Chapter 1 Funding regional and local community infrastructure
Introduction
1.1
On the 5 November 2008, the House Standing Committee on Infrastructure,
Transport, Regional Development and Local Government tabled an interim report
on its inquiry into a New Regional Development Funding Program.
1.2
The Committee’s decision to issue an interim report for this inquiry
stemmed from the Government’s decision to accelerate its nation building agenda
in response to the global financial crisis (GFC) which occurred in 2008.
1.3
It was the Committee’s intention that the recommendations of the interim
report would help inform government decision making as it considered the manner
in which it would distribute funds for regional infrastructure projects.
1.4
Thirteen days after the Committee issued its interim report, the
Government announced that it would make available $300 million dollars to local
governments to ‘stimulate growth and economic activity across Australia and support national productivity and community well-being’.[1]
1.5
The money was distributed under the Regional and Local Community
Infrastructure Program (RLCIP), with $250 million dispersed as a one-off
payment and the final $50 million made available under a competitive ‘Strategic
Projects’ sub-program of the RLCIP. In addition to the initial $300 million for
the RLCIP, the Government announced that ‘further funding [for the RLCIP] will
be delivered under the program by 30 June 2009’.[2]
1.6
In response to the growing financial crisis and the volume of submissions
received for the ‘Strategic Projects’ sub-program, on 4 February 2009,
the Government announced that it would add an additional $500 million to the
‘Strategic Projects’ sub-program of the RLCIP,[3] taking total funding for
the RLCIP to $800 million.
Looking forward
1.7
Shortly after the Government’s initial RLCIP funding announcement, the Department
of Infrastructure, Transport, Regional Development and Local Government (DITRDLG)
issued guidelines for the distribution of RLCIP funds. In reviewing the
guidelines for the RLCIP and the RLCIP—Strategic Projects, it is clear that the
short timeframes involved in the release of the money and the nature of the
one-off payment system did not allow the Government to consider the Committee’s
interim report recommendations when formulating its guidelines.
1.8
The Committee is pleased to note, however, that the RLCIP guidelines
accounted for some of the issues raised by the Committee. For example, local
government received the funds, or in some cases, applied on behalf of
not-for-profit organisations. Eligibility guidelines noted that the funding was
to be spent on what the Committee considered in its report to be hard
infrastructure (as defined in the interim report)[4]
and did not include for-profit organisations.
1.9
In regards to the Strategic Projects sub-program, applications were
assessed and ranked by the Department, prior to being submitted to the Australian
Council of Local Government for comment before final ministerial approval—a
process not unlike the one recommended by the Committee when it discussed the
retention of ministerial discretion and the possible employment of state-based
panels to assist in the assessment process.
1.10
Despite some similarities between the Committee’s recommendations and
the Department’s guidelines, the Committee is of the opinion that it would be
in the Government’s interest to consider in detail the recommendations of both Committee
reports as it formulates a strategy to provide ongoing regional and local
community infrastructure funding.
1.11
This is a particularly important point which the Committee wishes to
stress. When the Committee received the terms of reference for this inquiry, it
was the Government’s intention that the Committee report on ways to develop
future regional programs.[5] Most assumed that the Regional
Partnerships Programme (RPP) would eventually be replaced with a new program
and it was the Committee’s expectation that its recommendations would help form
the basis upon which a new program was established.
1.12
What could not be anticipated was the world financial crisis—and its
scale—which struck in the second half of 2008. As part of its response, the
Government elected to channel money into the RLCIP. Previously established
timelines no longer applied and, as a result, the Committee quickly issued an
interim report as a means of assisting government decision making.
Nevertheless, the financial crisis continued to deepen and the RLCIP has become
one avenue used by the Government to direct much needed money into regional and
local community infrastructure projects.
1.13
The Committee recognises the need to respond to the GFC and understands
that the RLCIP was one mechanism in which to do so. However, the Committee
encourages the Commonwealth Government, as Australia moves through the GFC, to develop
and maintain an ongoing funding program for regional and local community
infrastructure.
1.14
Throughout Australia, local governments struggle to provide adequate
infrastructure for their communities despite substantial annual funding from a
variety of Commonwealth Government programs—a PricewaterhouseCoopers report
(2006) has estimated the cost of backlogged infrastructure renewals at $14.5
billion.[6] The loss of any regional
infrastructure funding program would, therefore, further impede the ability of
local communities to maintain and build much needed infrastructure.
Recommendation 1 |
1.15
|
The Committee recommends that the Government replace the
Regional Partnerships Programme with a new program designed to provide
ongoing funding support for regional and local community infrastructure.
|
1.16
This final report is not intended to revisit each one of the interim
report recommendations in detail, rather it is intended to place the
Committee’s previous recommendations within the context of some overarching
principles which the Committee believes are key to the development of any new
regional and local community infrastructure funding program.
1.17
It had always been the Committee’s intention to examine international grant
processes in order to explore possible options for the development of a new
funding model. Time did not permit such an examination in the interim report,
therefore the remainder of this chapter will examine grant processes of similar
programs in the UK, US and Canada before concluding the report with three chapters
outlining some basic principles upon which a new program can be developed.
