Australian Human Rights Commission
Report title October 2022
30. The Commission recommends attention be given to ensuring Article 18 is
complied with in the staffing of NPMs. Specific efforts, including special
measures, should be made to employ First Nations staff and people with a
lived experience of disability.32
31. The Commission considers it necessary for all NPMs to have technical
expertise about child development, children’s rights, trauma and how
detention can affect children – particularly when visiting institutions where
children and young people are detained.33
32. The Commission emphasises the importance of ongoing involvement in the
OPCAT process of civil society organisations, academic and other experts
and people with lived experience of detention.34 Both domestic and
international commentators, including the UN SPT and UN Committee on
the Rights of Persons with Disabilities, have recommended strong and
formal relationships be established between the NPM and civil society.35
33. Funding has emerged as a significant issue delaying the establishment of
the Australian NPM Network.36 In July 2021 the Australian Government
pledged ‘funding over two years from 2021–22 to support states and
territories’,37 however ‘jurisdictions are responsible for funding their own
oversight and detention arrangements on an ongoing basis’.38
34. The Commission is of the view that establishing and maintaining oversight
mechanisms to perform the role of NPMs in each jurisdiction in Australia
requires modest changes to existing legislation, resourcing and oversight
mechanisms. The longstanding delays in implementing OPCAT are
concerning to the Commission.
35. The Commission recommends that all national, state and territory
governments in Australia finalise the process of designating oversight
mechanisms as the NPM for their respective jurisdictions, including any
changes necessary to broaden their mandates and meet the requirements
of OPCAT. They also need to provide sufficient resources to enable NPMs to
meet their responsibilities. Resourcing should be provided in a way that
enables NPM bodies to fulfil OPCAT’s core functions; respects the functional,
structural and personal independence of NPM bodies; and ensures effective
liaison with, and involvement of, civil society representatives and people
with lived experience of detention in the OPCAT inspection process.39
36. The Commission considers that progress has been too slow to date and that
immediate action is needed to fast-track implementation to ensure that
Australia complies with the 20 January 2023 extended deadline.
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