9 September 2021
House of Representatives Standing Committee on Tax and Revenue
PO Box 6021
Parliament House
Canberra ACT 2600
email: [email address]
The Chair,
CONTRIBUTION OF TAX & REGULATION ON HOUSING AFFORDABILITY & SUPPLY IN AUSTRALIA
PIA SUMISSION TO HOUSE OF REPRESENTATIVES INQUIRY
1. Overview
•
Housing unaffordability cannot be solved by more supply in the market.
•
The behaviour of housing as an ‘asset’ means that not enough housing is provided by the
market to those who need ‘shelter’.
•
Planning regulation and zoning is not a ‘roadblock’ – it serves as a ‘lane marker’. Development
proposals that align with Strategic Plans flow fast.
•
The role of strategic planning and planning regulation - is directed towards:
o
creating great places - and a sustainable built environment
o
access to diverse housing, jobs and services that reduce living costs/ boost productivity
o
ensuring infrastructure investment is cost effective
o
reducing development risks
•
A focus only on maximizing supply would compromises the value of planning in shaping
productive, liveable and sustainable cities and towns.
•
Measures to reduce demand for housing assets are important – but realistically won’t progress.
•
Substantial non-market supply of social/affordable housing is needed for lower income earners.
•
Planning facilitates diverse and affordable housing through the regulatory system - and by
strategic planning for population growth and change.
•
Costs arising from mandating affordable housing can be absorbed in the price of land.
•
The absence a coherent housing market strategy has major productivity and social implications.
PIA Context
The Planning Institute of Australia (PIA) appreciates the opportunity to make a submission to the House of
Representatives Standing Committee on Tax and Revenue. Our recommendations are in
Section 8.
Planning Institute of Australia
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PIA is the national body representing urban and regional planners and the planning profession. We
represent approximately 5,500 members and connect with more than 10,000 planners annually through
workshops, events and professional development.
PIA has members in private sector who facilitate development, members in government who set and
assess development applications – but all have a common interest in being advocates for the public
interest. PIA has no pecuniary interest in the recommendations made by the Committee.
The housing construction sector, as part of the broader built environment and development sector, is
critical to economic wellbeing of the country. It creates the living conditions of our cities and towns that
are recognised around the world.
Planners understand the depth of community concern about housing affordability, the seriousness of this
public policy issue, and the basic human need for shelter. Housing needs to be available in diverse forms,
that are affordable across the income spectrum – and which reduce living costs by enabling easy access to
work and services.
A genuine conversation about housing affordability requires us to unpack what is influencing
unaffordability – including the market demand drivers, tax setting and property development practices.
Planners play a role ensuring urban policy settings and development approval processes don’t restrict
supply. Planning schemes will direct supply in the long-term public interest – based on adopted strategy
in order to reduce infrastructure costs and boost availability and access to services.
It is clear that superheated demand factors swamp any price impact of delivering housing supply into the
market. This is having an impact on the ability to buy a home - as well as the ability of lower income
earners to access affordable rental property. Historic and international examples (Eslake 2017; Phibbs and
Gurran 2021) show us that housing affordability is most successfully improved when investment demand
drivers are reigned in - and the government plays a role providing and enabling affordable housing
delivery.
Terms of Reference
The inquiry is to address the “
contribution of tax and regulation on housing affordability and supply in
Australia” –
via terms of reference to:
•
“(i) Examine the impact of current taxes, charges and regulatory settings at a Federal, State and
Local Government level on housing supply;”
•
“(ii) Identify and assess the factors that promote or impede responsive housing supply at the
Federal, State and Local Government level; and”
•
“(iii) Examine the effectiveness of initiatives to improve housing supply in other jurisdictions and
their appropriateness in an Australian context.”
The ToR focus entirely on the impact of housing ‘supply’. This is not sufficient to address affordability.
