Representation of the People Bill — Impact Assessments: Impact assessment from the Ministry of Housing, Communities & Local Government
Parliament bill publication: Impact Assessments. Unassigned.
▤ Verbatim text from source document
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Update Title: Representation of the People Bill Impact Assessment
IA No:
Lead department or agency: Ministry of Housing,
Communities & Local Government
Other departments or agencies: N/A
Impact Assessment (IA)
Date: February 2026
Stage: Bill
Source of intervention: Domestic
Type of measure: Primary Legislation
Contact for enquiries:
electionsresearchanalysismailbox@commu
nities.gov.uk
Summary: Intervention and Options
RPC Opinion: N/A
Cost of Preferred (or more likely) Option (in 2025 prices)
Total Net Present
Social Value
Business Net Present
Value
Net cost to business per
year
Business Impact Target Status
£0 -£107.2m £0 £0
What is the problem under consideration? Why is government action or intervention necessary?
Democratic engagement is waning. Millions of eligible electors are either incorrectly registered or not registered at all.
Increased security threats, cases of harassment and intimidation, and concerns around foreign interference, have
undermined trust in politics and contributed to reduced confidence in our political system. Without reform, there is a risk that
trust in the democratic process worsens, undermining participation and representation, and that our electoral system
remains susceptible to evolving risks. To safeguard our democracy and ensure community empowerment, the electoral
system must be strengthened. Government intervention is necessary to build this resilience and reduce risks of delivery
failure, as it holds the legislative power to improve electoral administration and campaign regulation, thereby restoring public
confidence, enhancing democratic engagement, and ensuring votes genuinely reflect individuals’ voices and perspectives.
What are the policy objectives of the action or intervention and the intended effects?
The interventions aim to strengthen democracy and reinforce the resilience of our electoral system through:
• Broadening democratic engagement
• Reducing the major risks in election delivery, electoral registration, electoral campaigning and political finance
• Removing barriers to participation in democracy
Intended outcomes include improving accuracy and completeness of electoral registers, expanding participation among
young voters by lowering the voting age to 16, reducing barriers to voting, protecting the UK’s democracy from foreign
interference, closing loopholes in political finance, reducing harassment in politics, ensure fairness and enhancing the
resilience in our electoral system. Ultimately, these interventions seek to underpin public trust in our democracy.
What policy options have been considered, including any alternatives to regulation? Please justify preferred
option (further details in Evidence Base)
A range of options have been considered to strengthen democratic participation and safeguard electoral integrity:
• Do nothing: This option risks weakening trust in the democratic process and reductions to participation and
representation, and leaves the electoral system exposed to evolving risks.
• Non-legislative approach: For example, this could include a democratic engagement programme, increased
communications or provision of guidance. However, these interventions alone would not be sufficient to tackle
underlying issues facing the electoral system. As this option does not meet strategic objectives, it was rejected.
• Legislative approach (preferred): This option augments non-legislative interventions with legislative changes
including lowering the voting age, transforming registration practices and allowing the use of bank cards as a form of
ID for voting. Unlike the other options, this option will deliver the policy objectives by tackling the systemic issues
facing the electoral system, and is necessary to ensure the government delivers on its manifesto commitments.
Will the policy be reviewed? Yes, see section L.
Is this measure likely to impact on international trade and investment? No
Are any of these organisations in scope? Micro
No
Small
No
Medium
No
Large
No
What is the CO2 equivalent change in greenhouse gas emissions?
(Million tonnes CO2 equivalent)
Traded:
N/A
Non-traded:
N/A
I have read the Impact Assessment and I am satisfied that, given the available evidence, it represents a
reasonable view of the likely costs, benefits and impact of the leading options.
Signed by the responsible SELECT SIGNATORY: Date:
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Summary: Analysis & Evidence Option: Do nothing
Description: FULL ECONOMIC ASSESSMENT
Price Base
Year 2025
PV Base
Year 2025
Time Period
Years 10
Net Benefit (Present Value (PV)) (£m)
Low: 0 High: 0 Best Estimate: 0
COSTS (£m) Total Transition
(Constant Price) Years
Average Annual
(excl. Transition) (Constant Price)
Total Cost
(Present Value)
Low 0
0 0
High 0 0 0
Best Estimate
0 0 0
Description and scale of key monetised costs by ‘main affected groups’
There are no monetised costs resulting from this option.
Other key non-monetised costs by ‘main affected groups’
1. Failure to meet the Government’s objective to strengthen democracy and reinforce the resilience of our electoral
system and deliver manifesto commitments.
BENEFITS (£m) Total Transition
(Constant Price) Years
Average Annual
(excl. Transition) (Constant Price)
Total Benefit
(Present Value)
Low 0
0 0
High 0 0 0
Best Estimate
0 0 0
Description and scale of key monetised benefits by ‘main affected groups’
There are no monetised benefits resulting from this option.
Other key non-monetised benefits by ‘main affected groups’
There are no non-monetised benefits resulting from this option.
Key assumptions/sensitivities/risks Discount rate (%)
N/A
Not applicable.
BUSINESS ASSESSMENT (Option: Legislative Approach)
Direct impact on business (Equivalent Annual) £m: Score for Business Impact Target (qualifying
provisions only) £m: Costs: 0 Benefits: 0 Net: 0
0
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Summary: Analysis & Evidence Option: Legislative Approach
Description: FULL ECONOMIC ASSESSMENT
Price Base
Year 2025
PV Base
Year 2025
Time Period
Years 10
Net Benefit (Present Value (PV)) (£m)
Low: -53.6 High: -160.8 Best Estimate: -107.2
BUSINESS ASSESSMENT (Option: Legislative Approach)
Direct impact on business (Equivalent Annual) £m: Score for Business Impact Target (qualifying
provisions only) £m: Costs: 0 Benefits: 0 Net: 0
0
COSTS (£m) Total Transition
(Constant Price) Years
Average Annual
(excl. Transition) (Constant Price)
Total Cost
(Present Value)
Low 0
7.4 53.6
High 0 22.2 160.8
Best Estimate 0 14.8 107.2
Description and scale of key monetised costs by ‘main affected groups’
1. Votes at 16 - this policy is estimated to cost £88.0m.
2. The Electoral Commission and Enforcement - this policy is estimated to cost £13.3m.
3. Improving Registration - this policy is estimated to cost £5.2m.
Other key non-monetised costs by ‘main affected groups’
1. Practical challenges of implementing new registration systems – including resource investment to develop and
maintain infrastructure and train staff.
2. Added complexity of voter ID checks – Allowing bank cards to be used as identification in polling stations could
introduce complexity where cards lack identifying features. Electoral administrators will be trained to recognise such
cards and apply clear guidance on verification standards.
3. Concerns of personation – Allowing bank cards to be used as voter ID may raise public concerns about the risk of
personation, but if there is, any actual incidence is expected to be very low. This is considered a proportionate risk in
order to ensure that no legitimate elector is prevented or discouraged from voting due to ID requirements.
4. Potentially diminished value of open register – Should a large proportion of electors choose not to opt-in, the
dataset may be too limited to retain its current utility, which may diminish its value for businesses. However,
completeness of the open register has already been in decline over recent years.
BENEFITS (£m) Total Transition
(Constant Price) Years
Average Annual
(excl. Transition) (Constant Price)
Total Benefit
(Present Value)
Low 0
0 0
High 0 0 0
Best Estimate
0 0 0
Description and scale of key monetised benefits by ‘main affected groups’
There are no monetised benefits resulting from these policies
Other key non-monetised benefits by ‘main affected groups’
1. Building a long lasting engagement with our democracy. Engaging voters early will build the foundations for their
participation in democracy. There is evidence this could close the participation gap for younger voters and build lifelong
voting habits, if introduced alongside the right conditions.
2. Improving the completeness and accuracy of the electoral registers. This could result in more people being
correctly registered at their current address and a higher percentage of eligible people being registered overall, ensuring
a greater proportion of the population has the opportunity to exercise their democratic right to vote.
3. Minimising the possibility that legitimate electors are prevented or discouraged from voting by ID requirements.
Amending the list of accepted documents, should address concerns that current voter ID requirements may pose a
barrier for some electors and make it easier for eligible voters to meet the requirements when voting in polling stations.
4. Minimising the possibility that any individual is discouraged from participating in democracy due to
harassment or intimidation. This will contribute to candidates, candidates, campaigners and elected officeholders
feeling safer and being able to more effectively participate in elections and political debate without fear of intimidation.
5. Reducing the risk of foreign interference in our democratic processes by making it harder for malign actors to
subvert the rules around donations to political parties. This will help to safeguard the integrity of elections by enhancing
transparency and accountability around donation and in turn restore public trust in political financing.
Key assumptions/sensitivities/risks Discount rate (%)
3.5
Elector behaviour is difficult to predict and there is a lack of evidence as to how electors’ behaviour will be impacted by the
implementation of the policy changes. The costs and outcomes of the votes at 16 and improving registration policies will be
impacted by the completeness of the electoral register for 16- and 17-year-olds and for the general population respectively.