These principles have been organised under chapter headings: program availability;
program accessibility; and program accountability.
Regional grant funding—United Kingdom, United States & Canada
1.18
The Committee has examined grant processes in the United Kingdom (UK), the
United States of America (US) and Canada in order to explore possible options
for the development of a new program funding model.
1.19
While no one overseas funding program stood out as the best possible
option for the RLCIP, there were aspects of various programs which the
Committee felt were worthy of adopting in Australia. This section seeks to note
those parts of the Committee’s recommended RLCIP funding framework which have
been utilised in overseas funding models, specifically the UK Department of
Transport Community Infrastructure Fund (CIF), US Economic Development
Administration (EDA) grants and Canada’s Building Canada Fund-Communities
Component (BCF-CC).
Partnership funding
1.20
In its interim report, the Committee endorsed the continued application
of a partnership funding model for the RLCIP and noted that partnership funding
had the potential to ‘build on the relationships between the three tiers of
government and local communities’.[7]
1.21
Partnership contributions are a recognised component of regional
infrastructure funding in each program examined by the Committee. In the case
of the US, the EDA specifies that their grants must not exceed 50 percent of
the total cost of the project.[8] Canada’s BCF-CC requires that eligible projects be shared up to one-third each by federal, provincial and
municipal governments.[9] The UK’s CIF does not require partnership contributions but does ‘welcome bids for schemes
which attract other sources of funding.’[10]
1.22
Of the three schemes, the Canadian model was of particular interest to
the Committee in this instance as it places considerable focus on the need for
cooperation across all three levels of government.
1.23
The Community Component, which requires one-third contributions,
is one aspect of the Building Canada Fund, which in turn is part of a
larger infrastructure program called Building Canada: Modern Infrastructure
for a Strong Canada. In the context of the wider program, the Committee
notes that the Federal Government in Canada is partnering with municipalities
(local governments) through direct, base-fund payments much in the same way as Australia’s government has chosen to provide direct payments to local government under the
RLCIP.
1.24
The Canadian Government is also providing direct infrastructure funding
to the provinces on an up-front, regular basis that does not require
expenditure in the year it was provided.[11] With respect to the BCF-CC, the Government has established funding agreements with the provinces as a framework for
providing funds under the program. All three examples highlight the importance
that Canada has placed on cooperative infrastructure funding.
1.25
The Committee’s interim report also stated that partnerships are about
more than funding and the Committee has noted that the Canadian Government is
of a similar opinion, stating that it ‘will work with its partners to promote
knowledge, research, best practices, long-term planning and capacity building’.[12]
1.26
Federal/ state delineations of responsibility in Australia, Canada and the US raise real challenges when it comes to the provision of
infrastructure funding. However, it is clear from the Committee’s brief
exploration of grant programs in Canada and the US that there is, at least, an
acknowledgement of the importance of partnerships in the funding process and
the Committee reiterates its support for continued collaboration with
Australian state, territory and local governments particularly within the
context of the RLCIP.
RLCIP eligibility
1.27
The Committee has supported the eligibility of not-for-profit
organisations including community groups and local government under the RLCIP.
It has, however, recommended that local government be the auspice agency for
projects that require a financial contribution from local government. Those
not-for-profit organisations that do not require local government contributions
should be able to apply for funding directly from the Government. It was
envisioned, however, that these organisations would still be required to
provide a letter of support from local government as part of an application.
1.28
In all three international examples examined by the Committee, local
government plays a role in the funding process ranging in degree from exclusive
eligibility, to a resolution of support, to a simple commitment by applicants
to act in cooperation with local government.
1.29
In the US, EDA grants are open to a wide range of organisations
including:
…state and local government, Indian tribes, Economic
Development Districts, public and private non-profits, and institutions of
higher learning.[13]
1.30
There is a specific requirement, however, that non-profit organisations
must ‘act in cooperation with officials of…local government with jurisdiction
over the project area’.[14]
1.31
In the case of the Canada-Saskatchewan BCF-CC, eligible applicants are:
n municipalities with a
population of less than 100,000;
n public sector bodies
that are providing municipal sector services under agreement with a municipality;
and
n private sector bodies
or non-profit organisations whose application is supported by a council
resolution from the municipality where the project is to be located.[15]
1.32
The UK CIF is much more targeted and within its guidelines lists the
regional bodies which are eligible for funding. For this program, only regional
assemblies, consisting of local councillors and representatives of business and
volunteer organisations in a region are eligible to apply. In the Australian
context, this system would be similar to allowing a revitalised Regional Development
Australia (RDA) to apply for funding for their regions.
