Saturday, 6 September 2025

Projects, Procurement, and Complexity

 Issues and options for Australian construction 



 

There are many issues that affect construction productivity. Some are long-term, such as innovation, R&D, and education and training systems. Others are structural, like the number of micro and small firms, or institutional, like state based occupational licensing and building codes. However, for the Australian industry by far the most important factor in low productivity growth is the lack of business investment in intellectual and physical capital, the amount of machinery, equipment, buildings, structures, software and R&D, and the skills of the workforce. 

 

The construction industry has been the subject of a number of recent reports from both government and industry, the latest being  the Queensland Productivity Commission’s Opportunities to Improve Productivity of the Construction Industry, which followed the NSW Productivity and Equality Commission report Housing Supply Challenges and Policy Options in August 2024 and the Productivity Commission report Housing Construction Productivity: Can We Fix It? in February 2025. This year from industry has come the Committee for Economic Development’s Size matters: Why Construction productivity Is So Weak and the Australian Industry Group’s Australian Home Building in Crisis.

 

These reports have raised many issues and highlight their wide range. Some issues are well known and there is a broad consensus on both their importance and reform direction, such as training and skills, occupational licensing, and workplace health and safety. Others like collaborative contracting and increasing innovation and R&D are more aspirational. For better or worse, the decision has been made that updates and revisions to the National Construction Code (NCC) will be delayed and less frequent, and the code will be reviewed to make compliance easier. Including issues around government procurement and contracting allowed the Queensland Productivity Commission’s Interim Report to address some important productivity determinants that were not in the other recent reports, which has led to this post. 

 

The issues discussed in this post are in the broad categories of projects, procurement, and complexity. The post first looks at project estimates and reference class forecasting, then argues for separating design and construction. On procurement the topics covered are project sizing and access, industry capacity and BIM mandates. The last two topics are project complexity and collaborative contracting, and using target cost contracts for major projects. 

 

Project Estimates and Reference Class Forecasting

 

A significant reason for poor decisions on projects is unwarranted optimism about outcomes and the time needed to complete tasks. Planners often underestimate a project’s time, costs, and risks due to size, gestation and time taken to deliver, and overestimate the benefits, particularly for major projects. In some cases there is strategic misrepresentation of costs and benefits, where project promoters produce biased appraisals at the approvals stage. After a project has started there are the risks of escalated commitment and lock-in, scope changes, and conflicting interests.

 

Project estimates can be improved by using the performance of previous projects to inform those decisions. Clients collecting and using data from previous projects in the evaluation and definition stages of new projects makes for better decisions. Bent Flyvbjerg proposed a system called Reference Class Forecasting that has three steps:

1.                          Identification of a relevant reference class of past, similar projects;

2.                          Establishing a probability distribution for the reference class;

3.                          Comparing the specific project with the reference class distribution [1].

 

Reference Class Forecasting allows project time and cost estimates to be compared and evaluated against previous similar project outcomes and performance. The data on comparable completed projects provides a range of probable outcomes for a proposed project, with realistic and more accurate time and cost estimates for major projects.

 

Another example is Independent Project Analysis (IPA), established by Ed Merrow in 1987 for industries like oil and gas, petroleum, minerals and metals, chemicals, power, LNG and pipelinesDepending on the project, between 2,000 and 5,000 data points are collected over the initiation, development and delivery stages. From the IPA database companies can compare their project with other, similar projects, across a wide range of performance indicators. Merrow argues defining and planning a major project should cost 5% of the total, and the cost of not spending that money is much more. Merrow’s projects are mostly private sector resource developments like oil and gas projects, and he notes they have different dynamics to public sector projects [2]. 

 

Merrow argues that the owner’s job is to specify the project and the contractor’s job is to deliver the project as specified, on time and on budget. In his view contractual relationships are more tactics than strategy, and cannot address any fundamental weaknesses in the client’s management of the project. While risk can be managed by contracts, it cannot magically be made to disappear with contracts. 

 

Clients are responsible for project shaping and definition, what Merrow calls Front End Loading, which is a necessary prerequisite for creating value. There are three stages of Front End Loading, the first evaluates the business case, the second is scope selection and development, and the third is detailed design. His argument is that there needs to be gates between these stages that prevent less viable projects from getting to authorisation

 

Separating Design and Construction

 

Merrow also argues the best form of project delivery is what he calls ‘mixed’: hiring engineering design contractors on a reimbursable contract and construction contractors on a separate fixed price contract. The evidence from the IPA database is that this is the most effective form of project organization, and is basically traditional construction procurement where consultants are appointed to do the design and a competitive tender is held for one or more contractors to execute the works on site against a complete design.

 

Unbundling design and construction for major projects has a number of advantages. Breaking a project into smaller, sequential contracts spreads the cost out over time, and does not incur interest costs on finance for design work. It makes quality control easier and more effective, by being focused on each stage, an important risk management tool. Completion of design and documentation before tendering significantly reduces contractor risk and therefore total project cost. 