As these assumptions are uncertain, sensitivity analysis has been conducted to demonstrate the impact on outputs. The
headline EANDCB does not include the diminished value of open register as this is classified as a second order effect.
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Contents
A. Problem under consideration and rationale for intervention ................................... 6
A.1 Votes at 16 ....................................................................................................... 6
A.2 Improving Registration ..................................................................................... 7
A.3 Voter ID ............................................................................................................ 9
A.4 Candidate ID and Nomination Changes ......................................................... 10
A.5 Outcomes of the Elections Review ................................................................ 11
A.6 Harassment and Intimidation .......................................................................... 12
A.7 Political Finance ............................................................................................. 13
A.8 The Electoral Commission and Enforcement ................................................. 14
A.9 Imprints .......................................................................................................... 15
A.10 Northern Ireland Measures ........................................................................... 16
B. Policy objective .................................................................................................... 17
B.1 Votes at 16 ..................................................................................................... 18
B.2 Improving Registration ................................................................................... 18
B.3 Voter ID .......................................................................................................... 19
B.4 Candidate ID and Nominations Changes ....................................................... 19
B.5 Outcomes of the Elections Review ................................................................. 20
B.6 Harassment and Intimidation .......................................................................... 21
B.7 Political Finance ............................................................................................. 21
B.8 The Electoral Commission and Enforcement ................................................. 22
B.9 Imprints .......................................................................................................... 22
B.10 Northern Ireland Measures ........................................................................... 22
C. Rationale and evidence to justify the level of analysis used in the IA .................. 23
D. Description of options considered ........................................................................ 23
E. Summary and preferred option with description of implementation plan .............. 33
F. Appraisal .............................................................................................................. 45
F.1 Votes at 16 ..................................................................................................... 46
F.2 Improving registration ..................................................................................... 63
F.3 Voter ID .......................................................................................................... 73
F.4 Candidate ID and Nomination Changes ......................................................... 78
F.5 Outcomes of the Elections Review ................................................................. 80
F.6 Harassment and Intimidation .......................................................................... 83
F.7 Political Finance ............................................................................................. 85
F.8 The Electoral Commission and Enforcement.................................................. 89
F.9 Imprints ........................................................................................................... 92
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F.10 Northern Ireland Measures ........................................................................... 94
F.11 Summary of Option ....................................................................................... 96
G. Direct costs and benefits to business calculations............................................... 97
H. Risks and assumptions ........................................................................................ 98
H.1 Risks .............................................................................................................. 98
H.2 Sensitivity analysis ...................................................................................... 100
I. Impact on small and micro businesses ................................................................ 103
J. Wider impacts ..................................................................................................... 103
K. A summary of the potential trade implications of measure ................................. 111
L. Monitoring and evaluation .................................................................................. 111
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A. Problem under consideration and rationale for
intervention
1. Elections are the cornerstone of a healthy democracy, providing citizens with
a direct means to steer the future of the country. With over 48 million registered
voters in the UK 1, even small changes to electoral policy can have significant
aggregate impacts. However, the effects on individual voters are often more
nuanced, reflecting variations in personal circumstances and how different groups
interact with the electoral system. For this reason, throughout this Impact
Assessment (IA), we have sought to present the effects of proposed changes at
both the aggregate and individual level.
2. Undermining of public trust in politics has led to reduced confidence in our
political system. While the UK’s strong democratic systems and institutions are
rightly regarded worldwide as a model of democracy and the right to participate in
democracy is a defining aspect of our national identity, evolving security risks, ever-
increasing levels of intimidation and harassment, and concerns around foreign
interference all contribute to this undermining of trust.
3. The Government has a clear aim to strengthen democracy and reinforce the
resilience of the UK’s electoral system. Strengthening and upholding the integrity
of our elections is vital to ensure the needs of all people are fairly represented and
considered. Broadening and deepening engagement in the democratic process is
necessary to ensure a wide range of voices are properly heard and considered.
4. Government is the only entity that has the power to change administrative
arrangements (via legislation) for running electoral events and the regulatory
framework which governs campaigning. Implementation is mostly dependent on
local authorities (LAs), statutorily independent Electoral Registration Officers
(EROs) and Returning Officers (ROs), voters, political campaigners and the
Electoral Commission (EC).
A.1 Votes at 16
5. Our democracy must reflect modern society and empower young people .
Young people are the future of our society, and are engaged and focused on the
key issues affecting our country both domestically and internationally. Lowering the
voting age will give young people a chance to have their say on issues that affect
them on a local and a national level , empowering them to play an active role in
shaping their future.
1 Electoral statistics, UK - Office for National Statistics, 2021
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6. There is a participation gap in our democratic processes , with levels of
completeness for voter registration increasing with age. According to data
from 2022, compared to other age groups, completeness of electoral registers is
lowest for current attainers aged 16-172. According to a report by IPSOS3, a broadly
similar pattern appeared in the 2024 United Kingdom Parliamentary General
Election (UKPGE) as compared to previous elections, of lower turnout among
younger people. While turnout estimates are uncertain and based off surveys rather
than actual turnout data, they indicate that the estimated turnout for those aged 18–
24 (37%) was almost half that of those aged 65 and over (73%). This proposed
franchise change could create a more engaged electorate and could even lead to
an increase in turnout over time4. Thus, by supporting younger voters to participate
in elections early, we expect to build the foundations for their lifelong participation
in our electoral processes and reduce the voter registration gap.
7. Reducing the voting age for all elections will bring consistency in voting age
across the UK. Scotland and Wales have already enfranchised 16 - and 17-year-
olds in devolved elections. This change to the franchise will improve consistency
across the UK. Scotland permanently lowered the voting age to 16 for devolved
elections in 2015, having first lowered the voting age for the Independence
Referendum in 20145 . Wales lowered the voting age in 2020, with the first Senedd
election for that franchise occurring in 2021 6. A range of further jurisdictions have
successfully lowered the voting age to 16 , including the Isle of Man, Jersey and
Guernsey, and Austria.
A.2 Improving Registration
8. An estimated 7-8 million eligible electors are either incorrectly registered or
not registered to vote. While the current registration system works well, achieving
around 86% completeness and 88% accuracy across Great Britain (GB) (83% and
86% respectively in Northern Ireland)2, there are clear opportunities to improve this
and close the gap. There is evidence that some citizens find certain aspects of the
system confusing, and some even assume that they are on the electoral register
because they have used other government services and their information will have
been passed on7.
9. There is currently insufficient join up of government services or data sharing,
and no real consideration of the Government’s blueprint for a modern digital
government, to enable better use of data and services. Eligible citizens are unable
2 Electoral registers in the UK - Electoral Commission, 2023
3 How Britain voted in the 2024 election – Ipsos, 2024
4 See section F.1.3.3 for discussion of the evidence around turnout.
5 Votes at 16 in Scotland - Eichhorn and Hübner, 2022
6 A False Start - Griffiths, Larner, Jones and Poole, 2025
7 Is it time for Automatic Voter Registration in the UK? - Joseph Rowntree Reform Trust, 2020
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to be invited or reminded to apply to register or update their details when they
interact with other services run by government. Current legislation also hinders the
ability of EROs to identify people who are incorrectly registered or not registered at
all, as it can be misinterpreted and does not allow for proactive sharing of relevant
data by departments and public bodies.
10. Steps need to be taken to identify and support the registration of groups who
are less likely to be registered accurately . A recent report by the EC 8 identified
that these groups include young people, people living in rented accommodation and
those who have recently moved. Moreover, length of residence at an address and
age are the variables most associated with differences in completeness in GB and
Northern Ireland. These factors are related, as young people are also more likely to
be frequent movers (and therefore likely to live at an address for less than one year).
There are also barriers for EROs in the voter registration system that increase
ERO’s workload or don’t facilitate successful or accurate registrations. This includes
managing duplicate applications and high volumes of applications in the run up to
an election.
11. Current registration processes are hindered by outdated requirements that
mandate a written application (digital or otherwise), preventing the adoption
of more automated and efficient systems. Changes are necessary to enable the
exploration and testing of more automated registration systems - including a
process whereby individuals are registered without needing to apply , or give
consent for data which they have already provided to be used as part of their
application to register to vote . Countries like Canada and Australia have
successfully implemented similar systems, demonstrating the potential benefits of
this approach.
12. The current opt-out system of the open register is unfit for purpose . While
access to the full electoral register is strictly controlled, the edited or ‘open’ register
is available for sale to anyone and the data in it may be used for any legitimate
purpose9. The EC has previously stated that the current ‘opt-out’ system should be
replaced with one that allows electors to ‘opt-in’10. The AEA have also stated how
the sale of the open register appears incompatible from a citizen’s perspective and
could deter potential electors from registering by the prospect of having their details
sold on11. Shifting from an opt-out to an opt-in model will also support the phased
introduction of direct registration, an automated process that enables eligible
individuals to be added to the electoral register without needing to actively apply.