1.33
When considered against international examples, the Committee’s
recommendation represents a middle path whereby the funding process formally
recognises the need for local government participation without excluding
applications from other not-for-profit organisations. As noted in the interim
report, this recommendation reflects the Committee’s attempt to respond to
conflicting view points about the role of local government in the RLCIP funding
process.[16]
Funding streams
1.34
There are two occasions in the Committee’s interim report where the
issue of separate streams of funding is raised. In Recommendation 14, the
Committee recommends that applications be separated into three streams: those
seeking less than $50,000 in contribution from the program, those seeking
between $50,000 and $250,000, and those seeking more than $250,000.[17]
This recommendation was made because of concern about the level of complexity
in the application process and its correlation to the amount of money being
sought. Many felt that a grant for $5,000 should not require the same
application process as one for $500,000. The Committee then assigned each
stream to a closed funding round as a means of addressing the issue of timeliness
in the assessment process.[18]
1.35
Of the three international examples canvassed by the Committee, only one
chose to split its funding. The UK CIF split its funding into two streams:
projects bidding for funding up to £5m and projects bidding for over £5m. This
was done because:
Looking at all [projects] together would have meant a smaller
list of [projects], benefiting fewer areas. Splitting the [projects] up has
ensured funding for those large [projects] which are essential to supporting
growth, while also capturing a wide range of smaller [projects] that
collectively will have a significant impact across the growth locations.[19]
1.36
It is interesting to note that the UK’s justification for introducing
streams of funding differs from that of the Committee and the Australian
public. Whereas the Committee was concerned about the need to ensure a
streamlined, timely process, the UK was focused on ensuring a balance in the
types of projects funded.
1.37
While the rational for a funding split might differ, the option of
introducing a split as a means of solving challenges within the grant process
was noted by the Committee.
The application process
1.38
Of particular interest to the Committee was the manner in which the US, UK and Canada managed the application process for their grant funding. One of the benefits
of the Committee process is the ability to meet with stakeholders and discuss
concerns at public hearings. This inquiry conducted several roundtables at
which the application process was discussed at length by those who had direct
experience in applying for grant funding through the former Regional
Partnerships Programme.
1.39
While the Committee does not have the benefit of receiving feedback from
UK, US or Canadian applicants it has been instructive to review the manner in
which similar processes have been constructed overseas. Three issues in
particular are highlighted for comparison:
n utilising expressions
of interest;
n forms of assistance
for applicants; and
n the complexity of
application forms.
Expressions of interest
1.40
Under the RPP, Area Consultative Committees (ACCs) performed an informal
filtering role for applications that were unlikely to attract funding. They
were not formally empowered to do so, but it was suggested to the Committee that
this filtering process contributed to a reduction in program administration
costs.[20] It was also noted that
despite ACC filtering, 80 per cent of applications to the RPP were insufficiently developed.[21]
1.41
In the UK, potential applicants (note that the fund was only available
to a specific group of regional assemblies) were invited to complete an
Expression of Interest (EOI) questionnaire. The questionnaire was then
subjected to a two-stage appraisal process. In stage one, the EOI was subjected
to an eligibility assessment and in stage two the EOI was subjected to a
detailed appraisal ‘looking at strategic fit, transport impacts and benefits,
and deliverability’.[22] The EOI responses were
then scored and ranked accordingly.
1.42
What is important to note in this process is that many applications did
not make it past the stage one EOI assessment.[23] Therefore, the EOI
process, in this instance, served to filter out those applicants unsuitable for
the grant. This was done officially by government department officials rather
than a Regional Development Agency, for example, which in the UK would be the rough equivalent to an ACC.
1.43
The US model also employs a two-staged application process; however, in
its case, the process is a pre-application one whereby a project is developed
with the assistance of a regional office representative (see discussion below),
who then prepares a project brief for review by a committee prior to the
applicant being formally invited to submit.
1.44
The Committee is not aware if this process is considered to be “slow” by
applicants. It can assume, however, that the significant filtering process
undergone by applications is intended to ensure that applications received by
the EDA have a higher likelihood of success. Certainly that was the Committee’s
consideration when it recommended initialising a formal EOI process in the
RLCIP.
Application assistance
1.45
As noted above, the EDA grant system is administered through regional
offices and regional officers whose job it is to provide pre-application
assistance, develop project briefs for EDA consideration and generally guide
applicants through the grant process.[24]
1.46
Alternatively, the Canadian BCF-CC and UK CIF processes utilise a
central model based on a combination of on-line resources and call centre
assistance.
1.47
Evidence received by the Committee suggests that assistance provided by
regional officers, preferably face-to-face, is more desirable than a system of
on-line support supplemented by a call centre. The Committee endorsed this view
in its interim report and recommended either the use of RDAs (formerly ACCs) in
an official advisory capacity, or departmental officers operating out of a regional
or the national office—with specific regional responsibility—providing
assistance to applicants.
Conclusion
1.48
The brief survey of international grant processes in this chapter
indicates that there are a variety of funding options to be considered—many of
which could be effectively employed in Australia. However, the design of an
Australian program should reflect Australian needs, and therefore no one
international grant funding model should be employed here. Rather, we have the
advantage of being able to examine other grant processes in order to borrow
those components which best suit our needs.