 

Design and construction of major projects should be contracted separately to spread the cost over time and reduce project costs and risks. As far as possible, design and documentation should be complete or nearly complete before tendering. The success or failure of the great majority of projects is determined during definition, planning and development.  

 

Project Sizing and Access 

 

Competition can be limited for major construction projects, for several reasons: procurement costs can be excessive; high technical complexity is sometimes an important factor; and for contractors outside the first tier access to finance for large projects can be difficult. Projects can benefit from economies of scale and scope, but large contracts restrict competition if potential bidders are constrained by technical skills and other resources. 

 

Therefore, dividing a large project into a number of smaller contracts is an important policy decision. Having the design complete before tendering facilitates the division of a large project into sub-projects, for example a road or highway project can be done as stages that link up on completion. This creates opportunities for local contractors, particularly in regional areas. Increased competition for work contains costs as well. 

 

Where possible, a major project should be broken into sub-projects to reduce barriers to entry for tenderers, create opportunities for local contractors and suppliers, and increase competition. This can also reduce project costs by removing a layer of management on projects where a large contractor wins the work then subcontracts it out to smaller local contractors, but charges a project management fee. 

 

Industry Capacity

 

There are significant capacity constraints in construction, as the experience of cost increases and schedule slippage with major projects in Australia shows. Industry capacity is the limit on production, a theoretical maximum of what can be produced in a single period. In some cases this is straightforward, based on the installed capacity of machinery, plant and equipment, adjusted for the utilization rate and maintenance requirements, that produce a set amount day after day, week after week. Construction is not like this, it is geographically dispersed and brings together many suppliers at many sites. Shipbuilding for example brings together many suppliers at a few sites, automobile manufacturing has a small number of specialist suppliers, often co-located. 

 

Separating design and construction allows sequencing of major projects. As the design work is completed a project can be added to a pipeline of projects and released for tender when conditions are appropriate, or when other projects are approaching completion. Suppliers and contractors can use the pipeline of projects to build capacity in the knowledge that there will be ongoing opportunities for their staff and equipment, reducing the set-up costs incurred by re-establishing project teams. 

 

Construction is much more labour intensive than industries it is typically compared to such as manufacturing or mining. This makes the number of people employed one of the key constraints on construction industry capacity. As well as a pipeline of work, developing industry capacity is a long-term strategy based on providing training and skills, improving management practices, and support for SMEs. 

 

Construction industry capacity and productivity will be improved by increased investment in the capital stock. Traditional policy instruments to increase investment are tax incentives like instant write-offs, accelerated depreciation, and financial incentives like production subsidies, grants and loan guarantees. Business investment can also be promoted by development of industry technology strategies, revising public procurement methods, and advanced market commitments for products like prefabricated buildings and services like digital twins. Investment in physical and intellectual assets is essential for building industry capacity and upgrading technology. 

 

BIM Mandates

 

BIM mandates are important because the use of BIM unlocks the potential of digital construction and affects all suppliers of materials, products and services. The ISO 19650 standards for BIM and digital twins provide a framework for creating, managing and sharing data on built assets, establishing consensus on what is to be done and how. There is evidence from surveys that BIM increases efficiency, reduces rework, and improves productivity and workload capacity [4]. In Australia, the Queensland Department of State Development and Infrastructure has had a BIM mandate for public projects over $50 million since 2019. 

 

The experience of overseas jurisdictions with BIM mandates is that BIM use increases over time. The UK is a good example. There has been a significant increase in the use of BIM in the UK since 2011 when a BIM mandate for public construction was introduced. In  2018 a BIM Framework based on ISO 19650 provided a roadmap for firms and clients, and the government developed clauses in construction contracts covering contentious issues such as intellectual property and data ownership. The UK is now a leading user of BIM, along with other early movers with BIM mandates like Singapore and Norway. 

 

In the UK BIM maturity levels are defined as: 

·      No BIM: Information generated manually by hand;

·      Level 0: 2D Computer-Aided Design (CAD) and no or minimal collaboration;

·      Level 1: 2D CAD for documentation and 3D CAD for specific elements;

·      Level 2: Collaborative 3D CAD models with a Common Data Environment, this is required for UK public projects;

·      Level 3: Shared 3D cloud-based model of the project, with the team working collaboratively in real-time.

 

Industry has a collective action problem because the cost of adopting a new technology is significant and skills are typically in short supply. Firms will invest in BIM if they believe that they will profit by it, but legitimately fear future technical progress could make today's investments unprofitable as change makes today’s technologies obsolete. Paradoxically, when innovation and technological progress is rapid, uncertainty can hold back investment by firms because there may be a better, cheaper technology available tomorrow. Why invest today if there will be a competing technology that is half the price in a few years’ time? 

