{{ propApi.closeIcon }}
Our industry
Our industry $vuetify.icons.faArrowRight
Housing industry insights Economics Insights Data & forecasts Tailored research & analysis Advocacy & policy Advocacy Policy priorities Position statements Submissions News & inspiration Industry news Member alerts Media releases HOUSING Online
Business support
Business support $vuetify.icons.faArrowRight
For your business Contracts Online Safety systems & solutions HIA Tradepass Advertise jobs Member perks Toyota vehicles The Good Guys Commercial Ampol fuel savings See all Industry insurance HIA Insurance Services Construction works insurance Home warranty insurance Tradies & tool insurance Apprentices Why host a HIA apprentice? Hire an apprentice Support & guidance Contracts & compliance support Building & planning services
Resources & advice
Resources & advice $vuetify.icons.faArrowRight
Building it right Building codes Australian standards Getting it right on site See all Building materials & products Concrete, bricks & walls Getting products approved Use the right products for the job See all Managing your business Dealing with contracts Handling disputes Managing your employees See all Managing your safety Safety rules Working with silica See all Building your business Growing your business Maintaining your business See all Other subjects Getting approval to build Sustainable homes See all
Careers & learning
Careers & learning $vuetify.icons.faArrowRight
A rewarding career Become an apprentice Apprenticeships on offer How do I apply? Frequently asked questions Study with us Find a course to suit you Qualification courses Learning on demand Professional development courses A job in the industry Get your builder's licence Continuing Professional Development (CPD) Further your career Find jobs
HIA community
HIA community $vuetify.icons.faArrowRight
Join HIA Sign me up How do I become a member? What's in it for me? Mates rates Our podcasts Made To Build Built Different HIA Building Australia Building the Hunter Our initiatives HIA Building Women GreenSmart Kitchen, bathroom & design hub Get involved Become an award judge Join a committee Partner with us Support for you Charitable Foundation Mental health program Get to know us Our members Our people Our partners
Awards & events
Awards & events $vuetify.icons.faArrowRight
Awards Awards program People & Business Awards GreenSmart Australian Housing Awards Awards winners Regional Award winners Australian Housing Award winners 2024 Australian Home of the Year Enter online Industry events Events in the next month Economic outlook National Conference Events calendar
HIA shop
HIA shop $vuetify.icons.faArrowRight
Most popular products National Construction Code Vol 1 & 2 Waterproofing wet areas AS 3740:2021 HIA Guide to Waterproofing HIA Guide to NCC Livable Housing Provisions Top categories Building codes & standards Contracts & documents Guides & manuals Safety products Signage For your business Contracts Online Digital Australian Standards Digital Resource Library Forecasts & data
About Contact Newsroom
$vuetify.icons.faTimes
$vuetify.icons.faMapMarker Set my location Use the field below to update your location
Address
Change location
{{propApi.title}}
{{propApi.text}} {{region}} Change location
{{propApi.title}}
{{propApi.successMessage}} {{region}} Change location

$vuetify.icons.faPhone1300 650 620

Energy efficiency in residential buildings

This policy sets out HIA's position on current and future energy efficiency regulations and policies that apply to new residential buildings.

HIA's Position statement

  1. The residential building industry acknowledges the need to build environmentally responsible housing to the extent it does not negatively impact on housing affordability and housing supply.
  2. The residential building industry is able to provide a range of sustainable housing solutions that meet consumer expectations and needs.
  3. HIA recognise the vast majority of Australia's housing was built before the introduction of minimum energy efficiency regulations.
  4. Current energy efficiency standards up to NCC 2016 for new residential buildings provide a thermally efficient building shell that minimises the use of energy and greenhouse gas emissions from key fixed appliances.

  5. Objective of energy efficiency

  6. The recent federal government decision to adopt a trajectory towards a zero energy (and carbon) ready building indicates that the primary objective for energy efficiency regulation of new buildings is now focused on reducing greenhouse gas emissions and overall energy consumption.
  7. The objective to reduce greenhouse gas emissions and energy consumption is best achieved using a ‘whole of house’ approach to energy efficiency regulations for new housing.
  8. The 'whole of house' approach would allow trading between the fabric performance and efficiency of appliances and the optional incorporation of renewable energy resources (photovoltaics, battery storage, etc.) as opposed to regulations that continually imposed higher standards solely on the building’s thermal shell.