PIA’s response to the ToR is summarised in
Attachment A. The structure of the submission is set out
below:
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CONTENTS
PAGE
1. Overview
1
2. The housing unaffordability problem
3
3. Housing unaffordability can’t be solved by supply in the market
4
4. Housing unaffordability could be improved by easing demand – but it won’t happen
7
5. Planning for housing supply is important – just not for affordability
7
6. Planning regulation or zoning is not a brake on supply
10
7. Improving housing affordability will require investment in social and affordable housing
11
8. Conclusion and recommendations
12
9. Attachment A: Terms of Reference response
14
10. References
16
Definitions and clarifications
Supply and affordability
The terms housing supply and affordability are used loosely and mean different things, PIA urges the inquiry to distinguish what
they are reporting on:
•
whether affordability refers to home purchase price - or the cost of rent
•
whether in relation to access to housing by lower income earners
•
whether living costs are taken into account
•
whether supply is considered as a rate - or static number
• whether supply is total stock, new stock or stock that may be for sale at any time
PIA regards the cost of rent as the true cost of access to housing as ‘shelter’ .-. However, the purchase
price of housing also reveals its value as an investment asset and reflects the capitalisation of rental
income – this component is becoming more prominent and is most sensitive to strong housing demand
factors (Gurran et al 2015). Prospective owners (investors) are buying a future rental stream1 and an asset
with strong tax advantages and prospects of capital gain.
Housing being for the purpose of both shelter and an investment asset – has led to deep
misunderstanding and confounded public policy.
2. The housing unaffordability problem
Housing is becoming more unaffordable to buy cross all markets, while access to rental is squeezed for
lower income earners.
The REIA Housing Affordability Report (2021) notes that mortgage repayments for owner occupiers have
increased by 180% over the last 20 years, well in excess of average wage growth (113%). The proportion
of household income required to service an average mortgage has grown from 27.2% to 35.7% over the
same period. Yates (2017) finds that since the 1970s Australia’s median house prices have quadrupled
while wages have only doubled in real terms.
The ‘problem’ has been largely framed in terms of declining access to first home ownership - or
inadequate rates of new housing production (Phibbs and Gurran 2021). Whilst these elements are
important over the long term, they do not relate to the fundamental problem that housing is becoming
less available to people who need it. If you are low income earner your choices of where and what you
live in (rent or buy) in becoming much more restricted.
1 Or avoided the cost of paying rent (being an owner).
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In general, Australia does not have a housing supply problem - we have an affordability problem. Housing
supply is currently a
success story across many of Australia’s cities. In 2018, Australia had one of the
highest dwelling completions rates in the developed world. Except for South Korea, Australia produced
housing faster than other OECD nations at
8.2 completions per 1000 persons, up from 6.8 in 2010, – at
37,000 dwellings a year. In 2018, Sydney produced more dwellings than London, despite having a
population less than half the size. At the end of 2016, there were
more cranes (528) servicing apartment
construction down the east coast of Australia than in major cities across North America including New
York, Boston, Chicago, San Francisco, Los Angeles and Toronto (419 cranes) (Brockhoff 2018).
The evidence shows a conundrum, housing production has reached record levels but purchase prices in
the largest markets has continued to grow even faster as investor demand swamps new supply. Phillips
and Joseph (ANU 2017) highlight evidence tha
t in many parts of Australia – house building has been
running well ahead of local household growth for much of the last 30 years (except post GFC) and
especially recently since 2015. There is no accumulated shortage2, but purchase prices have continued to
increase. For example, in the City of Sydney,
overall median apartment prices rose by 52% in the five
years to 2017 in an area oversupplied relative to population.
The cessation of international travel since the outbreak of the Covid 19 pandemic has resulted in zero net
overseas migration since early 2020. Despite this drop in demand house prices have continued to soar.
It is important to note that new supply is a small fraction of the total stock of dwellings
(about 2% in
Australia) – while in 2018 it got as high as 3% in Sydney (DPIE 2019). Prices are set by the total housing
market - most of which already exists in the form of established homes or apartments. ABS data via RBA
(2017) show annual turnover rates (amount sold annually as a proportion of total stock) to tracking
around 5% for the decade.
Alongside the obvious difficulties for middle income earners affording homeownership, there is a more
insidious effect on access to rental markets exposing lower income earners. Nominal rents have not
increased as new housing supply has expanded the middle portions of the private rental sector3. However
Ong et al (AHURI) 2017) and (Hulse et al 2019) show the availability of lower priced rental property has
not improved. While the SGS Rental Affordability Index (SGS 2020) shows steady widespread geographic
contraction towards only the lowest amenity suburbs in Australia’s major cities.