8 Electoral registers in the UK - Electoral Commission, 2023
9 Electoral registers and access to them. July, 2025.
10 Transcript of oral evidence - Political and Constitutional Reform Committee, 2014
11 Response to the UK Parliament Committee Inquiry on Electoral Registration call for evidence - The Association of Electoral
Administrators, 2023
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The shift also will provide additional safeguards against anyone’s details appearing
in publicly-available sources without their consent.
13. Electoral registration provisions for anonymous electors (AEs) are outdated
and need updating . As it stands, upon successful application, AE status only
remains valid for one year, so AEs are required to re-register annually. This places
a disproportionate burden on AEs compared to non -AEs. While this policy may
have been appropriate in 2006, when electoral registers were recreated annually
based on the annual canvass, it is less appropriate today following the introduction
of individual electoral registration and year-round online registration.
A.3 Voter ID
14. Voters in the UK are required to show photographic documents as a means
of identification at polling stations. This requirement was introduced through the
Elections Act 2022 and first implemented at the May 2023 local elections. Voters
can use a number of different forms of IDs and if they do not have one of these,
they can apply for a Voter Authority Certificate (VAC), available free of charge from
their LA, or may choose to vote by post or proxy.
15. Despite data collected following the implementation of the policy showing that the
majority (84%) of electors are aware of the requirements, 0.25% of people who
tried to vote at a polling station at the 2024 UKPGE were initially turned away
due to lack of accepted ID 12. Around two-thirds of those people returned later in
the day with an accepted form of ID and were able to vote. However, these statistics
only record electors who were turned away at the polling station desk – they do not
include electors who turned away at an earlier point in time or were dissuaded from
voting. Research from public opinion surveys conducted after the UKPGE found
that 3-4% of non -voters cited the voter ID policy as a factor in why they did
not vote, suggesting a higher number of electors have been impacted.13
16. The provision of the VAC ensures all electors have an option to meet the ID
requirements, free of charge , but uptake and awareness remain low.
Awareness of the VAC among the overall population and among those who said
they did not already have photo ID is reported as 58% and 57% respectively. The
overall number of VACs applied for is low (210,000) compared with the estimated
number of eligible, registered voters who might need it and not have any other
accepted ID (around 750,000)12. Therefore, there remains a small proportion of the
electorate that does not hold an accepted form of ID. For those electors the
requirements are therefore creating a barrier which could lead to some electors
being unable to vote or be dissuaded from doing so.
12 Voter ID at the 2024 UK general election - Electoral Commission, 2024
13 Voter ID at the 2024 UK general election - Electoral Commission, 2024; Evaluation of Electoral Integrity Programme: public
opinion research wave 3 – MHCLG, 2025
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17. The enfranchisement of 16- and 17-year-olds will also need to be considered
in the context of the Voter ID policy. Initial evidence published by the Department
for Education (DfE) on public school pupils and college learners in England shows
that this group has lower rates of ownership of passports and driving licences, two
of the main items used by 18+ voters 14. Given 16- and 17-year-olds are ineligible
for some of the accepted documents and may have less need to prove their identity
in general, it is likely they will have a lower incidence of holding documents that
could be used as ID overall and so may similarly face this barrier to voting.
A.4 Candidate ID and Nomination Changes
18. The current nominations process does not require candidates to provide
proof of identity, nor does it include a clear statutory declaration that all
information provided is truthful. While it is a criminal offence to knowingly make
a false statement on nomination papers, the existing forms do not make this
sufficiently clear to candidates. This has raised concerns about the integrity of the
nominations process and the potential for fr audulent or misleading nominations,
particularly in light of recent cases where candidates have used tactics such as
name changes to test the system and interfere with our democratic processes.
19. The Speaker’s Conference and some stakeholders have highlighted the need
for stronger behavioural signals and clearer accountability mechanisms
within the nominations process . Government intervention is necessary to
strengthen the legal and procedural framework around candidate nominations,
ensuring candidates are fully aware of the consequences of providing false
information and enabling proportionate safeguards against imper sonation or
deception.
Withdrawal of Political Party Support for Nominations
20. Under current electoral law, once a candidate is validly nominated with a
party description and emblem, that nomination is fixed unless the candidate
themselves withdraws before the statutory deadline. There is no mechanism
for a political party to formally withdraw its support or amend the nomination after
submission, even if serious concerns about the candidate arise during the
nomination period.
21. This legal position creates reputational risks for political parties and risks
misleading voters who may unknowingly vote for candidates no longer
supported by the party . It also limits parties’ ability to uphold standards and
respond to emerging issues during the nomination period. By introducing a
statutory mechanism allowing political parties to revoke their nomination of a
14 Parent, pupil and learner voice: March 2025 - DfE, 2025
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candidate up to a defined point before the close of nominations, this intervention is
expected to provide greater transparency, protect party reputations, and uphold
public confidence in the democratic process.
A.5 Outcomes of the Elections Review
22. The Review of Electoral Conduct and Registration 15 was commissioned in
October 2024 in response to growing pressures on the electoral system.
These pressures include the increasing complexity of electoral law, rising demand
for postal voting16, and the operational challenges posed by unscheduled elections.
Together, these factors have placed significant strain on ROs, EROs, and the wider
electoral infrastructure. Without intervention, there is a risk that pressures
could increase the likelihood of administrative errors, undermine the timely
and effective delivery of elections and reduce voter confidence.
23. The Review identified several specific issues requiring attention including
inefficiencies in the postal vote process, burdensome registration
procedures and challenges with high levels of registration and absent vote
application activity in the lead up to polls . It also highlighted challenges in
securing polling venues, recruiting polling station staff, and ensuring that ROs have
access to the resources they need. These issues affect LAs, electoral suppliers,
and electors and if left unaddressed, they could lead to delays, increased costs,
and reduced participation. The key recommendations that require primary
legislation and are therefore in scope of this Impact Assessment are as follows:
i. Electoral timetable
ii. Absent voting
iii. Electoral resourcing
iv. Elector information power
v. Election Forms Consolidation Measures
24. The Review’s recommendations are based on extensive engagement with key
stakeholders who provided practical insights into the day -to-day challenges
of running elections, helping to shape realistic and deliverable proposals. The
Government is best placed to act on these findings, using its legislative and
convening powers to implement reforms that will strengthen the system and support
those responsible for delivering elections. Sector experts consulted include the EC,
the Association of Electoral Administrators (AEA), Society of Local Authority Chief
Executives (SOLACE), and electoral administrators across the UK , including the
Electoral Management Boards in Scotland and Wales and the Electoral Office for
Northern Ireland.
15 Letter from Minister Norris to the electoral sector - MHCLG, 2024
16 General Election 2005 - Mellows-Facer, 2006, Results and turnout at the 2015 UK general election - Electoral Commission,
2019, 2024 UK Parliamentary general election and the May 2024 elections - Electoral Commission, 2024
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25. Coordinated Government intervention is necessary to address these
challenges and to ensure consistency, fairness, and resilience across the
electoral system. While some LAs have introduced their own mitigations, such as
register checkers or email communications, these efforts are inconsistent and
cannot resolve systemic issues - such as the legal constraints around postal vote
reissue. Many of the solutions require legislative change, national coordination, or
access to central data systems.
26. Many electors struggle to access clear, consistent, and relevant information
about elections , with 30% of voters reporting seeing misleading or inaccurate
information about electoral processes at the recent UKPGE17. Electors often rely on
multiple, inconsistent sources such as social media, or word of mouth which leads
to confusion, reduced confidence, and in some cases, disengagement from voting.
To address this, the Government plans to legislate for a duty on ROs and EROs to
provide standardised election data to the EC or the Government. This will support
the provision of timely, accessible, and impartial information to electors, and reduce
the burden on local administrators.
27. The rules for different types of polls are set out in various separate and or
interconnected pieces of legislation each with its own set of forms (poll cards,
ballot papers, nomination papers etc) . A minor amendment results in duplication
across legislation which is inefficient and time consuming. These measures would
allow all prescribed forms to be amended via a single statutory instrument.
A.6 Harassment and Intimidation
28. Harassment and intimidation in public life has been a long -standing issue.
The last UKPGE campaign saw unacceptable harassment and intimidation towards
candidates, campaigners and electoral staff. The EC’s post-poll report1717 following
the UKPGE found that over half of candidates who responded to their survey (55%)
felt that they had experienced some kind of problem with harassment, intimidation
or abuse. Moreover, a third of respondents were intimidated or intentionally made
to feel unsafe at least once during the campaign.
29. There is a lack of a deterrent towards those who may seek to intimidate
electoral officials. A 2017 report 18 by the Committee on Standards in Public Life
(CSPL) led to the introduction of the disqualification order, and refined the undue
influence offence. Whilst the disqualification order is a crucial part of tackling
intimidation and harassment, as a lone deterrent it does nothing to prevent those
who have no interest in standing as a candidate from intimidating or harassing
candidates, campaigners or electoral staff.
17 2024 UK Parliamentary general election and the May 2024 elections - Electoral Commission, 2024
18 Intimidation in Public Life - Committee on Standards in Public Life, 2017
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30. The publishing of candidate and member home addresses poses a security
risk. This can affect whether people choose to stand for election when they intend
to act as their own election agent. The ability for candidates acting as their own
election agent to provide a correspondence address instead of their home address
will provide further protection for candidates and will also help to ensure that no one
is discouraged from participating in our democracy.