  9. Regulation of energy efficiency in residential buildings

  10. Where regulation is required to improve the energy efficiency of new housing, HIA supports minimum necessary regulations being applied through the National Construction Code (NCC), developed in consultation with industry and which deliver a positive net benefit to both society and in particular to the individual home owner.
  11. The NCC must include a simple, deemed to satisfy (prescriptive) method for achieving minimum energy efficiency regulations, comparable to the outcomes achieved through computer simulation assessments.
  12. Energy efficiency standards for residential buildings should be set at the minimum necessary level to generate benefits to society greater than their costs rather than at an aspirational or best practice level.
  13. The inclusion of energy efficiency features for new homes that exceed current regulations should be done so at the choice of the consumer (home buyer) rather than being mandated by governments.
  14. Any changes to energy efficiency standards that seek to raise stringency must be justified through a comprehensive Regulatory Impact Assessment that assesses all the impacts and costs that will be borne by the changes and demonstrates a positive cost benefit to society and for the home owner.
  15. HIA does not support state and territory governments seeking to raise energy efficiency standards beyond that set out in the NCC, or prior to national changes occurring.
  16. Where a state or territory government proposes to adopt alternative energy efficiency standards it should be pursued through a variation to the NCC, and only occur where:
    • it is justified through a comprehensive Regulatory Impact Assessment that demonstrates a positive cost benefit to society and to the individual home owner; and
    • there is a proven difference due to geographical, geological or climatic conditions for such a variation.
  17. Building standards for energy efficiency should not be incorporated into planning regulations or other regulatory instruments.

  18. Future standards

  19. Future policy settings for energy efficiency in buildings should not be based on a ‘star rating’ approach but set a whole of building target to enable a ‘whole of house’ approach and account for contribution of fixed appliances and renewable energy systems that offset overall energy usage.
  20. Further increases in energy efficiency regulations for new homes or alterations and additions should be rejected until such time as:
    • governments have taken actions to improve the performance of existing housing stock to achieve an energy rating equivalent to BCA 2003 (4-stars)
    • a comprehensive post-construction review of the implementation of existing energy efficiency regulations, including confirming the actual costs and benefits for new home owners and comparing this to the predicted costs and benefits, has been completed
    • an assessment framework which provides a direct correlation between energy efficiency and greenhouse gas emissions reductions and the incorporation of on-site renewables and the current energy efficiency provisions in achieving the trajectory of zero energy (and carbon) ready buildings is developed;
    • an assessment framework demonstrates a deficiency in the ability of current standards to be serviced by network capacity, deliver occupant health or respond to extreme weather; and
    • the Federal and State governments establish a clear purpose and measurable ‘target’ that energy efficiency policies for residential buildings should deliver (e.g. greenhouse gas reduction, lower peak power usage).
  21. Where changes to the NCC are to occur and will increase stringency, and are supported by a positive cost benefit analysis, these should not be done triennially and should be spaced at a minimum of six years, but preferably longer intervals to allow appropriate time for builders and building product manufacturers to revise designs, develop products, test, sell and eventually transition to meet the standards.
  22. Where technical provisions are proposed for Distributed Energy Resources, these address safety, and quality of installation acknowledge voluntary pre-provisioning compatible with the widest range of technology and be aimed at lowering costs and overcoming information asymmetries until a market or regulatory failure is established.

  23. NCC compliance tools

  24. The use of computer rating tools to assess the thermal performance of residential buildings provides an important alternative assessment pathway for the housing industry. These rating tools should be based on a nationally agreed set of transparent scientific principles and all programs should achieve a consistent outcome for the same building in the same location.
  25. The framework for computer rating tools should maintain the option for the private market to compete and develop alternative software programs that meet minimum standards and agreed outcomes. This framework should continue to be managed by the federal government.
  26. The NCC should maintain a number of compliance options for how the mandatory Performance Requirements are satisfied and not limited to a single compliance tool option.
  27. Any changes to computer rating tools should be subject to the same level of regulatory analysis as changes to the NCC and should only be delivered in line with NCC amendment cycle and enable industry to prepare.
  28. Residential building energy assessors must be appropriately experienced in residential building design or construction and the use of energy rating software recognised by the NCC.

  29. Appliances and fixtures

  30. HIA supports the use of Minimum Energy Performance Standards (MEPS) to manage the energy efficiency performance of fittings and fixtures, such as hot water services, air conditioners and lighting, to complement efficiencies gained through the improved building fabric in new homes and any regulations applying to existing homes.
  31. Any changes in the stringency of MEPS should be subject to a Regulatory Impact Assessment, developed in consultation with building product manufacturers and suppliers, which delivers a positive net benefit to both society and to the individual home owner.
  32. Appliance choices not be mandated by fuel sources, but their ability to contribute to an overall building target.

    Incentives

  33. Federal and state governments should support targeted rebate programs for energy efficiency measures to reduce the energy consumption in existing homes and to support new home owners who choose to exceed current regulation. Programs should be well targeted and implemented over a sufficient period to allow industry and consumers to take advantage of the rebates.
  34. Governments should introduce incentive schemes which promote and reward the inclusion of measures that exceed existing building standards.