3. Housing unaffordability can’t be solved by supply in the market
Bank of England researchers Lewis and Cumming (2019) have constructed a twenty-year model which
shows that “relative scarcity of housing has played almost no role at the (UK) national level since 2000” in
rocketing prices. The same insight is available from Australian researchers. The local evidence shows that
changes in the price of housing is decoupled from changes and growth in supply (Phillips and Joseph
2017) (see Figure below).
2 Based building completions/ demolitions, population and household occupancy (Phillips and Joseph 2017)
3 At rental prices serving middle income earners often unable to buy (Ong et al 2017)
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Phillips and Joseph (ANU) 2017
Central banks (see Youel 2020) are aware that the market for housing does not perform like one for
consumable products like bananas – for one thing when house prices go up consumption often goes up
too. But it has proven inconvenient for the Central banks to explain the difference. One reason is that the
‘cupboard is bare’ of politically palatable demand side solutions dealing with monetary policy (Hutchins
2021), tax and other financial measures (Eslake 2017).
It should not be up to planners to explain this predicament - but we bring a clearer insight on what is
being traded and ‘consumed’ in the housing market.
Dwellings persist as stock in the market and are
added to with new supply (growing ~2% every year). But in any year only a small proportion of the total
(~5%) are available on the market to be bought. The small proportion of new supply created and traded
as a proportion of total stock means that it is hard for additional supply to reduce prices rapidly and
deeply. As a result residential developers are ‘price takers’ - not ‘price makers’.
These observations are borne out by empirical research by Ong et al (2017) that supply and price are not
responsive to each other. A 1% increase in the level of real housing prices is estimated to produce a 4.7%
pa increase in new house supply - and less for units. Ong et al note these price gains translate into very
small increases in housing stock which will do little to keep up with demand pressure. The work also
highlights that the growth in supply that has been taking place has been in the mid to high price segments
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– and that there seem to be structural impediments to the trickle down of more stock available for lower
income earners.
The figure below (from Ong et al (AHURI) 2017) highlights the relative increase in supply of higher price
units and moderate price houses – while supply which may be affordable to the lower income earners is
less available in the market.
There are highly localised examples of intense supply shortages impacting purchase price such as in
booming mining / tourist towns - but this does not undermine the macro proposition that new supply is
not able to grow fast enough to substantially affect price. Supply will not grow fast for several reasons:
•
Finance limitations - residential development financiers actively manage risk and would restrict
lending where there is evidence of a potential for oversupply and the security of their returns to
be threatened.
•
Labour and construction materials - the construction sector has limited capacity to scale up and
down quickly. The HIA (2021) Trades Report recorded the biggest trade shortages since 2004 ,
with many skills and materials (eg bricklayers, carpenters, tiling, roofing and specifically timber)
being hard to access. The HIA note that the easing of these constraints will take time and the re-
establishment of international supply chains.
•
Commercial decisions to build land banks take time – commercial decisions to purchase and
maintain substantial land banks are strategic and not able to be rapidly changed.
•
Market absorption rates dictate delivery – Private actors in the market behave rationally to
maximise profit and bring their new stock to market at a speed/amount that the market will
absorb without having to discount price. This can result in drip feeding the market to avoid
depressing prices – so long as holding costs are less than the prospects of future price growth.
Murray (2019) notes that major property developer’s annual reports reveal their rational
intention to supply housing at a flexible/slow rate to maximise shareholder return.
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All private sector actors respond to the rate of housing absorption – either by restricting access to finance
to reduce risk exposure or by controlling the flow of sales in the market. This is rational behaviour to
maximise profits but is not widely understood or disclosed (Phibbs and Gurran 2021, Murray 2020).
Murray (2021) notes that dwelling development is an “asset reallocation decision, not a production
quantity decision”. Therefore, choices to develop new housing are tied to asset market factors, not
production factors, such as construction cost. Undeveloped land also remains an asset, earning a
potential return in the form of capital gain regardless of a developer’s decision and timing to construct.