A.7 Political Finance
31. Whilst there is no indication that UK politics is awash with illegitimate money, there
is compelling evidence of the foreign interference threat to UK democratic
processes. Evidence includes:
• Intelligence and Security Committee’s (ISC’s) Russia Report19 identified several
Putin-linked members of the Russian elite donating to UK political parties. The
Government previously assessed that it was “almost certain that Russian actors
sought to interfere in the 2019 UKPGE”.
• The ISC’s China Report20 also warned of China’s intent to interfere with the UK
Government and influence political thinking and decision -making, with
individuals receiving “funds from overseas sources for onward donation to
political parties, prospective Parliamentary candidates”. This evidence highlights
how UK elections almost certainly represent attractive targets for malicious
actors.
32. This evidence makes the case for addressing the vulnerabilities in the system
by making specific enhancements to the existing controls on donors and
recipients of donations to narrow the opportunity for subverting existing rules . This
has been recommended by stakeholders including the EC, who have emphasised
the need to strengthen the controls around donations and powers of regulators to
improve the resilience against foreign influence.
33. Key electoral stakeholders including t he EC, CSPL, and campaign organisations,
such as Spotlight on Corruption (SPoC) argue that the current permissibility test
of a company “carrying on business” in the UK exposes political parties and
other recipients to the risk of accepting foreign money and proceeds of crime.
To remedy this, CSPL and other stakeholders have recommended requiring
companies who wish to donate to link their profits to the UK.
34. The permissibility checks which recipients are required to carry out on
donors are lagging behind the more stringent anti -money laundering and know -
19 Russia - Intelligence and Security Committee of Parliament, 2020
20 China - Intelligence and Security Committee of Parliament, 2023
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your-customer obligations in corporate and charity sectors. The EC, CSPL, National
Crime Agency (NCA) and SPoC have all called for introducing know -your-donor
requirements to ensure that parties are attuned to the risk of foreign interference
and know where their donations are coming from.
35. The EC and the CSPL have identified unincorporated associations (UAs) as
potential vehicles for foreign or otherwise illegitimate money to enter
electoral campaigns and therefore as a point of vulnerability in the political finance
framework. Recommendations have been made to introduce tighter rules on UAs
to address these risks.
A.8 The Electoral Commission and Enforcement
36. The EC is the independent statutory body responsible for overseeing elections and
regulating political finance, and therefore responsible for enforcing certain breaches
of the political finance framework relating primarily to offences committed by political
parties, third party campaigners and permitted participants in referendums . The
enforcement regime is currently uneven, fragmented and lacks a
proportionate and effective deterrent for offences . This undermines effective
regulation, and it is potentially damaging to public confidence for offences to be
seen to either go unpunished or for proportionate action not to be taken. Additional
reforms to the role and powers of the EC are needed to strengthen enforcement of
the framework and maximise the impact of the reforms to the political finance
framework outlined above.
37. There is an ‘enforcement gap’ in the political finance framework, resulting in
certain breaches of the rules often being left unaddressed and unsanctioned.
The EC has been able to impose civil sanctions since 2010 for breaches committed
by parties, third -party campaigners, and permitted participants in referendums.
However, breaches by candidates, local third -party campaigners, and accredited
campaigners at recall petitions can only be investigated by the police and referred
for criminal prosecution. As cri minal prosecution is often considered
disproportionate or not in the public interest, these breaches frequently go
unpunished.
38. The fining powers of the EC are deemed insufficient to be an effective
deterrent. The maximum fine that the EC can apply to punish breaches of the
Political Parties, Elections and Referendums Act (PPERA) is £20,000 per offence
(up to £10,000 for certain offences committed in Scotland and £5 ,000 in Northern
Ireland). Numerous key stakeholders have described the current maximum fine as
an inadequate deterrent that is seen by some campaigners as a “cost of doing
business”.
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39. The EC lacks an explicit statutory gateway to share information with other
regulators and law enforcement which makes information sharing
burdensome and impedes cross-regulatory cooperation.
40. The EC has advised that the need for campaigners to seek leave from courts
to pay late invoices adds unnecessary complexity and bureaucracy , thereby
impeding administrative efficiency and effectiveness, noting that most late claims
are for simple administrative reasons.
41. The criminalisation of administrative breaches can deter volunteers from
participating in election campaigns. Some administrative requirements, such as
failing to submit statutory expenditure reports on time, carry the possibility of
criminal prosecution. While prosecution is unlikely in practice, the EC and the CSPL
have expressed concerns that criminalising thes e minor breaches may have a
‘chilling effect’ on participation by deterring volunteers from participating in election
campaigns.
A.9 Imprints
42. Imprint rules play an important role in upholding trust in our democratic process by
ensuring electors can see clearly who is behind political campaigning material.
While these rules have improved the transparency of campaigning material, there
remain transparency gaps and the split of enforcement responsibilities
between the police and the EC is unnecessarily complicated.
43. A loophole in the current rules allows third -party campaigners who are not
recognised to disseminate potentially influential digital content without
disclosing its origin . This is because t hese organisations, who do not field
candidates and spend below the £10,000 notification threshold , are not registered
with the EC and therefore not subject to the same transparency requirements. This
is particularly concerning when such material is designed to be shared virally,
especially if it is misleading, controversial, or intended to manipulate public opinion
without accountability.
44. The EC is unable to make minor corrections to its digital imprint guidance
quickly. This is due to restrictive legal requirements, including the need for
Secretary of State approval and a 40-day parliamentary procedure for any revisions
to guidance.
45. The current division of responsibility for enforcing imprint rules, split
between the police and the EC depending on the purpose of the material,
creates confusion for both campaigners and enforcement bodies. This
fragmented approach can lead to uncertainty and inconsistency in enforcement.
Moreover, the possibility of criminal investigation and prosecution may be
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disproportionate, particularly for volunteers and first -time candidates, and can
discourage participation. Streamlining enforcement so that the EC takes primary
responsibility for all imprint offences would bring greater clarity, consistency, and
proportionality to the regime.
A.10 Northern Ireland Measures
The Northern Ireland canvass
46. The existing canvass regime in Northern Ireland is unfit for purpose. The
current system requires that the register be recreated from scratch every 10 years
and specifies that electors must re-register as part of the canvass to remain on the
register, in spite of there being evidence to show that they remain eligible. This
creates the risk that a significant number of electors will be lost from the register,
impacting its integrity.
47. Government intervention is necessary to address these challenges and to
reform and modernise the Northern Ireland canvass so that it is aligned more
closely with the lighter -touch process in GB . Moving to a rolling system of
registration will allow for the use of the data available to the Chief Electoral Officer
(CEO) to avoid the arbitrary removal of voters that the Electoral Office for Northern
Ireland (EONI) is confident are still eligible to be on the register. This is supported
by the CEO for Northern Ireland and the EC.
Adding National Insurance numbers to elector records
48. As the law stands, the CEO does not have powers to add a National Insurance
number (NINo) to an elector’s record where they have not already included it
on their registration form. In Northern Ireland, a NINo is required to be held on
an elector’s record, along with date of birth, so that it can be used as a security
check when an elector applies for an absent vote, electoral ID card or requests any
information about their registration status.
49. Enabling the CEO to add NINos to an elector’s record where it is already
known will improve registration by helping ensure electoral records are
complete without seeking new or additional information from an applicant.
This will support the implementation of Votes at 16 for 14 and 15 year old attainers,
i.e. those registering in advance of their 16th birthday, who will be unlikely to meet
the requirement to provide a NINo as part of their application.
Late registration provisions
50. The current l ate-registration requirements in Northern Ireland are an
outdated and unnecessary barrier to registration. They require that additional
documentary evidence to support an application must always be provided by
anyone trying to register just before an election, even if the data match is clear.
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51. Unless the provisions are repealed they are likely to be a particular barrier to
younger electors who have fewer forms of documentary evidence than those
over 18. To remedy this, the Government intends to amend these requirements so
that the CEO will only ask for additional supporting documentation if the routine
data checks do not provide a clear address and identity match.
‘Calling Out’ in polling Stations
52. The current ‘calling out’ law in Northern Ireland is outdated, unnecessary and
can be unwelcome and intimidatory for electors. The law requires poll clerks to
shout out the name and electoral number of everyone to whom they deliver a ballot
paper, so that anyone seeking to commit personation may be caught out by anyone
present and also facilitated political party representatives sitting within the polling
station (polling agents) to write down who has voted.
53. This provision was originally UK wide, but was removed for GB in the
Elections Act 2022 when voter ID was introduced. The majority of the Northern
Ireland political parties, the CEO and the EC have all asked that NI move into line
with GB and repeal these provisions.
Amending electoral ID cards
54. There is a concern that the Electoral Office for Northern Ireland is, from
limited budgets designed for electoral delivery, supporting a de facto
national ID card system and issuing cards to some people who never intend
to use them to vote. Third party organisations are using the card as a primary
piece of documentary evidence to support identity for people applying for goods
and services, which is not the primary purpose of this document.