 

Therefore, BIM mandates from government and private sector clients are needed to promote BIM use. For small and medium size firms the initial software and training costs are a barrier to adopting BIM. There should be grants and subsidies to provide financial support to get SMEs to level 2 BIM, with a limit of 50% of these costs. 

 

Complexity and Collaborative Contracting 

 

Contractual relationships are more tactics than strategy, and cannot address any fundamental weaknesses in the client’s management of the project. While risk can be managed by contracts, it cannot magically be made to disappear. An important point on final costs is that a fixed price contract for a project is a floor, not a ceiling. Contractors will allow for the extra risk a poorly documented tender involves, and have a range of contractual provisions available to make claims and cover cost increases during delivery. 

 

Simple or standardised projects are low risk with minimal technical requirements. These commodity-type  projects have well-known structural features and components, their design and location do not present any particular challenges and the construction methods and project management requirements are not exceptional in any way. Examples are car parks and some industrial and commercial buildings. These projects can be accurately estimated, precisely documented and have little uncertainty about what is to be produced and how it is to be done, and should be awarded through competitive tendering on a fixed-price contract.

 

Figure 1. Project characteristics and contracts


 

 

Complicated and complex projects are challenging, each in its own specific way, because of the many characteristics that can cause complexity, such as design, materials, technology, location or site issues, logistics, non-traditional project organisation, or significant coordination and integration issues. Complicated projects require significant development and will benefit from early contractor involvement or have to be well documented before tendering. 

 

Complex projects require more collaborative implementation with early involvement by designers, contractors and suppliers. These have significant uncertainty about their final form, and should be awarded through negotiation with some form of cost-plus or incentive contract.  It may also be advantageous to look for innovative ideas or design options, so for these projects an incremental approach allows contractors and suppliers the opportunity for input during the development of the design.

 

Traditional forms of project organisation and procurement are designed for delivering well documented commodity projects and making repetitive decisions in a stable, predictable environment. By contrast, complicated and complex projects are not fully documented and have significant uncertainty about their final form, and should be awarded through negotiation with a qualified supplier on some form of cost-plus or incentive contract. What will be an appropriate procurement strategy for a simple project will be inappropriate for more complicated or complex projects.

 

Target Cost Contracts

 

A target cost contract (TCC) is an incentive-based procurement strategy that rewards a contractor for savings, using an agreement on cost with an incentive fee. The three components of a TCC are the design, with reimbursable cost with an agreed margin, a lump sum amount as an incentive for the contractor to reduce construction cost below the agreed estimate, and a compensation mechanism for major design changes (not design evolution).

 

Under a TCC, the actual cost of completing the project is compared to an agreed target cost. If the actual cost exceeds the target cost, some of the cost overrun will be borne by the contractor, known as the ‘painshare’, and the rest by the client following an agreed formula. Conversely, if the actual cost is lower than the target cost, then the contractor will share the savings with the client, known as the ‘gainshare’.  This painshare/gainshare mechanism is intended to align the interests of contractors and clients, and is the distinguishing feature of these contracts.

 

Claims under a TCC can be difficult to manage if there are changes in the target cost. These can be cost reductions due to contractor input (through design revisions for example) and cost increases due to client design changes. The challenge is to preserve the incentives while resolving disagreements about the extent and effect of target cost changes. 

 

While incentives might be an effective way to reduce cost, improve project delivery and increase productivity on major projects, the actual operation of the painshare/gainshare mechanism is not straightforward. The sharing formula can vary from simple to complex systems of benefit and risk sharing, and can involve more than one supplier. 

 

Because the agreement and the painshare/gainshare mechanism is between the client and the contractor and typically does not include designers, subcontractors and other suppliers. This is a weakness in these contracts, as the contractor can attempt to shift risks down the supply chain to maximise their profit. 

 

Rather than the client sharing the gain from improved performance, this share could be used to provide an incentive through the supply chain, and thus allow subcontractors and suppliers to benefit as an incentive to increase their productivity. 

 

Target cost contracts can be used to provide incentives to reduce cost, improve project delivery and increase productivity on major projects. However, significant investment in planning, estimating, and preparing detailed designs is required. The potential of BIM and digital twins to improve project design documents is a factor. With the digitisation of design there are more opportunities for target costing and performance-based contracts. 

 

Conclusion

 

Delivery of construction projects is a vexed topic, particularly for large and/or complex projects. It brings together a range of economic, social and political issues for which there are no definitive answers, and thus poses challenges in decision-making and governance not found in procurement of many other projects and services. These are further compounded by the long time horizon of built assets and associated return on investment or value for money aspects of many large projects.