4. Housing unaffordability could be improved by easing demand incentives – but it won’t happen
The literature discusses the overwhelming influence of factors that superheat housing demand and make
it relatively more attractive as an investment asset (Phibbs and Gurran 2021, Daley and Wood 2016,
Rowley et al 2020). The main factors include:
• low interest rates
• access to mortgage finance
• tax advantages to housing investment (eg Negative Gearing, Capital Gains Tax
Discounts/Exemptions and means testing of pension excluding home)
• first home owner’s bonuses / subsidies
The ‘hyper-commodification’ of housing as an asset has divorced it from conventional market behaviour
(Madden and Marcuse 2016). The price of housing no longer reflects its value as a ‘roof to live under’.
Commentators such as John Daley (2021) and Saul Eslake (2017) express little hope that while a majority
benefit from elevated house prices the political economy won’t shift to allow a wind back of these strong
and more rapidly acting influences on demand. If demand incentives are not wound back, the challenge to
supply social and affordable housing off market will increase.
5. Planning for housing supply is important – just not for affordability
Roles of planning
Housing supply enables economic activity and jobs across the property and construction sector. Enabling
supply and promoting conditions where development is viable and can fulfil a place outcome is central to
planning. Rowley et al (2020) demonstrated that “
proactive local planning for growth (outer ring) and or
urban renewal (inner ring) was also a key factor driving supply” – alongside integrated infrastructure
planning.
But planning processes are designed for more than being a housing ‘sausage machine’. Planners have a
key role in housing supply, but are one of many who provide services to develop communities. Planners
provide capabilities to :
• undertake strategic planning, forward thinking, plan for land that is suitable and ensuring links
with infrastructure and transport;
• improve liveability in growing and changing urban areas by setting quality, diverse, sustainable
building and place outcomes;
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• translate land use strategy into spatial plans via rezoning, considering and making trade-offs
among local community views and broader stakeholders; and
• manage the development assessment process on behalf of the public to assure alignment
between proposals and adopted community outcomes.
Planning housing for long-term population growth and change
Although more housing supply is shown to not have a rapid or deep effect on house price, the provision of
new and well-suited supply is essential to house a future growing population with changing dwelling
needs and means. PIA (2016) published a discussion paper on planning for
Australia towards 50 million
outlining the megatrends impacting the housing and city making task.
Making provision for long-term growth and change is a key role of strategic planning. It requires the
preparation of land supply pipelines supported by integrated funding and delivery of infrastructure in
greenfields and existing urban areas. PIA has set out the value of
a National Settlement Strategy (PIA
2018,
Brockhoff 2018) and developed planning parameters to align infrastructure for this purpose.
Planning housing for liveable communities – integrated with infrastructure and services
The availability of zoned and serviced land aligned with infrastructure strategy de-risks urban
development decisions and frees up the flow of investment vital for economic activity across the sector
and the fulfilment of strategic plans that will deliver value for the broader community (Brockhoff and
Spiller 2019).
The essential purpose of planning (and its regulation) is to maximise the aggregate (measurement) of
liveability for all members of the community. This is achieved by the Government allocating monopoly
rights for the use of land according to a plan that balances the needs of the individual against the living
conditions sought by all in the community. The Government makes a spatial expression of these
conditions by engaging the community and endorsing the trade-offs in a land use plan.
The outcome of a well-planned settlement is reduced living costs to access facilities, work or services and
enjoy some amenity (The CIE 2012). These avoided costs need to be considered alongside the price of
renting or mortgaging a dwelling.
Planning is a pre-requisite for cost-effective housing delivery
Having a sequenced plan with knowledge of where patterns of housing growth and activity can be located
is a pre-requisite for cost effective infrastructure delivery. Integrated planning reduces headworks costs,
utilises spare capacity and focuses human activity where there are clustered services and transport
choices. Infrastructure Australia (2021) highlight the economic value of this place-based approach in their
discussion paper
Planning Liveable Cities and the
Australian Infrastructure Plan (IA 2021).
The planning and zoning tools which enable orderly sequencing of development and maximise the
public’s return on infrastructure are the same that enable housing supply.
Rowley at al (2020) notes that while the planning system can create opportunities for desired
development, decisions about whether and when to submit applications and construct are ultimately
made by the development industry and reflect market factors. Ultimately housing supply is driven by
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market conditions and the ability of a developer to deliver an acceptable return. Variations in market
conditions and the availability of quality development sites at different stages along the pipeline drive
uneven patterns of supply.
