association of Tasmania (LGAT) stated in its submission
to the inquiry:
Professional support and training for Local Government to
build capacity to address as well as financial assistance is required. Such assistance
across all of Local Government would enable a consistent approach to the
delivery of Federal and State climate change agendas.[39]
6.41
Similarly, ALGA stated:
The effective management of anticipated climate change
impacts in the coastal zone will require significant additional capability and
resources. Local government, as the key planning and management agency over
much of the coastal zone, must be adequately equipped to ensure effective
responses to these difficult challenges.[40]
6.42
The Queensland Government drew out the issues in its submission:
not all local governments have the capacity, expertise and
resources to adequately address the impacts of climate change through the
planning process, management activities and capital works. In particular, there
are likely to be significant financial costs associated with the need to
undertake ‘coastal hardening’ (build or upgrade shoreline protective structures
to protect infrastructure and other development from increased erosion as a
result of climate change).[41]
6.43
The pressures on coastal councils due to ‘sea change’ population growth were
outlined to the Committee by the NSCT:
Coastal communities are attempting to deal with extraordinary
growth pressures but research conducted for the Taskforce has shown that
coastal councils do not have the resources necessary to keep pace with this
demand.[42]
6.44
In particular, as the Committee heard from a number of local councils,
the provision of infrastructure to meet demand associated with growth pressures
is an issue facing coastal councils throughout Australia. ALGA noted that local
government requires ‘increased capability and resources for planning and design
of new infrastructure, and hardening of existing infrastructure’.[43]
6.45
In its submission, the NSCT proposed a Community Infrastructure Fund be
established to assist local government authorities in rapid growth coastal
areas in meeting infrastructure demands:
The primary purpose of the new Fund would be to ensure that
rapid-growth LGAs are able to meet increasing demand for community
infrastructure generated by population and tourism growth. Projects undertaken
with Community Infrastructure Funding would publicly highlight the Australian
Government's role in supporting rapidly-growing coastal communities.[44]
6.46
The Committee was pleased to note that, during the course of the
inquiry, additional funding had been provided to local councils experiencing
high population growth through a series of new funding programs.
6.47
The Regional and Local Community Infrastructure Program delivers
major investments in regional and local community, recreational and
environmental infrastructure initiatives.[45]
In June 2008, the Australian Government also announced a $220 million injection into the Regional and Local
Community Infrastructure Program, with $100 million being allocated to all 566
of Australia’s councils on a formula basis and $120 million for larger
Strategic Projects being available on a competitive basis. Under this
funding formula, all councils received a base grant of $30,000, and the 105 councils classified as urban fringe or urban
regional and that have at least 30,000 residents received an additional growth
component of $150,000.[46]
6.48
The Committee notes the recommendation from Professor Thom to:
examine the diversity of funding mechanisms available to
coastal local councils in the different Australian states to determine if there
is need for a COAG agreement or some grant mechanism to ensure councils have a
stronger and consistent capacity to manage the challenges of population growth
and demographic change as well as other challenges.[47]
6.49
The issue of local government capacity building and resourcing is much
broader than this inquiry’s terms of reference. The Committee believes,
however, that further capacity building in coastal local councils will be
significant in achieving effective coastal zone management.
6.50
As discussed in Chapter 5, the Committee recommends better monitoring of
coastal demographic and population growth and for this to be taken into account
in local government funding arrangements and provision of services.
Recommendation 38 |
|
The Committee recommends that the Australian Government request
that the Centre for Excellence for Local Government ensure a particular focus
on capacity building for coastal local councils. Capacity building should
focus on addressing issues relating to:
n population
growth pressure
n planning
and design of new infrastructure
n integrated
coastal zone management
n climate
change impacts and adaptation |
Recommendation 39 |
|
The Committee recommends that the Australian Government give
consideration to establishing a separate funding program for infrastructure
enhancement in coastal areas vulnerable to climate change. Such funding
should be provided according to a formula requiring contributions, either
financial or in-kind, from state governments and relevant local government
authorities. |
Call for national leadership in coastal zone management
State and territory perspectives
6.53
A successful national approach to coastal zone management will require
the agreement of the states and NT. The Committee noted a significant consensus
among the states and the NT calling for a collaborative approach to coastal
zone management. The Committee sees this as an important starting point for establishing
more cooperative arrangements in coastal zone management.
6.54
The Northern Territory notes in its submission that:
National governance frameworks are essential to implementing
a cross jurisdictional and national approach to coastal management and
particularly, climate change. Across jurisdictional boundaries it is an ongoing
challenge to ensure that conservation objectives are complementary and that
planning and management activities are coordinated. Inter governmental
relationships need to be communicative and proactive in ensuring complementary
‘on ground’ actions. Government, industry and non government organisations
(NGOs) need to be working together to make the most of common coastal climate
change interests and requirements.[48]
6.55
The South Australian Government, in evidence to the Committee, suggested:
there is a role [for the federal government], in having that
conversation with the community, in having levels of conversation through
different governments, with industry, and with the broader general public. So,
for example, when the findings of the sea level rise advisory committee are
available in South Australia, in all likelihood there will be some public
meetings around what has been found, how the government plans to use that
information, and how it will come about that the South Australian public will
benefit from it.[49]
6.56
The South Australian Government also pointed out, however, that while
there may be some value from a ‘toolbox’ and some consistency of approach,
regional variations in coastal and meteorological conditions would present
challenges for implementation on a national basis.[50]
6.57
The submission from Western Australia recognised a cooperative and
collaborative approach as being:
essential to achieve timely understanding of the
high-magnitude impacts of climate change on the coastal zone and coastal
communities. A cooperative approach will require leadership and an appropriate
structural arrangement such as is provided through the Council of Australian
Governments (COAG) with input through Ministerial Councils and subcommittees
such as the long-standing Intergovernmental Coastal Advisory Group (ICAG). The
National Cooperative Approach to Integrated Coastal Zone Management (2006),
prepared by ICAG on behalf of the Natural Resource Management Ministerial
Council, is a good example of what can be achieved in identifying priority
actions across jurisdictions.
