Striving
to better, oft we mar what's well.
King Lear Act one, Scene four
The Minister
for Northern Australia, Madelaine King MP tabled the statutory review of the
North Australia Infrastructure Facility (NAIF) on 28 August 2025. In her short
media release (link
here), she thanked the review panel which comprised the Hon. Warren Snowdon
(Chair), Professor Peter Yu and Dr Lisa Caffery, and indicated that the
Government would consider the review and respond to the 21 recommendations over
the coming months. It is unclear why the Government and Minister have been so
slow to respond to the Review. A cynic might surmise that when addressing a
policy issue on its merits is not front and centre, then political management comes
to the fore.
The review is
available on the Infrastructure Department website (link
here). The published submissions made to the review are also available on
that website, albeit on a separate page which may be vulnerable to deletion at
some point in the medium-term future. This would be unfortunate (link
here).
This blog has
followed NAIF closely over the past decade, and (inter alia) has been quite
critical of its narrow focus on commercial (private sector) infrastructure and
its effective absence in financial social infrastructure (link
here, link
here and link
here). I posted my submission to the current review in September 2024 (link
here) whereas (contrary to common practice such as adopted by the
Productivity Commission) the Government decided not to publish the submissions
to the review until it had released the review itself. The review was provided
to the Minister on 12 February 2025 and released six months later on 27 August.
While the
review team brought significant experience of northern Australia to the task,
and extensive background in both politics, policy and Indigenous affairs, my high-level
reaction to the final product has been one of disappointment and in some
respects incredulity. The review team appears to have been heavily influenced
by the Department and NAIF, both formally and informally. I wont list all the
available evidence for this assertion but invite readers to read the Review
Report Executive Summary and consider whether it reads as a ministerial media
release or as the summary of a truly independent policy review.
More
substantively, the conceptual framework adopted by the Review is to my mind
flawed and underdone. There is virtually no data presented to underpin the
arguments pursued. The single graph on page 22 (lifted from the NAIF
submission) is difficult to interpret (it would have been more appropriate to
present it as a bar chart) and the key take-out (contrary to the Review
conclusion) is that over the past nine years, less than $2billion in
concessional loans have been drawn down by successful proponents. In relation
to Indigenous data, there is none provided to speak of and there are several
questionable assertions that are smoothed over by statements suggesting data
shortcomings in the census mean that Indigenous data is unreliable.
There is no
clear description of the how the NAIF works, and what the net cost of The NAIF
is to government is on a year-by-year basis. While there is the occasional
mention of the views of those consulted or who made submissions, the Review
makes no attempt to summarise even at a high level the totality of the views
they received either thematically or by topic. This then allows the Review to
avoid any discussion of why particular views advocated were either accepted or
rejected and the reasons for doing so. Many if not most submission authors will
likely conclude that the Review just ignored their views.
At a more
technical level, key conceptual flaws in the Review report include:
·
The
level of demographic analysis in the Review is close to zero. Yet this is
crucial for understanding the infrastructure needs of the North. One
consequence of this analytic gap is to facilitate avoiding the question of just
who is the NAIF aiming to support: the users of infrastructure in northern Australia,
or the owners of firms investing in infrastructure in northern Australia?
·
It
is unclear from reading the Review whether the alleged benefits arising from
NAIF decisions are real or imagined. (The Review somewhat amazingly mentions on
page 22 ‘forecast benefits of $38.2 billion in public benefit for the north’ arising
from the $4.4billion ‘committed’ (but over $2billion not yet drawn down). There
is no mention of the source for this data, nor when this benefit will accrue,
no explanation of why it is public benefit and not private benefit, no
indication of whether it includes provision for failed projects (see the Addendum
below for extracts from the AFR article about the NAIF dated 21 October 2025
headlined ‘$200m losses highlight risk of government ‘picking winners’)
and no indication that these alleged benefits have been discounted
appropriately to reflect their Net Present Value.
·
There
is no examination of the rationale for NAIF assistance (i.e. why should
government be subsidizing particular projects, how to determine if market
failure exists or not, and what is the appropriate definition of infrastructure
to use). If there is no market failure, then firms will invest if there is a
commercial return available. If there is not a commercial return available, but
there is a public interest in the project proceeding, then the concessional
finance is best structured as a public investment with the returns being allocated
to taxpayers. The risk in the NAIF model (not discussed in the Review) is that the
provision of concessional loans to privately owned firms risks making no
difference to the ultimate decisions on whether firms will invest but transferring
the net quantum of the concession from taxpayers to firm owners.