The planning profession is constantly engaged in improving the pattern and flow of supply aligned with
land use and infrastructure investment strategy. This involves each level of government; investing in
major infrastructure provision and upgrades; coordinating land-supply processes and making available
developable sites; and streamlining development approval processes for projects that meet local planning
requirements, including expectations for diverse, sustainable, well designed and affordable housing
options.
Planning for housing supply includes community expectations for improved amenity and liveability
Many private and public costs on new housing development and construction are integral to achieving the
living conditions expected by the community through their planning strategy.
A suite of infrastructure costs is shared and levied through contributions plans - and cover items such as
access roads and drainage. PIA’s
Infrastructure and its Funding Position and Discussion Paper sets out the
rationale for attributing sharing these costs between the developer and the community.
Planning regulation also sets an expectation for the quality and sustainability of construction – and set
requirements for the delivery of more diverse housing types and affordable housing units. Where these
costs are predictable, they become an element of the total viability equation. Ultimately, these costs can
be passed back to the price of the land assuming the purchase price was reckoned accordingly. There is
literature on the extent to which infrastructure charges and affordable housing contributions work
against speculation and operate as user charges and inclusionary requirements (Spiller, Mackvecius and
Spencer (SGS) 2018) and Spiller 2021). The figure below (extract Spiller et al 2018) sets out the rational for
known affordable housing/ inclusionary zoning costs being passed back to the land owner.
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6. Planning regulation or zoning is not a brake on supply
The Inquiry terms of reference an
d media release highlight “restrictive planning laws as a major cause of
shortages in supply”. This ignores the unresponsiveness of housing price and misunderstands the positive
role of planning shaping housing supply.
What does planning regulation (and zoning) do?
A functioning planning system is about translating goals for a place into policy and regulation that best
achieves this intention - with least cost and delay. Zoning is one of the tools at the disposal of city
managers to curate a valuable place outcome. Zoning is the spatial representation of where different
development decision-making criteria should be used. It shapes land uses and locates buildings to enable
sustainable growth aligned with strategy. Importantly, planning and zoning does not regulate when and
how fast dwellings are built.
Together with codes and other tool, zoning enables development to continue to deliver public value
(Brockhoff and Spiller 2019). Marcus Spiller estimated the cumulative net benefit of a plan for Melbourne
at over $25 billion. In Sydney, The CIE (2012) estimated the savings from different urban structures for
Sydney at between $2K and $10K every time a new house is built under the metropolitan plan.
Achieving valuable outcomes is worth the regulatory complexity involved. Planners agree planning tools
and zoning can be improved. Planners understand that housing and business reallocation is always
occurring and that the planning system must ensure that the right settings for emerging enterprises are
available. However, reform should only be targeted towards that regulation which is in excess of the rules
and incentives needed to achieve a strategic plan outcome. This is an area where PIA continues to be
positively engaged in partnership with Government and industry.
Australian jurisdictions have already progressed substantial planning regulatory reform and offer a ‘light
touch’ (Phibbs and Gurran 202 ). The adoption of housing targets, standard instruments, growth of ‘code
assessable’ development pathways (up from 2% to >40% by 2016, NSW Government (2017) - and the use
of independent panels are examples from most jurisdictions.
Modelling regarding a ‘zoning effect’ is wrong
RBA authors Kendall and Tulip (2018) (using models based on Glaeser and Gyourko (2003), have made
misleading claims that not only is zoning a barrier to supply but it is responsible to considerable additional
costs (+73%) on the price of supplying housing. The authors incorrectly ascribe the difference in average
price of housing and the marginal cost of supplying them to a ‘zoning effect’. However, their static
modelling methodology is incapable of attributing the results to planning regulation or anything else with
the potential to limit capacity. By not taking into account the ‘market absorption rate’4 in a dynamic
model, their conclusions are irrelevant. At best, the ‘costs’ they attribute to a ‘zoning effect’ reflect
amenity value and access to jobs and services in a well-planned city.
PIA and academic economists (Phibbs and Gurran, 2021 and Murray, 2021) have pointed out these
serious concerns to the Productivity Commission and to RBA authors of ‘
The Apartment Shortage’ and
4 Rate at which stock can be sold into the market while maintaining price.
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‘The Zoning Effect’. It is unfortunate that the publishers did not take an opportunity to test the method
and implications of the work among a balanced professional audience prior to publication. Unfortunately,
these misleading studies continue to be quoted by property interests and the NSW Productivity
Commission (2019, 2020).