Such cooperation in identifying actions must be matched with
an availability of funding and a transparent process by which all contributions
are recognised and funds distributed. Tripartite agreements between the
Commonwealth, the States and local governments are a strong means of achieving
synergy in actions and an efficient use of resources. Only through a long-term
inter-jurisdictional framework designed and implemented through cooperation,
can effective actions, structural efficiency and accountability be achieved.[51]
6.58
Officials from the NSW Government expressed the view that:
There is an opportunity and a danger [in Commonwealth
leadership]. The opportunity is some of those things I mentioned, the
information base and how the Commonwealth can help to bring us to common
understanding … The Commonwealth could lead on developing the tools and approaches
that we need. This is not a minor undertaking. The Commonwealth should not seek
to impose a duplicate regulatory scheme on land use planning in the states. We
already have an example under the EPBC Act of where we have got gross
duplication of regulatory effort happening.[52]
6.59
Representatives from the Tasmanian Government outlined three areas in
which all three levels of government should work collaboratively:
The first is clarifying who is responsible for what in this
space. … each level of government [currently] seems to have a slightly
different interpretation of who is responsible for what in the climate change
space.
The second area is collecting the information that we need to
make decisions. That requires a substantial investment across the country, and
I know that some work is happening under COAG on adaptation which is suggesting
that you could quite easily spend, in a very short period of time, upwards of a
quarter of a billion dollars on better information and data collection to
inform decision making in this space. That is an area we are passionately
interested in.
The third area—which I believe in very strongly—is where the
three levels of government have collectively failed to engage communities
effectively. When we try to engage local communities on issues like adapting to
the impact of climate change on coastlines, we tend to say, ‘Well, of course,
you would be aware that model X from the IPCC projections say that, within this
degree of likelihood, over this time period, there might be a rise by this many
millimetres, plus or minus this percentage, and you must certainly be concerned
about that.’ Of course, the response of coastal communities is: ‘We have no
idea what that means for us. You have given us no information on which we can
base decisions.’[53]
6.60
The Queensland Government stated that it:
recognises the risks faced by coastal communities as a result
of continued population growth coupled with the impacts of climate change. The
Queensland Government is therefore progressing its own responses to address
these risks but strongly supports collaboration of further actions that are
mutually beneficial to both the Queensland and Australian Government.[54]
6.61
The submission from the Queensland Government also suggested that
nationally consistent coastal terminology would be of benefit to a more
coordinated coastal management approach in Australia:
the Queensland Government supports a national approach
towards creating an agreed set of definitions for the marine cadastre. A
nationally consistent set of definitions for key coastal/marine terms will:
n reduce confusion
across jurisdictions and policy/legislative instruments;
n facilitate a
common/shared understanding;
n promote easier
communication; and
n enable more effective
and consistent legislation, particularly in relation to the definition and
determination of legislative boundaries.[55]
6.62
The Committee received evidence from the Victorian Government and the
Victorian Coastal Council (the peak independent advisory body on coastal issues
to the Victorian Government) and its three boards. The Victorian Coastal
Council stated that:
Australians identify so clearly with the coast. I think
because of that sense of connection to the coast there must be a sense of a
tripartite approach. I do not think that the role of managing the coast sits
clearly within any one level of government. There is a very clear need for a
tripartite approach involving local, state and federal governments. The
challenge is understanding and articulating what those roles are and which
space we all work in.
I see this inquiry as an opportunity to progress an intergovernmental
agreement, possibly through a COAG agreement, where we work to understand the
responsibility of each jurisdiction and articulate within an agreement a
commitment to working in each of those areas. By teasing through the roles and
opportunities that each level of government has we then, by nature, start to
strengthen the partnership between the three levels of government. … When
people talk about leadership from the federal government I really think it is
about leadership in helping to drive a clear partnership approach between the
three levels of government.[56]
6.63
The submission from the Victorian Government outlined its view of the
federal role in coastal zone management:
The Federal Government has a key role in facilitating
relationships across jurisdictions and with major industry. It also has a key
role in funding, research, monitoring and in providing benchmarks and
consistency nationally.
The basic principle in determining the division between
Federal and State responsibilities should be ‘subsidiarity’, that is that a
function should be performed by the lowest level of government that can do it
well.[57]
6.64
The Committee notes the call for national leadership and a cooperative approach
to coastal zone management arrangements from states and the NT. It was
suggested that national leadership is required to build better relationships
between the states and other non-government sectors, encourage community
engagement, reduce complexity and fragmentation of governance arrangements around
the country, and address the challenges of climate change in coastal
communities. The Committee recognises the concerns of states and the NT about
the need for a cooperative national approach to reduce rather than increase the
complexity of current coastal governance arrangements and for such an approach
to take into account the diversity across Australia’s vast coastal zone.
Committee
members meet with Northern Territory coastal stakeholders, following a public
hearing in Darwin in August 2008
6.65
For example, as inquiry participants pointed out to the Committee, there
is ‘a very big difference about how we should manage a coastal zone in our
heavily populated urban areas in capital cities and the less populated sea change
communities, the unpopulated areas and those of high conservation value’.[58]
Similarly, the NT Government emphasised the unique challenges facing northern
Australia and also the relatively undisturbed nature of the Territory’s
coastline—much of the coastline is ‘largely unpopulated, and remains remote and
often inaccessible during the wet season’:
Ninety percent of coastal waterways in the Northern Territory
... were classified as near pristine during the National Land and Water
Resources Audit ... This is a far higher percentage than any other state or
territory, and much higher than the national percentage (of 50 percent).[59]
6.66
The Committee further notes that, while the states and the NT have
called for national leadership, they have expressed the desire for the
Australian Government to lead the process of collaboration between the
jurisdictions and introduce new consistency into coastal zone management rather
than calling for a prescriptive top-down arrangement that would hand coastal
zone management responsibilities to the Australian Government.
