Managing Australia's World Heritage
CHAPTER 8: COST RECOVERY AND OTHER FUNDING SOURCES
Cost recovery
8.1 All Governments have, to a greater or lesser extent, introduced user
charges. According to DEST, 'there is a general acceptance amongst Governments
that the "user pays" philosophy needs to be applied more widely
to contribute to the costs of the management of World Heritage Areas'.
[1] The present Commonwealth Government
has confirmed its commitment to recovering a greater proportion of the
costs of managing Australia's world heritage properties. [2]
ANCA and the then Commonwealth Department of Tourism both reported that,
as time passes after the initial announcement of the introduction of charges,
the charges are generally well accepted by operators and visitors, especially
when the revenue obtained is used to improve facilities. [3]
Non-governmental organisations representing economic and conservation
interests were also broadly supportive of cost recovery. [4]
8.2 The issue of cost recovery has already been taken up in relation
to world heritage management in Australia. The requirement to closely
examine the options for increasing cost recovery was included in the agreement
finalised by the Commonwealth and Tasmanian Governments, and the Department
of Finance suggested that this requirement should be one of the elements
in future Commonwealth/State agreements. [5]
8.3 DEST commented on:
... [the] dilemma of escalating demands being placed on limited financial
resources ... [which] has the potential to reduce the quality and quantity
of the services and facilities provided, as well as result[ing] in less
effective management of the resource itself.
Under these circumstances:
The traditional notion that the protection and management of reserved
public lands in Australia, including protected areas, can, and should,
be fully funded from the public purse has been subjected to increasing
scrutiny in the face of competing priorities for Government spending and
an overall reduction in available resources. [6]
8.4 A convincing argument can be made for charging those who benefit
most from world heritage areas, either financially or as visitors. It
is argued that, while Australian taxpayers as a whole contribute through
government funding to world heritage management, those who reap special
rewards from the areas by earning a living from tourism or through their
experiences while visiting the areas should make an additional financial
contribution. As the National Trust of Australia (Victoria) put it, 'those
who share the economic wins from World Heritage should equally share economic
costs'. [7]
8.5 The financial value of a world heritage area can be estimated from
the income flow generated by industries based on the resources in the
area, of which the most significant is tourism. As Table
8.1 shows, the gross financial values of activities carried out in
the larger world heritage areas are substantial. What cannot be as easily
estimated is the non-market value of world heritage areas, such as the
conservation of natural and cultural resources. An attempt can be made
to put a value on the experiences of visitors by asking them how much
more they would be willing to pay for the experience, over and above the
cost to them of their transport, accommodation and other services. Estimates
in 1991-92 of the non-market values for the Great Barrier Reef, for example,
ranged from $23 million to $357 million. [8]
The variation in these figures reflects the difficulty of making such
estimates, but when added to the financial values shown in Table
8.1 of $776 million, the overall value of the Reef is seen to be very
considerable.
Table 8.1Estimates of gross financial values of certain world
heritage areas, based on 1991-92 data
World heritage area |
Value in $ million |
Tourism & recreationa |
Other usesb |
Total valuec |
Great Barrier Reef |
776 |
147 |
923 |
Wet Tropics |
377 |
25 |
402 |
Kakadu |
122 |
not available |
122 |
Uluru |
38 |
not available |
38 |
Tasmanian Wilderness |
59 |
0.2 |
59 |
a Gross expenditure by tourists and recreational visitors.
b Gross revenue.
c These include only values able to be measured.
Source: Sally Driml, p vi (see
footnote 8, Chapter
8).
8.6 Where such large values attach to world heritage areas, it appears
reasonable to ask those benefiting from them to contribute to managing
them. This is particularly so when it is clear that unmanaged or undermanaged
exploitation of an area leads to the degradation of that area and diminishes
the nature of the visitors' experiences and the area's sustainable usefulness.
This argument is more pressing when the budget of a large, heavily used
world heritage area, such as the Great Barrier Reef, is compared to the
value of the area to the local economy. Consultants for the GBRMPA estimated
that the direct value of the Reef world heritage area to the adjacent
community in 1994-95 was $1.1 billion. By contrast, the Authority's total
budget was $22.3 million or 2 per cent of the estimated $1.1 billion of
gross value of direct uses of the area. The day to day management component
of the budget was 0.7 per cent of $1.1 billion. As the Authority pointed
out, 'if a wider definition of the value of direct uses of the reef were
adopted, to include for example all multipliers, the proportion of the
budget to value would be even smaller'. [9]
The advantages and disadvantages of cost recovery
8.7 The Department of Finance listed a number of advantages of recovering
costs. It argued that charging users and beneficiaries:
- provides 'a predictable, reliable and sustainable form of funding
for the management of WHAs [world heritage areas] which relate[s] to
the costs of providing public access to them';
- increases feelings of community ownership and involvement in the management
of the area;
- generates employment; and
- educates and informs about the impact of activities in world heritage
areas and the costs of providing adequate protection. [10]
8.8 In a paper prepared for a world heritage managers' workshop, DEST
suggested some additional benefits. [11]
- The public appreciates more fully those facilities and programs for
which payment is made.
- The collection of fees provides opportunities for direct public contact
with park staff and the provision of information and interpretation
and the collection of visitor statistics.
- The willingness of the public to pay for certain activities or facilities
is a useful guide to management planning.
- Charges can be used to modify visitor behaviour. [12]
- User pays presents a mechanism for covering the economic costs of
opportunities forgone.
8.9 DEST's paper also canvassed the arguments against user pays.
- Fees constitute a form of double taxation whereby the public has paid
for the development of the facilities through public funds but must
pay again to use the facilities.
- Recreation may be considered a basic right and need, and should be
provided without charge.