 

It is well known that the future is uncertain, where uncertainty is an unmeasurable or truly unknown outcome, often unique. Major construction projects are typically selected under conditions of uncertainty, not risk (which is identifiable and measurable) for three main reasons: costs and benefits are many years into the future; the projects are often large enough to change their economic environment, hence generate unintended consequences; and stakeholder action creates a dynamic context with the possibility of escalation of commitment driven by post hoc justification of earlier decisions.

 

A great deal is already known about the requirements for successful projects, based on the performance of projects over the last two decades and the many studies and reports that have been done on those projects. Better use of data from previous projects in the evaluation and definition stages of new projects and a more empirical approach by clients in collecting and using data is necessary if better decisions are to be made. This is what Reference Class Forecasting does. 

 

The procurement strategies and implementation processes used by clients can be improved.  Contracts manage risk, but ultimately clients are responsible for their projects, and specification, design and documentation should be completed, as far as possible, before going to tender or before work begins. Sequencing of major projects’ design allows input from contractors and suppliers and creates a pipeline of work. Major projects should be broken into sub-projects where possible, to reduce barriers to entry for tenderers, create opportunities for local contractors and suppliers, and increase competition. 

 

BIM mandates are important because the use of BIM unlocks the potential of digital construction. The ISO 19650 standards for BIM and digital twins provide a framework for creating, managing and sharing data, and the experience of overseas jurisdictions with BIM mandates is that BIM use increases over time. Industry has a collective action problem because the cost of adopting a new technology is significant and skills are typically in short supply. Therefore, BIM mandates from government and private sector clients are needed to promote BIM use, which will also increase industry capacity. 

 

While there are many straightforward projects being built, using conventional materials and well-known techniques, there are also many larger, more complex projects. Simple and standardised commodity projects are well documented with little uncertainty about what is to be produced and done, and should be awarded through competitive tendering on a fixed-price contract. 

 

By contrast, complicated and complex projects are not fully documented and will have significant uncertainty about their final form. Complicated projects are often better done on a cost-plus basis. Incentives are an effective way to reduce cost and increase productivity, and target cost contracts should be considered for complex projects that require more collaborative implementation and early involvement by designers, contractors and suppliers. 

 

 

 

[1] See Flyvbjerg, B., Bruzelius, N. and Rothengatter, W. 2003. Megaprojects and Risk: An Anatomy of Ambition, Cambridge, Cambridge University Press. A more recent and less academic book is Bent Flyvbjerg and Dan Gardner, 2023. How Big Things Get Done: The Surprising factors Behind Every Successful Project, From Home Renovations to Space Exploration. New York, Currency Press. From that book, in Flyvbjerg’s database of 16,000 projects 91.5% go over time and budget. The risk of a project going disastrously wrong (not 10%, but 100% or 400% or more over budget) is surprisingly high.

 

[2] Merrow. E.W. 2011. Industrial Megaprojects: Concepts, Strategies and Practices for Success, Hoboken, N.J.: Wiley. Second edn. 2024.

 

[3] Bajari, P. and Tadelis, S. 2006. Incentives and award procedures: Competitive tendering versus negotiations in procurement, in Dimitri, N., Piga, G. and Spagnolo, G. (Eds.) Handbook of Procurement, Cambridge UK: Cambridge University Press, 121-139.

 

[4] https://damassets.autodesk.net/content/dam/autodesk/www/industry/aec/bim/aec-bim-study-smart-market-synopsis-ebook-en.pdf 

Saturday, 23 August 2025

Queensland Report on Construction Productivity

 More recommendations and reform directions focused on regulation and planning

 


 

The Queensland Productivity Commission (QPC) released their interim report on Opportunities to Improve Productivity of the Construction Industry on 31st July. Construction productivity has recently been the subject of two other reports, with this one following the NSW Productivity and Equality Commission report Housing Supply Challenges and Policy Options in August 2024 and the Productivity Commission report Housing Construction Productivity: Can We Fix It? in February 2025. 

 

The motivating force behind the three reports is a political requirement to be seen to be doing something to address the housing crisis, which is fundamentally due to a mismatch between a long-term lack of supply of new dwellings and the high level of demand, driven by a combination of increased immigration and decreased household size. The result has been rising house prices, falling affordability, particularly for first home buyers, increased rents and very low vacancy rates. Another factor is the high level of engineering construction, due to the size and number of transport and energy projects, many of which are for the public sector. Queensland also has the effects of additional demand from the 2032 Olympic Games projects, currently estimated at $7 billion (which based on other Olympic Games will be much more).

 

The QPC report says ‘While many problems were identified, stakeholders were generally confident that better outcomes are possible. There is broad agreement amongst stakeholders, for many of the solutions identified, on how to address the problems facing the industry.’ Unfortunately, some 342 pages later, most of the problems discussed are about regulation and planning, onsite construction productivity barely gets a mention, there is no evidence stakeholders are in agreement on solutions and more information is requested for the recommendations, and how the problems will be addressed is not included because ‘Implementation issues, including prioritisation and sequencing, are not considered in this interim report but will be considered in the final report.’

