Affordable Housing Concept - Urban Infill Villages

This article seeks to examine the viability of developing vacant Crown Land in the inner suburbs of Ascot, into a small, affordable housing facilities, in the style of a lifestyle village.

The concept of developing affordable housing as a lifestyle village is well established in Western Australia, by the private sector. However, over the past decade, private dwelling costs in lifestyle villages have increased significantly, due to an imbalance of supply and demand, as well as limited supply of appropriate land.

Affordable Key Worker, Rental  Accommodation - Osprey Village Port Hedland

Affordable Key Worker, Rental  Accommodation - Osprey Village Port Hedland


Public sector development of lifestyle village style housing facilities is limited in Western Australia, but has proven successful in other jurisdictions, particularly for workers accommodation.

A key factor in favour of lifestyle villages in establishing housing affordability is the fact that while the occupants privately own the majority of the dwellings, the ownership of the land, on which the dwellings are constructed, is held by a separate entity. That entity charges rent to the dwelling occupants for the use of the land, common facilities and estate management. Government housing expenditure takes many forms in Australia. It includes direct provision of housing through public housing, general income support in the form of rent assistance, or as tax expenditure such as the capital gains tax exemption for owner-occupiers. Government expenditure types estimated in the analysis are both direct and indirect, as follows -
Direct expenditure on housing:

  • Government provision of public housing through State Housing Agencies;
  • First home owner grants and boosts; and
  • Private rental assistance.

Adding to the affordability of housing in lifestyle villages, for some occupants, the Commonwealth pays rent assistance to recipients of income support payments, including those who receive more than the base rate of family tax benefit (Part A), and pay private rent above minimum thresholds.

Rent assistance can be used for:

  • Rent (other than for public housing or the state/territory owned and managed Indigenous housing);
  • Service and maintenance fees in a retirement or lifestyle village;L
  • Lodging;
  • Fees paid to use a site for a caravan or other accommodation, which is occupied as the principal home; and
  • Fees paid to moor a vessel occupied as the principal home.

Rent Assistance is payable at the rate of 75 cents for every dollar of rent payable above the rent threshold, until the maximum rate of payment is reached. Rent thresholds and maximum rates vary according to residents family situation and the number of children they have. Rent thresholds and maximum rates are indexed in March and September each year to reflect changes in the Consumer Price Index.

For an eligible sole occupant or couple of homeowners in a lifestyle village, paying site rental a typical level of assistance would be around 40% of the site rental, making lifestyle villages a much more affordable option than single residential ownership in cities, towns and suburbs.

The term ‘affordable housing’ is often and widely used but its meaning varies dependant on the context within which it is used. For the purposes of this study, affordable housing is housing which is affordable for residents in lower or middle parts of the income scale. This housing also must be reasonably adequate in its standard and location for these households and “does not cost so much that such a household is unlikely to be able to meet other basic living costs on a sustainable basis” (Disney, 2007). Affordable housing refers to housing available for both purchase and rental and can be provided by the public, community or private sectors.

Land supply is a critical factor in housing affordability. In examining issues concerning housing affordability, the WA State Government’s, Community Development and Justice Standing Committee found that “undeveloped land in Western Australia is relatively plentiful [and] 25,000 subdivided and undeveloped lots are being withheld from the market in the Perth region by developers.”

Whilst many of these lots are being withheld from the market by large scale property developers and investors, a large number of lots are being withheld by small scale ‘mum and dad’ investors, speculating in increases in the value of land. These investors are attracted by the existing tax regime, which offers deductions for expenses such as loan interest and council rates on land that is bought with the intention of constructing a rental property. Furthermore, the ‘Gross Rental Valuation’ (GRV) rating regime used in WA provides little incentive for capital improvements, as building upon vacant land increases its rateable value. The restricted availability of land has the effect of increasing the cost of land and thereby reducing housing affordability.

The Need for Smaller Dwellings & Higher Density Housing Has Never Been More Critical

The mismatch between the need for smaller more affordable and energy efficient homes, versus the increasing size and cost of houses has continued unabated (ABS 2006; Salt 2004).

In WA, there is still a predominance of three, four and five-bedroom dwellings while the majority of demand is for one or two-bedroom homes. In the broader housing system the majority of new homes built are still four by two single detached houses. Not only does this type of dwelling fail to match the predominant household structure but it also increases the cost of building and buying a new home. Housing affordability in Western Australia would be considerably improved if there were a greater diversity of built form, providing a greater range of dwelling sizes and hence prices.