- Reserved public lands are a public asset and access should be available
free of charge.
- Those who need public recreation areas are generally those who are
least able to pay. Equity considerations are important because charges
may discriminate against lower income groups.
- When fees and charges begin to provide a substantial component of
the income of the management agency, there is the potential that revenue
generating facilities only will be provided.
8.10 While not opposing the use of cost recovery mechanisms, the CCWA,
the Tasmanian Conservation Trust and the Wilderness Society (Tasmania)
also warned of possible conflicts of interest in balancing revenue raising
against the protection of world heritage values. The same worry arises
when private investment has been allowed in world heritage areas. [13]
As the National Parks Association of NSW observed, protecting world heritage
values must be the primary determinant in evaluating any commercial ventures
in world heritage areas, [14] and
the TCA suggested keeping 'any taint of commercialism' away from world
heritage areas. [15] The TWWHACC
expressed the conflict between raising revenue and protection thus:
Enterprise earnings in and around some World Heritage Areas can be substantial.
The temptation to manage to maximise such earnings can be dangerous for
world heritage values, especially in the situation in which the managing
body sets targets, either absolute or proportional, for earnings. For
example, setting income targets may encourage managers to focus on earning
revenue at the expense of protection and presentation of WHA values. [16]
All three Tasmanian groups also warned against allowing commercial fiefdoms
to develop in world heritage areas.
8.11 The Committee acknowledges the validity of many of the points raised
in this section. It supports the use of cost recovery measures as a means
of raising urgently needed funds that cannot be provided from other sources.
It considers that it is reasonable to charge fees to direct beneficiaries
and users of world heritage areas, even though they have already contributed
through general taxation to the management of those areas. In the Committee's
view, it is acceptable that those who benefit most should pay the most.
Particular attention should be paid, however, to ensuring that people
on low incomes are not excluded and management is not hi-jacked from its
primary goal of world heritage protection by revenue raising.
Principles in cost recovery
8.12 The then Commonwealth Department of Tourism listed the criteria
that should be met when user charging is introduced: user charging must
fall equitably on all users and beneficiaries, be linked to the services
provided, be capable of cost-effective implementation, and be introduced
with adequate lead times. The linkage of revenue from charges to services
is particularly important.
... user charging ... is more likely to be successful if the revenue raised
is linked directly to the management of the area. Visitors and operators
are more likely to accept increased visitation costs, whether direct through
an entry fee or indirect through an operator licence fee, if they are
assured that the money will go toward the management of that resource
or the development of other WHA areas with tourism potential.
On the other hand, should most of the revenue from users charges go into
general revenue, then they will be perceived purely as a form of additional
taxation of an industry which sees itself as already being heavily taxed
and with little regard to benefiting the areas concerned. [17]
8.13 To the principles listed above, the TCA added that charges should
be transparent and introduced in consultation with the industry, [18]
and DEST pointed to the need to include the local community and indigenous
people in consultations. [19] Participants
at the Committee's workshop suggested that there should also be a structured,
known review process for existing fee regimes. It is important too that
information be provided to those who are being charged about the nature
of the charge and the uses to which the revenue raised is put. Commenting
about the charge applied to visitors to the GBRMPA, the Council observed
that:
One of the interesting things about that environmental management charge
is that it is incorporated into the fee that is charged. So the people
who are actually going out on the reef do not actually know. I think that
to the users on the reef and to the operators and the operator's staff
there really is not enough knowledge and information about what that charge
is about and what it has been doing. [20]
8.14 The Tourism Council Australia also emphasised the need for the revenue
from user charges to be applied to adding value to the tourists' experiences
of world heritage areas.
[The tourist industry does] not want to see the industry or the visitor
being asked to pay for things that are a normal part of the day-to-day
activity or something that has been done in the past and needs to be caught
up with, ... you really need to be value adding to the experience. [21]
This point was supported by the Western Australian Government, which
pointed out that:
... visitors who pay a use fee expect, reasonably, to be provided with
adequate levels of access and service; there is thus often a need to expend
funds to establish an appropriate level of access and infrastructure before
fees are introduced. [22]
8.15 Concern was also expressed to the Committee by participants at its
workshop that the Commonwealth's approach to world heritage funding was
to reduce government funds in line with the revenue raised from users.
User fees were seen as being legitimately used for presenting world heritage
to the public and managing use, but it was strongly felt that they should
not be used to minimise government funding of basic management costs.
Visitation and government funding should not be tied. The Committee was
not made aware of any measures that had been implemented to enable low
income groups to access world heritage areas as easily as other groups.
Whether this is an area where a community service obligation should be
recognised has yet to be established. The Committee considers that the
best means by which equity of access to world heritage areas can be assured
should be considered in the context of the review of user fees, which
is proposed later in this chapter.
8.16 In relation to the danger of revenue raising overshadowing world
heritage protection, it is necessary for the Ministerial Councils, boards
of management and advisory committees of world heritage areas to monitor
closely that this does not occur. In this connection, the Committee does
not support a suggestion by Mr Ian Dutton that governments offer incentives
to managers for recovering costs, for example, by providing matching allocations.
[23]
How far is it reasonable and possible to pursue cost recovery?
8.17 The revenue from charging the users and beneficiaries of world heritage
areas can, in theory, partly recover costs, fully recover costs, or generate
a profit. [24] Professor Atherton
took the view that, with proper planning and management, tourism 'can
be harnessed to provide a sustainable source of funding for the capital
expenditure and running costs of each of Australia's World Heritage Sites'.
[25] Indeed, he saw the use of tourism
in this way as essential. He pointed out that:
These sites can be, and indeed in most sites around the world are, self-funding.
