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Recommendation 12 |
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| 6.47 | While noting possible revisions in this area in NBN Co’s next corporate plan, the committee recommends that NBN Co progress its consideration of debt financing arrangements as a priority. |
In implementing structural reform of the telecommunications industry, the Government’s NBN policy will have a significant impact on Telstra as the highly integrated and dominant industry incumbent.[47]
6.48 The Binding Definitive Agreements between NBN Co and Telstra form the basis of Telstra‘s participation in assisting with the rollout of the NBN.[48] In support of these agreements, the Government has committed to providing $100 million to Telstra to assist it in the retraining and redeployment of Telstra employees affected by these reforms to the structure of the telecommunications industry.[49]
6.49 Against this background, the committee continues to be interested in Telstra workforce issues.
6.50 The First Report signalled the committee’s intention to examine workforce issues related to the rollout of the NBN. However, as a range of key agreements concerning the NBN were still being finalised by the various parties at the time of completion of the first reporting period, such as the NBN Co agreement with Telstra, the committee indicated that it would examine workforce issues over its second reporting period.[50]
6.51 The committee duly considered workforce related matters in its Second Report, focusing on the Telstra Retraining Funding Deed (RFD). The committee was particularly interested in the terms of the RFD.[51] However, the RFD had not yet come into force at the time of the second review[52] and therefore many of the issues that the committee wished to explore had to be carried over. It was concluded that ‘more work need[ed] to be done in detail’ on workforce related matters and that investigation of this matter would therefore be continued over the third reporting period.[53]
6.52 Following the Second Review, the committee was interested in more closely examining the following issues:
n the Telstra Retraining Funding Deed (RFD)
n the Telstra Training Plan under the RFD
n Telstra’s workforce composition
n consultation arrangements under the Telstra Stakeholder Management Plan
n reporting requirements under the RFD
n projected employment in terms of the NBN project.
6.53 The Binding Definitive Agreements between NBN Co and Telstra form the basis of Telstra‘s participation in assisting with the rollout of the NBN.[54] The agreements came into force on 7 March 2012.
6.54 In support of these agreements, the Government committed to provide $100 million to Telstra under the Retraining Funding Deed (RFD) to assist it in the retraining and redeployment of Telstra employees affected by these reforms to the structure of the telecommunications industry.[55] The RFD is set to conclude in June 2019.[56] While the term of the RFD is for eight years, Telstra may request an extension of a further three years.[57]
6.55 Telstra also highlighted its commitment to ongoing training and development of its employees, outside of the RFD:
It is important to note that, in terms of our investment in our people, the $100 million, although substantial, only makes up a small proportion of the amount we will spend on training, learning and development over the NBN rollout period.[58]
6.56 The RFD between the Commonwealth and Telstra came into force when the Binding Definitive Agreements commenced in March 2012.[59] The RFD sets out the terms by which the Government will provide this funding to Telstra to retrain certain staff over an eight-year period. The objectives of the deed are:
n To support the availability of an appropriately trained workforce for the NBN; and
n For Telstra to establish a retraining arrangement for its staff who may otherwise have faced a redundancy as a consequence of the rollout of the NBN, thereby creating greater value for Telstra as part of the overall Definitive Agreements package than the Commonwealth’s cash contribution.[60]
6.57 The RFD sets out how Telstra will identify employees eligible for retraining in NBN related technical, process and system activities; the scope of training courses to be made available; the standards and quality that must be met; and the timing of training.
