Applying the High Value High Risk Process to Unsolicited Proposals

Tabled: 19 August 2015

Overview

Effective infrastructure planning and delivery are critical to the state’s future prosperity and liveability. Government introduced the High Value High Risk (HVHR) process to address systematic weaknesses undermining agencies’ performance in managing major projects.

VAGO’s June 2014 HVHR audit called for the Department of Treasury and Finance (DTF) to apply the HVHR process to unsolicited proposals where the private sector approaches government with a proposal to build infrastructure and/or provide services.

DTF has not consistently applied the HVHR process to unsolicited proposals. DTF’s guidance falls short of ensuring a rigorous assessment of the likely benefits of unsolicited proposals, and of providing the transparency needed to enable affected stakeholders and the wider community to understand the full impacts.

Applying the HVHR process to the CityLink Tulla proposal has not resulted in the information underpinning this project’s approval comprehensively meeting DTF’s better practice guideline.

In contrast, the way in which the HVHR process was applied to the Cranbourne Pakenham interim offer was much better. However, it remains unclear how the absence of elements essential for defining and realising benefits, such as a cost benefit analysis and benefit management plan, would have been addressed to adequately inform government's consideration of a more detailed final offer.

My recommendations are designed to address deficiencies in how the HVHR process is applied to proposals and to improve how agencies scrutinise project benefits, assess funding options and engage affected stakeholders when informing government decisions.

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Applying the High Value High Risk Process to Unsolicited Proposals: Message

Ordered to be published

VICTORIAN GOVERNMENT PRINTER August 2015

PP No 75, Session 2014–15

The Hon. Bruce Atkinson MLC

President

Legislative Council

Parliament House

Melbourne

The Hon. Telmo Languiller MP

Speaker

Legislative Assembly

Parliament House

Melbourne

Dear Presiding Officers

Under the provisions of section 16AB of the Audit Act 1994, I transmit my report on the audit Applying the High Value High Risk Process to Unsolicited Proposals.

The audit assessed whether the High Value High Risk (HVHR) process has been effectively applied to two unsolicited proposals—the $1.3 billion CityLink Tulla Widening project and the $2.5 billion Cranbourne Pakenham Rail Corridor project (Cranbourne Pakenham).

I found that the Department of Treasury and Finance has been inconsistent in applying the HVHR process to these proposals.

For the CityLink Tulla Widening project, additional scrutiny had partly or fully assured the project costs, time lines, risks, governance, project management and procurement. However, I found weak assurance about the deliverability of the proposal's benefits, inadequate assessment of the alternative funding options and inadequate engagement with stakeholders about the likely impacts. These weaknesses affected the completeness of the advice provided to government.

The application of the process to the Cranbourne Pakenham interim offer was much better. However, it remains unclear how the absence of elements essential for defining and realising benefits, such as a cost benefit analysis and benefit management plan, would have been addressed if the proposal had proceeded to a final offer.

I have made three recommendations to address deficiencies in how the HVHR process is applied to proposals and to improve how agencies scrutinise project benefits, assess funding options and engage affected stakeholders when informing government decisions.

Yours faithfully

Signature of John Doyle (Auditor-General)

John Doyle MBA FCPA

Auditor-General

19 August 2015

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Auditor-General's comments

John Doyle, Victorian Auditor-General

John Doyle

Auditor-General

Audit team

Ray Winn—Engagement Leader

Kate Kuring—Team Leader

Sid Nair—Analyst

Engagement Quality Control Reviewer

Tony Brown

Well-planned, timely and high-quality infrastructure is essential in shaping a society that is prosperous, liveable and sustainable and this especially applies to Victoria with Melbourne expected to grow from 4.5 million to 8 million people by 2050.

My 2015–16 annual plan has a strong focus on infrastructure because of the scale of this challenge, community concerns over infrastructure provision and repeated, past audit findings highlighting planning and delivery weaknesses.

I am pleased that government has introduced the Infrastructure Victoria Bill in June 2015 to change how it plans and delivers infrastructure. Infrastructure Victoria will:

  • develop a 30-year evidence based infrastructure strategy with strong community support as an essential input to setting government priorities, improving intended outcomes and advising on the funding options
  • be available to provide independent scrutiny, especially for strategically important, complex, high-value projects, advising on alignment with long-term plans and the rigour of the business case, modelling and other assumptions.

The government's clear intent is that transparency and evidence must underpin infrastructure decision-making so that the community can be properly involved in decisions affecting them, and properly informed about the basis for proceeding.

Following my 2014 audit Impact of Increased Scrutiny of High Value High Risk Projects, government accepted that high value unsolicited proposals should be covered by the High Value, High Risk (HVHR) process. The Department of Treasury and Finance's (DTF) updated guidance integrated the unsolicited proposal, HVHR and Gateway Review processes.

This audit examined the application of this updated approach to two unsolicited proposals already in development—the $1.3 billion CityLink Tulla Widening project (CityLink Tulla) and the $2.5 billion Cranbourne Pakenham Rail Corridor project (Cranbourne Pakenham).

I found that DTF has been inconsistent in applying the HVHR process to unsolicited proposals.

For the CityLink Tulla final proposal, additional scrutiny had partly or fully assured the project costs, time lines, risks, governance, project management and procurement. However, I found weak assurance about the deliverability of the proposal's benefits, inadequate assessment of the alternative funding options and inadequate engagement with stakeholders about the likely impacts. These weaknesses affected the completeness of the advice provided to government.

The application of the HVHR process to the Cranbourne Pakenham interim offer was much better, especially in understanding how well the proposal would address a well-established need. In contrast to the road network, long-term plans for the rail network and the Dandenong corridor, provided a clear basis for assessing the proposal's benefits and risks at this stage of development.

For Cranbourne Pakenham, this information was sufficient to advise government whether the proposal should proceed beyond the interim offer. However, it remains unclear how the absence of a cost benefit analysis and benefit management plan, would be addressed to adequately inform consideration of a detailed final offer.

The way that unsolicited proposals are currently developed is insufficient. While DTF has improved the guidance for unsolicited proposals, it does not provide an adequate basis for applying the HVHR process.

DTF needs to address these deficiencies in the scope and quality of information and ensure that the community is properly involved in decisions and informed about their impacts.

Agencies also need to improve:

  • the scrutiny applied to estimating and verifying the benefits of unsolicited proposals at the final offer stage—while there are clear benefits from these projects, we are not assured that agencies have adequately examined the risks and uncertainties that threaten to diminish these benefits over time
  • how they assess alternative funding options because for CityLink Tulla we did not find a comprehensive analysis of the costs and benefits of the alternatives
  • how they engage stakeholders because of the risk that decisions will be locked in that seriously affect stakeholders without their voice being heard.

Failing to adequately engage the public in developing strategies and projects risks alienating the community and is more likely to lead to poorly informed and implemented decisions. I found that the engagement of stakeholders significantly affected by the CityLink Tulla proposal was inadequate. For example, an approximate doubling of commercial vehicle tolls is likely to significantly impact the operators of these vehicles but they were not adequately consulted on the impacts.

In January 2015 I published a guide on Public Participation in Government Decision-making in the absence in Victoria of guidance to help agencies do this effectively. I encourage public sector agencies to apply the practices in this guide.

Finally, there is an urgent need for evidence-based, long-term infrastructure planning as the essential context for framing project decisions, improving scrutiny of business case assumptions and providing greater transparency to properly engage and inform the community.

I look forward to the implementation of Infrastructure Victoria and I intend to monitor progress towards its goals through my ongoing program of audits.

Signature of John Doyle (Auditor-General)

John Doyle MBA FCPA

Auditor-General

August 2015

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Audit Summary

Background

Effective infrastructure planning and delivery are critical to the state's future prosperity and liveability. Government introduced the High Value High Risk (HVHR) process to address systemic weaknesses undermining agencies' performance in developing and investing in major projects.

The goal of the HVHR process is to achieve more certainty about the deliverability of infrastructure projects, including their intended benefits and ability to meet planned costs and time lines. The HVHR process does this by applying greater scrutiny, including a more rigorous review of business cases and procurements.