Very few countries in the world have these bottomless pits for public
funds. They [the sites] are usually run on a self-funding basis. [26]
8.18 In Australia at present however, as the Department of Finance pointed
out, the revenue raised from users usually recovers only part of the operating
costs of parks and recoups 'the value of the benefits of visiting the
park'. [27] Furthermore, none of
the other witnesses saw 'the scenario painted by Professor Atherton as
possible, although the TCA conceded that it might be possible with some
world heritage areas. [28] The Chief
Executive Officer of ANCA said:
It is possible for a government to take a decision that National Parks
should operate at least at a cost neutral basis, maybe even at a profit,
but thus far that has not been the case anywhere in the world. I doubt
frankly that any government would be allowed to get away with that. [29]
As a tourist operator, Mr Charters agreed: 'the critical point is that
user fees can never cover the total cost of managing a World Heritage
area'. [30]
8.19 DEST confirmed that:
The potential for applying revenue generating mechanisms such as entry
fees to World Heritage Areas will vary depending on the individual characteristics
of each property. Advice from some State agencies indicates that, for
some World Heritage areas, there may not be any financial benefit derived
from introducing cost recovery mechanisms. For example, while some properties
have limited access points and are therefore amenable to collection of
entrance fees, the Central Eastern Rainforest Reserves and the Wet Tropics
of Queensland are fragmented areas with many entry points. Willandra Lakes
and the Riversleigh Fossil Mammal Site have such low visitation rates
that fee collection (or any other form of revenue raising) is unlikely
to be profitable. [31]
8.20 Shark Bay is another world heritage area where anything like full
cost recovery will be very difficult. As the Western Australian Government
pointed out, the cost of management associated with 'the geographic location,
size and dispersal of destinations and facilities in Shark Bay, combined
with relatively low visitor numbers, will prevent full cost recovery in
the foreseeable future'. [32] The
Tasmanian Government made a similar point about the Tasmanian Wilderness:
While user fees can provide some of the funds necessary to manage the
TWWHA, their collection is not costless, and in a state with a small population
base and limited tourism potential due to its isolation such as Tasmania,
they will never fully fund management of the WHA. [33]
8.21 Quite apart from the feasibility of raising revenue from the direct
users and beneficiaries of world heritage areas, a number of witnesses
to the inquiry argued, like the then Commonwealth Department of Tourism,
that 'the broader community remains a major beneficiary of the conservation
of protected areas and should therefore contribute to their management'.
[34] Mr Charters gave an example
of this in the case of Fraser Island, when he stated:
... direct user pays hits only the direct beneficiaries of the commercial
operation. So the bus tour operators and resorts on Fraser Island are
paying fees for that direct benefit, but there is a whole multiplier effect
of beneficiaries who are paying nothing for that benefit. The airlines,
the transport networks, the restaurants and the hotels on the mainland
are all benefiting from these operations as well. I think they should
be paying some of the costs ... through the general tax base. [35]
8.22 Sally Driml and Peter O'Clery, in a paper prepared for the Great
Barrier Reef Consultative Committee, spelt out this argument more broadly
and in some detail. They argued that most members of current and future
generations, both Australian and worldwide, benefit vicariously from the
management of the Reef.
[These people] will never visit the Great Barrier Reef. They may experience
the beauty of the reef environment through various media, consume seafood
or other products, or benefit from the contribution of the system to global
environmental health. Australians benefit further to the extent that the
economic activity generated by direct use supports employment and regional
development which are desirable national goals. In addition, governments
earn revenue through taxation and user charges paid by direct users.
The benefit to vicarious users of conservation of the Great Barrier Reef
World Heritage Area are in the nature of public goods. Public goods have
the qualities that they are not divisible into separate units and it is
not possible to exclude individuals from enjoying their benefits. Incentive
exists for beneficiaries to behave as 'free riders' and not be prepared
to actually pay what they may nominate they are willing to pay in a hypothetical
market. An additional limitation is the impossibility of future beneficiaries
paying for management actions taken now to maintain the quality of public
goods. Conventional markets would therefore under supply public goods.
It is usual for governments to act in the face of market failure and fund
the supply of public goods.
The argument is thus made for governments to fund management that benefits
the large number of present and future vicarious users of the Great Barrier
Reef World Heritage Area. [36]
Driml and O'Clery concluded that the majority of funding for the management
of the Great Barrier Reef should come from government.
Uses of cost recovered funds
8.23 In its discussion paper on user pays, DEST listed the options for
distributing the funds raised from cost recovery measures; they include:
- returning all income to the consolidated revenue;
- returning all income to the management agency, with or without deducting
the equivalent amount from the agency's budget; and
- sharing the income between consolidated revenue and the management
agency. [37]
The approach preferred by DEST and the Department of Finance to dealing
with cost recovered funds is, as described in Chapter
7:
- to allow their retention by the management agency;
- not to include them as part of the State or Commonwealth's base contribution
for a world heritage area; but
- to revise the base levels of funding in the light of the revenue raised
through cost recovery measures.
8.24 The Committee considers that the effect of revising the base levels
of funding in the light of the revenue raised through cost recovery measures
is a disincentive to building up a revenue base. It is essential that
world heritage managers be given incentives to maximise the revenue they
raise. This requires that they be allowed to retain the funds they raise
without losing any base funding.
8.25 As Table 8.2 shows, the distribution of
cost recovered funds varies among management agencies. In some cases,
all funds raised from particular world heritage areas are available for
use in those areas; this is the case for the Tasmanian world heritage
areas, the Naracoorte Caves, and the world heritage areas administered
by ANCA and the GBRMPA. The revenue generated by other world heritage
areas is retained by the management agency and, in some cases such as
Shark Bay and the CERRA, is returned to the district in which it was collected.