6.58 The deed operates by identifying an Automatically Eligible Workgroup (AEW) and other employees who may be determined to be eligible. The AEW group has priority for accessing the retraining and includes the Telstra:
n copper and hybrid fibre coaxial (HFC) based field workforce which undertakes installation and maintenance and construction and maintenance activity on Telstra’s Customer Access Network;
n direct field support workforce which conducts copper/HFC based field workforce support, including workforce management, workforce and resource planning, and construction program management;
n support of copper/HFC operations workforce which provides design of products, management of damages, network integrity, plant assigning, customer network improvements and contract management; and
n wholesale copper service workforce which provides the interface between retail service providers and Telstra in relation to copper services.[61]
6.59 The remaining eligible employees are ‘those employees or a class of employees who may face redundancy unless retrained for redeployment as a consequence of the decommissioning of the copper network and the HFC network broadband capability being deactivated’.[62]
6.60 Telstra advised that the average age of the group within Telstra Operations who are automatically eligible for retraining is 45—consistent with the average age of the broader Telstra Operations workforce, which is 44.[63]
6.61 Telstra provided useful background on the history of the agreement and the workforce implications for Telstra of the rollout of the NBN:
When Telstra commenced negotiations with the government and NBN Co. on our potential involvement in the NBN, we were very conscious that the structural changes being imposed on the telco sector, and on us in particular, would have significant implications for our business and our workforce. This concern was one of the reasons why we sought the inclusion of the retraining funding deed in the definitive agreements. Government decisions around the NBN will have a direct long-term impact on the way Telstra operates and will have practical implications for our workforce.[64]
6.62 Telstra also pointed to other, non-NBN-related, potential impacts on its workforce composition, including:
...the global changes to the telco sector, for example, the movement from simple connectivity to the provision of more complex network applications and services; the changing usage patterns of our customers, for example, the greater use of data versus voice; the associated convergence of voice and data networks; the increasing number of our customers choosing to manage their interactions with us and with other carriers online; and the activities underway within Telstra to simplify our business processes to drive out complexity and to improve customer service.[65]
6.63 The number of employees in the AEW group as at 1 March 2012 was 6255 employees.[66] As at 31 December 2012, Telstra had a total of 28 853 employees (excluding domestic controlled entities, offshore controlled entities, and agency and contract labour)—see Table 6.1.
Table 6.1 Telstra Workforce Composition (as at 31 December 2012)
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Full time equivalent employees |
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(1)Telstra-paid employeesa |
28 853 |
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Domestic controlled entities |
4 089 |
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(2)Domestic employees: (1) + Domestic controlled entities |
32 942 |
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Offshore controlled entities |
4 219 |
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(3)Total employees: (2) + Offshore controlled entities |
37 161 |
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Agency + Contract labour |
4 711 |
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(4)Total workforceb: (3) + Agency + Contract labour |
41 872 |
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a Of the Telstra paid employees (1), 15,257 FTE are in Operations, 8,625 FTE are in Customer Sales and Service and the remaining 4,971 FTE are in Corporate Areas (including Marketing and Products, Finance, HR, Business Support & International)
b Total workforce includes those employees on long-term extended leave
Source DBCDE, Submission 10, p. 6
6.64 The committee was interested in the total number of Telstra employees who might potentially fall into the AEW group over the life of the RFD—whether the size of this group might change, depending on how much work Telstra gained over time from the NBN—and also the total number of other Telstra employees who could potentially be determined as eligible for retraining over the life of the RFD. Telstra explained that:
...it is a pretty stable pool. I do not think we can extend it terribly much. Obviously if someone else is affected we would bring them in, but we did think pretty long and hard about who the affected employees would be and we are pretty confident that, except for maybe a handful here and a handful there, in broad numbers it is a pretty stable pool. My expectation is that that is a pretty stable pool.[67]
6.65 The committee noted that Telstra employees currently involved in providing access duct work for the NBN were not apparently eligible under the RFD:
Obviously we have a very big contract with NBN to do duct work and so, to the extent that there are people there, they are not eligible. We will be doing quite a bit of passive infrastructure work for NBN and those people are not in the eligible work pool.[68]
6.66 The RFD requires that a Training Plan be developed by Telstra and approved by the DBCDE. The Training Plan is therefore a significant component of the RFD. The initial Training Plan covers a three-year period, with subsequent plans to be lodged six months before the expiry of the previous plan.[69]
6.67 The scope of the Training Plan is to identify the training needs, courses to be developed, approach to course development, training methodology and targets for retraining. Telstra will ‘give priority to retraining in NBN-related technical, process and system activities’.[70] Under the terms of the RFD, the Training Plan must use 70 per cent of the funds for accredited training, to be delivered by a Registered Training Organisation (RTO). An RTO must be registered with a state or territory training authority of the National Audit and Registration Agency. This is regarded as an important quality measure under the RFD:
Telstra staff will be building on their skills and experience with accredited training that can be used towards the achievement of nationally recognised qualifications.[71]
6.68 The committee was interested in how these RTOs will be identified under the RFD. It was explained that:
Telstra is an Enterprise Registered Training Organisation (RTO), which is an organisation that is registered as an RTO but the principal business of the enterprise is not training and development, yet its primary target learning population are its employees. As such, Telstra will be responsible for the accreditation for a large proportion of the training to be delivered. Actions are in place to ensure that Telstra will have subject matter experts with the requisite training qualifications and industry competency, up skilled to deliver the required training and assess the competency of Telstra employees.