Why zoning is a ‘lane marker’ not a ‘road block’ to supply
The ‘market absorption rate’ is also a critical factor in considering whether planning and zoning controls
are on the ‘critical path’ for housing delivery and act as a delay or substantial cost. Murray (2021) points
out that many sites will remain undeveloped even though the price of housing assets exceeds
development costs, but the constraint is economic - not regulatory. Murray notes that the rate at which
new dwellings are sold into the market is dictated by the speed at which successive new sales impact
market price. This asset market’s appetite for buying new dwellings will determine the overall rate of new
supply, the absorption rate, regardless of planning regulations. While planning does regulate location,
form and density - it does not regulate the speed at which development is taken up in the market.
Rowley at al (2020) indicate that only 68% of all approvals in NSW (75% in Victoria) actually resulted in a
completed building (period 2006-2016).
Data on development delivery since the 1990s (Phillips and Joseph ANU 2017) offers compelling evidence
on the sustained high levels of throughput and how accommodating planning systems around Australia
are shown to be in servicing the high asset demand for housing.
Rates of development approvals (as a proportion of applications) have also remained high and relatively
steady (Sneesby 2020). Review by Phibbs and Gurran (2021) indicate that major Australian markets like
Sydney have been responsive to demand and delivered 44,000 dwelling completions in 2018 alone.
Interestingly during periods when approvals have fallen, approval rates remained the same. Sneesby
(2020) points out in shorthand: “No one is buying, so no one is building, so no one is putting in
applications, so there is less to approve.”
The data suggests that the planning system can respond to changing dwelling demand and has becoming
increasingly responsive due to extensive planning reform and integrated strategic land use and
infrastructure planning. In fact, the data would suggest that there are more, bigger, better, dwellings per
capita in Australia now compared to any point in history (Murray 2021).
7. Improving housing affordability will require investment in social and affordable housing
PIA’s submission illustrates that there are structural reasons - unrelated to planning, why the private land
and housing market is not allocating affordable supply to lower income earners in the market. The
persistence of demand factors driving up the asset value of housing works against market delivery of
affordable housing.
PIA continues to support a housing vision that supports security, comfort, independence and choice for all
people at all stages of their lives. To achieve this large-scale non-market delivery will need to augment the
private market. PIA (2016) supports:
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• Advocating and facilitating the delivery of the social infrastructure necessary to support
affordable, accessible and appropriate housing for vulnerable members of the community,
including low income families, people with special needs.
• Considering infill and urban renewal precincts as areas for value capture to provide essential
property and social infrastructure and affordable housing.
• Promoting the implementation of innovative planning policies that support affordable housing
(including mandatory inclusionary zoning)
8. Conclusion and recommendations
1. Abandon the ‘supply myth’
The misunderstanding of powerful demand drivers in an investment asset market for housing
confounds any public policy response to address affordability of housing for shelter - and dispel the
‘supply myth’.
PIA agrees with Maclennon et al (202 ) who note “there is a substantial capacity deficit - of skills,
institutions and governance structures – to both understand the housing system and construct a
coherent housing market strategy and the policies to deliver it.”
This inquiry demonstrates that we have a poor understanding of both housing in the macro economy
and how it shapes our cities. It is vital that public decisions regarding stimulus of the property sector
and improving pathways to ownership respond to the broader role of housing in shaping cities and
providing needed shelter.
Recommendation 1: Establish a standing ‘commission’ on housing strategy - with a broad base of
skills (including planners) to provide a source of truth and coherent policy in the public interest.
2. Nurture effective planning and development systems
Planning continues to be important shaping liveable communities, sustainable buildings and enabling
orderly housing supply and cost-effective infrastructure delivery as population grows and changes.
Strategic planning, zoning and development assessment processes are among the tools of the trade –
and we apply these with close community and stakeholder involvement in the outcomes.