8.26 As indicated above, the Commonwealth favours the retention of the
funds raised in a particular area for use in that area. However, the Queensland
Government stated that it 'does not agree with the proposition that funds
generated in a particular World Heritage property should be expended within
that area'. It argued that:
It is necessary to have flexibility to target particular projects or areas
from one year to the next. For instance, it may be a priority to undertake
a major capital works program on an area that does not generate much revenue.
This program may be financed out of revenue generated in a number of different
areas. [38]
The Western Australian Department of Conservation and Land Management
took an intermediate position with its policy to retain the revenue collected
in the district in which it is raised and use it for local management.
[39]
8.27 The Committee considers that the principle that should guide the
spending of revenue raised from world heritage areas is that it should
be spent on projects that improve the management of the areas. These projects
might include some outside the area if they were seen as necessary to
further the preservation and presentation of the area. On this basis,
revenue could be spent on roads to assist visitors to reach and appreciate
the areas, on purchases of adjoining land, and on tracks in non-world
heritage areas to reduce the numbers of visitors to the world heritage
areas. The Committee recommends that:
(51) funds raised from a world heritage area be spent on projects
to benefit the management of that area, including necessary work outside
the area.
Under the terms of the leases between ANCA and the Aboriginal owners
of Uluru-Kata Tjuta and Kakadu, 25% of park user and some part of other
fees are paid to the owners. In 1993-94, the payments amounted to $541
178 from Kakadu and $738 811 from Uluru. [40]
During 1995, the Mutitjulu community at Uluru indicated that it believed
that a fairer arrangement would be a 50:50 split of the revenue from fees,
particularly as the community continues to live in poverty. [41]
Table 8.2Distribution of revenue raised from world heritage areas
World heritage area |
Used by: |
Comments |
World heritage area where collected |
District where collected |
Parks service |
Consolidated revenue |
Tasmanian |
100% |
|
|
|
Revenue raised is included in the base funding for
the area. |
Australian Mammal Fossil Sites (Naracoorte only) |
100% |
|
|
|
Funds are used for capital and operational expenses.
No revenue is raised at Riversleigh. |
Kakadu/Uluru |
100% |
|
|
|
Funding by the Commonwealth is reduced by the estimated
amounts raised. |
Great Barrier Reef:
GBRMPA
|
100% |
|
|
|
Revenue from the environment management charge is spent
on research, management and research. |
Great Barrier Reef:
Qld DEH
|
60% |
|
40% |
|
Funds returned to the area are used for capital and
operational expenses. |
Willandra Lakes |
60% |
40% |
|
|
|
Fraser Island |
X |
|
X |
|
Revenue from all designated recreation areas, of which
Fraser Island is one, is shared among all State recreation areas. |
Lord Howe Island |
X |
|
|
X |
Revenue from the Island Service Levy collected by the
Lord Howe Island Board is distributed for the provision of services,
including environmental management. |
Shark Bay |
|
X |
|
|
Shark Bay also receives revenue from funds collected
elsewhere in WA. |
Central Eastern Rainforests - NSW |
|
X |
X |
|
|
Central Eastern Rainforests - Qld |
|
X |
X |
X |
|
Wet Tropics |
|
|
100% |
|
|
Sources: Department of the Environment, Sport and Territories, submission
(number 78), pp 8-10; Queensland Government, submission (number 74), p
6; Queensland Department of Environment and Heritage, transcript, 15 November
1995, pp 271, 274.
8.28 None of the other world heritage areas are owned by Aboriginals
and/or Torres Strait Islanders and, unless native title is established
over these areas, the claims of the local indigenous people to a share
of the takings from these areas are less clear than those at Kakadu and
Uluru-Kata Tjuta. Nevertheless, the TECCAC, which represents the Aboriginal
people of Fraser Island, suggested that 10% of self-generated funds from
that world heritage area should be passed on to the local community to
assist them to combat their social and economic problems. [42]
The Committee foresees that this issue will assume more significance in
the years ahead, and will require further consideration, either in the
context of the granting of native title claims or through negotiation
with the local indigenous communities.
Cost recovery options
8.29 The commonest method of generating income is from park entrance
or user fees. Other sources of income include:
- concessions and licences for tourist operations, such as accommodation,
kiosks, boat services, air charters, and tours, and licences for other
users in some world heritage areas;
- visitor centres and interpretation facilities;
- sales of publications and other world heritage related items;
- recreational or use facility permits;
- camping;
- commercial filming;
- aircraft landings;
- development charges which cover the costs of providing infrastructure;
- performance bonds which are paid at the start of a project and used
for environmental remediation; and
- private sector investment and sponsorship. [43]
8.30 A number of more general methods of revenue raising were raised
briefly with the Committee; they were seen as sources from which some
funds might be diverted for use in world heritage areas. Examples of such
methods are bed taxes and departure taxes. However, income derived from
these sources may not necessarily bear a close relationship with world
heritage areas, and may apply to only a small segment of the market. [44]
The House of Representatives Standing Committee on Banking, Finance and
Public Administration, in its inquiry into the impact of taxation on the
tourism industry, also commented on these features of the taxes. [45]
The Committee was not able to consider these issues in depth but is of
the view that are worthy of further detailed study. Support for such revenue
raising would be increased if it were linked to expenditure on management
and research relating to the protection of world heritage facilities.
8.31 A second suggestion which the Committee considered was that tourist
operators might be charged resource rents, for which competitive bidding
might be used as proposed in a report by the Australian Bureau of Agricultural
and Resource Economics. [46] The
TCA pointed out two problems with such an approach: meshing it with the
existing permit system and the implications for retaining control over
resource use. [47]
Experience with cost recovery
Table 7.1 shows the revenue raised
from cost recovery measures in each world heritage area and Table
8.3 gives the proportion of costs recovered. Both tables indicate
great variation from one area to another.