VAGO's June 2014 audit, Impact of Increased Scrutiny of High Value High Risk Projects, examined the application of the HVHR process to five infrastructure projects. The report concluded that the HVHR process had improved project scrutiny but not to a level where practices comprehensively met the Department of Treasury and Finance's (DTF) better practice guidelines. Significant gaps remained and government was still exposed to the risk of approving projects that would likely fail to deliver the intended benefits on time and on budget.

One of VAGO's recommendations called for DTF to apply HVHR reviews to unsolicited proposals where the private sector approached government with a proposal to build infrastructure or provide services. Unsolicited proposals are underpinned by basic project specifications before being developed into full proposals. In doing this DTF faced the challenge of adapting a process designed for public sector business cases to unsolicited proposals.

DTF accepted this recommendation, provided advice to government in July 2014 and published updated guidance integrating the unsolicited proposal, HVHR and Gateway Review processes in the following month—August 2014.

This audit assessed whether the HVHR process has been effectively applied to unsolicited proposals by examining:

  • DTF's advice to government about how to do this
  • the application of the HVHR process to two major unsolicited proposals namely:
    • the CityLink Tulla Widening project (CityLink Tulla) involving the $1.3 billion expansion of the M1 freeway between the Burnley Tunnel and Tullamarine airport
    • the Cranbourne Pakenham Rail Corridor project (Cranbourne Pakenham), a $2.5 billion proposal to expand the capacity of the Dandenong rail corridor and eliminate four major level crossings to reduce traffic delays.

These proposals were well underway when government announced they would be covered by the HVHR process in May 2014 and approved the guidelines for applying the HVHR process to them. HVHR assessments were critical inputs to government decisions in April 2015, when CityLink Tulla was approved for implementation, and in March 2015, when the Cranbourne Pakenham interim offer was rejected, thereby not allowing it to proceed.

Conclusions

DTF has not been effective in consistently and comprehensively applying the HVHR process to unsolicited proposals.

DTF's guidance falls short of ensuring a rigorous assessment of the likely benefits of unsolicited proposals and providing the transparency needed to enable stakeholders and the wider community to understand the full impacts of these proposals. These gaps are significant and evident—to different degrees—in the two unsolicited proposals examined.

Applying the HVHR process to the CityLink Tulla proposal has not resulted in the information underpinning this project meeting DTF's better practice guidelines consistently or comprehensively. When making the decision to support this proposal, government was not fully informed and DTF missed the opportunity to advise about the risks to realising the proposal's benefits and how to mitigate these.

The additional HVHR process scrutiny partly or fully assured the costs, time lines, risks, governance and project management, and procurement of CityLink Tulla. However, there was weak assurance about the deliverability of the proposal's benefits, inadequate assessment of the alternative funding options and inadequate engagement with stakeholders about the likely impacts.

In contrast, the way in which the HVHR process was applied to the Cranbourne Pakenham interim offer was much better. The proposal was subject to rigorous assessment of the costs, time lines, benefits and risks, and DTF fully advised government. This is partly because the evidence-based, long-term plans for the rail network and the Dandenong corridor provided a clear perspective on the problems that needed to be addressed and how the proponent could best contribute to improving services.

However, it remains unclear how the absence of elements essential for defining and realising benefits—such as a cost-benefit analysis and benefit management plan—would have been addressed in the Cranbourne Pakenham final offer.

The often inherent lack of competitive tension in these proposals, the likely long-term costs to the community and the significant impacts on specific stakeholders mean that DTF needs to improve:

  • the level of rigour applied to assessing and realising the intended benefits
  • the transparency of these proposals by requiring them to clearly communicate value for money, better justify the preferred funding approach and convey how affected stakeholders will be impacted by the proposal's costs and benefits.

The experience with Cranbourne Pakenham reinforces the importance of assessing proposals in the context of a well-developed, long-term planning framework.

Findings

Advice and guidelines on applying the HVHR process

The way that unsolicited proposals are currently developed is unlikely to consistently and comprehensively inform HVHR assessments. While DTF has improved the guidance for unsolicited proposals, it does not provide a comprehensive and adequate basis for applying the HVHR process to them.

The February 2015 Market-Led Proposals Interim Guideline marked a step forward with its commitment to greater transparency and developing a better understanding of the benefits. However, it was not underpinned by the type of detailed guidance and measures needed to do this. This is especially critical where government does not have a longer-term plan that adequately defines need and allows DTF and other agencies to see where a proposal might appropriately fit.

In terms of transparency, government has yet to finalise how it communicates the costs, funding, rationale and expected benefits of committed unsolicited proposals. Current approaches to reporting on infrastructure projects do not adequately convey this information to the community.

DTF publishes more information for public private partnerships (PPP) than for other infrastructure projects in the form of a project summary. However, this summary does not adequately explain the full costs and impacts on stakeholders nor provide sufficient assurance about the rigour of the options assessment. DTF needs to advise government how to better communicate this information for all infrastructure projects including unsolicited proposals.

For example, the private sector proponent will contribute $850 million (in September 2014 dollars) to CityLink Tulla and is expected to recover an equivalent toll revenue stream worth approximately $3.2 billion up to 2035. Providing sufficient detail to stakeholders—including the public—about the funding approach, the nature of payments and how these are calculated, and the impact on different stakeholders are critical aspects of transparency.

In terms of the rigour of advice, the guidelines are unlikely to produce proposals that provide the clarity and depth of information needed to rigorously and consistently assure that proposals' stated benefits are deliverable.

DTF needs to advise government on how to improve the unsolicited proposal guidance, its application and the public sector's role in assessing proposals, in order to:

  • ensure that the essential information needed to inform government about the deliverability of a project is produced and verified
  • more fully assure Parliament and the community about the rigour of accepted proposals
  • better convey the financial and other impacts of the preferred option on government and other stakeholders.

Application to the CityLink Tulla proposal

The application of the HVHR process to CityLink Tulla had significant gaps which DTF needs to address for similar proposals in the future. The lack of sufficient information on the project's benefits, the absence of a full funding analysis and weaknesses in the approach to stakeholder engagement are fundamental gaps which compromise the quality of advice government is entitled to receive.

Benefits

The information provided on the project's benefits and the risks that threaten to undermine their realisation is inadequate. In reviewing the July 2014 draft business case, DTF found the discussion of benefits to be superficial and lacking validation. We agree with this assessment and did not find any material improvement in the information provided in the final April 2015 business case.

The material underpinning the business case identified potentially significant risks to the full realisation of the project benefits, and these risks were not described or mitigated in the final business case.

One area of recurrent concern is the absence of a structured and effective approach to assuring the quality of the transport modelling and the economic appraisal approach and results. Applying these models is complex and checking that assumptions are reasonable and properly applied is essential.

CityLink Tulla motorway. Photograph courtesy of VicRoads.

CityLink Tulla motorway. Photograph courtesy of VicRoads.

Over the past six months the Department of Economic Development Jobs Transport & Resources (DEDJTR) has put a governance framework in place to ensure that there are consistent assumptions underpinning the transport modelling and economic appraisal of projects, and that these have been properly applied. The formal processes to check that assumptions have been appropriately applied were agreed in June 2015 and therefore were not applied to the CityLink Tulla proposal.

It is critical that DEDJTR evaluate the effectiveness of these processes in improving the level of rigour and assurance applied to these areas for transport infrastructure projects.

Funding analysis

The value-for-money assessment for CityLink Tulla was narrow and did not incorporate a comprehensive and thorough analysis of the costs and benefits of alternative funding options. During the development process, government requested the assessment of a range of tolling options, in terms of their impacts on transport outcomes and toll revenue, while acknowledging that toll levels should reflect the benefits obtained by travellers and should avoid disproportionate impacts.

The audited agencies have been unable to justify the proposed tolling of goods vehicles as the preferred funding approach. They have not provided a full and objective assessment of a range of alternative funding options.

Stakeholder engagement

The approach to stakeholder engagement has not been satisfactory and the advice to government on stakeholder concerns has been incomplete. A stakeholder engagement strategy was not formed until after the funding approach had been decided.

DTF advised government that there was cautious industry support for funding the project through the proposed goods vehicle toll increases because the industry understands the intended benefits. VicRoads advice to us during the course of the audit was consistent with this DTF advice.

This advice is not consistent with the documentary evidence, especially the strong and public opposition by the major Victorian freight and logistics industry association—the Victorian Transport Association—to the increased tolls. Other freight industry stakeholders publicly supported the project but were not clear that they supported the funding arrangements.