 

This post starts with the QPC interim report’s terms of reference and Queensland construction productivity, then looks at the recommendations and reform directions in the report. Some of the report’s  key points on planning and approvals and regulation are covered, and other important industry issues and opportunities not addressed in the report are discussed. 

 

The Terms of Reference Were Extremely Broad

 

To understand how complex the issues surrounding  construction productivity are and why this report (and the others) are so unsatisfactory it is necessary to start with the terms of reference given to the QPC (heavily edited to key points) :

 

        Conditions in Queensland’s housing market, residential development, and non-residential construction, including housing supply and affordability;

        Key trends including input costs, prices, competition, and supply chain developments;

        Factors shaping Queensland’s productivity including legislation and regulation, industrial relations, procurement policies and labour force needs;

        Opportunities for improvement including regulatory and non-regulatory mechanisms;

        Priority areas for reform in the short, medium and long term (including labour, skills and competition, suitability and availability of qualified head contractors and sub-contractors etc.);

        Impact on small and medium scale subcontractors in regional areas and their ability to compete for government tenders due to regulatory requirements;

        Availability of labour, skills development, and matching supply with demand;

        How government procurement and contracting arrangements affect construction productivity, including Best Practice Industry Conditions (BPICs are wages and conditions on public projects introduced to encourage enlistment of workers);

        Barriers to entry, investment and innovation in the sector.

 

Including issues around government procurement and contracting allowed the QPC to address some important productivity determinants that were not in the other recent reports. However, the problem is the breadth of these terms of reference, and the loose or long-term relationship many of the others have with onsite construction productivity, which is what is being measured by the statistics. 

 

The QPC report, and the NSW and Productivity Commission reports that preceded it, are not really about construction productivity, which is being used as a stalking horse for the long-term lack of supply of new housing. These reports are more concerned with the complex, cumbersome and sclerotic planning and approvals process that deters, delays and prevents residential construction, and the effects of regulation and the building code.

 

Queensland Construction Productivity

 

The QPC found Queensland construction productivity is only 5 per cent higher than it was in 1994-95, compared to a 65 per cent increase in labour productivity in the market economy. As Figure 1 shows, the variation in aggregate productivity is explained by compositional changes due to the rapid growth and subsequent decline in heavy and civil engineering activity in the LNG investment boom.

 

Figure 1. Queensland productivity


 

This is also what a previous post on construction productivity in the states and territories found. In 2014 the Australian mining boom peaked with the value of work done reaching $80 billion in Queensland, mainly due to construction of three LNG plants. The pro-cyclical nature of construction productivity is clearly seen in Figure 2 as gross value added (GVA) per hour worked followed the fall in the volume of work, which declined by around 30 percent in Queensland [1].

 

Figure 2. Gross value added per hour worked and construction work done

Sources: ABS 5220, ABS 6150, ABS 8755.

 

The quotes below on the causes of slow productivity growth have been taken from the QPC report.

 

‘Although empirical evidence on the causes of slow productivity growth is incomplete, it suggests that regulation is likely to have played a key role’:

·      Evidence from the United States and New Zealand suggests restrictive land use regulation may have made it more difficult and expensive to construct housing and other buildings [2].

·      Research suggests there have been significant increases in the complexity of building regulation, which has increased overheads and construction costs.

·      Regulatory design, including regional variations, have created incentives that keep the industry fragmented and dominated by smaller firms, who are less likely to innovate and have lower productivity.

·      Where regulators have poor incentives or are underfunded, results in unnecessary delays, high administrative costs and poor oversight, which can undermine productivity.

 

‘Recent changes to the National Construction Code (NCC) have been adopted without a case being established that they would provide a net benefit to the community. Similarly, Queensland introduced its trust accounts framework without undertaking a regulatory impact assessment.’

 

‘While regulatory issues seem to be a key driver of poor performance over longer time periods, more recent productivity declines seem to have been materially impacted by policy choices relating to Queensland Government procurement.’ 

 

‘Insufficient attention has been given to how procurement practices or new projects are impacting the market. This has been exacerbated by poor project selection.’

 

‘Government procurement practices, particularly BPICs, have created unnecessary inefficiencies’

 

The Report’s Recommendations and Reform Directions

 

The preliminary recommendations are ‘specific reforms that the Commission is seeking feedback on.’ There are 21 recommendations, of which six are on planning and approvals, and four on the NCC and regulation. The recommendations are:  

 

·     Government procurement - recommendations 1, 2 and 3;

·     BPICs removal –  recommendation 4;

·     Planning and approvals – recommendations 5, 6 (infrastructure charges), 7, 8, 9, and 10;

·     Regulation –  recommendations 11 (NCC), 12 (building codes), 13 (minimum financial requirements), and 14 (trust accounts);

·     Modern methods of construction (MMC) – recommendation 15;

·     Worker health and safety – recommendations 16 and 17;

·     Workforce – recommendations 18 and 19 (occupational licensing), and 20 (mobility);

·     Utility connections - recommendation 21.