Table 8.3Rates of cost recovery from certain world heritage areas
in 1995
World heritage area |
Approximate rate of cost recovery (%) |
Uluru-Kata Tjuta |
57 |
Great Barrier Reef |
31 |
Kakadu |
30 |
Tasmanian Wilderness |
10 |
Source: Department of the Environment, Sport and Territories, submission
(number 62), pp 23-24.
8.32 While the rate of cost recovery by the Tasmanian Wilderness is relatively
low, it compares favourably with that of other States when the comparison
is based on the population size of the State. The Tasmanian Government
drew the Committee's attention to the fact that:
... the Commonwealth Grants Commission 1995 Update Report shows Tasmania
has by far the greatest per capita revenue raising effort for Parks and
Wildlife Services ... at 2.4 times more than Western Australia, 2.5 times
more than New South Wales and over 4 times greater than Queensland.
[48]
DEST commented that Queensland should 'certainly be looking more closely
at the opportunities for raising revenue'. [49]
8.33 The park user fee paid at Uluru is $10 per person per week and at
Kakadu $15 per person per fortnight, with the fee at Uluru set to rise
to $15 in 1997. Until Queensland's 1996 Budget when the fee was increased
to $5, visitors to Fraser Island were paying $2.30 per day for their stay
on the island. Several charges are levied in the Great Barrier Reef world
heritage area: for example, there is a charge for entry to the Aquarium,
a fee is payable for permit applications, and tourist operators pass on
to the GBRMPA $1 per day per tourist carried on their tours. (A $5 increase
in the daily charge levied on tour participants was announced in the 1996-97
Budget, to take effect from 1 January 1997.) Many of these fees are relatively
low, prompting Professor Atherton to comment that 'to an extent we are
giving [the] experience away'. [50]
8.34 With respect to Fraser Island's charge of $2.30 per person per day,
Mr Charters opined that operators 'are prepared to pay higher fees for
visitor infrastructure that improves the management of the island and
the quality of the product that we can offer'. [51]
Others, such as the Industry Commission's Environmental Commissioner,
Mr Tor Hundloe, had the same view. [52]
Mr Charters believed that the fees could go higher. He said that,
'If we are going down the path of user pays, we should do it seriously
and say, "Yes we are seriously going to offer high standard management"'.
Mr Charters also commented on the inefficient system of fee collection
in place. [53]
8.35 ANCA's Chief Executive Officer commented about the entry fees for
Uluru and Kakadu that 'it is an extraordinarily cheap event to have access
for a week to not only the huge natural area but the actual facilities
that interpret it and explain it'.
Since a substantial proportion of the visitors come either from down south
here in Australia or from overseas, the proportion that a park use fee
of $15 is going to impact on the total holiday package, including bed
tax in the Northern Territory, is zero. ...
Since most people have to pay so much to get there, it is trivial in comparison.
[54]
When ANCA raised with the tourist industry the need to increase the park
user fee at Uluru, it met with no resistance because the industry:
... acknowledged that the Park is currently providing visitors with better
facilities than existed a few years ago. ... The rise in the entrance
fee will help the Park meet the challenge of increasing management costs
associated with rising visitation, the operation and maintenance of the
Cultural Centre, and the desire to improve various aspects of Park management
including infrastructure. [55]
8.36 Surveys of visitors to protected areas overseas have shown that
tourists would be willing to pay higher charges, [56]
as have surveys of visitors to the Tasmanian Wilderness world heritage
area. [57] This may well be the
case in other Australian world heritage areas and should be investigated,
as should the impact that increased fees might have on visitation levels
and the viability of tourist operations. If it were established that visitors
were willing to pay higher fees, serious consideration should be given
to implementing fee increases. Another aspect worthy of study is the suggestion
that international visitors be charged more than Australian ones, on the
grounds that they have not paid taxes to support the park and do not bear
the opportunity costs of not using the resources for other purposes. [58]
Visitors from many overseas countries would also be accustomed to paying
substantially for admission to heritage sites. It would also be valuable
to consider the relationship between the cost of maintaining world heritage
areas and the level at which fees are set.
8.37 From the evidence presented to the Committee about charges at world
heritage areas, it is clear that there are different approaches to cost
recovery in different jurisdictions. It appears to the Committee that
a review of current practices with user charges would be valuable, with
attention being paid to the level of charges at all world heritage areas.
This view is supported by the conclusion of a study carried out for DEST
on the use of economic instruments. The study suggested that the application
of user fees in Australian recreational areas be evaluated. [59]
Two concepts that it might be useful to consider are suggestions made
by participants at the Committee's workshop that:
- fees should be set at a level that recognises that the tourist industry
is profiting from the world heritage resource; and
- they should be set as a percentage of the tour operator's tariff rather
than a flat charge on all tariffs.
