50 Victoria Street
Private Bag 6995
Wellington 6141
New Zealand
T 64 4 894 5400
F 64 4 894 6100
www.nzta.govt.nz
29 June 2021
Cody C
[FYI request #15703 email]
REF: OIA-8248
Dear Cody
Request made under the Official Information Act 1982
Thank you for your email of 8 June 2021 requesting the following information under the Official
Information Act 1982 (the Act):
What work has been done on digital identity (high level)? Has a digital drivers license been looked
at and approximately how far away might this be?
Waka Kotahi NZ Transport Agency is working collaboratively with the Department of Internal Affairs
for the establishment of a Digital Identity Trust Framework to address the regulatory gaps in New
Zealand’s digital identity system. The establishment of a Trust Framework was agreed to by Cabinet
in July 2020. Further information can be found at the following link, which includes Cabinet Paper
documents that have been proactively released: www.dia.govt.nz/diawebsite.nsf/Files/Proactive-
releases/$file/Combined-Digital-Identity-Proactive-Release.pdf
An earlier announcement regarding this programme can also be found at the below:
www.digital.govt.nz/news/development-of-digital-identity-trust-framework-confirmed/
Subject to legislative authorisation and availability of funding, it is likely that Waka Kotahi will aim to
be an early adopter of the digital identity solutions that will underpin the Trust Framework and improve
ease of access to services for all New Zealanders.
While digital driver licences (DDL) promise convenience to customers and better identity security, a
roadmap to support the introduction of DDLs in New Zealand is yet to be developed, and legislative
change will be required as a pre-requisite before this could take place. This is because legislation
currently prescribes that the driver licence credential must be in a physical format.
Waka Kotahi is currently monitoring the development of the International Organization for
Standardization (ISO) Standard 18013-5 to prepare for the safe and effective introduction of DDL in
line with international standards. The introduction of DDL systems and policies in accord with the
International Standard will provide a secure platform for future interoperability, meaning one of the
benefits for licence holders opting in to a DDL will be that they may be acceptable in international
jurisdictions, whereas jurisdictions that are transitioning to DDLs in isolation of the ISO Standard will
miss this opportunity for licence holder benefit.
If you are interested in learning more about the development of the Digital Identity Trust Framework, I
recommend contacting the Department of Internal Affairs’ Digital Identity team by email at
[email address].
Yours sincerely
Hayley Evans
Senior Manager Systems Integrity