 

The reform directions are ‘areas where there is a clear case for action, but the Commission is seeking further information to support the development of specific recommendations.’ There are 12 reform directions, of which

 

·    Government selection and staging of infrastructure – reform direction 1;

·    The pre-qualification system – reform direction 2;

·    Re-setting industry practices and increasing competition – reform direction 3;

·    Tendering and contracting, including building information modelling (BIM) and collaborative contracts - reform direction 4;

·    Planning and zoning reform – reform direction5, 6 (community support);

·    Review of regulations – reform direction7 and 8 (QBCC);

·    Worker health and safety - reform direction 9;

·    Workforce - reform directions 10 (training), 11 (migration), 12 (labour hire).

 

There are also two requests for information, on the 2024 Energy Queensland Union Collective Agreement, and on foreign investor taxes and housing construction. 

 

If the aim really is to improve construction productivity, recommendations would be focused on improving project management, logistics and supply chain efficiency, increasing investment in machinery, equipment and software, contractual relations and the structure of the industry. While the recommendations on procurement are important, and with those on workforce development and industrial relations relevant to productivity, the majority of the QPC’s recommendations are on legislation, regulation, and the planning and approvals process. 

 

A comparison with the 2024 NSW Productivity and Equality Commission report Review of Housing Supply Challenges and Policy Options for NSW is useful. That report found barriers to housing supply included high construction and borrowing costs, capacity constraints in the construction sector, and bottlenecks in the development process, with over half of the 32 recommendations on planning. It recommended reforming planning to streamline the development process and reduce approval times, and reviewing planning policy because ‘prescriptive rules’ on land block innovation. Other recommendations included education and skills, business regulations and tax, improving infrastructure and transport, replacing stamp duty with a land tax, establishing an Urban Development Program to report on the housing market and a housing supply council to advise on housing targets, and incentives for local government to meet targets. It argued for non-regulatory approaches wherever possible, and avoiding excessive regulation. While there are many overlapping recommendations, this is a more ambitious agenda than the one envisaged by the QPC. 

 

The structure of the QPC Interim  Report echoes the Productivity Commission’s February report, which had five issues and seven reform directions. The PC’s issues were: the complex and slow approvals process; fragmentation due to regulation; the lack of innovation; the regulatory burden; and workforce issues. The reform directions were: coordinated and transparent planning approvals and appropriately funded regulators; review building regulations and the NCC’s objectives; implement ratings systems on new and existing building quality; increase diffusion of technology; public research and development funding; reduce regulatory impediments to MCC; and improve workforce mobility and flexibility. The PC suggested states should consider establishing coordination bodies to speed up the process and address delays such as the Queensland State Assessment and Referral Agency, which got two mentions but no discussion in the QPC report [3]. 

 

The Planner Productivity Problem

 

Over 45 pages the QPC details regulation of land use that ‘can be complex, restrictive, inconsistent across local governments, inconsistent between regulatory instruments and impose costly and unnecessary requirements’, a planning system that ‘is complex, difficult to navigate, inefficient and lacks transparency and accountability’, and approvals processes that ‘create uncertainty, have high transaction costs, require expensive or unnecessary modifications to building design or cause excessive delays.’ 

 

The QPC recommends an alternative development pathway for significant developments [4], amending the Planning Regulation, and reviewing the Building and Planning Acts. The Government should ‘investigate digital planning and permitting technologies to improve the efficiency, accuracy and transparency of the approval process.’ To ‘build community support for housing development’ the QPC suggests improved consultation, citizen panels, independent hearing panels, and negotiable conditions. To improve zoning financial incentives for local government might be used. 

 

It is universally recognised that the time and cost of development approvals is a problem, but that is an issue of planner productivity not construction productivity. Research from YIMBY Melbourne found ‘In 1986, for every practicing planner, Australia built around 54 homes. Now, we build fewer than nine homes per planner. A planner 40 years ago was on average responsible for the development of six times the number of homes per year than a planner working today.’ 

 

Figure 3. Planner productivity

Source: There is no planner supply shortage, YIMBY Melbourne Research Note. 

 

The Research Note concluded ‘The demand for planners has mainly increased not through an increase in construction output and project delivery, but through an increase in regulatory process and complexity.’ This is QPC’s reform direction 4, and addresses 

the problem that development projects such as new housing estates and apartment complexes can take ten years or more to complete, with most of the time spent getting approvals. 