8.38 The TCA complained to the Committee that park use fees at Kakadu
had been increased without adequate justification, without sufficient
lead time, and without any consultation with the industry. [60]
These claims were at odds with information provided in ANCA's submission
to the inquiry, which indicated that a wide-scale public review of park
use fees was carried out in 1992. A new fee schedule was extensively discussed
with the Kakadu National Park Tourism Consultative Committee and introduced
in May 1995, 21 months after being announced. [61]
The increase was justified because visitors now have access to both a
visitor and a cultural centre. The increase in Uluru's fee was also discussed
with the Tourism Consultative Council, which accepted it; it will be introduced
with 18 months notice. [62]
8.39 The Committee received considerable comment on the GBRMPA's visitor
charge, which has been set at $1 per day since 1993, but is to rise by
$5 next year. The Department of Finance regarded the $1 charge as 'on
the low side' and 'more of a token charge'. [63]
Mr Charters also thought the charge of a dollar a day was 'not worth collecting
for the administration that is required to manage it'. [64]
The Acting Executive Officer of the GBRMPA recounted the considerable
opposition to the charge when it was first introduced. She conceded, however,
that 'the market would probably bear something much higher than the $1
that is there at the moment'. Five dollars a day was mentioned as a possible
charge, but increasing the charge was seen as presenting 'considerable
difficulties'. [65] Opposition from
the tourist industry would be based on the fact that tourist operators
are already contributing to government revenue through diesel fuel excise
and payments for permits and environmental impact assessments. [66]
They are also subject to other charges in some areas. [67]
8.40 The Committee considers that where it is feasible to collect fees,
they should be more than a token amount. It supports the move in the 1996-97
Budget to increase the environmental management fee by $5 but is concerned
by the fact that three of the well-recognised principles of setting fees
have been disregarded. For example, only six months lead time has been
allowed before the increase is introduced whereas 12-18 months are needed.
In addition, the funds raised will be used to partially reduce the level
of Commonwealth funding for the GBRMPA rather than to enhance visitor
services and, according to the tourist industry, it was not consulted
before the increase was announced. [68]
The Committee views the way in which the increased charge is being introduced
and implemented as unfair to tourist operators; and it is likely to undermine
the joint approach to management taken so successfully by the GBRMPA in
undertakings such as the development of its strategic plan.
8.41 The most serious complaints about fees for using the Great Barrier
Reef Marine Park stemmed from tourist operators who saw charges levied
on visitors to the Reef as inequitable because other users, such as recreational
fisherpeople and private boat owners, were not subject to similar charges.
Although it would be feasible to levy these groups through the licensing
systems already in place, the difficulty is that levies are already raised
from recreational boat users by the Queensland Government and by State
and Commonwealth fisheries authorities for fish management. Any increased
demands on these groups would be fiercely resisted, and would 'undermine
the community's perception' of the Authority. The Authority believed that
it would not be worth harming its image for the approximately $390 000
that would be raised from a $10 annual charge on recreational boat users.
[69]
8.42 Another group of users of the reef region is shipping, with approximately
2 000 ships passing through the area each year. They too could be expected
to contribute towards the costs of managing the reef, which includes expenditure
on research on, and maintaining a capacity to respond to, oil spills.
8.43 The Committee considers that a joint State/Commonwealth review of
the fees applied to users of the reef region should be carried out, with
a view to recommendations being made on how a single fee could be applied
to all users of the reef that incorporates in an equitable manner charges
for those purposes for which each user accesses the reef. The Committee
recommends that:
(52) a joint State/Commonwealth review of the fees applied to all
users of the Great Barrier Reef Region should be carried out, and recommendations
made for a more equitable system of charging users that is tied to the
cost of managing their impact on the Reef.
8.44 The Committee noted that the House of Representatives Standing Committee
on Banking, Finance and Public Administration called for consultation
between the then Commonwealth Department of Tourism and the Council of
Tourism Ministers about the charging of tourist operator fees by the GBRMPA
and other authorities in the wider region of which the Reef is part. [70]
Any review would need to take cognisance of the wider context in which
the review was being conducted and the outcome of such consultations.
8.45 In addition to a review of the charges applied to users of the Great
Barrier Reef world heritage area, the Committee considers that it would
be helpful to governments and agencies charged with managing world heritage
areas if the experience of applying cost recovery measures in different
areas were to be gathered together and best practice identified. Accordingly,
the Committee recommends that:
(53) the Department of the Environment, Sport and Territories coordinate
a broad-based review of user fees in world heritage areas with a view
to recommending general principles for their introduction and administration
and how fee levels should be set.
Among other matters, this review should consider:
a) the appropriate balance of government and user contributions
to world heritage management;
b) the desirability of linking user fee levels with the costs of
managing user impacts;
c) the impact of higher fees on international and domestic tourism;
and
d) equity of access to world heritage areas and possible measures
whereby equitable access can be assured.
Other sources of funds
Volunteers
8.46 As discussed in Chapters 4 and 6,
volunteers can make a very significant contribution to many aspects of
environmental protection in Australia, including in reserved areas. Experience
with voluntary groups in South Australia, for example, has shown that
not only do they undertake manual, educational and cultural work thereby
providing free labour, they also fund raise and attract gifts and bequests
for the areas with which they are associated. [71]
Volunteers may also comment on managerial ideas and be able to offer technical
expertise and creative flair that managers would otherwise have to purchase.
[72]
8.47 Little information was provided to the Committee about the value
of the contributions made by volunteer groups associated with world heritage
areas. A review of funding arrangements for the GBRMPA estimated that
14 000 hours of service by volunteers in the Aquarium represented the
equivalent of $350 000 in salaries. [73]
Encouraging greater involvement of volunteers in world heritage areas
is the subject of a recommendation in Chapter 6,
because of their potential contribution to world heritage management.
Sponsorship
8.48 The WTMA has extended the use of external forms of assistance to
overcome its under funding problems. This has included partnership funding
arrangements involving industry, local government and State Government
agencies. The WTMA has moved to use the complex tenure arrangements in
the Wet Tropics world heritage area as an opportunity rather than as an
impediment. It has secured funds for application in the world heritage
area, but not necessarily for expenditure by the Authority itself. It
has trialed a program for brokering funding applications to Commonwealth
and State Government agencies on behalf of land owners and managers within
the world heritage area. [74]
8.49 In addition, the WTMA has moved to establish a Wet Tropics Rainforest
Foundation as a private foundation to raise funds from the corporate sector.