Where external training is required, Telstra will identify suitable RTOs via standard procurement practices.[72]
6.69 The committee also queried the geographic location of this training delivery, given that eligible Telstra employees are located in many different parts of the country. Telstra responded that it has:
...a long history of delivering training to all geographic locations nationally. This training is planned and delivered as part of the “business as usual” training plan. Resources for NBN retraining delivery will be planned on an annual and quarterly basis and factored into the Training Plan to cover the wide geographic area where Telstra employees are located. It is expected that some employees will be required to travel to training in different locations.[73]
6.70 The initial draft Training Plan must be submitted to the DBCDE by 30 April 2012 for approval. Telstra confirmed that it was ‘in the process of consulting with employees, with unions and with the government on the detail of the first training plan under the deed’ and ‘currently on track to lodge the plan with the government by 30 April this year’.[74]
6.71 While the RFD came into force in March 2012, the committee understands that these retraining arrangements are therefore not effectively operational for Telstra staff until the Training Plan is approved by the DBCDE:
The Retraining Funding Deed came into effect on 7 March 2012. It requires a draft Training Plan be developed and submitted to the Department by 30 April 2012 for approval and for prior and ongoing consultation with unions and the Department on retraining arrangements.
Until Telstra receives approval of the Training Plan from the Department, there is no retraining curriculum to be implemented under the terms of the Retraining Funding Deed.[75]
6.72 This raised a number of issues for the committee. Firstly, as the Training Plan under the RFD was not scheduled to be provided to the DBCDE for approval until 30 April 2012, by which time the committee had concluded its public hearings for the third reporting period, the committee was unable to further investigate the effectiveness of the RFD and Training Plan.
6.73 Secondly, the committee was interested in the gap between the RFD coming into force and it actually becoming operational. In particular, the committee was concerned about what might happen to any Telstra employees affected in the interim who may have been deemed eligible for retraining or redeployment under the RFD, if it had been operational. This could mean that opportunities under the RFD were being missed and retraining opportunities were not being pursued.
6.74 Telstra responded that:
...the impact of the NBN on our workforce at this stage is not significant because we still have a large bulk of business as usual on the copper network and all the work that still goes on with our IP network and the mobile network and the like. We are really looking at getting our workforce arrangements in place to deal with the NBN as we know more about it. We still do not know a lot about some of the network construction arrangements, who is going to do what, when and where.[76]
6.75 Telstra further explained that:
As the draft Training Plan is not scheduled to be provided to the DBCDE for consideration until 30 April 2012, and employees are not being affected as yet by the decommissioning of the copper network or the deactivation of the HFC network as a consequence of the rollout of the NBN, there is no retraining curriculum to be implemented under the terms of the Retraining Funding Deed. However, Telstra will consider the circumstances of individual employees, including the potential for redeployment within Telstra’s business and to undergo existing Telstra retraining.[77]
6.76 The committee therefore understands that, over this interim period, Telstra will consider the circumstances of individual employees affected by these changes, on a ‘case by case basis’.[78] Telstra further emphasised that:
We have a pretty strong preference for retraining and redeployment rather than redundancy, for obvious reasons. That is the case whether or not we had the retraining fund in place. Obviously that helps, because there is a huge body of retraining that has to happen. But at the moment—and six months ago—we are trying as best we can to identify if there are other roles within the company to redeploy those people as they stand. So, as you would know, there are some growth areas and some declining areas anyway, regardless of the NBN. We have been trying to cycle people through and move them out of declining areas and retrain them into other areas ... If a person had a retraining or redeployment option now, it is not like we would wait for the deed to get up and running before we did that; we would be trying very hard now to get them across.[79]
6.77 The committee was also concerned that there might be some Telstra employees affected by redundancies currently taking place as a result of job offshoring who could have been eligible to be retrained, if the RFD had been operational. The committee was interested in how that group of people might be included in the short term. Telstra responded that:
On March 26, 2012, employees working within the Switch Data Network function were notified that three full-time positions in that area would be made redundant.