55. Enabling EONI to produce a card that is sufficient to meet a narrow electoral
requirement will prevent misuse. This could be achieved by including on new
cards the month and year of birth only, not the day. This would still be a sufficient
check for electoral purposes i.e. the intended purpose of the electoral ID card, but
would be likely to make it less accepted as primary ID elsewhere.
B. Policy objective
56. The Government has been clear on its aims to strengthen democracy and
reinforce the resilience of our electoral system . Broadening and deepening
engagement in the democratic process is seen a critical part of restoring trust in
politics which has fallen in recent years.
57. The Government’s manifesto21 set out commitments to:
21 Change - Labour Party, 2024
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• “…improve voter registration and address the inconsistencies in voter ID
rules that prevent legitimate voters from voting…”
• “... increase the engagement of young people in our democracy, by giving 16-
and 17-year-olds the right to vote in all elections…”
• “…protect democracy by strengthening the rules around donations to political
parties...”
58. These commitments underpin three overarching policy objectives aimed at
strengthening democratic participation and safeguarding electoral integrity:
• Broaden democratic engagement
• Reduce the major risks in election delivery, electoral registration, electoral
campaigning and political finance
• Remove barriers to participation in democracy.
B.1 Votes at 16
59. The votes at 16 policy has two main objectives:
• To build long lasting engagement with our democracy. By engaging people
eligible to voter early, when they are young, the intention is to build the
foundations for their participation in our electoral processes. In doing so, the
policy aims to close the participation gap with younger voters and build lifelong
voting habits.
• To enfranchise a younger cohort of electors and ensure consistency for
which elections 16 - and 17-year-olds can vote in regardless of where in
the UK they live. The current system is not consistent. In Scotland and Wales,
16- and 17-year-olds can already vote in local council elections and in elections
to the Scottish Parliament and Senedd Cymru.
B.2 Improving Registration
60. The improving registration policy has five main objectives:
• To improve the completeness and accuracy of the electoral registers. This
will result in more people being correctly registered at their current address and
a higher percentage of eligible people being registered overall, ensuring a
greater proportion of the population has the opportunity to exercise their
democratic right to vote.
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• To improve registration rates among groups which are currently under -
registered. Disproportionately affected g roups include young people, pri vate
renters, some socio-economic groups, some minority ethnic groups and those
who have moved address recently22.
• To make it easier to register to vote , while ensuring that any new and
enhanced approaches remain as accessible as possible. A shift towards
more automated processes should enable more effective use of data across the
Government estate and support individuals to quickly and easily register and
keep their details up to date, in the way that suits them best.
• To modernise the process for citizens to be added to the open electoral
register. We will move from the existing opt -out process to require citizens to
opt-in to appear on the open register. This is a truer form of consent and ensures
that citizens can make informed choices about their data. Moreover, this shift
will facilitate the grad ual introduction of direct registration by strengthening
safeguards against individuals appearing on a publicly available version of the
register without their explicit consent.
• To improve provisions for anonymous electors (AEs). A new arrangement
extending the period of time that AE status remains valid would relieve AEs from
the disproportionate burden of having to re-register to vote every year.
B.3 Voter ID
61. The voter ID policy has one main objective:
• To minimise the possibility that legitimate elector s are prevented or
discouraged from voting by the voter ID requirements, whilst also
ensuring the security of our electoral system. Amending the li st of
accepted documents , should address concerns that current voter ID
requirements may pose too great a barrier for some elector s and make it
easier for eligible electors to meet the requirements when voting in polling
stations.
B.4 Candidate ID and Nominations Changes
62. The candidate ID and nominations changes have one main policy objective per
sub-policy, outlined below:
Candidate ID and declaration
• The policy objective is to strengthen the integrity and transparency of
the candidate nominations process by introducing clearer legal
22 Electoral registers in the UK - Electoral Commission, 2023
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accountability and proportionate identity safeguards . It will do so by
requiring candidates to sign a statutory declaration confirming the
truthfulness of their nomination information, and by mandating the
submission of a scanned form of ID to be held securely by the Returning
Officer for use only in the event of a formal challenge.
Withdrawal of political party support for nominations
• This policy objective is to strengthen public trust in the electoral
process by enabling political parties to formally withdraw support for
a candidate where serious concerns arise during the nomination
period. By introducing a statutory mechanism for revocation, up to 48
hours before the close of nominations, the policy ensures voters are not
misled about party endorsement, allows parties to uphold standards, and
provides a clear legal route for disassociation without compromising the
integrity or operational feasibility of the election.
B.5 Outcomes of the Elections Review
63. The outcomes of the elections review policy areas have one main objective:
• To strengthen the resilience and efficiency of electoral administration
in the UK. It aims to reduce operational risks, streamline key processes ,
such as registration and postal voting, and improve the experience for voters
and administrators.
64. Together, the reforms offer a practical, proportionate package that works within the
existing legal framework while addressing the most pressing challenges in electoral
delivery. An objective is set out for each sub-policy below.
Electoral timetable
• The policy objective is to reform the electoral timetable to better reflect
operational realities. The current schedule compresses critical tasks like
nominations and postal vote production, increasing the risk of delays.
Proposed changes, such as moving the postal vote application deadline and
aligning registration cut -offs, would ease pressure and facilitate more
contingency.
Absent voting
• The policy objective is to address risks created by the ongoing
increase in postal votes, and the pressure this puts on supply chains.
With demand rising, reforms will allow earlier reissue of lost postal votes,
clarify determination deadlines, and offer limited flexibility for voters to
change their voting method close to polling day, The changes will help
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Returning Officers to manage postal voting and provide additional
contingency to help ensure electors can cast their vote.
Election resourcing
• The policy objective is to ensure that appointments are made at a level
where LA officials will have the ability to command use of the resources
of a LA if and when needed . These steps recognise elections as critical
public functions requiring strong leadership and support.
Election information power
• The policy objective is to provide electors with clear, factual and
accessible information about how to take part in elections . The policy
will deliver this by taking powers in primary legislation to require ROs and
EROs to provide relevant data to the EC or the Government . By
standardising and centralising this information, the policy aims to improve
education of electors and reduce administrative burden arising from
subsequent confusion.
Election forms consolidation measures
• The policy objective is to simplify the complex process for updating
various forms set out in legislation (e.g. poll cards, ballot papers and
polling station voting instr uctions) by taking powers in primary legislation .
This will be achieved by enabling the creation of a single statutory instrument
which will reduce complexity, reduce the unnecessary burden on
parliamentary time and increase efficiency.
B.6 Harassment and Intimidation
65. The harassment and intimidation policy has one main objective:
• To minimise the risk that any individual is discouraged from
participating in democracy due to harassment or intimidation.
Strengthening protections for those involved in public life and in the
administration and delivery of elections, combined with appropriate
sanctions for those who seek to damage democratic processes should
contribute to this objective.
B.7 Political Finance
66. The political finance policies have one main objective:
• To reduce the risk of foreign interference and underhand practice in
our democratic processes by making it harder for malign actors to
subvert the rules around donations to political parties . These reforms
will make it easier to detect and manage the risks of foreign interference,
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strengthen the rules and close loopholes to protect against foreign
interference.
B.8 The Electoral Commission and Enforcement
67. The EC and enforcement policy has one main objective:
• To strengthen the role and powers of the EC in regulating political
finance, address historical enforcement gaps, and improve operational
effectiveness. These changes will ensure that enforcement provides a clear
deterrent against breaches of the political finance framework whilst
remaining proportionate.
B.9 Imprints
68. The imprints policy has one main objective:
• To address transparency gaps in the digital imprint rules, place
enforcement on a clearer and more proportionate footing , and enable
the EC to make minor corrective changes to digital imprint gu idance
more responsively. These changes will help facilitate appropriate scrutiny
of political messaging and ensure voters can continued to make informed
decisions in relation to political campaigning material.
B.10 Northern Ireland Measures
69. The Northern Ireland measures have one main policy objective per sub -policy,
outlined below:
The Northern Ireland canvass
● The policy objective is to modernise and reform the canvass system in
Northern Ireland, allowing for the CEO to retain those electors that they are
satisfied are still resident where registered, avoiding the arbitrary removal of
large numbers of voters and protecting the integrity of the register. This will
bring Northern Ireland into closer alignment with GB.
Adding National Insurance numbers to elector records
● The policy objective is to improve registration by helping ensure
electoral records are complete without seeking new or additional
information from an applicant. This policy should allow the CEO to add
NINo to an elector’s record where they have not already included it on their
registration form.
Late registration provisions
● The policy objective is to remove an unnecessary barrier to registration
in Northern Ireland, particularly for younger electors, by repealing
unique requirements that additional documentary evidence to support an
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application must always be provided by anyone trying to register just before
an election, even if the data match is clear. This policy intends to amend
these requirements so that the CEO will only ask for additional supporting
documentation if the routine data checks do not provide a clear address and
identity match.