Agencies need to form a stakeholder engagement strategy for government approval early in the unsolicited proposal process. This will formalise decisions on when, how and by whom stakeholders are engaged, while taking account of the risks.

Application to the Cranbourne Pakenham proposal

DTF effectively applied the HVHR process to inform government's decision about whether to proceed with this unsolicited proposal. The assessment described the progress made by the proponent but also the areas where it fell short of meeting the HVHR criteria.

DTF concluded that without an additional 12 to 16 weeks beyond the end of March 2015 deadline for the final offer, it was unlikely to pass the value-for-money and HVHR assessments. In this case, the HVHR assessment clearly fulfilled its role of informing government about whether to proceed with the proposal.

However, the process for developing this unsolicited proposal did not include a cost-benefit analysis or allocate responsibility for developing and applying a benefit management plan. These are mandatory for state-initiated projects and essential for informing government decisions and for tracking and managing benefits after delivery. It is unclear from the current guidelines how these practices should be applied to unsolicited proposals.

The major lessons to draw from Cranbourne Pakenham are:

  • the ongoing importance of government decisions being informed by rigorous assessment and thorough information and advice
  • the value of proposals' assessment taking place in the context of a comprehensive plan for addressing defined problems in the short, medium and long term
  • the dangers of the current ambiguity about the inclusion of essential information in proposals—this needs to be better defined and the responsibility for doing this rests with DTF.

Recommendations

  1. That the Department of Treasury and Finance reviews the current market-led proposals guidelines and advises government how to:
  • address deficiencies in the scope and quality of information provided in unsolicited proposals where this is insufficient to fully inform High Value High Risk assessments at relevant assessment stages
  • ensure the reporting requirements communicate the full impact of proposals to Parliament and the community, and provide them with greater assurance about the rigour of the analysis informing government decisions.
  1. That the Department of Economic Development, Jobs, Transport & Resources evaluates the effectiveness of the governance framework recently introduced to assure the quality of transport forecasts and economic appraisals.
  2. That the Department of Treasury and Finance:
  • improves the level and depth of scrutiny applied to verifying benefits of all unsolicited proposals that proceed to full development
  • fully assesses the viable, alternative proposal funding options for unsolicited proposals
  • requires that relevant agencies define stakeholder engagement strategies for proposals that proceed to full development.

Submissions and comments received

We have professionally engaged with the Department of Treasury and Finance, the Department of Economic Development, Jobs, Transport & Resources, VicRoads and Public Transport Victoria throughout the course of the audit. In accordance with section 16(3) of the Audit Act 1994 we provided a copy of this report, or relevant extracts to those agencies and requested their submissions or comments.

We have considered those views in reaching our audit conclusions and have represented them to the extent relevant and warranted. Their full section 16(3) submissions and comments are included in Appendix A.

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1 Background

1.1 Introduction

Effective infrastructure planning and delivery are critical to the state's future prosperity and liveability. Government introduced the High Value High Risk process (HVHR) to address systemic weaknesses undermining agencies' performance in developing and investing in major projects.

This Part of the report:

  • outlines the purpose and nature of the HVHR process
  • summarises VAGO's previous audit on the HVHR process as applied to traditional, state-initiated projects
  • explains how the process has been modified for unsolicited proposals
  • describes the scope and conduct of this audit with its focus on how well agencies applied the HVHR process to two major unsolicited proposals.

1.2 The HVHR process

The goal of the HVHR process is to achieve more certainty over the delivery of the intended benefits of infrastructure projects to planned budgets and time lines through more rigorous review of business cases and procurements.

In introducing the HVHR process, the Department of Treasury and Finance (DTF) advised government that the priority was to:

  • enforce the requirement for a robust business case with clear project objectives, well-defined benefits, a rigorous appraisal of options, selection of appropriate procurement methods and appropriate governance and management
  • clearly articulate a tender proposal, appointment approach and contract management framework that appropriately allocates and manages risk, delivers benefits and effectively manages scope and cost.

For a state-initiated project, HVHR involves DTF providing additional assurance to the Treasurer at key stages of the project to address these priorities.

Figure 1A shows, for a state-initiated project, how HVHR is integrated with:

  • departmental, quality-assured documentation—justifying the investment and its procurement and implementation approaches
  • DTF review and advice to government—advising on the value and complexity of each investment, determining the depth and type of review applied
  • the Gateway Review process—examining investments at key decision points and providing advice to the project's senior responsible person.

Figure 1A

Investment review process

Figure 1A shows the investment review process

Source: Department of Treasury and Finance, Investment Lifecycle and High Value/High Risk Guidelines—Overview, 2014.

1.2.1 VAGO's June 2014 HVHR audit

VAGO first audited the HVHR process and its application to five infrastructure projects in June 2014. The report, Impact of Increased Scrutiny of High Value High Risk Projects, concluded that applying the process had made a difference to the quality of the business cases and procurements of government's infrastructure investments. However, these improvements had not improved practices to the point that they consistently and comprehensively met DTF's better practice guidelines. Significant gaps remained and consequently the government was still exposed to the risk of projects failing to deliver the intended benefits on time and within approved budgets.

A key issue identified in the 2014 audit was a lack of clarity around whether all relevant projects were being included in the HVHR process, including high-risk projects valued between $5 million and $100 million, projects funded outside the typical budget process and projects arising from unsolicited proposals.

VAGO recommended that DTF improve how it:

  • administers the process, addressing specific records management issues
  • selects projects for inclusion in HVHR, especially for risky projects valued at less than $100 million and for projects generated as unsolicited proposals
  • assesses the rigour of project business cases, especially in relation to project benefits
  • evaluates the impact of HVHR and communicates learnings to departments.

DTF accepted all recommendations, with completion dates ranging from September 2014 to June 2015 for six recommendations.

In response to VAGO's recommendation that unsolicited proposals valued over $100 million be subject to HVHR processes, DTF committed to review the guideline and advise government by September 2014 on how HVHR should be applied.

1.3 Developing unsolicited proposal guidelines

An unsolicited proposal is one made to government by the private sector to build infrastructure and/or provide services. It involves the private sector seeking government support for proposals based on basic project specifications.

Government wants to realise the benefits of innovative ideas and unique options that offer great value, while continuing to apply rigorous assessment processes to prove these proposals are viable, and be assured that the expected benefits are deliverable within forecast costs and time lines.

The support being sought in these proposals is typically financial but may also include regulatory or other forms of assistance. Government may agree to advance the proposal in exclusive negotiations if the proponent can demonstrate that it alone can best deliver value for money and benefits that are valuable to government but it may also decide to go to a competitive tender process.

Proposals are assessed for uniqueness which might involve a proponent:

  • having a unique idea or the use of Intellectual Property critical to the proposal
  • holding a unique position or advantage, for example holding the rights under an existing contract, owning land, technology or software, or having exclusive access to or control over strategic assets.

DTF published the first Unsolicited Proposal Guideline in February 2014. The government elected in late 2014 replaced this with the Market-led Proposals Interim Guideline in February 2015. These, together with an August 2014 update about how the HVHR process should be applied to these proposals, are described in the following Sections.

1.3.1 February 2014 Unsolicited Proposal Guideline

This guideline aims to provide 'a transparent framework that sets out a clear and consistent process for project assessment and contracting where private sector parties approach government with an unsolicited proposal'.

The government's objectives for these proposals include:

  • developing innovative ideas with the private sector where appropriate
  • ensuring an open, transparent and fair process that involves a high standard of probity and public accountability
  • incorporating open competition wherever possible
  • ensuring value for money for government is achieved
  • ensuring projects' benefits for government are measurable and can be maximised
  • ensuring the private party's intellectual property is respected and that private parties are fairly compensated as part of the process.

It also stipulates minimum requirements that a proposal will only be pursued where:

  • there is a need and appetite for the project that is consistent with government policy objectives and in the public interest
  • it is financially, economically and socially feasible and capable of being delivered
  • it has a degree of uniqueness that means it could not reasonably be delivered by another private party or achieve the same value for money through a competitive process within acceptable time frames
  • it represents value for money and provides benefits to government.

Figure 1B summarises the guideline's five-stage process for achieving these things.