In its 1994-95 annual report, the WTMA envisaged that 'a major corporation
could sponsor Foundation projects by purchasing land, funding research,
supporting community projects or providing resources'. It also foresaw
that funds could be raised by the Foundation at the local level by marketing
souvenirs using the Foundation's logo in return for a commission on each
sale. [75] The Committee was strongly
advised that this fund raising initiative should be seen as a source of
supplementary funds and not as an alternative to government sources: 'expert
advise is that if it becomes apparent that Government resources are being
withdrawn concurrent with fund raising endeavours, then corporate fundraising
will fail'. [76] Clearly any fundraising
by this means will need to be quarantined from decisions about the allocation
of government funds. The Committee will follow the achievements of the
Foundation with interest.
8.50 Through sponsorship, funds can be raised for world heritage areas
while the sponsors acquire kudos from their association with the area
and their acts as good corporate citizens. However, as the Chief Executive
Officer of ANCA pointed out when he spoke to the Committee about the new
cultural centre at Uluru-Kata Tjuta, 'it is actually quite difficult to
get corporate sponsorship ... which would not be vulgar or inappropriate'.
[77]
8.51 The activities of the WTMA in pursuing sponsorship and external
funding show what can be achieved where world heritage areas are being
given 'a role in the life of the community' as envisaged under the World
Heritage Convention. It also demonstrates the capacity to overcome budget
shortfalls when funds from government sources will be limited. It is an
approach that has to be handled with sensitivity and understanding of
the corporate sector, and requires the agreement of government not to
reduce its contributions which would offset or jeopardise the fund raising
efforts. Despite these difficulties, the efforts of the WTMA are applauded
by the Committee. As long as sponsorship generates funds that are used
for the protection, conservation and presentation of world heritage areas,
it is entirely commensurate with world heritage principles.
8.52 The Committee recommends that:
(54) world heritage managers be encouraged to seek sympathetic financial
sponsorship for appropriate projects.
Private sector operations associated with world heritage areas
8.53 Proponents of a greater role for the private sector in world heritage
areas point to the tourist industry in particular as a major source of
additional funds and the provider of infrastructure and more extensive
services. They warn that it may be the only realistic and economically
sensible approach to the ongoing conservation and maintenance of protected
areas if government funding is not forthcoming. [78]
As discussed in Chapter 4, these are clearly issues
on which there is no consensus at present. They require further debate
and examination, and are the subject of recommendation 29.
Warren Truss
Committee Chair
17 October 1996
Footnotes
[1] Department of the Environment, Sport and
Territories, submission (number 62) p 23.
[2] Minister for the Environment, Senator Robert
Hill, 'Investing in our natural heritage', Budget statement, 20 August
1996.
[3] Commonwealth Department of Tourism, transcript,
31 August 1995, p 124; Australian Nature Conservation Agency, transcript,
28 August 1995, p 101.
[4] For example, Tourism Council Australia,
transcript, 27 November 1995, p 306; Cairns and Far North Environment
Centre, submission (number 53), p 6.
[5] Department of Finance, submission (number
9), p 4.
[6] 'Discussion paper on user pays', prepared
for the World Heritage Managers Workshop, November 1994, Department of
the Environment, Sport and Territories, submission (number 62), attachment
I, p 1.
[7] National Trust of Australia (Victoria),
submission (number 48), p 15.
[8] Hundloe et al., quoted by Sally Driml, Protection
for Profit: Economic and Financial Values of the Great Barrier Reef World
Heritage Area and Other Protected Areas, Great Barrier Reef Marine
Park Authority, Research Publication No 35, 1994, p 10.
[9] Great Barrier Reef Marine Park Authority,
submission (number 59), p 16.
[10] Department of Finance, submission (number
9) p 3.
[11] 'Discussion paper on user pays', pp 2,
4 (see footnote 6, Chapter 8).
[12] The Commonwealth Department of Tourism
also made this point (transcript, 31 August 1995, p 123).
[13] Conservation Council of Western Australia,
submission (number 71), p 3; Tasmanian Conservation Trust and the Wilderness
Society (Tasmania), submission (number 21), p 3.
[14] National Parks Association of NSW, submission
(number 57), pp 5-6.
[15] Tourism Council Australia, transcript,
27 November 1995, p 311.
[16] Tasmanian Wilderness World Heritage Area
Consultative Committee, submission (number 25), p 4.
[17] Commonwealth Department of Tourism, submission
(number 68), p 8. The Department of Finance made the same point (transcript,
28 August 1995, p 109).
[18] Tourism Council Australia, submission
(number 73), p 10; transcript, 27 November 1995, p 302.
[19] Department of the Environment, Sport and
Territories, submission (number 62), p 24.
[20] Tourism Council Australia, transcript,
27 November 1995, p 307.
[21] Tourism Council Australia, transcript,
27 November 1995, p 309.
[22] Western Australian Government, submission
(number 56), p 11.
[23] Mr Ian Dutton, submission (number 1),
p 7.
[24] 'Discussion paper on user pays', p 1 (see
footnote 6, Chapter 8).
[25] Professor Trevor Atherton, submission
(number 49), p 3.
[26] Professor Trevor Atherton, transcript,
15 November 1995, p 198.
[27] Department of Finance, submission (number
9) p 2.
[28] Tourism Council Australia, transcript,
27 November 1995, p 311.
[29] Australian Nature Conservation Agency,
transcript, 28 August 1995, p 102.
[30] Mr Tony Charters, transcript, 15 November
1995, p 205.
[31] Department of the Environment, Sport and
Territories, submission (number 62), p 24.
[32] Western Australian Government, submission
(number 56), p 11.
[33] Tasmanian Government, submission (number
63), p 14.
[34] Commonwealth Department of Tourism, submission
(number 68), p 7.