 Housing Stress

When the total burden of unaffordable housing is combined with the other financial commitments of a household, the inhabitants can be said to be in ‘housing stress’. This can occur when low and moderate income households are required to spend a disproportionate amount of their income on housing costs (for example rent and mortgage payments).

The generally accepted measure of housing stress is the ‘30/40 rule’: When a household in the bottom 40% of the income distribution spends more than 30% of its gross income on housing costs. “Higher income households who choose to allocate more than 30% of their income on housing costs are not in housing stress. They may have a high housing cost to income ratio but they will still have sufficient income left for life’s necessities” (Winter, 2007)

In recent years, strong housing demand has caused the cost of housing in WA to rise dramatically leaving many on low and moderate incomes struggling to find housing that is both affordable and appropriate for their needs. WA has overtaken the rest of Australia in regards to how much on average is being spent on mortgage costs, with nearly 40 per cent of all owner-occupier households devoting more than 30 per cent of their incomes towards mortgage repayments.

Eight years earlier, only one in four WA households were paying more than 30 per cent towards housing costs in 2003–04, whereas over 30 per cent of households in the rest of Australia were paying this proportion. the proportion of households paying more than 40 per cent in disposable income has also been increasing for WA, from 13 per cent in 2003–04 to 23 per cent in 2011–12. those paying more than 50 per cent have also increased significantly, from around 7 to 18 per cent.

Most startling is the 73% increase in the Perth Median house price in the five years between 2005 and 2010. This massive rise, has pushed 95% of properties into the “Severely Unaffordable” range, driven thousands of families into “housing stress” and has been the key cause of a record public housing waitlist in the state.

In WA, six times the median annual income is required to purchase a home at the median price (Bankwest Curtin Economics Centre, 2014). This is up from 3.6 times the annual income which was required to purchase a dwelling in WA in 2001.

150929 Ascot Affordable Housing Pre-Feasibility Study Final Draft Revised.jpg

The Brighthouse Urban Infill Concept

The concept is relatively simple. A government agency (Developer) for example, the Housing Authority, Department of Planning or local government provides the land and undertakes the lead in development of the site, Development includes siteworks, below-ground services, roads, amenities and landscaping. A number of sites are prepared for transportable modular dwellings with services connection points to each site.

The developer purchases dwellings from a contracted manufacturer, which installs them at the site, ready for occupancy in predetermined stages according to the anticipated demand for the sale of the dwellings. Most of the dwellings are sold at a profit but in most instances at well below the applicable median house price for the locality. The profit offsets the cost of site development and land acquisition. Ideally, approximately 10% of the dwellings should retained by the developer as public housing for rent.

Suitably qualified prospective occupants of the dwellings, purchase the homes from the Developer and pay a rent for the site upon which their dwelling sits. Generally, in lifestyle villages, many of the dwelling occupants, are entitled to government support and are therefore are eligible for rent assistance. for the site fee.

There are a number of ownership and operating models that could be utilised for the proposed lifestyle villages and similar urban infill developments. The key to establishment of the concept for affordable housing, based on lifestyle villages, is access to suitable land, which may mean the use of Crown land or land vested in, or owned by, local government.

The initiation of these projects by government agencies may be critical as the approvals process and the lack of understanding of the concept, can deter the private sector from accepting risk associated with such developments. Once established, the villages can be on sold to investors such as superannuation funds or to established lifestyle village owner-operators  or not-for-profit organisations.

The design rationale for the proposed lifestyle village urban infill developments is to create an attractive, low impact, affordable housing village that isympathetic to the locality and in harmony with the community and environment.

This concept is based on the proposed development of the residential lifestyle villages and operation under a licence issued under the Caravan Parks and Camping Grounds Act 1995 (or any subsequent act replacing this).

A Lifestyle Village is defined in the Residential Parks (Long-stay Tenants) Act 2006 and regulated by Residential Parks (Long-stay Tenants) Regulations 2007.

The purpose of developing the proposed affordable residential housing as a lifestyle village is the flexibility provided by the legislation in terms of density, operation and management.


Residential Lifestyle Villages can enhance the locality and provide quality affordable housing.

Residential Lifestyle Villages can enhance the locality and provide quality affordable housing.

The modular park homes are quick to construct and are as liveable as their site-built alternatives.

The modular park homes are quick to construct and are as liveable as their site-built alternatives.

A variety home styles, facades and colours make for attractive streetscapes and shared amenities improve liveablity.

A variety home styles, facades and colours make for attractive streetscapes and shared amenities improve liveablity.

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