Figure 1B

Summary of Unsolicited Proposal Guideline process

Stage

Description

Stage 1

Receiving an unsolicited proposal

Defines minimum information required on uniqueness, commercial and financial details, delivery method and the intended benefits for the state and the community.

Stage 2

Preliminary assessment

An inter-agency working group is formed to assess:

  • the merits of the proposal with respect to government policy, service need, intended benefits and the financial and commercial aspects
  • whether the uniqueness of the proponent and the characteristics of the proposal justify exclusive negotiation.

A recommendation is made to government on whether and how the proposal should proceed.

Stage 3

Developing the proposal in exclusive negotiations

Formalise how the proposal will be developed and evaluate, in greater detail, its merits while confirming exclusive delivery and the best form of procurement. Form a steering committee to do this with determining value for money being a key concern at this stage.

Stage 4

Negotiating and finalising a binding offer

In making a recommendation, the steering committee should consider the final proposal's value for money, its cost compared to an approved budget, the risk allocation and the impact of any material changes that affect its desirability.

Stage 5

Award contract

Enter binding contractual arrangements, agree governance structure and publish a project summary.

Source: Victorian Auditor-General's Office.

1.3.2 August 2014 incorporation within HVHR process

Following VAGO's recommendation that unsolicited proposals over $100 million be subject to HVHR, DTF proposed and government endorsed how unsolicited proposals should be integrated with the HVHR and Gateway Review processes.

The HVHR process should be applied to unsolicited proposals that:

  • have a total estimated government investment of more than $100 million, or
  • are identified as high risk using an approved risk assessment tool, noting that the focus would be on risk to government and residual risk, or
  • government determines warrant the rigour of increased oversight.

DTF published a diagram showing the integration to supplement the February 2014 guidance and we examine the quality of this guidance and the analysis underpinning it in Part 2 of the report.

One of the challenges examined in Part 2 is how to apply HVHR requirements designed for conventional state-initiated projects to the process for developing unsolicited proposals. For state-initiated projects, portfolio agencies develop business cases and then tender documentation to inform the HVHR assessment.

In contrast, proponents of unsolicited proposals provide this information in their proposals, with government oversight agencies playing a greater role in helping them define the investment logic and the proposal's benefits. It is intended that the full set of information for the HVHR assessment and to support government decisions is built up throughout the stages both by the private sector and the public sector and generally is developed later in the process than for a conventional state-initiated project.

1.3.3 February 2015 Market-led Proposals Interim Guideline

The Unsolicited Proposal Guideline was updated in February 2015 by the new government which was elected to Parliament in November 2014.

The updated guideline provides more detail on the process but does not fundamentally change government's approach to unsolicited proposals. The objectives are similar and the five-stage approach has been retained.

The government wanted to provide additional transparency by explaining in more detail what the process involved and making some changes to its operation. These changes include:

  • encouraging proponents to conduct a pre-submission meeting with government to discuss requirements and information expectations
  • more clearly mandating whether a competitive approach should be pursued during the stage 2 preliminary assessment of the proposal
  • providing more detail on the criteria used to determine uniqueness and on how value for money would be assessed through both quantitative and qualitative assessments of costs, risks and intended benefits
  • more detailed requirements around probity planning
  • earlier public disclosure of the unsolicited proposals government is considering.

1.4 Applying HVHR to two unsolicited proposals

May 2014 Budget Papers identified that government was progressing two unsolicited proposals that would be subject to the HVHR process—the CityLink Tulla Widening project (CityLink Tulla) and the Cranbourne Pakenham Rail Corridor project (Cranbourne Pakenham).

Figure 1C summarises the development of these proposals alongside the dates when DTF published its guidelines.

Figure 1C

Time line of process and project development

Date

Process development

CityLink Tulla

Cranbourne Pakenham

November 2011

Proponent approached state with initial concept

August 2012

1. Proposal received

October 2012

VicRoads initial due diligence

December 2012

2. Preliminary assessment

Proceed to full proposal

September 2013

Probity and process deed signed

October 2013

1. Proposal received

December 2013

Unsolicited Proposal Guideline endorsed

January 2014

2. Preliminary assessment Proceed to full proposal

February 2014

Unsolicited Proposal Guideline published

March 2014

Commitment deed executed

April 2014

In-principle agreement signed

May 2014

May 2014 budget confirms proposals covered by HVHR

June 2014

First VAGO HVHR report tabled

July 2014

Government considers draft business case for all three sections in support of sections 1 and 2

Develop final business case for state-initiated works

3. Develop full proposal

August 2014

Government approves process to apply HVHR to unsolicited proposals

September 2014

Gateway Reviews 1–4 completed for all sections of the project

4. Submit binding offer

Gateway Reviews 1–3 completed

October 2014

5. Award contract Commonwealth contribution to section 1 confirmed

Project finalisation agreement 3. Develop full proposal

November 2014

State election leads to change of government

December 2014

East West Link halted and CityLink Tulla financial close suspended

January 2015

Repeat 3. Revise full proposal

4A. Submit interim offer

February 2015

Market-led Proposals Interim Guideline published

March 2015

Business case updated for all sections but specifically to support state-initiated works

Repeat 4. Submit binding offer

Interim offer assessed and final offer due end of March

DEDJTR evaluation of offer and DEDJTR/DTF advice on HVHR and alignment of proposal with rail election commitments

Government rejects the unsolicited proposal

April 2015

Government agrees to proceed with the amended CityLink Tulla proposal

Note: DEDJTR = the Department of Economic Development, Jobs, Transport & Resources.

Source: Victorian Auditor-General's Office based on DTF documentation.

1.4.1 CityLink Tulla Widening project

This project aims to build capacity, boost performance and improve safety on one of Melbourne's busiest roads.

The government received an unsolicited proposal in August 2012 to widen the CityLink freeway up to Bulla Road, to be funded through increased tolls. The government expanded the project to incorporate state-initiated works which expand the upgrade to cover a total of 23.8 kilometres of the freeway between the Burnley Tunnel and Melbourne Airport.

In October 2014, government entered into a contract for the proposal. Following the November 2014 election, government revised the proposal to take into account the cancelled East West Link project. In April 2015, government signed a contract with the proponent to fund and deliver works between the Burnley Tunnel and Bulla Road and to partly fund works between Bulla Road and Melrose Drive. The section of freeway between Melrose Drive and the airport is jointly funded by the Commonwealth and the state.

CityLink Tulla, Bolte Bridge.
Photograph courtesy of Nils Versemann/Shutterstock.com.

CityLink Tulla, Bolte Bridge. Photograph courtesy of Nils Versemann/Shutterstock.com.

Figure 1D includes the unsolicited work—section 3—and state-initiated works—sections 1 and 2.

Figure 1D

CityLink Tulla scope

Project boundaries

Map outlining the project boundaries

Project scope

Works

  • Create extra lanes in each direction through a combination of new construction and the use of emergency lanes (section 3).
  • Introduce a freeway management system used to control ramp access and lane management.
  • Junction upgrades to improve capacity and merging.
  • Unsolicited proposal funds sections 2 and 3 with the proponent delivering section 3.
  • VicRoads delivering sections 1 and 2.

Costs and funding

  • The $250 million section 1 costs funded by Commonwealth and state government contributions. Section 1 is outside of the scope of the unsolicited proposal.
  • The costs at May 2015 were:
    • section 2—$214.7 million
    • section 3—$657.5 million.
  • Of the total of $872.2 million, $851.1 million comes from toll revenue and $21.1 million, from the government.
  • The proponent will recoup this outlay by:
    • raising toll charges for commercial vehicles
    • extending the period of time when tolls can rise by more than CPI
    • accommodating more traffic as a result of the improvements.

Project development and assessment

  • Sections 1 and 2 are similar to normal state-initiated projects. Both are developed through approval of a business case subject to the HVHR process.
  • The approval of section 3 was based on review of a full proposal.
  • The scope and costs were revised early in 2015 following the East West Link cancellation.
  • Final approval came in late April 2015.

Source: Victorian Auditor-General's Office based on information from VicRoads.

1.4.2 Cranbourne Pakenham Rail Corridor project

In March 2014, the government announced the Cranbourne Pakenham Rail Corridor project as the first project to be progressed under the new unsolicited proposal guidelines. The project was a $2 to 2.5 billion—approximately $5 billion in total service payments—initiative to increase capacity on the rail corridor. The proponent under the Project Finalisation Agreement comprised the same entities as the shareholders of the current metropolitan rail franchise.

