This Question on Notice from Mr. Bevan Eatts scrutinises the compliance burden and legal risks associated with a statutory declaration requirement for directors of corporate producers under a Supply Agreement with WA Return Recycle Renew Ltd (WARRRL), particularly for small and micro wine producers.

⏳ Awaiting AnswerQoN 2602Legislative Assembly
Asked
9 June 2026
Portfolio
the Environment

QuestionView source ↗

(1) Is it correct that clause 7.1(b) of the Supply Agreement requires a director of a corporate producer to provide an annual statutory declaration?
(2) Is it correct that the statutory declaration must verify the accuracy of information previously provided to the WA Return Recycle Renew Ltd (WARRRL)?
(3) Has the Government assessed the compliance burden associated with this requirement for small and micro wine producers:
(a) If yes, when was that assessment undertaken; and
(b) what conclusions were reached?
(4) Has the Government received any advice regarding the legal risks to directors arising from this requirement?
(5) Will the Minister table any assessment, advice, or briefing relating to the statutory declaration requirements imposed on producers?
Answered on

AnswerView source ↗

This question is awaiting a response from the Minister.

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