  35. Government promotion and consumer awareness

  36. Governments should support consumer awareness campaigns which highlight the benefits of a more energy efficient home and how to operate a home more efficiently.
  37. Voluntary, industry-led solutions (such as the HIA GreenSmart program) should be encouraged by all governments as an option to promote improvements in the energy efficiency of residential buildings and to facilitate innovation and new practices in energy efficient housing and land development;
  38. An expansion of the HIA GreenSmart program, with an emphasis on consumer education and awareness, including at school level, should be supported by governments, to provide unified sources of information on sustainable housing and connect consumers with builders who can deliver relevant solutions.
  39. Financial institutions and valuers should have regard to the energy efficiency of existing and new homes in providing valuations.

Background

  • The introduction of minimum energy efficiency regulations in 2003, through the Building Code of Australia, was supported on the basis that a clear net benefit was shown to be delivered to the community and the home owner.
  • In 2005, the Federal Government endorsed an increase to 5-stars for all class 1a residential buildings and in 2009 supported a move to 6-stars. The case for increasing to 5-stars, and now 6-stars, was not adequately substantiated prior to its introduction. Indeed, the Regulatory Impact Statement for 6-stars showed a negative cost benefit to the community and the home owner.
  • The benefit that may be derived by the home owner from changes to the building thermal performance has reached the point where costs for an increase in energy rating far exceed estimated savings to the home owner through reduced energy bills.
  • In 2015, the Council of Australian Governments (COAG) endorsed the National Energy Productivity Plan (NEPP) 2015 which provides a framework designed to accelerate action to deliver a 40 per cent improvement in Australia’s energy productivity by 2030.
  • To support NEPP Measures relating to energy efficiency for buildings, COAG Energy Ministers adopted a trajectory towards zero energy (and carbon) ready buildings, which indicates the objective for energy efficiency regulation of new buildings is now focused on reducing greenhouse gas emissions and overall energy consumption.
  • The housing industry is making significant progress in the delivery of energy efficient housing by incorporating energy efficient designs and technology innovations into new homes.
  • Current building and planning regulations deliver a significantly higher level of energy efficiency in new homes than the eight million existing homes constructed prior to 2004.
  • Up until the 2019 decision by federal and state governments on the Trajectory, there was no national target for the reduction of emissions from the building sector. Even with the target being established in the Trajectory it is qualitative in nature, the ability to assess the benefits of current and future regulations for their effective delivery of the desired policy outcomes of government is limited.
  • HIA promotes voluntary market-based solutions and HIA’s GreenSmart program encourages designers and builders to voluntarily implement design and construction methods to conserve natural resources.
  • The benefit of energy efficiency regulations aimed at the building fabric vary greatly due to the local climate, the selected fittings and fixtures in a home and the practices of the home owners.
  • The Federal Government has continued to adopt a strategy of increasing the requirements for new homes without completing any review of the success, benefits and costs associated with the introduction of 4, 5 and now 6-stars.
  • The current regulation of energy efficiency standards has no correlation with the intended reduction in greenhouse gas emissions. It remains unclear how future standards and measures required for buildings will correlate with the intended goal of net zero ready buildings without this being a ‘whole of house’ approach.
  • A single energy efficiency target for new homes is not necessarily the most sensible approach to the climatic conditions across Australia. The cost impacts across Australia are variable based on the climate zone and the common methods of construction in each state.

Policy endorsed by HIA National Policy Congress: May 2014; Re-endorsed with amendments 2019 & 2024.

Share with your network:
More articles on:
{{ tag.label }} {{ tag.label }} $vuetify.icons.faTimes
Find the latest expert advice, guides and much more!
HIA Advocacy
View all $vuetify.icons.faArrowRight
10 Apr
HIA 2025-26 Pre-Budget Submission

The Victorian Housing Industry Association (HIA) takes this opportunity to make a submission ahead of the 2025-26 State Budget.

09 Apr
Inquiry into the supply of homes in regional Victoria

The Housing Industry Association (HIA) is Australia’s only national industry association representing the interests of the residential building industry, including new home builders, renovators, trade contractors, land developers, related building professionals, and suppliers and manufacturers of building products.

09 Apr
Noise induced hearing loss strategic review consultation brief (SA)

HIA provided feedback on the ReturntoWorkSA Noise Induced Hearing Loss – Strategic Review Consultation Brief, dated February 2025 (Consultation Brief).

07 Apr
Annual Wage Review 2024-25

HIA provided a submission to the Fair Work Commission on the Annual Wage Review 2024-25.

31 Mar
Consultation on the ban of engineered stone

HIA took the opportunity to provide a submission to Safe Work Australia in response to the consultation on the review of the ban of engineered stone in Australia implemented by the Model WHS Amendment (Engineered Stone) Regulation 2024.

28 Mar
Addressing corporate misuse of the Fair Entitlements Guarantee - Discussion Paper

HIA responded to February’s ‘Addressing corporate misuse of the Fair Entitlements Guarantee' Discussion Paper released by DEWR. The consultation process is considering options for targeted law reform to address issues and safeguard the sustainability of the Fair Entitlements Guarantee program.