Figure 1C shows that, a year later in March 2015, government rejected this unsolicited proposal based on an evaluation of the interim offer which raised issues about the project's alignment with the government's broader transport policy commitments.

Figure 1E describes the proposal scope.

Figure 1E

Cranbourne Pakenham scope

Cranbourne and Pakenham lines

Map of the Cranbourne and Pakenham lines.

Project scope

Works

  • The design, construction, financing and maintenance of:
    • 25 new high capacity trains
    • a new train maintenance depot at Pakenham East
    • upgraded conventional signalling across the corridor and initial deployment of high capacity signalling on the Cranbourne to Dandenong section.
  • The design, construction, financing and transfer to the state of:
    • power upgrades
    • removal of four level crossings at Murrumbeena, Koornang, Clayton and Centre roads
    • minor modifications to assets along the corridor.

Procurement

  • The special purpose vehicle comprising the same entities as the shareholders of the current metropolitan rail franchise.
  • Competitive processes for packages overseen by the special purpose vehicle.
  • Public private partnership type arrangement over a 15-year period and regular payments.

Cost

  • $2.5 billion estimated cost discounted to today.
  • $2.4 billion estimated procurement capital costs.
  • $4.2 billion to $5.2 billion total service payments over the life of the project.

Project development and assessment

  • Developed through a series of proposals from the consortium.
  • Approval conditional on proponent meeting gates and milestones set out in the Project Finalisation Agreement.
  • HVHR and Gateway Reviews to inform government's decision to proceed to contract.
  • Value for money and HVHR assessment of interim offer, final offer and contract.

Source: Victorian Auditor-General's Office based on information from DTF.

1.5 Audit objective, scope and criteria

The objective of this audit was to assess whether the HVHR process has been effectively applied to unsolicited proposals identified as HVHR projects by examining:

  • DTF's advice to government about how to apply HVHR to unsolicited proposals
  • the application of HVHR to the CityLink Tulla and Cranbourne Pakenham unsolicited proposals.

Government identified these proposals as subject to the HVHR process in the May 2014 Budget. We viewed the application of HVHR to these proposals as critical given their size, innovative development and procurement approach, which involved negotiations with single proponents.

In examining CityLink Tulla, we extended the scope of this audit to cover the application of the HVHR process to both the unsolicited proposal and state-initiated works because these components, and the material supporting their development and funding, are so closely connected. The audit time frame spanned the period of proposal negotiation and assessment conclusion for both unsolicited proposals.

The government agencies engaged in this audit were the Department of Treasury and Finance, the Department of Economic Development, Jobs, Transport & Resources, VicRoads and Public Transport Victoria.

1.6 Audit method and cost

The audit team reviewed the documents held by the audited agencies and those generated by the government's consideration of the projects. The team also interviewed personnel responsible for the review and oversight of these projects.

The audit was conducted in accordance with section 15 of the Audit Act 1994 and the Australian Auditing and Assurance Standards.

Pursuant to section 20(3) of the Audit Act 1994, any persons named in this report are not the subject of adverse comment or opinion.

The total cost of the audit was $485 000.

1.7 Structure of the report

The report is structured as follows:

  • Part 2 examines the advice provided to government by DTF in applying VAGO's June 2014 recommendation about how unsolicited proposals should be subject to the HVHR process
  • Part 3 examines the HVHR process as applied to the CityLink Tulla proposal
  • Part 4 examines the application of the HVHR process to the Cranbourne Pakenham proposal.

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2 Integrating the HVHR and unsolicited proposal processes

At a glance

Background

This Part examines whether the Department of Treasury and Finance (DTF) has adequately responded to VAGO's June 2014 recommendation to advise government on including unsolicited proposals in the High Value High Risk (HVHR) process.

Conclusion

DTF has improved the guidance for unsolicited proposals. However, the way unsolicited proposals are currently developed is unlikely to provide all the information needed to inform an HVHR assessment. Proposals developed in line with the guidance are unlikely to provide the clarity or depth of information required about project benefits to be assured of a projects deliverability. They are also unlikely to provide sufficient transparency to assure the community about the rigour of the process.

Findings

  • DTF acted swiftly in August 2014 to implement VAGO's audit recommendation, but the resulting guidance and supporting analysis did not provide a comprehensive and effective basis for applying the HVHR process to unsolicited proposals.
  • The Market-Led Proposals Interim Guideline places more emphasis on developing a good understanding of benefits but fails to explain how to do this.
  • There is a lack of clarity about who is responsible for defining benefits and an ongoing risk that government decisions will not be adequately informed.

Recommendations

That the Department of Treasury and Finance advises government how to:

  • address deficiencies in the scope and quality of information in unsolicited proposals where this is insufficient to fully inform HVHR assessments
  • ensure the reporting requirements communicate the full impact of proposals to Parliament and the community, and provide them with greater assurance about the rigor of the analysis informing government decisions.

2.1 Introduction

This Part examines whether the Department of Treasury and Finance (DTF) has adequately responded to VAGO's June 2014 recommendation to subject unsolicited proposals over $100 million to the High Value High Risk (HVHR) process, by providing government with clear advice based on a comprehensive analysis of the issues.

In August 2014, government approved that the criteria used to include state-initiated projects in the HVHR process should be applied to unsolicited proposals. DTF presented government with a diagram to show how the unsolicited proposal, Gateway Review and HVHR processes would be integrated and this is included as Figure 2A.

In February 2015, the new government asked DTF to revamp its guidelines and communicated them in the Market-led Proposals Interim Guideline. Figure 1A in the Background Part of this report describes the major changes.

This Part of the report describes the challenges of applying the HVHR process to unsolicited proposals and assesses the clarity and comprehensiveness of the changes made to the guideline to incorporate the HVHR process.

2.2 Conclusion

The way that unsolicited proposals are currently developed is unlikely to provide all the information needed to inform an HVHR assessment. Unsolicited proposals do not typically define their intended outcomes in terms of the service benefits delivered to the community, prove that these benefits will be achieved, or encompass the full range of risks that are relevant to government. This contrasts with a full business case for a conventional, state-initiated project, which requires all of this information.

While DTF acted swiftly in August 2014 to implement VAGO's June 2014 audit recommendation, it missed the opportunity to properly address this issue when advising how best to integrate unsolicited proposals with the HVHR process.

The February 2015 Market-Led Proposals Interim Guideline represents an important step in the right direction. It places more emphasis on developing a good understanding of the benefits, however, it fails to explain how this is to be achieved. There is a lack of clarity about who is responsible for identifying benefits and there is a continued risk that government decisions will not be adequately informed by detail of the expected benefits.

DTF needs to advise government how to address this gap and supplement its guidance so that agencies and potential proponents are aware of the requirements and their responsibilities.

2.3 Challenges in applying the HVHR process

The requirements for informing government decisions on supporting projects should be the same irrespective of whether it is a government-funded project developed by a department through the budget process or an unsolicited proposal initiated outside of government. Government needs to have confidence that a project will deliver clearly defined benefits for Victorians for the estimated cost and within expected time lines, while effectively managing the risks.

Over the past decade DTF has worked to improve the way state-initiated projects are developed because this is critical to fully informing government decisions and delivering successful projects. The Investment Lifecycle Guidelines and more recently the HVHR process are designed to help agencies better define, develop and deliver predictable and valuable projects.

The private sector is likely to be focused on its own commercial interests in generating a proposal. This creates the risk of a diminished focus on understanding, defining and realising the service outcomes (or benefits) critical to the community. A recurrent finding across a wide range of VAGO audits is that agencies are poorly demonstrating the benefits of projects.

DTF advised that it is aware of these issues and does not expect proponents to incorporate the same breadth of information in the early stages of the project development process. Private proponents are likely to be wary of investing too much up front when it is uncertain whether government will support their proposals. Instead DTF understands that more of the essential groundwork will happen later in the process for these proposals compared to conventional state-initiated projects.

DTF is also aware that proponents are likely to focus on the costs, risks and timing of the outputs they plan to deliver. DTF sees a role for portfolio agencies in helping shape and clarify the connection between these outputs and the improved service outcomes that are the final goal and of most importance to government. In turn, there is a role for DTF in undertaking HVHR reviews of proposals to ensure that this work has taken place and that the service outcomes and benefits are clearly demonstrated before government commits its support.