Local government perspectives
6.67
Views of local government largely echoed the states and NT in calling
for national leadership and a cooperative and coordinated approach in coastal
zone management. The submission from ALGA noted that:
climate change impacts will increase significantly over time,
requiring altered governance and institutional arrangements. ALGA considers
that immediate investigation of new nationally consistent governance and
institutional options is required, in order to protect local governments,
communities and developers. These options should include indemnification for
planning decisions influenced by climate change considerations.[60]
6.68
The submission from the Local
Government Association of Tasmania (LGAT) stated that:
LGAT recommends strong cooperative partnerships between Local
Government and Federal and State Governments on the provision that financial
support to councils is provided and no further cost shifting to local
government occurs ...
Local Government as the closest sphere of government to the
community works on the front line for delivery of local, state and federal
climate change agendas. They have a major leadership role to play in the
delivery of programs and as such need to work closely on cooperative and collaborative
programs with the Federal and State Government.[61]
6.69
Pittwater Council recommended that:
federal, state and local government tripartite agreements [be
reintroduced] that include local government as an equal partner in the
determination of planning, management and funding arrangements to sustainably
manage coastal zone resources.[62]
6.70
Mr Beresford-Wylie, Chief Executive of ALGA, while expressing desire for
greater collaboration, stressed that:
From our perspective, local councils are very well placed to
deal with the issue. Elevating it to a national level when there is a national
entity involved in determining coastal development and management is probably
not the direction to go in. We would seek greater clarity and a greater degree
of collaboration between the three tiers of government in terms of the planning
processes and the interaction between the EPBC and state legislation. Putting
in place a national institution to look at coastal management is not something
we think is necessary.[63]
6.71
The Committee notes these comments from local government groups and acknowledges
the importance of full involvement of local government on this issue, as the
closest level of government to the community. The Committee considers that, without
local government involvement, no cooperative coastal management strategy could
succeed.
Stakeholder involvement and community skills, knowledge and engagement
6.72
Australians have a strong connection with the coast, and the engagement
of stakeholders and the wider community in coastal zone management is essential.
The preservation of the coast is to a large extent reliant on the understanding
and commitment of the Australian community in terms of protecting the fragile
ecosystems of the coastal zone.
6.73
Key coastal stakeholders include Indigenous communities, research bodies,
industry, volunteer groups and the wider community.
6.74
The Northern Territory Government pointed to initiatives in integrated
coastal zone management being undertaken by Indigenous communities:
Indigenous communities such as Yolngu and Yanuywar have
recently undertaken ‘Sea Country’ planning to identify management issues and
strategies to support land and sea conservation and sustainable use, and to
identify regional economic development and employment opportunities. These ‘Sea
Country’ plans include coastal environments and estuaries. These plans, if
adequately resourced, supported and integrated with government programmes,
provide an avenue and exciting opportunity to implement integrated coastal
management on indigenous land, and in the remote regions of the NT.[64]
6.75
The Northern Land Council’s Caring for Sea Country Program also aims to
‘increase the capacity of local Indigenous communities to be involved in
coastal and marine natural resource management’. The program involves assisting
communities with planning and managing their sea country through workshops,
ranger programs and research projects:
Ranger programs with sea management capacity have been
created around the coast (including in Tiwi Islands, Wadeye, Borroloola and
Maningrida) and there is high demand amongst Indigenous people for more of
these programs. There are also now over 30 Indigenous community based land and
sea management agencies in the NT.[65]
6.76
Cooperation between all stakeholders in the coastal zone is required for
effective management. The Northern Agricultural Catchments Council (NACC) noted
that ‘good inter-disciplinary coordination and diversification of economic
activities (including better public consultation)’ is required, and that
‘partnerships with the private sector (coastal developers)’ should be improved.[66]
6.77
Research bodies also play a significant role in ensuring best practice
coastal zone management in Australia, through high level research to provide
the best possible information to decision makers. For example, the Reef and Rainforest
Research Centre (RRRC) commented that:
In order to maintain the economic, social, cultural and
environmental values of this region despite the rapidly increasing twin
pressures of population growth and climate change, sound science must underpin
effective management that achieves sustainable used of natural resources.[67]
6.78
Volunteer groups are also vital to the successful management of the
coastal zone. As Dr Woehler of Birds Australia commented, volunteers carry out
vital work that would otherwise represent a cost to government:
The people who go out and count [shorebirds] are volunteers,
as are the people who go out and train other counters, other community groups,
to get involved. There is an incredible network of volunteers that state, local
and federal governments rely on in a de facto sense to collect the information
that is then used to feed back into management and conservation measures.[68]
6.79
The Committee commends the work undertaken by the Roebuck Bay Working
Group, a locally-based organisation involved in the management of the bay on
which Broome is located. The Committee was advised that the group, formed in
2004:
is made up of volunteers from the community, non-government
organisations, government agencies, industry and business. The aims are to
protect Roebuck Bay through a community based management planning process …
… it does have penetration into the community. I have not had
a member say that they want to leave. That was an indication of something quite
fundamental about the group: they get the sense of managing a wetland, a sense
of ownership and a sense of community. I think that is very unique to the
Roebuck Bay Working Group.[69]
6.80
The Committee was advised that the group has recently published Interim
Management Guidelines, which will ‘form the basis for a community based
management plan for Roebuck Bay’.[70] The Committee notes that,
without the interest and commitment of dedicated volunteers, there would be a
vacuum in terms of a management plan in Roebuck Bay, and recognises that this
community-based approach is vital to ensuring ongoing involvement and awareness
of the public.
6.81
The Committee commends the work of coastal community volunteer groups
around Australia’s coast and notes the significant role they play in the management
of the coastal zone.
6.82
In its submission to the inquiry, the Gippsland Coastal Board stated
that ‘[c]ommunity understanding can … be a critical driver in planning and
management’ in the coastal zone.[71] The Committee agrees,
and believes that community participation in coastal planning, management and
monitoring is of particular importance. In order to utilise community skills
and knowledge, volunteer groups and community based initiatives must be
supported.