‘Calling Out’ in polling stations
● The policy objective is to remove the outdated, unnecessary practice
of ‘calling out’ in polling stations which can be unwelcome and
intimidatory for electors. This also brings Northern Ireland into line with
GB, where the practice of ‘calling out’ was removed in 2022.
Amending electoral ID cards
● The policy objective is to ensure that electoral ID cards are used
primarily for electoral purposes rather than be commonly used as a form
of ID to support identity checks for non -electoral purposes such as people
applying for goods or services. This will also alleviate some resource
pressure on the Electoral Office for Northern Ireland who are responsible for
producing the cards.
C. Rationale and evidence to justify the level of analysis
used in the IA
70. The approach taken in this IA is considered proportionate to the proposed
changes outlined in the Elections Bill, as it quantifies the economic impact of the
various components of the Bill where possible.
71. Where evidence is not readily available, qualitative analysis has been
produced to better understand the potential impacts of the Bill. Some areas of
the analysis, such as the percentage of the 16 - and 17- year-old franchise that
choose to register , are subject to uncertainty. Therefore, sensitivity analysis has
been conducted in Section H to test these assumptions.
72. Alongside the IA, literature reviews have been carried out to gather further
evidence to assess the Bill’s wider impacts. These reviews have informed our
analysis and policy development, particularly in relation to improving registration,
democratic engagement, and examining the economic benefits associated with
democracy.
D. Description of options considered
73. A range of options have been considered to achieve the overall policy
objectives of strengthening democracy and reinforcing the resilience of our
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electoral system . This includes a doing nothing approach; a non-legislative
approach centred around driving democratic engagement through effective
communications, enhanced guidance and increased funding; and a legislative
approach aimed at tackling systemic issues facing the electoral system through a
range of mechanisms requiring legislation.
74. A summary of the extent to which these options would deliver the policy objectives
is found in table 1 below.
Do nothing
75. Without intervention of any kind, the current arrangements for the electoral
process will continue. This option assumes that none of the Government
proposals are implemented, which risks weakening trust in the democratic process,
reducing participation and representation, and leaves the electoral system
exposed to evolving risks. In particular:
• The voting age would remain at 18 with 16- and 17-year-olds only able to
participate in devolved and local elections in Scotland and Wales . This
discrepancy creates a poor experience for young people in Scotland and Wales,
making it difficult to articulate and understand their rights. It also leaves their
peers in England unable to have the same level of engagement, leaving them
without the opportunity to participate.
• Missed opportunities to promote engagement and participation through
civic opportunities and encouraging participation at a younger age.
• An estimated 7-8 million eligible people would continue to be unregistered
or registered incorrectly. The Government would miss the opportunity to
address the registration gap and improve the completeness and accuracy of the
register, as well as not supporting certain groups that are disproportionately
affected by barriers to registration.
• An opportunity to improve the registration system and better serve end
users would be missed , as the potential benefits of utilising improved
technology, streamlining and joining up services and supporting enhanced data
sharing would be left unrealised.
• Voter ID requirements would continue to pose a barrier to voting for a small
proportion of voters who may find themselves unable to vote or dissuaded from
doing so.
• The nominations process would continue without any additional
deterrents against false or misleading candidate declarations . This would
limit the ability to challenge suspicious nominations and may fail to discourage
individuals from providing inaccurate or deceptive information.
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• Political parties would remain unable to formally withdraw support for a
candidate once nominated, even where serious concerns arise. This would
prevent parties from upholding standards and risk misleading voters about the
level of party endorsement on the ballot paper.
• The system would be at risk of worsening delays in postal vote delivery
and subsequent return , increasing administrative burdens, and poor
access to resources for ROs. These issues, if left unaddressed, could
undermine voter confidence and the resilience of the system.
• The longstanding, systemic issue of harassment and intimidation towards
candidates, campaigners and electoral staff would continue to worsen as
it has done in recent years.
• The electoral donation system would remain at risk of foreign interference,
with weak existing controls on donors and recipients leading to vulnerabilities in
the system.
• Existing transparency gaps for digital imprint rules, and fragmentation of
enforcement would remain.
76. This option will not meet the policy objective, nor would it deliver the
government’s manifesto commitments. This option is used as the counterfactual
throughout this IA. To provide a counterfactual , this option assumes no other
changes to the electoral system over the 10 year appraisal period. Therefore, there
are no additional costs and benefits to the baseline associated with this option.
Non-legislative approach
77. If implemented, a range of non-legislative interventions could contribute to
addressing the issues faced by the electoral sector. This option assumes none
of the legislative interventions are implemented. However, without such legislative
change, these measures can only go so far in delivering the policy objectives.
78. Non-legislative interventions considered include:
• A dedicated democratic engagement programme including civic and
political education to close the participation gap.
• Increased communications to promote awareness and use of the VAC , in
particular for those groups who may be less likely to hold ID or less likely to be
aware of the need to show ID when voting in person.
• Strengthened guidance for prospective candidates to make them better
aware of the rules for standing for election.
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• Improved guidance, sector-led initiatives, and voluntary adoption of best
practice are examples of non -regulatory interventions considered in the
elections review.
• Providing guidance to LAs to make clear the current expectations and
legal powers around data sharing , in advance of new legislation which will
further clarify the position around data sharing.
• Signposting the registration to vote service to users as part of other
government service journeys, to encourage more people to register.
• Working with universities, the Further Education sector and other
settings, where high numbers of people could be engaged in the democratic
process, through innovative approaches and sharing of best practice.
• A new code of conduct for candidates and campaigners, and new guidance
for police on how to use existing law in an electoral context to help tackle
harassment and intimidation issues.
79. Non-legislative interventions alone would not be sufficient to address the
underlying challenges facing the electoral system . Consequently, the
overarching policy objectives would remain unmet, and key government manifesto
commitments undelivered. As such, a purely non-legislative approach falls outside
the analytical scope of this IA.
Legislative approach (preferred)
80. The preferred option is to augment the non -legislative interventions
discussed above by implementing a complementary suite of legislative
interventions, including:
• Lowering the voting age to 16, engaging voters early, to build the foundations
for their participation in our electoral processes and to help close the
participation gap.
• Transforming registration practices, to simplify the registration process by
facilitating a move towards a system of more automated voter registration.
• Introducing an opt-in system for the open register, replacing the status quo
with a new default where individuals will only be included if they actively choose
to opt in.
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• Extending the duration of an AE entry from one year to three years ,
helping alleviate the disproportionate administrative burden currently placed
on AEs and promote more inclusive democratic participation.
• Allowing the use of bank cards as an accepted form of ID for voting.
• Introducing an ID requirement for candidates along with a statutory
declaration and allowing political parties to withdraw their support for nominated
candidates before the deadline.
• Adjusting key electoral deadlines , including moving the deadline for the
submission of nominations papers, the registration deadline and postal vote
application deadline
• Improving the rules around postal and proxy voting to make sure electors
have alternative options where their postal vote does not arrive in time to be
returned before close of poll.
• Centralising and standardising the collection and publishing of election
data by Introducing for a duty on ROs and EROs to provide standardised
election data to the EC or the Government.
• Strengthening and building on existing deterrents against harassment and
intimidation to ensure that no one is prevented or discouraged from
participating in democracy.
• Strengthen the role and powers of the EC, to ensure that enforcement
provides a clear deterrent against breaches of the political finance framework
whilst remaining proportionate.
• Improve the transparency of digital imprint rules , give the EC primary
responsibility for the enforcement of imprint offences , and enable the EC
to make minor correcti ve changes to digital imprint guidance more
responsively.
81. By integrating legislative measures with non -legislative interventions, this
approach offers a comprehensive solution to the challenges confronting the
electoral system and is best positioned to realise the stated policy
objectives. Furthermore, it facilitates the government's delivery of its manifesto
commitments.
82. A detailed description of the preferred options for and implementation of each
policy can be found in section E.
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Table 1: Extent to which options will deliver policy objectives
Extent to which options will deliver policy objectives
Policy Objective Do nothing Non-legislative approach Legislative approach
Broaden
democratic
engagement
X
Without any action, the status
quo would be maintained,
meaning this option would not
offer any additional value in
achieving the goal of building
long lasting engagement with
our democracy.
There would continue to be
inconsistency in which
elections 16- and 17-year-
olds can vote across the UK.
An estimated 7-8 million
eligible voters would remain
incorrectly registered or not
registered at all.
The Government would risk
failing to support
underrepresented groups
who make up a
disproportionate amount of
those incorrectly registered or
not registered at all.
~
There is no non-legislative option to
extend voting rights to 16- and 17- year-
olds.
It is possible that building a long-lasting
engagement with our democracy could be
partially achieved without extending the
franchise, through a dedicated democratic
engagement programme. However, there
is little evidence to suggest that civic
and political education could close the
participation gap in isolation meaning
any proposals that are not accompanied by
legislative change may not be effective.
Attempting to drive registration rates
through the existing system by focusing on
improved democratic engagement is
likely to only have limited effect and not
necessarily reach those groups who are
less likely to be registered.