The highest standards of transparency need to be applied to proposals because:

  • project ideas are generated by private companies that are commercially driven
  • confidentiality concerns mean these ideas may be developed without the same level of stakeholder engagement as conventional state-initiated projects have.

DTF has not yet finalised the reporting requirements. However, simply replicating the information provided in recent summaries for public private partnership projects is unlikely to adequately convey the full costs and impacts on stakeholders, or provide assurance about the rigour of the option's assessment.

The unsolicited proposals included in this audit experienced these challenges and we expected DTF to advise government about these issues and provide clarity about how applying HVHR would address them.

2.4 August 2014 update of the guidelines

DTF updated its guidance in August 2014 by publishing Figure 2A, showing the integration of the unsolicited proposal and HVHR requirements. However, it could not demonstrate that this work included a comprehensive analysis of the risks and issues around the completion of HVHR assessments for unsolicited proposals. The advice to government did not adequately convey how these risks should be mitigated.

2.4.1 Analysis underpinning DTF's advice

The documents describing DTF's work to address VAGO's June 2014 recommendation are insufficient for us to see that it comprehensively analysed the issues.

DTF advised that it considered the risks and practical challenges in applying the HVHR process to unsolicited proposals and how to overcome them, by exploring:

  • how to best align the HVHR and Gateway Review processes with the stages of assessment and delivery in the Unsolicited Proposal Guideline
  • criteria to classify unsolicited proposals as HVHR, including by the size and type of contribution from government and by the scale and type of risks that government would be exposed to.

From the documentary evidence provided, DTF could demonstrate that it:

  • consulted with the DTF HVHR committee in June 2014
  • consulted with the Unsolicited Proposals Interdepartmental Committee(IDC) in July 2014, presenting a draft diagram for integrating the Gateway Review, HVHR and unsolicited proposal review processes
  • further consulted the IDC to confirm a revised approach as shown in Figure 2A
  • presented to and gained government's approval for this approach in August 2014
  • published Figure 2A on its website where it remains a current document.

However, these documents did not show that DTF examined the practical challenges of applying the HVHR process to unsolicited proposals.

We did not find evidence showing how DTF determined that the existing criteria for including state-initiated projects in the HVHR process should be applied to unsolicited proposals. The effectiveness of this approach depends on the thorough application of a risk assessment tool for proposals requiring less than $100 million in state funding as these are not automatically subject to HVHR processes.

2.4.2 Advice to government

DTF provided advice to government in August 2014 recommending an approach to apply HVHR assessment to unsolicited proposals. This advice took the form of Figure 2A together with a brief providing the background and rationale for the proposed approach.

The main problem with the advice is that it did not raise the practical challenges of applying the HVHR criteria to unsolicited proposals and did not describe how DTF would address these challenges.

Figure 2A

Integration of the unsolicited proposals, HVHR and Gateway Review processes

Figure 2A shows integration of the unsolicited proposals, HVHR and Gateway Review processes.

Source: Department of Treasury and Finance.

2.5 February 2015 market-led proposals guideline

Changes in the 2015 Market-led Proposals Interim Guideline have the potential to address the issues we have identified by providing more direction on building a robust case for investment and how these will be assessed. However, the guidance still lacks detail around defining the intended outcomes and allocating clear responsibility between the proponent and government agencies for their achievement.

Under the revised guidelines:

  • proponents are required to articulate the benefits of interest to the state, including how the proposal is in the public interest, at Stage 1—the initial proposal
  • government must complete a qualitative and quantitative assessment of value for money that includes verifying these benefits at Stage 4—negotiating and finalising a binding offer.

An HVHR assessment of an unsolicited proposal should provide assurance about the deliverability of the intended benefits and the risks that threaten their realisation. It remains unclear who is responsible for generating the information needed to gain this type of assurance.

In presenting the revised guideline to government for approval, DTF did not specifically raise the significant difficulties in practically translating aspects of the HVHR assessment to unsolicited proposals. The advice highlighted the following key lessons from administering the previous guidelines with the need to better:

  • explain to proponents how to show their proposals are unique, offer value for money and align with government priorities
  • manage proponents' expectations, and draw their attention to the possibility that proposals may not proceed
  • consult with government prior to submission to improve proponents' process understanding.

DTF recognises the need to learn from the early unsolicited proposals and improve the process to address clear gaps and weaknesses. As at 30 June 2015 DTF advised us that of 45 proposals received, only five proposals have proceeded past Stage 2 and only one proposal has progressed to contract award at Stage 5. As a result, there have been limited opportunities to learn lessons from the early implementation.

However, for those proposals that do progress, DTF recognises that it needs to address the issues around the clarity and assurance of the benefits that will be delivered to the community. Unsolicited proposals, like conventional state-initiated projects, need to:

  • clearly define the investment logic, linking the proposal to the problems that need addressing and the benefits to the community that are valued by government
  • develop an understanding of these problems and benefits to a depth and quality equivalent to what is meant to be provided in a final business case.

DTF needs to advise government about how best to do this so that quality information is available in time to inform its decisions throughout the proposal development.

Recommendation

  1. That the Department of Treasury and Finance reviews the current market-led proposals guidelines and advises government how to:
  • address deficiencies in the scope and quality of information provided in unsolicited proposals where this is insufficient to fully inform High Value High Risk assessments at relevant assessment stages
  • ensure the reporting requirements communicate the full impact of proposals to Parliament and the community, and provide them with greater assurance about the rigour of the analysis informing government decisions.

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4 Cranbourne Pakenham Rail Corridor project

At a glance

Background

This Part examines whether the High Value High Risk (HVHR) process has been effectively applied to the Cranbourne Pakenham Rail Corridor project (Cranbourne Pakenham) to provide rigorous and comprehensive advice to government about whether and how to proceed.

Conclusion

The Department of Treasury and Finance effectively applied the HVHR process to the Cranbourne Pakenham unsolicited proposal. The HVHR assessment clearly fulfilled its role of informing government's decision about whether to proceed with the proposal.

Findings

  • The assessment described the progress made by the proponent but also the areas where it fell short of meeting the HVHR deliverability criteria.
  • The Department of Treasury and Finance concluded that without an additional 12 to 16 weeks, beyond the agreed end of March 2015 deadline for the final offer, the proponent's offer was unlikely to pass the value for money and HVHR assessments.
  • One potential and recurring weakness highlighted is the absence of sufficient guidance on how to apply the essential elements of a business case to an unsolicited proposal. It is unclear when or if a cost benefit analysis or a benefit management plan should be completed and who is responsible for these.
  • The well formed strategic rail plans for the whole network and the Dandenong corridor provided essential context for assessing the merits of this proposal.

4.1 Introduction

This Part examines whether the High Value High Risk (HVHR) process has been effectively applied to the Cranbourne Pakenham Rail Corridor project (Cranbourne Pakenham) to provide rigorous and comprehensive advice to government about whether and how to proceed. It does this by determining whether the Department of Treasury and Finance's (DTF) ratings against the deliverability criteria reflect the underlying evidence and have been accurately and fully communicated to government.

The proponent submitted an interim offer on 31 January 2015. The Department of Economic Development, Jobs, Transport & Resources (DEDJTR) completed an interim evaluation in early March 2015, which underpinned DTF's HVHR assessment and the Minister for Public Transport's submission to government in late March. Government considered the interim proposal and this advice, and decided not to proceed with this project.

The proposals covered in this audit were at different stages of completion when they underwent their HVHR assessments and this affected how agencies assessed and reported on them:

  • The CityLink Tulla Widening project (CityLink Tulla) final offer passed the HVHR review because DTF assessed it as substantially meeting all of the HVHR deliverability criteria.
  • The review of the Cranbourne Pakenham interim offer had a different purpose. It was not a pass or fail test, but aimed to inform the proponent and government about issues that could prevent the final offer from passing an HVHR assessment. This interim assessment exceeded the requirements of the Market‑led Proposals Interim Guideline, which requires a single HVHR assessment of the final binding offer.