Committee members, invited panel
members and audience at a public hearing for the coastal zone inquiry, held as
part of the Coast to Coast Conference 2008 in Darwin, NT
6.83
Building community understanding, awareness and appreciation of coastal
values and issues is essential to encouraging wider community engagement in
coastal zone management. This is particularly important given the projected
impacts of climate change that are likely to pose significant new challenges to
coastal communities.
6.84
As the Lake Wollumboola Protection Association recommended:
A community education and engagement strategy for coastal
communities should be a major priority of Coastal Policy. Such a strategy
should aim to increase understanding of the impacts of population increase, development
and climate change on the coastal environment and on coastal communities and to
gain support for and engagement in Government action to address the emerging
problems and assist in reducing community conflict surrounding environment
protection.[72]
6.85
This point was reiterated by a representative of the South Australian
Department of Environment and Heritage:
if the community were engaged across the nation it would help
there to be greater recognition of the issues that we face. Then there would be
more acceptance of the changes that need to happen to the planning system and
in other places.[73]
Recommendation 40 |
|
The Committee recommends that the Australian Government
undertake an awareness campaign to alert coastal communities to the key
challenges facing the coastal zone and the value of community engagement in
addressing these challenges. The campaign should aim to build understanding
and awareness of coastal management issues to encourage the continued
membership and support of volunteer networks in the coastal zone. |
Recommendation 41 |
|
The Committee recommends that the Australian Government
nominate 2012 as the Year of the Coast, to further build community awareness
about the issues facing the coastal zone. The Australian Government should
work with coastal stakeholders, volunteer groups and the general community in
determining key activities as part of this initiative. |
Communication and information sharing
6.88
Collecting information, undertaking research and monitoring results is
essential to best practice coastal zone management. Information should be
collected across disciplines, across a wide range of areas, to enhance decision
making and planning.
6.89
As the NT Government noted to the Committee:
effective management of the coastal zone requires that those
developing or making policy decisions in coastal areas have access to diverse
types of information including social, cultural, economic, ecological,
biophysical and geophysical information and data.[74]
6.90
Professor Thom noted ‘the urgency to establish a comprehensive coastal
information centre which can offer both technical and funding support to local
authorities and others managing the coast’.[75] Professor Thom further commented
that:
State, regional NRM entities, and especially local councils,
do not have the resources to provide continuity of policy thinking, of
technical and information back-up, and of funding to meet the challenges of
population growth, infrastructure needs and how best their communities can
adapt to climate change, especially the insidious effects of rising sea levels.
To this end, coordinated use of national R&D facilities such as CSIRO,
AIMS, and Geoscience Australia, will be vital in providing information and
decision-support tools for application at local and regional levels ...
Technical expertise must be available at a national centre to
assist decision makers with modelling and collection of field data relevant to
ICZM, including modelling probabilities of inundation and shoreline change for
different sections of the Australian coast.[76]
6.91
Similarly, the Commonwealth Scientific and Industrial Research
Organisation (CSIRO) noted that:
A nationally consistent coastal information system is
required to support planning and management decisions and policy development by
providing scenarios which incorporate the potential impacts of different
population growth projections, climate change and changes to economic
conditions.[77]
6.92
Information relevant to coastal zone governance spans environmental
research, climate change science and adaptation, and management and planning
information. Scientific and technical information can determine the potential
environmental and economic impacts of proposed development within the coastal
zone. However, broader information is required to determine its
appropriateness. As such, social and cultural dimensions must also be
considered.[78]
6.93
The Committee believes that all of this information should be publicly
available to coastal stakeholders and the wider community through the proposed
National Coastal Zone Database, as discussed in Chapter 3 of this report.
Recommendation 42 |
|
The Committee recommends that the National Coastal Zone
Database be expanded over time to include information on environmental data
and management and planning information relevant to the coastal zone. |
6.95
The Committee was also interested in the concept of an Australian Coastal
Alliance, as proposed by the National Sea Change Taskforce (NSCT), to provide a
national information and communication interface between coastal planners and
managers and research organisations such as CSIRO and the universities:
The Taskforce ... proposes that an effective interface
between key stakeholder groups with a role in coastal planning and management
be created through the establishment of an [Australian] Coastal Alliance. This
concept has been explored by a working group representing the National Sea
Change Taskforce, NRM groups, CSIRO and the Centre for Resource and
Environmental Studies at the Australian National University. Such a body would
provide a much-needed interface between key stakeholder groups such as coastal
councils, NRM groups, research organisations and others with a role in coastal
planning and management. It could also provide informed input into Australian,
State and Territory coastal policy development. It is proposed that the [Australian]
Coastal Alliance be supported by the Australian Government.[79]
6.96
The Committee understands that the initial phase of the Australian
Coastal Alliance was launched in March 2009, as part of the 2009 Australian
Coastal Councils Conference. The draft vision and mission statement for the
Australian Coastal Alliance are as follows:
The vision is—
To be the national information and communication interface
between local government authorities, NRM groups and research organisations.
The draft mission statement indicates that—
The Australian Coastal Alliance will bring together
stakeholders with a common interest in achieving sustainability of Australia’s
coastal zone through:
n acquisition of
information and dissemination of knowledge required to achieve the sustainable
use and management of coastal Australia;
n advising on the
research needs of end-users, including communities, decision-makers and
policy-makers responsible for coastal planning and management[80]
6.97
A steering committee for the alliance has also been established to
further develop the alliance’s role and mode of operation. The Australian
Coastal Alliance seeks to ‘focus future research efforts on the priority
information needs of coastal councils and other government agencies involved in
coastal planning and management’ and ‘reduce the amount of duplication in
research effort and gain the most value from research expenditure’.[81]
6.98
The Committee supports the establishment of the Australian Coastal
Alliance and commends the NSCT and other stakeholders for progressing this
initiative. The Committee believes that such a body will play a valuable role
in encouraging information exchange between the research community and coastal
stakeholders and agrees that the Australian Coastal Alliance merits funding
support from the Australian Government.