[35] Mr Tony Charters, transcript, 15 November
1995, p 205.
[36] Sally Driml & Peter O'Clery, 'Resources
for management of the Great Barrier Reef Marine Park', October 1994; Great
Barrier Reef Marine Park Authority, submission (number 59), attachment
7,
pp 5-6.
[37] 'Discussion paper on user pays', p 3 (see
footnote 6, Chapter 8).
[38] Queensland Government, submission (number
74), p 6.
[39] Western Australian Government, submission
(number 56), p 11.
[40] Australian Nature Conservation Agency,
submission (number 37), p 23. An indexed annual rent of $150 000
is also paid to the traditional owners in each park.
[41] Megan Turner, 'A rock of compromise',
Courier Mail, Brisbane, 26 October 1995, p 16.
[42] Thoorgine Educational and Culture Centre
Aboriginal Corporation, submission (number 11), p 6; transcript, 15 November
1995, p 222.
[43] Department of Finance, submission (number
9) p 3; 'Discussion paper on user pays', p 4 (see footnote 6, Chapter
8); Professor Trevor Atherton, transcript, 15 November 1995, p 194.
[44] Commonwealth Department of Tourism, transcript,
31 August 1995, pp 123-4.
[45] House of Representatives Standing Committee
on Banking, Finance and Public Administration, Taxing Relaxing: Report
on the Inquiry into the Impact of Australia's Taxation Regime on the Tourism
Industry, AGPS, Canberra, March 1995, pp 51-3.
[46] G Green & P Lal, Charging Users
of the Great Barrier Reef Marine Park: a Report to the Great Barrier Reef
Marine Park Authority, Australian Bureau of Agricultural and Resource
Economics, 1991, pp 62-4.
[47] Tourism Council Australia, transcript,
27 November 1995, pp 306-7.
[48] Tasmanian Government, submission (number
63), p 14.
[49] Department of the Environment, Sport and
Territories, transcript, 28 August 1995, p 100.
[50] Professor Trevor Atherton, transcript,
15 November 1995, p 193. Lindberg drew attention to a similar trend elsewhere
in the world (Kreg Lindberg, Policies for Maximizing Nature Tourism's
Ecological and Economic Benefits, International Conservation Financing
Project Working Paper, World Resources Institute, 1991, p 31).
[51] Mr Tony Charters, transcript, 15 November
1995, p 205.
[52] Tor Hundloe, 'The private sector and resource
management in parks and protected areas', in National Parks: Private
Sector's Role, eds T Charters, M Gabriel & S Prasser, USQ Press,
Toowoomba, 1996, p 39.
[53] Mr Tony Charters, transcript, 15 November
1995, pp 205-6.
[54] Australian Nature Conservation Agency,
transcript, 28 August 1995, p 101.
[55] Julian Barry, '"User pays" at
Uluru-Kata Tjuta National Park: current and future directions', paper
given to the Best Practice Ecotourism National Conference, Coolangatta,
Queensland, July 1996, p 4.
[56] Lindberg, Policies for Maximizing Nature
Tourism's Ecological and Economic Benefits, p 21 (see footnote 50,
Chapter 8).
[57] 'Walker criticism of permit plan', Mercury,
5 August 1996, p 1.
[58] Lindberg, p 13; J A Dixon & P B Sherman,
Economics of Protected Areas: a New Look at Benefits and Costs,
Earthscan Publications, London, 1990, p 73.
[59] David James, Using Economic Instruments
for Meeting Environmental Objectives: Australia's Experience, Department
of the Environment, Sport and Territories, Environmental Economics Research
Paper No. 1, June 1993, p. 28.
[60] Tourism Council Australia, submission
(number 88), p 2.
[61] Australian Nature Conservation Agency,
submission (number 37), appendix F.
[62] Australian Nature Conservation Agency,
transcript, 28 August 1995, p 102.
[63] Department of Finance, transcript, 28
August 1995, p 109.
[64] Mr Tony Charters, transcript, 15 November
1995, p 205.
[65] Great Barrier Reef Marine Park Authority,
transcript, 27 November 1995, pp 299, 301.
[66] Tourism Council Australia, transcript,
27 November 1995, p 308.
[67] House of Representatives Standing Committee
on Banking, Finance and Public Administration, p 54 (see footnote 45,
Chapter 8).
[68] Christopher Dore, 'Hill stands firm on
reef tourist levy rise', The Australian, 2 September 1996, p 4.
[69] Great Barrier Reef Marine Park Authority,
transcript, 27 November 1995, pp 299-300. The inequity of charging only
tour operators was also raised by the Alliance for Sustainable Tourism
(submission, number 84, p 2).
[70] House of Representatives Standing Committee
on Banking, Finance and Public Administration, p 54 (see footnote 45,
Chapter 8).
[71] Dene Cordes, 'Community support in SA',
Ranger, No. 33, Spring 1995, p 8.
[72] Elery Hamilton-Smith, 'Who benefits from
volunteering, Ranger, No. 33, Spring 1995, p 28.
[73] Department of the Environment, Sport and
Territories, Review of Funding Arrangements for the Great Barrier Reef
Marine Park Authority, January 1995, p 32.
[74] Wet Tropics Management Authority, submission
(number 77), p 9.
[75] Wet Tropics Management Authority, 1994-95
Annual Report, p 36.
[76] Wet Tropics Management Authority, submission
(number 77), p 9.
[77] Australian Nature Conservation Agency,
transcript, 28 August 1995, p 102.
[78] For example, David Morgans, 'Commercialising
protected areas: lessons from the USA', in National Parks: Private
Sector's Role, eds T Charters, M Gabriel & S Prasser, USQ Press,
Toowoomba, 1996, p 101.
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