VAGO's review was complicated because the HVHR criteria defined for this interim offer review did not completely align with the categories in DTF's HVHR guidelines. While in total they covered the standard deliverability criteria, we had to translate the findings to address the same criteria used for CityLink Tulla.

4.2 Conclusion

DTF effectively applied the HVHR process to inform government's decision about whether to proceed with this unsolicited proposal to a final binding offer. The assessment described the progress made by the proponent but also the areas where its interim offer fell short of meeting the HVHR deliverability criteria.

DTF concluded that without a further 12 to 16 weeks beyond the agreed end of March 2015 deadline for the final offer, the proponent's final offer was unlikely to pass the value for money and HVHR assessments. In this case the HVHR assessment clearly fulfilled its role of informing government's decision about whether to proceed with the proposal.

However, our examination of this proposal illustrates weakness identified in Part 2 of this report. Specifically, the development process did not include a cost-benefit analysis or allocate responsibility for developing and applying a benefit management plan. These are mandatory for state-initiated projects and essential for informing government decisions and tracking and managing benefits after delivery. It is unclear from the unsolicited proposal guidelines how these practices should be applied to proposals.

4.3 HVHR assessment and advice to government

DTF effectively completed the HVHR assessment of the interim proposal and adequately communicated the findings to government.

4.3.1 Overall assessment

Figure 4A shows VAGO's assessment against the HVHR deliverability criteria.

VAGO's assessment of DEDJTR's and DTF's examination of the interim proposal concluded that it did not fully meet any of the HVHR criteria and the significance of the outstanding issues meant rating the level of assurance as 'not assured' or 'partly assured'. Even for the partly assured criteria, significant improvement was required for government to accept a final offer.

VAGO's assessment is consistent with DTF's HVHR assessment and confirmed that DTF applied sufficient scrutiny in its assessment to inform government about the issues critical to deciding whether to progress the proposal to a final, binding offer.

Figure 4A

VAGO assessment of the interim offer against the HVHR requirements

Deliverability criteria

Assessment

Deliver on budget—assurance about costs

Deliver to planned time lines

Deliver intended benefits

Comprehensively manage risks

Governance and project management

Procure for best value for money

Note: ✔✔✔ = Fully assured—Project documentation and advice to government fully addresses Investment Lifecycle and HVHR Guidelines and provides a high level of assurance.

✔= Partly assured—Evidence that the HVHR review improved the level of assurance while not fully addressing all issues. The significance of outstanding issues varies from relatively minor—business cases is not updated with additional evidence—to more significant—where material issues are not raised or addressed. We provide a commentary on these issues throughout this Part.

✘ = Not assured—Insufficient evidence to be assured about the deliverability of the project.

Source: Victorian Auditor-General's Office.

DTF completed its HVHR assessment of the interim proposal in March 2015, and drew heavily on the work of DEDJTR's evaluation, which rated the interim proposal against the proposal-specific HVHR criteria as either:

  • strong performance—demonstrated strengths with few errors, risks, weaknesses or omissions, if any
  • average performance—existence of some errors, risks, weaknesses or omissions that are capable of resolution—including through the implementation of alternative strategies
  • poor performance—numerous errors, risks, weaknesses or omissions that may be difficult to satisfactorily resolve.

We reviewed these ratings in forming our assessment of the proposal's level of readiness and determining whether government had been accurately and comprehensively informed about the issues. DEDJTR's interim evaluation was based on a structured, intensive and comprehensive review of the interim proposal.

4.3.2 Advice to government on the interim offer

DTF adequately communicated to government the outstanding issues and risks that the proponent needed to address in its final offer, as summarised in Figure 4B.

Figure 4B

Summary of outstanding issues and risks

Project integration—The project was to be procured as seven discrete work packages. Outstanding issues about how the work packages are to be integrated require resolution. Without doing this it is difficult to assess the proponent's occupation strategy—when and how it will work within the live rail corridor—its management of interfaces, and the resolution of scope gaps and duplications.

Obtaining accreditation—A detailed approach to obtaining the required accreditation from the National Rail Safety Regulator was not included in the interim offer.

Compliance with the agreed project scope—The interim evaluation identified noncompliance with the state's detailed scope requirements that need to be resolved.

Maintenance strategy—The interim offer did not document an adequate approach to developing an operations and maintenance strategy for the corridor. This weakens assurance about the proposal's ability to achieve the operational availability requirements in supporting the proposed design solution and mitigating the associated risks.

Organisational structure and resourcing—The interim offer contains a limited description of the proposed organisational structure. Consequently there is insufficient detail on governance and the key personnel that will be critical to successful delivery.

Management of key stakeholders—The interim offer has not adequately demonstrated how the proponent intends to manage relationships with a range of key government and industry stakeholders. There is also insufficient detail to demonstrate how the community consultation process will be managed.

Franchise interface—A number of key documents governing how the proponent will interface with the franchisee require further development. In addition the state has to reach a position where it is assured that this project will not limit its flexibility in terms of future franchise retendering.

Handover and commissioning—The interim offer did not address the handover and commissioning of assets beyond the franchisee, for example to VicRoads or VicTrack.

Source: Victorian Auditor-General's Office based on DTF material.

These issues, together with advice about the extent to which the proposal would meet government's updated policies, provided the information needed to decide if and how to proceed with the unsolicited proposal. Government accepted DTF's recommendation not to proceed, but to instead use a conventional state-initiated project to deliver its policy commitments for the corridor.

4.4 Deliver on budget

Passing this HVHR criterion requires DTF to be confident that the project budget is based on a structured, detailed and verified understanding of the costs.

DTF concluded that the cost of the project was likely to exceed the budget allocation because of expected increases in the proponent's and the state's costs. This was supported by a DEDJTR project funding forecast suggesting an additional $559 million was required.

The interim evaluation rated performance for this criterion as average, taking into account the allowance for changes in scope but also the risks of cost escalation because separate work packages had not yet been integrated.

DTF expressed significant concerns about the project being delivered on budget. We agree with the finding that the proponent would have to significantly improve the quality of the cost estimate included in its final offer for it to pass this HVHR criterion. Most importantly it needed to fully integrate the separate work packages and update cost estimates in light of this. Accordingly we rate this criterion as not assured.

4.5 Deliver on time

Passing this HVHR criterion requires a detailed and realistic project implementation schedule which encompasses key milestones, decision points and delivery events. It also requires information on competing priorities, dependency analysis, required skills and capabilities, and staff availability.

DTF concluded that the proponent was unlikely to meet the time lines set out in the binding agreement it entered into with government, and that it had significant concerns about this.

The proponent's delivery plan was rated as poor because it had fallen behind the agreed schedule for reaching acceptance of a final offer and commencing delivery. The evaluation team judged that the proponent needed an additional 12 to 16 weeks to have a chance of its final proposal passing the HVHR criteria.

The nomination of proven contractors as preferred tenderers indicated that with sufficient time, the proponent was likely to develop an effective, integrated program. However, DTF believed that it was unlikely to meet the scheduled start of the delivery phase in July 2015 because it would need, at a minimum, April to June to try and address the HVHR deliverability issues identified in the interim offer.

DTF's comments and the interim evaluation rating are consistent with the evidence and align with our not assured rating.

4.6 Achieving the intended benefits

Delivering benefits to the community is the key reason for investing in public infrastructure. Managing projects to realise, sustain and maximise benefits is therefore essential. This requires an evidence-based understanding of the expected benefits, their distribution and the risks to their realisation, together with clear advice about how best to address these risks.

4.6.1 The state's intended benefits and policy settings

Figure 4C describes the state's objectives which frame the intended benefits.

Figure 4C

State's project objectives

  1. Delivery of a 30 per cent increase in metropolitan rail capacity on the Cranbourne Pakenham rail corridor to support improved services to public transport customers.
  2. Delivery of improvements to road and rail infrastructure to support improved road safety and road network outcomes on the Cranbourne Pakenham rail corridor
  3. Capturing unique delivery benefits as an integrated transport infrastructure proposal, from a proponent well positioned to more effectively manage interface risks.
  4. Achieving value for money outcomes for the state.
  5. Not compromising the state's flexibility to re-tender the rail franchise.

Source: Victorian Auditor-General's Office based on the Project Finalisation Agreement.

The Project Scope Requirements documented the specific technical requirements required to deliver on these objectives. The proponent had to demonstrate how it had met these detailed requirements to provide assurance that the project, if implemented, would meet the state's objectives.

