Thank you, Mr. Chair.
Thank you for inviting us to speak to chapter 10 of the 2013 Spring Report of the Auditor General of Canada.
My name is Richard Botham. I am Acting Assistant Deputy Minister, Economic Development and Corporate Finance at the Department of Finance.
I will be making an opening statement on behalf of my colleagues here today: Greg Smith, vice-president and chief financial officer from PPP Canada Inc.; and from the Treasury Board Secretariat, Gonzague Guéranger, executive director for government and parliamentary operations, and Sylvain Michaud, executive director, government accounting policy and reporting.
PPP Canada Inc. is a crown corporation that was created in 2008 and became operational in 2009. The mandate of PPP Canada is to utilize the public-private partnerships in order to improve the delivery of public infrastructure.
PPP Canada acts as a centre of expertise on P3s, provides advisory services to federal departments on their P3 projects, and delivers the P3 Canada fund, an infrastructure contribution program that is part of the government's building Canada plan.
As indicated in the Auditor General's report, the government established PPP Canada as a non-agent of the crown for the purpose of delivering the P3 Canada fund. This means that commitments of the corporation are not considered binding on the crown. In short, in order for the corporation to make credible commitments to funding partners, it must be able to demonstrate it has financial resources to back up project commitments.
This is the reason why the Minister of Finance has sought and received approval from the Treasury Board, on behalf of the corporation, of annual exemptions from the directive on the use of the consolidated revenue fund for crown corporations. Like other expenditures, funding that is advanced to PPP Canada is sourced from a mix of general government revenues and general borrowings. Associating a particular spending item, such as funding for the corporation, to a specific borrowing can only be done as a hypothetical exercise.
We undertook such an analysis for the purpose of the audit. In a scenario in which all of the funds advanced to PPP Canada are sourced through borrowing, the government would meet such an uncertain and periodic requirement via the short-term debt that is being issued continuously to address variations in liquidity requirements—that is, through treasury bills.
The period covered by the audit was April 1, 2011, to September 30, 2012. We calculated the average rate on treasury bills for 2010-11 and 2011-12 and applied such rates to amounts drawn down, which yielded hypothetical borrowing costs of $2.6 million in the first year and $4.3 million in the second. PPP Canada's return on its cash reserves was $2.2 million in the first year and $5 million in the second. The hypothetical financing costs of less than $500,000 in year 2010-11 was more than offset by a small amount of hypothetical financing surplus of less than $1 million in 2011-12.
Notwithstanding this finding, given the importance of managing the advance payments with due economy, we have agreed with the recommendations in the chapter and have developed an action plan that has been submitted to this committee.
As indicated in the departmental action plan, the department is monitoring the returns that PPP Canada generates on its advance funding and the hypothetical borrowing costs associated with the drawdowns of the appropriations for the P3 Canada Fund.
This information will be provided to the Department of Finance and to Treasury Board ministers when the corporation seeks an exemption to the directive, and to the deputy minister of Finance when the corporation seeks to draw down its appropriated funding for the purpose of the P3 Canada fund. The department will also advise the deputy minister and the Minister of Finance of any significant change in the corporation's returns or estimated hypothetical borrowing costs as appropriate. Should the department identify significant net financing costs, the current funding model will be reviewed, and recommendations will be provided to the Minister of Finance. PPP Canada will be providing assistance in the context of this process as required.
In response to the Auditor General's report, the Treasury Board Secretariat, in consultation with the Department of Finance, will review the Treasury Board directive to determine whether changes need to be made to clarify that financing costs are to be taken into account when a crown corporation seeks an exemption to this directive to obtain funds in advance of disbursement needs. Any necessary adjustments to the directive will be brought forward to the appropriate authority by March 31, 2014.
Thank you, Mr. Chair. We would be pleased to answer any questions you may have regarding chapter 10 of the Auditor General's report.