The findings of this inquiry must not prejudice the value provided by good planning. Unsophisticated
attempts to fast track supply by eliminating planning processes do not work. UK experience (since the
Letwin Inquiry) demonstrate that not only does planning not control the rate of supply, but that
simplistic planning reforms are resulting in poor urban outcomes and lack of support. PIA continues to
pursue nuanced planning reform that reduces transaction costs while achieving the outcomes of
strategic planning.
Recommendation 2: Do not recommend misguided and simplistic planning reform responses based
on the prevailing misunderstanding of how planning operates in the housing market.
Planning Institute of Australia
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@pia_planning Planning Institute of Australia planning.org.au/act
3. Promote integrated strategic planning
A key role of planning in enabling housing supply is the coordination, sequencing, funding and delivery
of growth infrastructure. Infrastructure contributions and value capture are an equitable component of
the funding. With clear and consistent planning these costs are passed back to the land owner rather
than act as a cost on development.
Recommendation 3: Recognise the critical role of integrated strategic land use and infrastructure
planning (and funding) in creating liveable cities.
4. Deliver social and affordable housing at scale
Powerful demand drivers of the housing market as an asset are locked-in and access to housing as for
lower income earners will remain tight. It will be necessary to significantly increase the availability of
non-market social and affordable housing – as well as new initiatives to diversify housing choices.
Planning has a small but enabling role for diverse housing types - as well as enabling infrastructure
contributions and the dedication of land, space and funds via mandatory inclusionary zoning for
affordable housing.
Recommendation 4: Recognise the significant and growing need for social and affordable housing
forms to be available at scale – and support measures that fund or facilitate delivery.
PIA has addressed in summary the issues arising from each term of reference in
Attachment A.
PIA will remain engaged with the Federal Government on the role of planning in housing markets. Please
do not hesitate to contact myself or our CEO David Williams, if we can be of assistance.
Yours sincerely
John Brockhoff
PIA National Policy Manager
Planning Institute of Australia
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@pia_planning Planning Institute of Australia planning.org.au/act
ATTACHMENT A : PIA RESPONSE TO Terms of Reference
“(i)…Impact of current taxes, charges and regulatory settings… on housing supply”
Factor
Impact
Collective impact of demand
Increased demand for housing as an asset (relative to other assets) –
incentives: CGT (exemptions /
simultaneously increasing supply and purchase price.
discounts) / Negative gearing
(Note – factors superheating demand would have a negative feedback on supply
/ Pension means testing
through:
(excluding home) / first home
• incentivising speculation and increasing costs associated with less
buyer subsidies
integrated planning / infrastructure / approval pathways.
• Incentivising land banking and drip feeding the rate of supply to the
market – because the potential for future yield or price could be
greater.
Interest rates (sustained low)
As above – improves access to capital and drives demand for housing assets.
Lending controls which
Impacts cost/availability of capital. Reduced access to finance – resulting in less
reduce financial risk exposure capacity to deliver supply (especially in those industry sectors most reliant)
Stamp duty
As a transfer tax, they penalise movement among property and prejudice the
most economic use (and supply) of land and buildings.
“(ii) Identify and assess factors that promote or impede responsive housing supply…”
Factor
Impact (Promote / Impede)
Integrated strategic planning
Promotes supply - enabling an orderly housing supply pipeline – with
and funding
infrastructure delivered most cost-effectively.
Infrastructure charges
Developers are typically ‘price takers’. Where the quantum is known and
predictable – the impost can be passed back to the price of land following a
period of readjustment.
The delivery of infrastructure via these charges can benefit amenity, reduce
living costs - and potentially feed back into land value. The outcome can enable
infrastructure, build public value and promote supply.
Aligned planning assessment
Where assessment regulation (land use decision criteria) is clear and favours
pathways
development aligned with strategic outcomes it promotes supply and build
public value.
Planning / zoning regulatory
Does not affect the rate of development – but contributes to public value as well
settings
as the quality, amenity and reduced living costs – and potentially feedback into
land value.
Housing (quantum) targets in
Promotes supply by offering an incentive for long term integrated strategic land
planning strategy
use and infrastructure planning for orderly growth (an aid in overcoming
NIMBYism).
Planning codes streamlining
Promotes supply as it can de-risk development and potentially improve access to
assessment for development
finance.