Recommendation 43 |
|
The Committee recommends that the Australian Government
provide funding support for the ongoing activities of the Australian Coastal
Alliance in providing a national information and communication interface
between research organisations and local government authorities and other
coastal stakeholders. |
Other models for coastal zone management
6.100
The Committee received evidence from a number of coastal management
experts as well as other stakeholders suggesting alternative models for coastal
zone governance arrangements in Australia.
6.101
There is a broad consensus amongst this group that many of the
challenges of the coastal zone, not least the particular challenges posed by
climate change, will only be met by national leadership in coastal zone
management.
Dr Wescott: national coastal policy
6.102
In his submission to the inquiry, Dr Wescott put forward a proposal for
a national coastal policy, incorporating four key elements:
n a National Ocean and
Coasts Act;
n a statutory
Australian Coastal Strategy;
n a statutory
Australian Coastal Council;
n a Coastal Resourcing
Policy which provides at least matching national funds for infrastructure and
community projects that is consistent with the Australian Coastal Strategy
(which in turn would be based on ICZM and Ecologically Sustainable Development,
ESD, principles).[82]
6.103
Dr Wescott went on to define the need for each of the proposed four
elements of this national coastal policy:
This Act would clearly establish and codify the national
governments role in CZM ...
national legislation [would] … link coastal zone policy (a
predominantly State level responsibility) with oceans planning and management
policy ( a national level responsibility) - an element of ‘horizontal
integration’ in the language of ICZM - through integrated oceans and coastal
management ...
Australia needs a distinctive and separate piece of
legislation if it is to achieve both the integration of coastal zone and oceans
management and to adequately plan and manage the coast in a time of intensive
pressure on the coastal environment through increased coastal development and
potential impacts of human - induced climate change.[83]
6.104
Dr Wescott drew on a previous research paper to outline the need for a
national coastal council:
The Council would recommend the appropriate (most effective
and efficient) level of government to deal with these major issues and
solutions and to propose mechanisms for the federal funding of these solutions.
Hence a diverse, community-focussed, well respected group of individuals with
well recognised long-term experience in coastal affairs would lead a discussion
on the future of Australia’s coast. The strong emphasis in these discussions
would be on identifying solutions and how to implement and fund these
solutions.[84]
6.105
Dr Wescott noted that there is little likelihood of established
sector-based agencies implementing a national coastal strategy unless it is
written with considerable direct public input. This input would give the
community some ‘ownership’ and encourage a sense of stewardship of the coast by
the community. The resultant strategy would establish the basis for uniform
standards and delivery of coastal planning approaches nationally.[85]
6.106
His submission further suggested that:
the national government needs to provide funds (possibly
matching funds) on a long term secure basis to ensure there is adequate
resources and infrastructure to meet the two great coastal challenges of the
next decade: coastal development and potential impacts of climate change
(sea-level rise, increased storm surge and cyclone activity).[86]
6.107
In evidence to the Committee, Dr Wescott explained that:
I think there is a very strong federal role to be played
there. What might it entail? … I think it is important that it is not perceived
or seen in any way as some kind of federal takeover. As I said in my submission
and in several of my papers we really want the decisions made at the lowest
possible level of government which still protects the wider public interest.
That is the interplay between the various issues that come up.[87]
Professor Thom’s five-step model
6.108
Professor Thom emphasised his view that national leadership is required
in coastal zone management:
we have reached a stage when Commonwealth leadership in CZM
is vital. Coastal problems are national, not just state or local. They do have,
of course, state, regional and local manifestations. However, the implications
of climate change, population growth and demographic change, and infrastructure
needs do require, in my view, national direction and technical and financial
support. I will argue that sustainable solutions for many of these problems
risk being limited in time and location unless the Commonwealth can offer
leadership in the form of consistent guidance and support to achieve
sustainable outcomes of benefit to local economies, environments and social
interests.[88]
6.109
His submission proposed for a five-step model for national leadership in
coastal zone management, drawing particular attention to the need for national
coastal zone management legislation and policy. The proposed five steps are:
n A Commonwealth
National Coastal Policy, to be developed in consultation with the states and
local government through COAG, that defines the national need for direction and
sets out the principles, objectives and actions that a federal government must
undertake to address the challenges of ICZM for Australia.
n … enacting a CZM Act
which establishes its interest in the coastal zone across all areas of national
interest (not exclusively environmental) … to include indemnification
provisions for actions taken in good faith by public authorities that have
followed agreed national guidelines and criteria similar to provisions in s 733
of the NSW Local Government Act 1993 ( as upheld by the High Court in 2005).
n Establish within an
existing federal agency a Coastal Division … responsible for coordination of
federal interests including the monitoring of environmental conditions using a
scheme of Environmental Accounts; recei[pt] and evaluat[ion of] requests for
financial and other assistance to assist states, regional entities and local
government in CZM following agreed national guidelines and criteria including
those linked to potential impacts of climate change; and following consultation
with other federal agencies as appropriate, recommend to a designated Minister
grants for approval.
n … enable a federal
science agency to serve as the manager of a National Coastal Information System
(NCIS) … to fund new science on coastal physical, economic and social systems.
n Establish an external
Coastal Advisory Council consisting of various stakeholder interests, to review
and to offer technical advice on all activities under the Policy and the CZM
Act, and the effectiveness of the NCIS and monitoring; … report[ing] to COAG
through a designated Federal Minister.[89]
6.110
Professor Thom noted that introduction of these five steps would enable
a national approach to ICZM that goes beyond the framework document agreed by
NRM Ministers in 2006. He also noted that if legislation were to be enacted, it
should be new legislation, as the scope of the EPBC Act limits the
ability of the Australian Government to directly support coastal programs
across the range of coastal zone management interests.[90]
6.111
In evidence to the Committee, Professor Thom suggested that a COAG
agreement on coastal zone management was required:
I think there needs to be a national approach. I think first
of all you do need a COAG agreement and you need some form of agreement that
brings together the issues that you are considering.[91]
6.112
The Committee also notes recommendations put forward at the 17th NSW
Coastal Conference in 2008 and provided to the Committee by Professor Thom—see
Figure 6.2.