Current legislation hinders the ability of
EROs to identify people who are
incorrectly registered or not registered
at all as it can be misinterpreted and it
✔
Lowering the voting age to 16 can
only be achieved through primary
legislation. By legislating, the
Government intends to ensure that
processes are in place to support all
young people to participate, including
measures to enable those with less
conventional routes to registration, such
as children looked after by LAs and those
who reside overseas due to their parents’
being posted abroad.
Evidence points to the act of participation
and voting as the key enabler of
increased participation. Hence,
extending the parliamentary franchise
could result in increased participation.
Strengthening the data sharing
legislation will allow for the proactive
sharing of relevant data by departments
and public bodies. This will ensure data
sharing can be done in a timely and
targeted way that supports EROs
identify people who are incorrectly
registered or not registered at all.
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Extent to which options will deliver policy objectives
Policy Objective Do nothing Non-legislative approach Legislative approach
The electoral register in NI
would still face the risk that a
significant number of
electors will be lost from the
register every 10 years,
impacting its integrity and
maintaining a situation where
eligible voters are incorrectly
registered or not registered at
all. Inaction in these areas
would perpetuate inconsistency
between Northern Ireland and
the rest of the UK.
does not allow for the proactive sharing of
relevant data by departments and public
bodies. To ensure that the approach to data
sharing can be timely and targeted,
legislative changes are necessary.
Non-legislative options will not address
the cliff edge faced periodically by the
requirements of the current system
whereby large numbers of electors in
Northern Ireland who are entitled to be
registered are required to be removed from
the register.
As with the do nothing option, without
legislative change, the current canvass
system would continue to pose a risk to
the accuracy and integrity of the
Northern Ireland register.
Legislative change to data sharing
powers and versions of more automated
registration could lead to a
meaningful improvement in the
accuracy and completeness of the
registers.
The Government is committed to
ensuring new approaches to registration
are fully tested before implementation, to
ensure that any unintended
consequences can be resolved. This
groundwork should reduce the risk
that changes to the electoral system
could compromise processes which
are integral to the democratic
process.
Legislative change will enable the
Government to modernise and reform
the canvass system in Northern
Ireland and encourage participation by
removing the outdated and unnecessary
practice of ‘calling out’ in polling stations.
Reduce the
major risks in
election
X
Maintaining the current system
without intervention would risk
worsening delays in postal vote
~
The government is committed to taking
forward a range of non-legislative
measures, such as an updated Code of
✔
Legislative change will allow
strengthened controls around company
donations, encourage a "Know-Your-
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Extent to which options will deliver policy objectives
Policy Objective Do nothing Non-legislative approach Legislative approach
delivery,
electoral
registration,
electoral
campaigning
and political
finance
delivery and subsequent return,
increasing administrative
burdens, and inconsistent
access to resources for ROs.
These issues, if left
unaddressed, could
undermine voter confidence
and the resilience of the
system.
The nominations process
would continue without
additional safeguards or
deterrents, leaving limited
ability to challenge false or
misleading candidate
declarations and preventing
political parties from formally
withdrawing support for
candidates once nominated.
This would risk undermining
public confidence and restrict
parties’ ability to uphold
standards during the
nomination period.
Conduct for campaigning and improved
guidance for police and ROs. While these
measures will help improve the general
tone of political debate in elections and
make the application of existing law more
consistent, they do not go far enough to
address the scale and systematic nature
of the problem.
Other non-regulatory approaches such as
improved guidance, sector-led initiatives,
and voluntary adoption of best practice
could somewhat reduce risk in election
delivery and electoral registration, as well
as in the nominations process. However, in
practice, these measures would be
inconsistently applied and would not
resolve systemic issues like the legal
constraints on postal vote reissue or the
absence of a central registration look-up
tool.
The loopholes that enable foreign
interference within our democratic
processes would continue to persist.
Non-legislative measures such as donors
voluntarily disclosing their sources of
funding and other details are unlikely to be
Donor" culture, and introduce other
measures such as increasing
transparency around source of funding of
unincorporated associations. These
measures will help reinforce electoral
legislation against foreign
interference, ensuring the policy
objective is met to the highest level
possible.
Adjusting electoral deadlines would
strengthen the resilience of electoral
administration across the UK.
Delivering a package of targeted
legislative changes with operational
improvements including clarifying legal
responsibilities, enabling better use of
technology and facilitating the provision
of accessible information about elections
to the public should deliver
proportionate and practical
improvements while minimising
disruption.
Introducing targeted legislative
changes to strengthen candidate
declarations and enable party
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Extent to which options will deliver policy objectives
Policy Objective Do nothing Non-legislative approach Legislative approach
The electoral donation
system would be left at risk
of foreign interference.
There would continue to be
less proportionate and
proactive scrutiny of
candidate, local third party
and recall petition
campaigner political finance
offences, as they would remain
subject only to criminal
investigation and prosecution,
and administrative offences
would for the most part remain
criminal offences.
The EC would continue to lack
a solid legal basis for sharing
information with other
regulators and enforcement
authorities, undermining
effective collaboration on cross-
cutting regulatory issues.
Transparency gaps would
remain in the digital imprint
rules, enforcement would
applied uniformly and would fail to
comprehensively address transparency
issues in political finance.
There is no non-legislative option to
strengthen the role and powers of the
EC or address the existing enforcement
gaps. As with the do-nothing option, the
enforcement of political finance would
remain fragmented and would lack a
proportionate and effective deterrent for
offences.
Improving collaboration on cross-cutting
regulatory issues could be improved
through non-legislative means. However,
any proposals short of providing an
explicit statutory gateway to share
information are unlikely to provide the
solid legal foundation the EC needs to
share information dynamically.
It is arguable that some campaigners could
seek to close these transparency gaps on a
voluntary basis but, as with the do-nothing
option, without legislative change, there
would remain transparency gaps in the
withdrawal of nominations would
provide clearer legal accountability,
reinforce public confidence, and offer
proportionate safeguards against misuse.
These changes would deliver practical
improvements to the nominations
process while maintaining operational
stability and minimising disruption.
Delivering the proposed package of
reforms will improve the transparency
of digital imprint rules, and
enforcement of all imprint rules,
strengthening the integrity and public
confidence in political campaigning.
The measures will also enable the EC to
make minor corrections to digital imprint
guidance without the need to seek
ministerial and parliamentary approval.
Taken together, the proposed package of
legislative reforms to the role and powers
of the EC will address concerns about
the proportionality of enforcement
and current enforcement gaps,
provide a greater deterrent for more
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Extent to which options will deliver policy objectives
Policy Objective Do nothing Non-legislative approach Legislative approach
remain fragmented, and the EC
would be unable to make minor
corrections to digital imprint
guidance without needing to
seek ministerial and
parliamentary approval.
It would also risk worsening
the administrative and
resource burden for the CEO
in Northern Ireland.
digital imprint rules, enforcement would
remain fragmented and the EC would
continue to be required to seek
ministerial and parliamentary approval
for minor corrections to digital imprint
guidance.
Non-legislative interventions would have
no impact on mitigating the current
challenges to registration in Northern
Ireland.
serious offences, and improve the
EC’s operational effectiveness.
Legislative change will protect young
people’s data in Northern Ireland by
removing the legal obligation on the CEO
to share details of 16- and 17-year-olds
with the court service.
Remove
barriers to
participation in
democracy
X
If no action were taken, the
Voter ID requirements would
continue to pose a barrier to
voting for a small proportion
of voters who may find
themselves unable to vote or
dissuaded from doing so.
The longstanding, systemic
issue of harassment and
intimidation towards
candidates, campaigners and
electoral staff would continue
to worsen as it has done in
recent years.
~
As with the do nothing option, without
legislative change, the Voter ID
requirements would continue to pose a
barrier to voting for a small proportion
of voters.
The VAC already exists to support electors
without other accepted forms of ID, but
awareness of the VAC is somewhat low. It
is possible that a larger communications
campaign for voter identification could
increase awareness but it seems
unlikely that this measure alone will be
effective in achieving the policy
objective.
✔
Legislative change will allow the use of
bank cards as an accepted form of ID for
voting. Allowing the use of widely held
bank cards will help to close the
existing gap in ID ownership, ensuring
the policy objective is met as fully as
possible.
Removing the requirement for candidates
acting as their own election agents to
have their home address made public will
remove a barrier to such candidates
safely standing for election without
putting themselves at risk of
harassment and intimidation in private
home.
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Extent to which options will deliver policy objectives
Policy Objective Do nothing Non-legislative approach Legislative approach
There would continue to be
insufficient protections for
electoral staff, who are often
subject to similar abuse to
candidates and campaigners.
Candidates acting as their own
election agent would continue
to have their home address
made public in many cases,
posing a serious security risk
to those candidates and
discouraging them from
standing for election.
AEs would continue to be
disproportionately burdened
by the requirement to reregister
to vote annually.
As with the do nothing option, without
legislative change, there would continue
to be insufficient protections for
electoral staff, no deterrent for those
who seek to damage our democracy and
have no intention to stand for elective
office, and candidates acting as their own
election agent would continue to have their
home address made public in many cases.