– or for specific / innovative
housing forms (eg medium
density / co-living etc)
Planning Institute of Australia
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@pia_planning Planning Institute of Australia planning.org.au/act
Mandated housing diversity
Ultimately promotes supply that better meets community shelter needs.
requirements
Reinforces community expectations for development meeting actual shelter
needs. Can have an impact on the availability of capital – but is an essential
obligation and effectively a ‘licence’ to participate in the market and receive
development rights.
Mandatory Inclusionary
As above (see infrastructure charges) – noting that MIZ requirements once
Zoning (MIZ) for affordable
established can ultimately be passed back to the price of land.
housing
Value capture measures – (eg
The public hold the monopoly of development rights and can retain windfall
windfall gains at rezoning)
where mechanisms exist. The existence of value capture measures can dampen
speculation and the impacts it has on the behaviour of the market.
Building quality and
An expectation as part of the licence to operate. Reduces risk, promotes access
sustainable design controls
to finance and promotes supply accordingly.
Land supply via public
Promotes counter-cyclical supply and sustain industry capacity, can de-risk
development corporations
difficult sites and
Non-market housing supply -
An essential element of housing supply (needed at scale) to address unmet
public /NFP housing supply
shelter needs.
and rent subsidy of social and
affordable housing
“(iii) Examine the effectiveness of initiatives to improve housing supply in other jurisdictions and their
appropriateness in an Australian context.”
Initiative
Appropriateness to Australia
UK large scale social housing
Highly appropriate as the private asset market fails to deliver sufficient stock as
delivery
shelter for lower income earners.
UK affordable housing
Highly appropriate. MIZ is necessary to increase the scale and viability of the
requirements (% of new units) CHP sector. Highly appropriate as an inclusionary requirement – delivery of AH is
part of the licence to develop.
UK (Letwin report) zone
This is a confusing report – after learning the obvious that private landowners /
simplification reforms‘
developers do not voluntarily flood the market to depress prices – the report
assumption of sustainable
does not recommend any policy reform addressing this. The findings relating to
development’
supply are inappropriate and destructive. It denies the public value of well
aligned strategic planning and cost-effective infrastructure delivery. It works
against achieving strategic place outcomes. UK is now retreating from flagged
zoning / approval process reforms.
UK (Letwin report)
Ineffective – as the councils cannot be accountable for development behaviour
compulsory housing delivery
and rate of their delivery of approved dwellings.
targets for councils
US (zoning reform – racial
Not relevant - US zoning has had a different context and is seen as entrenching
integration objective)
racial exclusion. Current reforms are a distinct social initiative.
US (rent control)
Australia has typically had forms of rent control (eg AH in perpetuity) or rent
subsidy (eg NRAS) – they are an important driver of the AH sector.
NZ supply / land release focus
Being abandoned – as NZ moves towards a demand side focus to address
/ merit assessment initiatives
housing affordability. NZ is also moving away from an ‘effects based’ planning
system. Brockhoff and Spiller (2020) comment on this pro-market reform has
generated a risk laden, transaction cost heavy system of planning. The NZ
Government is now turning its attention to reinstating a ‘vision based’ model.
Planning Institute of Australia
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Phone: 02 6262 5933 | Fax: 02 6262 9970 | Email: [email address] |
@pia_planning Planning Institute of Australia planning.org.au/act
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Planning Institute of Australia
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Australia’s Trusted Voice on Planning
AUSTRALIAN CAPITAL TERRITORY c/- PO Box 5427 KINGSTON ACT 2604 | ABN: 34 151 601 937
Phone: 02 6262 5933 | Fax: 02 6262 9970 | Email: [email address] |
@pia_planning Planning Institute of Australia planning.org.au/act
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Australia’s Trusted Voice on Planning
AUSTRALIAN CAPITAL TERRITORY c/- PO Box 5427 KINGSTON ACT 2604 | ABN: 34 151 601 937
Phone: 02 6262 5933 | Fax: 02 6262 9970 | Email: [email address] |
@pia_planning Planning Institute of Australia planning.org.au/act
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AUSTRALIAN CAPITAL TERRITORY c/- PO Box 5427 KINGSTON ACT 2604 | ABN: 34 151 601 937
Phone: 02 6262 5933 | Fax: 02 6262 9970 | Email: [email address] |
@pia_planning Planning Institute of Australia planning.org.au/act