·
There
appears to be a preconceived assumption that the best way to assist remote
Indigenous citizens resident in northern Australia is through support to
Indigenous businesses. In relation to infrastructure investment required to
support Indigenous communities across the north, the Review has adopted a
framework built around what I termed in a recent post (link
here) ‘the policy pivot to
Indigenous economic empowerment’ and which Professor Peter Yu has been
instrumental in developing and advocating. Indeed, Chapter Four where the
Review deals with Indigenous issues is titled: ‘Supporting First Nations
economic empowerment’. While there is nothing innately wrong with such a
focus, it is only partial and includes an inherent bias away from core
infrastructure traditionally built by government in remote communities
including housing, schools, essential services, health and community
administration infrastructure, and importantly townscaping (roads, parks, ovals
etc) usually provided by local governments. In focussing on Indigenous
controlled commercial business opportunities, the Review has implicitly given
governments at all levels an implicit ticket of leave to (yet again) not take
the action necessary to bring social infrastructure up to acceptable standards
(link
here) in hundreds of remote communities.
·
There
is no discussion of the rationale for focussing on support to small businesses
rather than limiting NAIFs focus to infrastructure needs of strategic
significance. Throughout the discussion, the Review advocates for the NAIF to
expand its focus to the provision of smaller business loans. Such an expansion risks
adding significant process to NAIF’s operations (with the concomitant risks of
loss of focus) at the risk of losing strategic focus on the major
infrastructure issues confronting northern Australia. It is never made clear
why this should be a NAIF responsibility and not some other government entity’s
role, either at state or national level. Both NIAA and Indigenous Business
Australia have the capacity to fund such a program in the Indigenous policy
space if they so chose.
·
There
is an inadequate discussion of the rationale for the Review’s findings and
recommendations to provide NAIF with greater autonomy. The Review essentially
argues and recommends that the NAIF be converted from a ‘facility’ or mechanism
for providing concessional finance operating within the Infrastructure Department’s
financial balance sheet into an entity with its own balance sheet and
governance structure. In effect, it is arguing for the establishment of a North
Australia Infrastructure Finance Corporation, though it doesn’t articulate this
overtly. To do so, it argues that the current model underpinning NIAF’s
operations has a negative effect on the Department, the NAIF, the relevant
Jurisdictions and proponents (see Observation 2 on page 13). It also points to
the apparent success of the existing Board and Executive team’s leadership.
(see Observation 3 on page 13). The message is that the governance quality of
the NAIF is such as to warrant greater independence and autonomy. The reality
is that the record of the NAIF has been very patchy with critical ANAO reports
(link
here) and as recently as 2023, there were allegations that it was ignoring
its own processes (see Addendum below). The Review Discussion fails to demonstrate
that the systemic flaws evident in 2019 are no longer a risk and fails to provide
a comprehensive argument for the quite significant changes it is proposing.
There may be a case for doing what the Review recommends, but to my mind, it
does not make anywhere near a persuasive case for doing so. Not least in
relation to the Review proposals, there is no discussion of whether there are
potential additional costs for taxpayers going forward.
·
There
is zero discussion of the issue of transparency, and its role in protecting
taxpayers from potential missteps that are facilitated by excessive secrecy and
the systemic issues that led to the critical 2019 ANAO review discussed above.
The media reports NAIF as being overly secret (see the extracts in the Addendum
in the articles by Wilson and Ludlow); the Review makes no attempt to assess
this and identify a way forward. This is of particular importance because a
shift to greater NAIF autonomy will exacerbate financial and governance risks
which adequate transparency and greater commitment to merit in selecting Board
members would play some role in managing (see Bill Shorten’s comment on former
Board appointments in the Wilson article extract below).
·
It
is significant in my view that there does not appear to have been an
independent effectiveness evaluation (as opposed to the five-year statutory
reviews such as the current Review) since the NAIF was established. Those
Reviews have been largely focussed on operational issues and not overarching
effectiveness. It is circumstances like the challenges facing the NAIF which
strengthen the argument for a Commonwealth Evaluator General (as proposed by
Nicholas Gruen) to independently evaluate major strategic initiatives by the
Commonwealth on a periodic basis.
The conceptual
shortcomings evident in the approach adopted by the Review inevitably invites
deep scepticism regarding the robustness of its recommendations. To my mind
however, the potential analytic flaws are not the major problem with the
Review.
