14 November 2023
National Heavy Vehicle Regulator
Dear Mr Olendrowsky
Re: Discussion Paper – Risk Based Heavy Vehicle Inspection Scheme
AgForce is a peak organisation representing Queensland’s cane, cattle, grain and sheep & wool producers. The cane, beef, broadacre cropping and sheep & wool industries in Queensland generated around $8.4 billion in on-farm value of production in 2020-21. AgForce’s purpose is to advance sustainable agribusiness and strives to ensure the long-term growth, viability, competitiveness and profitability of these industries. Over 6,400 farmers, individuals and businesses provide support to AgForce through membership. Queensland producers provide high-quality food and fibre to Australian and overseas consumers and contribute significantly to the social fabric of regional, rural and remote communities as well as stewardship of the state’s natural environment.
Thank you for the opportunity for AgForce to provide feedback on the Risk Based Heavy Vehicle Inspection Scheme Standard and Assurance Framework discussion paper. AgForce have a strong membership base of primary producers, many of which are owner operators or conduct business as contractors. There are not many aspects of agriculture that do not intersect with heavy vehicle use.
AgForce generally supports the spirit of the risk based heavy vehicle inspection scheme and is encouraged by the intent to reduce administrative burdens for those operating across multiple states and who do the right thing.
Please find below responses to Appendix 1: Discussion Paper Questions
# |
Standard
|
Detail
|
Question Responses
|
1 |
Risk Criteria
|
Inspection Frequency | Defined RBHVIS inspection frequencies are appropriate. |
2 | Outer limit for inspections | Suggestion the outer limit should be 3 or 4 years. | |
3 | Time elapsed since last inspection |
If zero intercepts or random sampling on that vehicle has been done within 3 years, is there potential to put them in the pool of strategic sampling to ensure there is compliance and operational standards being met.
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4 | Yes, everyone should be subject to RBHVIS inspections. | ||
5 | Random sampling |
Recommend more consultation to understand how random sampling should be implemented.
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6 | Maintenance-related defect notices |
We support major defect notices being entered into an operator’s risk profile. We also would support serial offenders (poor maintenance practices) of minor defect notices being entered into an operator’s risk profile. Perhaps consider a gateway system before being flagged, to ensure a single unforeseen defect does not adversely affect a ranking.
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7 | Detection of defects during scheduled inspections |
A timeframe to resolve the defect and perhaps a way to prove the defect has been rectified without having to return to an inspection site, given geographical distances many people need to travel. Video call via mobile, report signed off by local mechanic, proof of purchase and photos of installation etc.
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8 | Performance Monitoring and Continuous Improvement |
Recommend more consultation to understand performance monitoring indicators for this sort of scheme.
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9 |
Inspections
|
Standards | Current Inspection standards seem appropriate |
10 | Consistency | ||
11 | Performance Metrics |
Recommend more consultation to understand performance monitoring indicators for this sort of scheme.
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12 | Training & Qualification | Training & Qualification |
Preference for industry knowledge and skills over qualifications. Mechanical/diesel fitters are always well received.
|
13 |
Equipment
|
Maintenance & Upkeep | No feedback |
14 | No feedback | ||
15 |
Evidence
|
Types of Evidence | Scheduled services vs reactive services or repairs. |
16 | Evidence Submission | Online platform is likely to be the most efficient, but there should be scope for face to face or phone meetings for those who don’t have internet or the technology to support online uploads | |
17 | Risk Criteria Detail | Risk Factor Categories | No suggestions to enhance methodology used |
18 | Risk Factor Category & Category Variable Weighting Summary |
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19 | Age of Heavy Vehicle or Trailer |
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20 | Vehicle Type |
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21 | Vehicle Servicing Arrangement |
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22 | Operating Environment |
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23 | Industry Sector |
Should be considered. Many farming operations are seasonal, therefore heavy vehicle use is seasonal. Many heavy vehicles are only utilised for a few months of the year. This should be considered as part of the risk criteria.
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24 | Operator Defect History |
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25 | Operator Compliance History |
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26 | Operator Accreditation |
Accreditation schemes can be overly burdensome with paperwork and do not necessarily reflect the operating nature of the heavy vehicle. AgForce preference is for good servicing and low defect notices over an accreditation scheme.
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27 | Safety Management Systems |
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Yours sincerely
Michael Guerin
Chief Executive Officer