Figure 6.2 Recommendations 1-6 of the 17th NSW Coastal
Conference 2008
1. Federal and state
governments work together to provide strong leadership on climate change in
relation to coastal environments and communities with the intent to develop
consistent intergovernmental coastal legislation on adapting to climate change.
2. Federal and
state governments to develop together on-going support programs for
observations, research and education at all scales (including local) to
facilitate and assist communities to understand coastal decision making.
3. Federal
government through its involvement with IPCC and other mechanisms benchmark
what other countries are doing in relation to adapting to climate change in
coastal areas and to communicate that information through COAG to ensure
adoption of management and planning practices most appropriate to particular
areas.
4. Short, medium
and long-term coastal planning goals and management systems be determined
through the COAG framework and backed by policy, legislation and investment
involving all levels of government.
5. National
leadership is required for consistent and relevant monitoring, evaluation,
reporting and perpetual storage of data relevant to coastal planning and
management and where possible incorporated into a centralised portal; this
recommendation should be driven through COAG with agreements on resourcing
between all levels of government and involving CMA’s.
6. A national
integrated coastal policy be developed by a National Coastal Commission (to
include representatives of all levels of government and other independent
experts) that would provide consistent planning standards to take account of
climate change impacts on ecosystems of high conservation value and areas of
vulnerability to erosion, inundation and other forms of damage to private and
public assets.
Source Professor Thom, ‘Responses from 2007
resolutions and recommendations from the 17th NSW Coastal Conference 2008’, p.
2—Exhibit 76
Australian Network of Environmental Defender’s Offices
6.113
The submission from the Australian Network of Environmental Defender’s
Offices (ANEDO) recommended framework legislation for coastal zone management
that could then be applied in the jurisdictions:
ANEDO recommends the development of a federal coastal
framework, established by a COAG agreement and legislation.
Elements to be addressed in the framework include:
n improved cohesion and
consistency of approach across jurisdictions, driven by an enhanced federal
role;
n an integrated
management approach taking into account all activities and impacts (and
management) within the coastal zone;
n clarification of roles,
responsibilities and resourcing of different agencies involved at different
levels in coastal management;
n additional guidance
and resources for local councils at the front line of implementing measures to
address population increase and climate change;
n application of EIA [environmental
impact assessment] and the principles of ESD;
n comprehensive
vulnerability and risk assessment;
n Audit and proper
valuation of environment and community assets in the coastal zone; and
n Collation of baseline
data and modelling.[92]
6.114
In evidence to the Committee, Mr Smith of ANEDO further elaborated on the
need for framework legislation:
[Framework legislation] … would set out who was responsible
for what and what the rules were at the strategic planning stage and also at
the development control stage. The details would be embedded further down in
regulations and perhaps even guidelines … You could use those more flexible
instruments such as guidelines to set your lines in the sand, so to speak, as
appropriate. What is an appropriate line for Western Australia is not going to
be the same for New South Wales. At least you have that overarching legislation
that holds the whole scheme together in that you do know what the general rules
are in each of those areas.[93]
Regional planning
6.115
Some inquiry participants pointed to regional planning as a useful model
to draw upon in achieving best practice coastal zone management. Regional
planning aims to provide an overarching framework for management of development
at a regional level, taking in the catchment-coast-marine continuum and
addressing the full extent of management concerns in coastal regions. An
integrated approach, incorporating socioeconomic, infrastructure, planning and
environmental concerns, is seen as essential to addressing the many challenges
of coastal zone management. The South East Queensland Regional Plan, released
in 2005, was seen as representing a useful model in this regard:
What distinguishes the SE Queensland Regional Plan from most
other regional planning schemes is an accompanying infrastructure plan, which
allocated $55 billion to meet the cost of infrastructure and services that
would be required by the expanded population in the region. The plan included
funding for infrastructure and services such as roads and public transport,
social and community infrastructure, energy networks, water infrastructure and
health facilities.[94]
6.116
The Planning Institute of Australia (PIA) also highlighted the inclusion
of socioeconomic as well as environmental considerations in the SEQ Regional
Plan, noting that the plan ‘guides long term development for the region,
co-ordinates infrastructure and addresses environmental impacts of growth.’[95]
Ms Norman, from RMIT University, recommended ‘that “sustainable regional plans”
for managing urban growth and infrastructure be recognised as a key policy
instrument in implementing integrated coastal management.’[96]
6.117
Professor Thom also recommended that the SEQ regional planning model be
examined by the Committee:
with a view to determining the effectiveness at a national
level of a regional model that integrates land use planning, natural resource
and conservation planning and management, monitoring, and infrastructure
planning.[97]
6.118
The Committee believes that a regional planning approach to coastal zone
management will be of significant importance in dealing with the particular
challenges of climate change. Many of the impacts of climate change will be
specific to the geographic and economic conditions of a region. An approach that
addresses these impacts holistically across a region will be more successful
due to its level of integration
6.119
The submission from the NT Government outlined the work that coastal
Indigenous communities are undertaking in producing coastal regional plans:
While there are no coastal management bodies or authorities
in the NT, Indigenous communities such as Yolngu and Yanuywar have recently
undertaken ‘Sea Country’ planning to identify management issues and strategies
to support land and sea conservation and sustainable use, and to identify
regional economic development and employment opportunities. These ‘Sea Country’
plans include coastal environments and estuaries. These plans, if adequately
resourced, supported and integrated with government programmes, provide an
avenue and exciting opportunity to implement integrated coastal management on
indigenous land, and in the remote regions of the NT.[98]
6.120
The NT Government further noted that:
The Caring for Sea Country Program developed by the Northern
Land Council aims to increase the capacity of local Indigenous communities to
be involved in coastal and marine natural resource management ... The program
involves assisting communities with planning and managing their sea country
through workshops, ranger programs, research projects, and assisting with
accessing funding. Ranger programs with sea management capacity have been
created around the coast (including in Tiwi Islands, Wadeye, Borroloola and
Maningrida) and there is high demand amongst Indigenous people for more of
these programs. There are also now over 30 Indigenous community based land and
sea management agencies in the NT.[99]
6.121
The NSCT identified five key challenges facing coastal communities in
Australia, all of which they believe should be addressed in coastal regional
planning to ensure ICZM—see Figure 6.3.