Given the draft Training Plan is not yet approved, and that these employees were not impacted by the decommissioning of the copper network or the deactivation of the HFC network as a consequence of the rollout of the National Broadband Network (NBN), Telstra considered the circumstances of these three employees on a case by case basis.[80]
6.78 Telstra further commented, with regard to work within the Network Applications and Services business ‘where 255 roles were proposed to be made redundant over a three year period’ (as announced in early December 2011), that:
...these employees do not have the option of training under the RFD given the draft Training Plan has not been approved by the Department. However, other opportunities are being considered for these employees. This includes applying for fifty newly created or vacant jobs within the NA&S group, where affected employees are given preference. Additional redeployment opportunities within Telstra are also being sought and some employees have already transitioned to these new opportunities.[81]
6.79 A related issue of interest to the committee was the amount of contracted work Telstra had obtained from NBN Co, as this obviously had implications for Telstra’s workforce. Telstra noted that:
Apart from an early trial site in Brunswick, no. Telstra does not have any design construction work from NBN at this stage ... Clearly, commercial discussions between us and NBN have to proceed before that happens, but we are very keen to get that work for obvious reasons.[82]
6.80 Telstra further commented that:
As we migrate customers to the NBN and decommission our copper access network, the network maintenance task that we are currently doing will diminish with consequences, unfortunately, for our workforce. We have no certainty of obtaining a construction installation or maintenance contract with NBN Co. and this also has implications for our workforce. However, we continue to seek such work from NBN Co. and believe we have much to offer the project from a design, construction or maintenance perspective.[83]
6.81 In the second review period, the committee sought information concerning a number of Telstra employees who had apparently had their jobs moved offshore.[84] As part of this third review, Telstra advised the committee, through the department, that:
Telstra is committed to recruiting and retaining the best talent and is one of Australia’s largest employers. Telstra does not have any policy to recruit overseas workers. However, Telstra continually reviews its business to determine how best it can serve its customers. This means that we may work with other companies in the telecommunications industry to leverage their expertise while we focus more on our core business. From time to time this means that we restructure the business and this can result in roles becoming redundant.
Where roles have been made redundant as a result of a restructure, significant effort is made to reassign or redeploy affected employees to suitable roles across Telstra.[85]
6.82 The committee continues to monitor trends in this area, particularly given that the RFD will provide a mechanism to assist in the retraining and redeployment of Telstra employees affected by the NBN rollout.
6.83 An important aspect of the Telstra RFD is consultation with employees and unions. Telstra has prepared a Stakeholder Management Plan that identifies employees and unions as key stakeholders. Telstra will meet quarterly with unions to discuss retraining.[86]A representative from the department will also attend these meetings as an observer. The committee understands that consultation meetings with the unions have already occurred—on 4 November 2011 and 19 March 2012.[87]
6.84 Under the RFD, Telstra must maintain full and accurate accounts and records of the conduct of the retraining, the use of funds, and progress against the training targets and Training Plan. Telstra will provide an annual budget and provide an audited annual financial report.[88] Telstra must also provide six-monthly reports to the DBCDE on progress against the Training Plan, and a more detailed annual report on progress against the Training Plan.[89]
6.85 In terms of accountability for the oversight and implementation of the RFD, Telstra explained that the Human Resources department within Telstra implements the RFD and that the NBN Transition Team within Telstra is responsible for its oversight.[90]
6.86 The committee was interested in the level and value of employment to be created through the building and operation of the NBN, particularly in the context of the Telstra workforce retraining arrangements under the RFD. This employment includes direct NBN Co employment and NBN Co’s purchase of inputs for the rollout, as well as related companies and industries commencing to deliver applications and services over the NBN infrastructure and the flow-on effects to the businesses with which these firms interact.
6.87 Given that the purpose of the RFD is to assist in the retraining and redeployment of Telstra employees, to prepare them to work on NBN related activities, forward projections concerning the scale and composition of this employment market are of significance.
6.88 Initial estimates prepared by the Australian Government in developing the NBN policy indicated that the NBN would ‘support up to 25 000 local jobs every year, on average, over the life of the project, with up to 37 000 jobs at its peak’.[91] These figures include jobs created in related sectors that will support or deliver services over the NBN.
6.89 The committee understands that NBN Co has since established a workforce development group, which has undertaken an assessment of the tasks involved in the rollout, the skills required and the corresponding demand and supply for employment during the rollout construction.[92] The DBCDE submission noted that NBN Co has forecast direct employment demand for total employment in the construction phase of 16 000 to 18 000 jobs at peak of construction, with five key roles constituting some 80 per cent of forecast workforce demand:
n Labourer (5500)
n Earthmoving plant operator (2300)
n Road traffic controller (900)
n Cabler (3000)
n Telecommunications lineworker (1100)[93]
6.90 An important aspect of NBN Co’s job requirements is that the rollout of the NBN is dispersed across Australia, providing opportunities for local employment, particularly during the construction phases. The DBCDE submission further notes that NBN Co’s analysis for the construction of the NBN ‘has found there are enough people in the industry to meet the skills requirements for the construction of the network’ so that this activity should not contribute to skills shortages.[94]
6.91 In terms of its direct workforce, NBN Co had 1496 employees as at 26 March 2012, and the committee understands that NBN Co is planning to employ up to 2800 employees during the peak of the rollout.[95] Table 6.2 provides details of NBN Co’s workforce composition as at December 2011.