Objective 1 has been derived from an analysis of the problems facing the metropolitan rail system and from short-, medium- and long-term plans for meeting demand growth while maintaining a specific level of service. The problems, intended outcomes and operational implications are described in the December 2012 Network Development Plan – Metropolitan Rail and in the September 2014 Dandenong Line Concept of Operations.

The 2014 document sets out the measures needed to accommodate growth on the Dandenong corridor, with the Cranbourne Pakenham project designed—as part of this long-term plan—to extend capacity to meet demand until 2021.

The proposal included four major grade separations—building paths, roads and railways at different heights where they cross, so that traffic does not intersect. The analysis and outcome definition underpinning the choice of these four was not clear. While it is clear that growing road and rail traffic is intensifying delays at these major level crossings, we have not seen the same type of strategic analysis underpinning their selection.

The change in state government further complicated the decision-making context because it committed to grade separating nine level crossings on the corridor and running services with a newly assembled fleet of 37 high capacity trains. The proposal included 25 new trains and 12 existing trains.

4.6.2 DTF's HVHR assessment

While DTF confirmed that it had not identified any issues that would, without further work, prevent the achievement of the state's objectives, it found a range of issues where the interim proposal fell short of meeting the Project Scope Requirements. In addition, the proposal did not fully align with the new government's updated policy commitments for the corridor.

The issues DTF raised about scope and benefits included that the interim offer:

  • would result in a number of services being more overcrowded than expected because of the proposed service pattern
  • did not comply with the local manufacturing content requirement, although this item was considered separately to the HVHR assessment
  • may restrict changes to the rail network in the future
  • did not meet all the Project Scope Requirements with most of the noncompliance being in relation to the signalling system, with additional concerns about the proposed depot design.

The current scope is not fully consistent with updated government policy:

  • It did not allow for the purchase of 37 new trains to operate the proposed service pattern. The interim offer included the purchase of only 25 new high capacity trains.
  • It did not allow for the removal of nine level crossings consistent with government's election commitments. The Project Scope Requirements specified the removal of four major level crossings.

DTF rated the performance of the interim offer, in terms of delivering the benefits, as average. This was a combination of:

  • a strong rating in relation to the state's objectives—noting that the proponent had issues to resolve but that with sufficient time resolution could be achieved
  • an average rating in relation to meeting the scope and requirements.

4.6.3 VAGO assessment

Our assessment aligns with DTF in finding the deliverability of the intended benefits is only partly assured. DTF advised government of the critical issues in relation to the intended rail project benefits and this assessment was underpinned by extensive scrutiny of the proponent's conformity with the scope requirements.

An appreciation of broader network and corridor problems and priorities provides critical context for making decisions about unsolicited proposals. In this sense the Cranbourne Pakenham proposal had an advantage over CityLink Tulla where there is not the same contextual information.

Our residual concerns involve the absence of:

  • guidance on the need and responsibilities for developing a cost-benefit analysis and a benefits management plan, as are required for conventional state-initiated projects
  • information on the problems and strategic priorities driving the level crossing removal component of the proposal.

4.7 Comprehensively manage risks

DTF's Investment Lifecycle and HVHR Guidelines require a risk management strategy, with the clear identification and assessment of key risks, and a documented approach to ongoing risk monitoring and management.

DTF concluded that further work was required to mitigate key project risks. Specifically:

  • the signalling and Dandenong rail corridor work packages needed to be better integrated to deliver an acceptable level of risk
  • the overall project delivery program requires further integration and greater coverage of the risks to time lines and costs from this underdevelopment.

The proponent had accepted the state's proposed risk allocation and this included risks relating to the relationship between the proponent and the rail franchisee, which was seen as one of the unique strengths of the proposal.

The interim evaluation's rating of average and DTF's assessment are consistent with our rating of partly assured for this criterion.

4.8 Applying sound governance and management

The Investment Lifecycle and HVHR Guidelines require:

  • evidence of an appropriate governance structure—including that people appointed to key positions have been identified
  • a robust and up‑to‑date project management strategy—including deliverables, dependencies between activities and monitoring and review arrangements
  • the identification of a senior responsible officer for the state.
Murrumbeena station level crossing. By Melburnian (Own work (digital photograph by author)) [GFDL (http://www.gnu.org/copyleft/fdl.html) or CC BY 3.0 (http://creativecommons.org/licenses/by/3.0)], via Wikimedia Commons

Murrumbeena station level crossing. By Melburnian (Own work (digital photograph by author)) [GFDL (http://www.gnu.org/copyleft/fdl.html) or CC BY 3.0 (http://creativecommons.org/licenses/by/3.0)], via Wikimedia Commons

DTF agreed with the interim evaluation rating of average for the proponent's capability and capacity and the strong rating for the public private partnership style organisation structure proposed.

We have taken this as an overall average rating for governance and translated this to a partly assured rating. While the proposed structures appeared sound:

  • the proponent needed to further develop its organisational structure and identify key personnel
  • DTF's HVHR assessment did not examine DEDJTR's plan to oversee project delivery—this information was still being developed and was to be assessed with the binding offer.

In addition we note, in common with CityLink Tulla, there was a lack of preparedness to adequately engage relevant stakeholders and the broader community. This again highlights the need for a clear articulation by the portfolio agency early in the unsolicited proposal process of the expectations around the timing, depth, scope of, and roles and responsibilities for, stakeholder consultation.

4.9 Procuring for best value for money

The Investment Lifecycle and HVHR Guidelines require a range of procurement options to be considered. Documentation should describe the process and method for selecting a preferred form of procurement and explain why the choice is the best value for money.

The interim evaluation and DTF confirmed the progress made by the proponent. The project was to be procured as seven discrete work packages through a select tender process. DTF found that, as a consequence, competitive prices had been obtained at the subcontractor level. The proponent had identified preferred bidders for all but the train depot maintenance and had started to integrate the delivery of these packages.

The specialist contractor employed for the purpose concluded that the interim offer demonstrated value for money by outperforming the state cost benchmark, while comparing well in terms of its qualitative outcomes.

DTF believe that this opinion needs to be tempered by the preliminary nature of the assessment and in particular the unresolved issues described throughout this Part.

Accordingly the interim evaluation and DTF rated the proposal's value for money as average which corresponds with our partly assured rating. We reached this assessment because the approach to procuring the packages appeared robust and competitive, but it lacked integration and there were uncertainties about the benefits.

4.10 Lessons learned from this proposal

The major lessons learned from Cranbourne Pakenham are:

  • the importance of a structured and rigorous evaluation and the full reporting of its significant findings for informing government decisions
  • the value of being able to place a proposal in the context of a wider, well informed perspective of system-wide problems and seeing where the proposal might fit into a comprehensive plan for addressing these problems in the short, medium and long term
  • the dangers of the current ambiguity about the inclusion of essential elements in the development of a business case, such as completing a cost-benefits analysis and developing a benefit management plan. This needs to be better defined and the responsibility for doing this rests with DTF, as it responds to the recommendation made in Part 2.

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Appendix A. Audit Act 1994 section 16—submissions and comments

Introduction

In accordance with section 16(3) of the Audit Act 1994, a copy of this report, or part of this report, was provided to Department of Treasury and Finance, the Department of Economic Development, Jobs, Transport & Resources, VicRoads and Public Transport Victoria.

The submissions and comments provided are not subject to audit nor the evidentiary standards required to reach an audit conclusion. Responsibility for the accuracy, fairness and balance of those comments rests solely with the agency head.

Responses were received as follows:

RESPONSE provided by the Secretary, Department of Treasury and Finance

RESPONSE provided by the
Secretary, Department of Treasury and Finance, page 1

RESPONSE provided by the
Secretary, Department of Treasury and Finance, page 2

RESPONSE provided by the
Secretary, Department of Treasury and Finance, page 3

RESPONSE provided by the
Secretary, Department of Treasury and Finance, page 4

RESPONSE provided the Acting Secretary, Department of Economic Development, Jobs, Transport & Resources

RESPONSE provided by the
Secretary,  Department of Economic Development, Jobs, Transport & Resources

RESPONSE by provided by the Chief Executive, VicRoads

RESPONSE provided by the
Chief Executive, VicRoads

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