Figure 6.3 Key challenges facing coastal communities
Infrastructure
All
coastal councils report a shortfall in infrastructure and lack the capacity to
finance these shortfalls through existing sources, such as grants, rates and
developer contributions. There is a clear need to expand and upgrade services
and infrastructure so that they are comparable to those in metropolitan areas.
Gaps include insufficient physical infrastructure for existing and future
population and visitor needs, including roads, sewer, water services and public
transport.
Environment
and heritage
Coastal
environments are under significant pressure. Major environmental problems
include habitat loss and fragmentation due to urban development and tourism,
loss and degradation of coastal wetlands, change in hydrological systems and
marine habitats, the introduction of exotic species, and erosion. Global
climate change, particularly sea level rise, is likely to impact coastal
environments in the near future.
Community
wellbeing
Many
non-metropolitan coastal communities are characterised by high levels of
unemployment, lower than average household incomes, greater levels of
socioeconomic disadvantage and higher numbers of seniors than other parts of
Australia. Demand for new housing and holiday accommodation reduces affordable
housing opportunities. There is a risk of social polarisation within many sea
change communities.
Economy/Tourism
Increasing
population growth and development activity in coastal areas is not translating
to long term economic gains usually associated with population expansion. Many
coastal communities are experiencing a decline in traditional resourced-based
industries such as agriculture, fisheries and forestry. Coastal councils
require assistance to manage this process of transition and its impact on
environmental quality and character of their communities.
Governance
Sea
change localities are subject to complicated, cross jurisdictional planning and
management processes relating to coastal management and protection, natural
resource management and heritage conservation, in addition to core land use
planning and development responsibilities.
The
research report reviewed Australian and State government policies, strategies
and legislation relating to the planning and management of Australia’s coastal
areas and found that:
Commonwealth,
State and local policy and planning instruments addressing the sea change
phenomenon focus on biophysical aspects, particularly environmental protection
and to a lesser degree, settlement structure and urban design. Social issues,
such as building community cohesion, catering to the needs of aging
populations, or housing affordability, are not well addressed within the scope
of current policy or planning instruments.
Similarly,
although some planning instruments aim to preserve agricultural land or to
provide for tourism development, economic goals are not well-articulated or
integrated within coastal policy and planning frameworks (though some of the
local plans examined do contain economic objectives and strategies).
This
failure to integrate social and economic objectives and strategies within
coastal policies and the land use plans applying to coastal areas reflects
broader difficulties associated with achieving the spectrum of sustainability
goals. Given the evidence of social and economic disadvantage in sea change
localities, and the likelihood that such disadvantage will continue without
effective interventions, broadening coastal policy and planning processes to
properly include social and economic dimensions is a priority.
Effective
regional planning is widely regarded by representatives of sea change
communities to be critical to the management of growth and change in these
areas. Many sea change communities report that existing regional plans lack
weight, are not consistently applied, or are out of date.
Source NSCT,
Submission 79, pp.9-11
A new model for coastal zone management
6.122
As discussed in the previous chapter, major reviews of Australia’s
national environmental policies and legislation were underway at the same time
as this inquiry, including a review of the EPBC Act, the Australian
Government’s central piece of environmental legislation, and the National
Strategy for the Conservation of Australia’s Biological Diversity, Australia’s
premier biodiversity conservation policy statement. These policies and
legislation form the national framework for environmental governance in Australia.
6.123
The Committee expects that the revised policy and legislative framework arising
from these major reviews will result in new approaches to managing the
environment and promoting the concept of ecologically sustainable development.
This should then flow through to new approaches to integrated coastal zone
management. However, possible future changes to Australia’s sustainability and
environmental policy frameworks do not mean that action on the coastal zone can
wait. The Committee believes that the time to act is now.
6.124
Given the projected severe impacts on the coastal zone from climate
change as described in this report, and the urgent need for adaptation
strategies and resilience building, any hesitation in addressing the issues concerning
governance arrangements for the coastal zone could have severe consequences. As
discussed in Chapter 2 of this report, the coastal zone, with the majority of
Australia’s population and infrastructure, is projected to face the most severe
impacts from climate change. A robust and cooperative governance structure
covering the coast is therefore required to help the coastal zone adequately
withstand these impacts. The Committee considers that the consequences of
inaction are likely to be grave.
6.125
With the cooperation of all levels of
government and in consultation with other stakeholders and the general
community, we can develop a national coastal policy that works for all
Australians.
Intergovernmental Agreement on the Coastal Zone
6.126
From the evidence it received throughout this inquiry, the Committee has
identified 12 key challenges for improved coastal zone governance in Australia:
n involvement by the
national government
n definition of roles
and responsibilities for each different level of government
n improved cooperation
and coordination action across jurisdictions
n need for a regional
strategic approach
n better integration in
environmental management of socioeconomic elements
n new governmental
arrangements to encompass climate change impacts
n stakeholder
involvement and community engagement, education and awareness
n improved coastal zone
land use planning and population planning
n improved capacity
building and resources
n improved communication
and information
n a reduction in
institutional complexity across jurisdictions
n improved monitoring
and reporting
6.127
The Committee notes the overwhelming call from state, territory and
local governments and other coastal stakeholders for the Australian Government
to have a more clearly defined role in coastal zone management and to provide
national leadership in this area through a cooperative approach.