 

Regulation and the NCC

 

The QPC says ‘evidence suggests that several regulations affecting the construction industry are not effective or efficient, and are likely to be reducing productivity. Building regulations are becoming more complex with increased risk they are impeding productivity. Reduced levels of attention are being paid to the costs of new regulation, with regulatory best practice not being followed.’

 

Figure 4. The Queensland building regulation system

 


 

The outcome is the QPC’s view that recent changes to NCC 2022 for liveable housing and energy efficiency have increased construction costs, and ‘regulatory impact analysis undertaken showed these benefits were unlikely to justify the costs they impose.’ The recommendation is for Queensland to opt out of NCC 2022 and ‘only adopt future NCC changes in Queensland codes where these have been through robust regulatory impact analysis to demonstrate they provide net benefits to the community.’ 

Under Reform direction 8 ‘consideration should be given to whether the regulatory framework underpinning the QBCC provides the right incentives for ongoing

improvements to regulatory performance.’

 

Modern Methods of Construction and BIM

 

There is a short chapter in the interim report on MMC, included in the section on regulation. The QPC argues there is no market failure and no reason for government intervention to promote MMC. The report makes some general observations about regulatory barriers to MMC, none of which are new, and did not endorse MMC as an alternative to conventional building. There is no discussion on the cyclical boom-bust nature of residential building, which makes industrialisation of modular and prefabricated housing difficult, the reluctance of most banks to finance modular and prefabricated houses, and the lack of standards or an industry quality assurance accreditation system for modular and prefabricated buildings. 

 

The QPC acknowledges the existence of the MMC program that QBuild and the Office of the Queensland Government Architect have, which is a partnership with 12 industry suppliers to supply housing in regional and remote areas. In 2023 QBuild established a training and production facility at Eagle Farm in Brisbane, and two more production facilities have since opened in Zillmere in north Brisbane, and Cairns in Far North Queensland. 

 

Although QBuild has the best developed MMC program in Australia that has produced over 500 houses, the QPC does not discuss or make any recommendation on the program. The QPC did not use the opportunity to report data from QBuild on MMC productivity, costs and time performance, or provide feedback from occupants on the build quality and  liveability of their houses, or from users of modular or prefabricated public buildings like schools and hospitals. 

 

Another oversight is the lack of discussion on the use of Building Information Modelling (BIM) or other digital tools like design for manufacture and assembly (DfMA). These are making offsite manufacturing of building modules and components more efficient and have been used for over a decade. At the end of the section on Contracting for Efficiency the QPC asks for information on ‘the key barriers to increased adoption of digital technologies, such as BIM, and the policies or practices that would allow the opportunities for digital technologies to be fully leveraged.’

 

Queensland has had a BIM mandate for public projects over $50 million since 2019, however the QPC does not think this worth mentioning or, worse, investigating. This was another missed opportunity to assess the costs and benefits of their BIM mandate, and the failure to recommend its retention and/or extension a mystery. Also, the BIM mandate is under the Queensland Department of State Development and Infrastructure, which has a 2024 Infrastructure and Workforce Productivity Plan with details on current and planned initiatives, The QPC does not refer to this plan or its effectiveness [5]. 

 

Industry Issues

 

There are other important industry issues not discussed, starting with construction costs and the volatility of the building cycle. Improving productivity through better project management and reform of the VET system are also overlooked. There is no discussion of digitisation and automation, digital tools and platforms, AI enhanced systems, and automated planning and code compliance checks. Also, industry contractual relationships and risk allocation are not considered. Subcontracting is flexible and a method to manage costs and risk, but direct employment has a smaller span of control and is more efficient. 

 

Although there is extensive coverage of building regulation and the NCC, the QPC does not discuss building defects and the lack of implementation of the 2018 report Building Confidence: Improving the Effectiveness of Compliance and Enforcement Systems for the Building and Construction Industry Across Australia recommendations on mandatory inspections and fire safety. Nor is the problem of flammable cladding in Queensland in the report, where from 2019 to 2023 there was a Safer Buildings Taskforce to advise the government on policies and actions and how to rectify combustible cladding. In August 2025 three public buildings still needed rectification and some unknown number have been rectified and removed from the online list on The Department of Housing and Public Works page, which says: ‘As of 31 May 2024:

·       976 private buildings require a solution to address cladding risk;

·       308 are potentially at risk and need to complete the checklist process;

·       345 have notified of removal or rectification.

 

Although the terms of reference were to look at other jurisdictions, there is no discussion of the NSW iCIRTsystem, developed by ratings agency Equifax, for assessing contractor and consultant capability and performance, despite clear evidence of the effectiveness of the system in NSW in improving building quality and addressing the problems of building defects and phoenixing by developers and contractors. Discussion of the 10 year latent defects insurance scheme that has started in NSW is also missing. 