The
fundamental policy problem is that the Review represents a missed opportunity. It fails to undertake a rigorous and
conceptually sound examination of the problem NAIF exists to address, then
identify potential solutions, and then recommend an approach to addressing the
problem. Instead, it appears to be providing cover for an agenda that has
already been decided. In relation to Indigenous interests in northern
Australia, the Review focusses overwhelmingly on the absence of Indigenous engagement
with NAIF (as if this will somehow drive greater social and political inclusion
of Indigenous interests in northern Australia) rather than focussing on the
absence of NAIF’s engagement with driving increased investment in social
infrastructure. It won’t surprise readers if I acknowledge that this was the
core message in my submission (link
here), which was comprehensively ignored by the Review.
Incentivising
greater investment by local, state/territory, and national governments in
social infrastructure across the north will drive greater indigenous inclusion
because that is where the overwhelming levels of needs are. Indigenous people
represent a substantial proportion of the permanent population of the north.
They deserve inclusive policies, not exclusion. What is required are across-the-board
improvements in employment, health and education. These three sectors are all
adversely affected by the extreme infrastructure deficits facing remote
Indigenous populations including in northern Australia (link
here).
In terms of
driving medium- and longer-term change that will expand the contribution of
northern Australia to the nation’s economic, social, cultural and strategic wellbeing
and improve the quality of life of citizens living in northern Australia, the
NAIF represents a potential mechanism to make a major contribution. So far, the
NAIF has failed to take up this role, and the recent Review offers no real
roadmap for it to do so going forward. This is both a missed opportunity, and
to my mind a tragedy.
Addendum:
Extracts from selected AFR articles
Grant Wilson
AFR 18 July 2022, The NAIF is no longer an abject failure, (link
here
Paywall):
Before the federal election in May 2019,
and in full campaign mode, then-Labor leader Bill Shorten eviscerated the
Northern Australian Infrastructure Facility.
He characterised NAIF as an “abject
failure”, and committed to an overhaul, with an emphasis on projects of
national economic significance, such as gas infrastructure from Beetaloo Basin.
Shorten was particularly aggrieved that “half of the board members are
donors to the LNP…
…A longer-term issue for NAIF to
consider is its status as a facility. As distinct from the Clean Energy Finance
Corporation (CEFC), that also operates as a special investment vehicle of the
federal government, NAIF has not been fully corporatised, and does not have a
special account to receive appropriations.
This setup, while understandable given
NAIF’s initial five-year remit, undermines the quality of its financial
reporting. The contrast to the CEFC is stark, where financing facilities are
included as part of the income statements and balance sheet, enabling its
financial performance to be assessed on a comprehensive basis.
Aaron Weinman,
AFR 23 June 2023, NAIF allegedly broke its own lending rules for
barramundi farm (link
here
Paywall):
The Northern Australia Infrastructure
Facility allegedly ignored its lending rules on at least two investments, and
later pressured an employee who raised concerns to quit in a bid to avoid
embarrassment while it sought about $2 billion in additional funding from the
federal government.
The NAIF reviewed several loans it had
written over the past 18 months but when some were deemed a potential concern –
meaning the borrower could struggle to repay the debt – staff played down the
severity of the borrowers’ creditworthiness, according to documents filed as
part of an unfair dismissal claim lodged with the Fair Work Commission.
Mark Ludlow,
AFR 10 August 2023, The $7b fund for projects commercial lenders won’t
back (link
here
paywall):
In June, a former member of the NAIF’s
credit committee lodged an unfair dismissal claim with the Fair Work
Commission. They alleged the NAIF ignored
its own lending rules on at least two investments, including $31.4 million in
loans to the Humpty Doo Barramundi farm in the Northern Territory, which
had “deep credit issues”, and the Kalium Lakes project….
… As of June 30, the NAIF has committed
$3 billion in loans to 25 approved projects, with the agency confirming to the
Financial Review that $1.41 billion in loans have been drawn down by 23
projects.
The NAIF, which can provide debt or
equity finance, won’t publicly release a detailed breakdown of projects, saying
it is up to potential proponents to reveal how much they have drawn down from
their approved loans. Some money has been repaid to government, but NAIF won’t
confirm how much.
Ronald Mizen
AFR 21 October 2025, $200m losses highlight risk of government ‘picking
winners (link
here
paywall):
Taxpayers will be forced to carry more
than $200 million in losses after two companies backed by government loans
failed, an outcome economists say underlines the risks of trying to pick
winners with public money.
The Northern Australia Infrastructure
Facility loaned $84 million to potash aspirant Kalium Lakes in 2019 and $150
million to mineral sands operation Strandline Resources in 2020. Kalium
collapsed in 2023, while Strandline went into administration in February this
year.
2 November
2025