6.128
As discussed, many inquiry participants pointed to the fragmentation,
overlaps, complexity and lack of coordination in existing coastal zone policy
and management in Australia. As the National Sea Change Taskforce summed up
this matter:
there needs to be a review of the current institutional
arrangements as they affect the coast because all levels of government, at this
stage, have a finger in the governance pie. The existing institutional
arrangements are confusing. There is a lot of duplication. Sometimes it is
unclear who is responsible for what in terms of the planning and management
along the coast.[100]
6.129
The Queensland Government provided a useful outline of what the role of
the Australian Government should be in providing national leadership in coastal
zone management:
There is potentially a role for the Australian Government to:
n Lead the development
of regional scale climate change projections in order to ensure consistency of
approach and avoid duplication of effort;
n Lead the development
of a set of nationally consistent default climate change scenarios for use in
planning, particularly for sea-level rise;
n Coordinate and
provide financial assistance for the development of a nationally consistent,
high resolution merged topographic and bathymetric DEM for the coast and
develop a set of nationally consistent definitions for coastal/marine
terminology; and
n Lead the development
of nationally consistent methodologies for assessing climate change risk and/or
vulnerability;
n Collaborate and
provide financial support for States and/or local government to undertake a
suite of vulnerability assessments[101]
6.130
The Committee agrees that there is clearly a role for the Australian
Government in providing national leadership in terms of coordinating accurate scientific
information on climate change projections and impacts affecting the coastal
zone and ensuring that everyone has access to the same information. The
Australian Government also has a leadership role in establishing nationally
consistent climate change benchmarks for coastal planning, particularly for sea
level rise; coordinating national coastal vulnerability assessments to ensure
consistency in coastal planning responses; developing appropriate information toolkits
to assist in coastal climate change adaptation and integrated coastal zone
management; and encouraging community input into national coastal zone policy,
planning and management.
6.131
The Committee draws attention to the suggested delineation of
responsibilities for state and local government in this area, as submitted by
the Victorian Government. They suggest that:
Key roles for states include:
n Preparing land use
planning systems for change
n Protecting public
assets
n Building knowledge of
climate change science and impacts and sharing information between stakeholders
n Identifying and
managing risk
n Reducing risk taking
n Facilitating change
on a large scale
n Providing emergency
response and recovery arrangements
n Increasing local
capacity to adapt to climate change
Key roles for local governments include:
n Understanding local
vulnerabilities to climate change
n Informing the local
community of the impacts of climate change
n Supporting local
community groups
n Implementing
statutory planning decisions
n Ensuring planning
schemes take account of vulnerabilities[102]
6.132
The Committee welcomes the cooperation of state and territory
governments and support from local governments for a national cooperative
approach to integrated coastal zone management, driven by national leadership. The
Committee agrees that this is an issue of national importance and that the time
to act is now.
6.133
The Committee has therefore concluded that an Intergovernmental
Agreement on the Coastal Zone should be developed and agreed through COAG. This
reflects the recommendation made by a number of inquiry participants, including
the Victorian Coastal Council and Professor Thom, for a tripartite approach to
the coastal zone, involving federal, state and local governments. As the Chair
of the Victorian Coastal Council summed up:
I believe it is the essence of who we are. Australians
identify so clearly with the coast. I think because of that sense of connection
to the coast there must be a sense of a tripartite approach. I do not think
that the role of managing the coast sits clearly within any one level of
government. There is a very clear need for a tripartite approach involving
local, state and federal governments. The challenge is understanding and articulating
what those roles are and which space we all work in.
I see this inquiry as an opportunity to progress an
intergovernmental agreement, possibly through a COAG agreement, where we work
to understand the responsibility of each jurisdiction and articulate within an
agreement a commitment to working in each of those areas. By teasing through
the roles and opportunities that each level of government has we then, by
nature, start to strengthen the partnership between the three levels of
government. That piece of work and that opportunity is quite a significant one.
When people talk about leadership from the federal government I really think it
is about leadership in helping to drive a clear partnership approach between
the three levels of government.[103]
6.134
The Committee further notes that the Intergovernmental Agreement on the
Coastal Zone should address the key challenges for improved coastal governance
in Australia outlined above and be supported by:
n a National Coastal
Zone Policy and Strategy
n a National Catchment-Coast-Marine
Management Program
n a Coastal
Sustainability Charter
n a National Coastal
Advisory Council
6.135
The Committee notes the recommendations from a number of inquiry
participants, as also reflected in past coastal inquiry reports, for a coastal
act and statutory coastal council. The Committee believes that a National
Oceans and Coast Act and a statutory coastal council should be the subject of
ongoing consideration once the COAG Intergovernmental Coastal Zone Agreement is
determined.
Recommendation 44 |
|
The Committee recommends that the Australian Government, in
cooperation with state, territory and local governments, and in consultation
with coastal stakeholders, develop an Intergovernmental Agreement on the Coastal
Zone to be endorsed by the Council of Australian Governments. The intergovernmental
agreement should:
n define the roles
and responsibilities of the three tiers of government—federal, state and
local—involved in coastal zone management
n include a formal
mechanism for community consultation
n incorporate
principles based on strategic regional coastal planning and landscape
scale/ecosystem based coastal zone management
n include an
effective implementation plan with resources allocated to ensure that
objectives are realised
n be overseen by a
new Coastal Zone Ministerial Council
n be made public |
Recommendation 45 |
|
The Committee recommends that the Australian Government:
n ensure that the
Intergovernmental Agreement on the Coastal Zone forms the basis for a
National Coastal Zone Policy and Strategy, which should set out the
principles, objectives and actions that must be undertaken to address the
challenges of integrated coastal zone management for Australia
n establish a broad
based National Catchment-Coast-Marine Management program to provide funding for
initiatives relating to:
§
sustainable coastal communities
§
climate change and biodiversity
§
implementation of projects to progress integrated coastal zone
management
n establish a
National Coastal Zone Management Unit within the Department of Environment,
Water, Heritage and the Arts to support the implementation of these national
initiatives
n develop a Coastal
Sustainability Charter based on the Victorian Government model
|
Recommendation 46 |
|
The Committee recommends that the Australian Government
establish a National Coastal Advisory Council to:
n provide independent
advice to government
n advise the new
coastal unit within the Department of the Environment, Water, Heritage and
the Arts
ensure community input into national coastal zone policy,
planning and management |
Recommendation 47 |
|
The Committee recommends that proposals for a National
Oceans and Coast Act and a statutory Coastal Council be the subject of
ongoing consideration once the Intergovernmental Coastal Zone Agreement is determined. |
Jennie George MP
Chair