Table 6.2 NBN Co Workforce Composition
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NBN Co headcount |
December 2011 (actual) |
|
Total operations staff |
1 054 |
|
Total selling, general and administrative staff |
301 |
|
Total headcount (including contractors) |
1 355a |
a This comprised 1,317 employees, 19 contractors and 19 labour hires. This total is an increase of 449 from 30 June 2011 and 774 from 31 December 2010.
Source Shareholder Ministers, ‘Performance Report to 31 December 2011’, Submission 12, p. 16.
6.92 During 2011, NBN Co awarded a range of contracts totalling some $4 billion, the majority of which were for Australian based manufacturing and services, leading to direct new employment of approximately 700 to 1,000 new jobs.[96] As the DBCDE noted, while procurement policy is a commercial matter the company, NBN Co is expected to ‘actively promote opportunities, where possible, for local enterprises’, including seeking ‘local content and sourcing arrangements in its major contracts’.[97]
6.93 The committee notes Telstra’s statement that it ‘takes its responsibilities to properly support its employees very seriously. Negotiating the retraining funding deed, our efforts to redeploy staff and our generous redundancy provisions are, we believe, examples of this seriousness.’[98]
6.94 As the Telstra Training Plan under the RFD was not scheduled to be provided to the DBCDE for approval until 30 April 2012,[99] by which time the committee had concluded its public hearings for the third reporting period, the committee was unable to fully explore the effectiveness of the RFD and Training Plan. The committee will therefore investigate this matter in more detail over the next review period, including any impacts in terms of the gap between the RFD coming into force and it actually becoming operational.
6.95 Over future reporting periods, the committee will be interested to monitor progress under the Telstra RFD in supporting the availability of an appropriately trained workforce for the NBN and the numbers of Telstra employees retrained/redeployed and successfully transitioned over into the NBN sector who may otherwise have faced a redundancy as a consequence of the rollout of the NBN. Any revisions to NBN Co’s rollout targets will also need to be monitored as this may affect RFD arrangements and impact on the retraining and redeployment of Telstra employees.
6.96 The committee will also continue to monitor the composition of the AEW—whether the size of the group might change, depending on how much work Telstra gained over time from the NBN—and whether other Telstra employees might also be eligible under the RFD. The committee will be interested in the reporting documentation produced by Telstra under the RFD. In this regard, the committee notes that it would be useful to establish some form of public reporting on progress under the RFD, if this is not already envisaged.
6.97 To ensure that the Australian workforce, more generally, has the skills-set to be able to implement and maintain the NBN into the future, the committee finds that NBN Co may need to better communicate major areas of emerging training need and workforce demand in this regard.
6.98 In its First Report, the committee recommended that the Minister for Broadband, Communications and the Digital Economy publish a detailed statement outlining the job benefits of the NBN rollout.[100]In its response to the report, the Government provided such a statement, entitled ‘Job benefits’.[101] Given the significant level and value of employment to be created through the building and operation of the NBN and in the context of the Government’s support for the retraining and redeployment of Telstra employees affected by these telecommunications reforms, it would be useful for the Government to publish a detailed statement on this matter on an annual basis.
Recommendation 13 |
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| 6.99 | The committee recommends that the Department of Broadband, Communications and the Digital Economy publicly disseminate a reporting document on annual progress under the Telstra Retraining Funding Deed. |
Recommendation 14 |
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| 6.100 | The committee recommends that NBN Co publicly communicate major areas of emerging training need and workforce demand with regard to the rollout of the National Broadband Network, to assist with future Australian workforce planning in this sector. |
Recommendation 15 |
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| 6.101 | The committee recommends that the Minister for Broadband, Communications and the Digital Economy publish, on an annual basis, a detailed statement outlining the direct and indirect employment benefits of the National Broadband Network (NBN) rollout, including in terms of local/regional employment and major areas of emerging NBN workforce demand |
Robert
Oakeshott MP
Chair
19 June 2012