 

Conclusion

 

The QPC has focused on regulation and planning as the main issues, but these are just two of the factors that affect onsite productivity, and arguably skills, technology and project management are more important. Also, while no-one disputes the importance of issues like costs, prices, competition, the supply chain, labour, skills, occupational licensing, procurement and contracting, these have been discussed and dissected over and over again. The QPC makes no new contribution to these issues.

 

The QPC’s 21 recommendations and seven reform directions are in four key areas. The first is improving government procurement policies, where well-known ideas on collaborative contracting, and selecting, sequencing, and sizing of public projects are recycled. These would all make the Queensland Government a better client and would probably increase productivity on public projects, but that can only have a small effect on the overall level of construction productivity in the state because most of the work done is for the private sector. The Queensland Government (and the other Australian Governments) have received these recommendations many times over the years. 

 

The second key area is improving land use regulations, including approvals and zoning, which are a third of the recommendations. The QPC does not directly address the reality that local government opposes new housing, although it does recommend an alternative development pathway for significant developments and reviewing the Building and Planning Acts. The issue here is planner productivity, which has fallen as regulatory complexity has increased, not construction productivity. Planning and zoning decisions have no effect on supply side issues such as the cost of construction materials and mortgage finance for new housing, providing the infrastructure needed for new developments, and the rate of conversion of approvals into commencements by developers.

 

The third key area is the regulation of building activity. The QPC recommends opting out of the 2022 NCC updates on building accessibility and thermal performance because of their cost effects, reviewing the regulatory framework and performance of the QBCC, and pausing rollout of trust accounts while investigating their costs and benefits. The QPC argues no government support for MMC is required, but regulatory barriers should be addressed. 

 

The fourth key area is improving labour market operation, mainly through reform of apprenticeship and training pathways, occupational licencing, skilled overseas migration, labour hire licensing, and allowing recognition of qualifications from interstate. These issues were recognised and had similar recommendations in the NSW and Productivity Commission reports. 

 

What the QPC report shows is that construction productivity in general, and residential productivity in particular, is being used as a stalking horse for the lack of supply of new housing. As in the previous reports from the NSW Productivity and Equality Commission and the Productivity Commission, the main focus is on a sclerotic planning and approvals process that delays and often prevents new housing. The real issue there is local government opposition to new housing and planner productivity, not construction productivity. 

 

Houses are larger and apartments smaller than a few decades ago, but how they are procured and built, and what they are made of, has not substantially changed in decades. Fundamentally, that is also why the level of productivity has not changed. While there are more electrical appliances and offsite manufacturing of trusses, windows, doors and cabinetry, the building structure and services like electricity, water and plumbing in a 1960s dwelling are those found in a new build today.

 

Construction in general and housing in particular has a well-established system of production that is efficient and flexible. It will only change if and when there is a clearly superior method of delivery that is also profitable. Tinkering with regulations, the NCC, planning and approvals processes, and occupational licensing might make a difference at the margin, but will not deliver the big improvement in productivity that is required. For that a commitment to increased digitisation and automation is necessary, with government policies, procurement and finance aligned. 

 

There are some glaring omissions in the report. The QBuild MMC has produced over 500 houses, but the QPC does not discuss or make any recommendation on the program. Queensland has had a BIM mandate for public projects over $50 million since 2019, however the QPC does not think this worth mentioning or, worse, investigating. There is almost no discussion on the use of BIM or other digital tools like design for manufacture and assembly. Construction costs and the volatility of the building cycle, improving productivity through better project management and reform of the VET system are also overlooked. Although there is extensive coverage of building regulation and the NCC, the QPC does not discuss building defects and the lack of implementation of the 2018 Building Confidence report. 

 

The productivity issues in the QPC report are not new and can be found in many other reports on the industry, although there are some that are specific to Queensland. The interim report’s recommendations are limited and most would be little more than modifications to the current system. While those may be worthwhile, because the current system can clearly be improved, there is no suggestion that a more radical approach might be needed or taken.

 

                                                            *

 

[1] The effect of the mining boom was the subject of a 2023 post on The Long Cycle in Australian Construction Productivity using GVA per person employed.

 

[2] The US research was discussed in an October 2024 post Recent Research on Construction Productivity.

 

[3] Discussed in the post Housing Productivity Report a Missed Opportunity on the  Productivity Commission’s report Housing Construction Productivity: Can We Fix It

 

[4] The QPC does not refer to the NSW Housing Development Authority, established in January 2025 to approve State Significant Developments and rezonings. By August it had approved 187 projects with over 70,000 dwellings. NSW has introduced a Pattern Book of six low and mid-rise housing designs with a 10 day approval pathway. Also in August, Victoria introduced a Single Home Code for deemed-to-satisfy houses that need no further approvals. This follows the Townhouse and Low-Rise Code introduced earlier in 2025.

 

[5] A 2021post was on BIM Mandates and  Construction Industry Policy



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