As with the do nothing option, without
legislative change, AEs would continue to
be disproportionately burdened by the
requirement to reregister to vote annually.
Legislative measures will strengthen and
build on existing deterrents and
protections. Extending the
disqualification order to cover
electoral staff will bring them under
the same protect given to candidates,
campaigners and elective office
holders.
Extending the period that an AE entry
remains valid from one year to three
years can only be made possible
through legislative change.
E. Summary and preferred option with description of implementation plan
83. These measures will require both primary legislation and secondary legislation. Supporting secondary legislation will be
brought forward based on priority and complexity of the policy measures, following Royal Assent.
84. A description of the preferred option and implementation plan for each policy and sub-policy can be found in table 2 below.
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Table 2: Summary and preferred option with description of implementation plan
Policy Sub-policy Preferred Option Implementation Plan
Votes at 16 The preferred option is to implement the franchise
change through primary and secondary
legislation.
This will be accompanied by an implementation
plan supported by the government
(encompassing the Ministry of Housing,
Communities, and Local Government (MHCLG),
DfE, and the Department for Digital, Culture,
Media, and Sport (DCMS), EROs and the EC,
working alongside civil society organisations.
Improving
Registration
Direct
registration
The preferred option is to introduce a new duty on
EROs to register eligible people on the electoral
registers for reserved and excepted elections
(UKPGEs, all Northern Irish elections and English
local elections) without them making an
application, following a notification to those
people.
This will include a power to make regulations on
the content of the notification, which will include
the reasons why a person might opt-out of being
registered in this way (for example, to register
manually or register as an AE or service voter)
and the time period in which a person has to
respond, if they are choosing to opt-out. A similar
process is expected to be provided for updating
existing entries on a register where a person’s
name or address (within the same electoral area)
has changed.
It is expected that the 'direct registration’
provisions would not be commenced until aspects
of the new provision have been successfully
tested or piloted.
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Policy Sub-policy Preferred Option Implementation Plan
Pilot powers The preferred option is to introduce a new power
through which the Secretary of State for MHCLG
can make secondary legislation to run pilots that
relate to improving and amending electoral
registration matters (including direct registration).
This is intended to be broad enough to test known
potential approaches to registration, including
aspects of ‘direct registration’, soon after the Bill
but also provide for testing in future years.
Data sharing
powers – direct
and assisted
registration
The preferred option is to enable government
departments and other public bodies across
central and local government and the education
sector to share data with EROs, for electoral
registration purposes.
This shared data would then be used to identify
and contact unregistered eligible citizens, to
assist them to register to vote (assisted
registration) with their consent. The data obtained
may also be used to register eligible citizens -
following a notification - with no need for them to
complete an application (direct registration).
Additional secondary legislation setting out the
detail of specific data sharing agreements would
follow this primary legislation. It is expected that
new data flows would be used in parallel with
existing registration methods immediately and
then gradually be used to support more digitally-
enabled approaches.
Anonymous
Electors
The preferred option is to introduce legislation
extending the period of time that AE status is
valid from one year to three years.
In addition, a new duty on EROs will be
introduced whereby EROs are required to ‘check
in’ with AEs once a year. This ‘check in’ will
involve sending a form of communication
containing relevant information such as a
These changes will be implemented though
primary legislation, supported by updates to EC
guidance. MHCLG will work with electoral
administrators to ensure operational readiness.
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Policy Sub-policy Preferred Option Implementation Plan
reminder of their current AE arrangement, expiry
date, voting arrangement, etc.
In addition, the current duty of EROs to contact
postal voters ahead of their postal vote expiry will
be amended. The amendment will require that, in
cases where the postal voter is an AE, additional
relevant information is provided to them.
Future of the
Open Register
The preferred option is to move from a
presumption that people will be on the open
register, unless they actively opt out; to a
presumption that they will not be on the open
register, unless they actively opt in.
These changes will be implemented through a
combination of primary and secondary legislation,
supported by updates to EC guidance and
changes to EMS systems to accommodate.
Voter ID The preferred option is to use primary legislation
to amend the Representation of the People Act
(RPA) 1983 to allow the use of bank cards as ID
for voting at polling stations.
These changes will be implemented through a
range of primary and secondary legislation,
supported by updates to EC guidance. The
Department will work with electoral administrators
to ensure operational readiness.
Candidate
and
Nominations
Changes
Candidate ID
and declaration
The preferred option is to introduce a statutory
declaration form and candidates to provide proof
of ID as part of the nominations process.
These changes will be implemented through a
range of primary and secondary legislation,
supported by updates to EC guidance. The
Department will work with electoral administrators
to ensure operational readiness.
Withdrawal of
political party
support
The preferred option is to introduce a statutory
power for parties to revoke nominations up to 48
hours before close.
These changes will be implemented through a
range of primary and secondary legislation,
supported by updates to EC guidance. The
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Policy Sub-policy Preferred Option Implementation Plan
Department will work with electoral administrators
to ensure operational readiness.
Outcomes of
the Elections
Review
Electoral
timetable
The preferred option is to adjust key electoral
deadlines. This includes moving the deadline for
the submission of nominations papers from 4pm
to midday on the final day for submitting
nominations, moving the registration deadline
from midnight to 5pm on the 12th working day
before the poll and bringing the postal vote
application deadline earlier in time to 5pm on the
14th working day before the poll.
These changes will be implemented through a
range of primary and secondary legislation,
supported by updates to EC guidance. The
Department will work with electoral administrators
and suppliers to ensure operational readiness.
Absent voting The preferred option is to allow earlier reissue of
lost postal votes, enabling cancellation of postal
votes and change of voting method in specific
circumstances, clarifying the deadline for
determining postal vote applications and
improving wider legislative framework for absent
voting.
Amendments will be made to primary and
secondary legislation to reflect the new deadlines
and discretionary powers.
The EC will update its guidance to reflect the
changes, and the department will engage with the
sector to ensure they are aware of the changes
and in a position to implement them
Electoral
resourcing
The preferred option is to require the role of ROs
to be held by a senior officer and clarify their
access to council staff.
Legislative changes will be introduced to define
the eligibility criteria for the RO role and to clarify
the statutory duty of LAs to provide staff. The
Department will work with local government
bodies to support implementation and ensure
consistency across GB. Guidance will be updated
to reflect the new requirements
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Policy Sub-policy Preferred Option Implementation Plan
Elector
information
power
The preferred option is to legislate for a duty on
ROs and EROs to provide standardised election
data to the EC or the Government.
The duty will be introduced through primary
legislation, with supporting regulations to define
the scope and format of the data required and
specify to whom the data must be provided (the
EC or the Government).
The EC or the Government will be responsible for
collecting and publishing the data and managing
the services through which this information is
provided to the public.
Election forms
consolidation
measures
The preferred option is to legislate to amend the
relevant forms powers to enable a consolidation
of the forms into regulations.
The consolidation will be implemented through
regulations. Policy officials will work closely with
the EC and other stakeholders to ensure
implementation is properly co-ordinated with the
upcoming form changes resulting from the
Elections Bill.
Harassment
and
Intimidation
Aggravating
factor for
intimidatory
offences in an
electoral context
The preferred option is to create a new statutory
aggravating factor in law which applies to
intimidatory offences in an electoral context to
underline the severity of seeking to damage
democratic processes. The aggravating factor will
apply to offences listed in Schedule 9 to the
Elections Act 2022 motivated by hostility towards
candidates, future candidates, campaigners,
elected representatives, and electoral staff. This
will mirror the existing disqualification order.
Courts will be required to take this aggravating
These changes will be implemented through
primary legislation. There will be a role for
prosecutors to establish the evidential base to
prove hostility for both the disqualification order
and the aggravating factor and bring these to the
court's attention. Ultimately, both the
disqualification order and the aggravating factor
will be imposed by courts at the point of
sentencing.
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Policy Sub-policy Preferred Option Implementation Plan
factor into account when determining the
sentence. This will apply to sentences in England,
Wales and Northern Ireland. There is an existing
aggravating factor in Scottish Law. The
Department will work with the Ministry of Justice
(MOJ), the Crown Prosecution Service (CPS) and
the Sentencing Council to develop guidance on
how the aggravating factor should be applied
consistently.
The Department will engage with judicial and
prosecutorial bodies to understand whether
additional guidance is required to ensure
consistent application of these measures.
Extending the
disqualification
order to cover
electoral staff
The preferred option is to extend the remit of the
disqualification order to cover the following
electoral staff:
- ROs and members of their staff
- registration officers and members of their staff
- counting officers, including the chief counting
officer, a deputy of the chief counting officer, a
counting officer, a deputy of the counting
officer, a member of the chief counting
officer’s staff and a member of the counting
officer’s staff
- petition officers and members of their staff
This will apply to all UK elections apart from
Scottish parliamentary and local elections, which
are covered by equivalent Scottish law.
Removing
outstanding
requirements for
The preferred option is to amend Section 67(6) of
the RPA 1983 to remove the requirement for
publishing the home addresses of candidates
This change will be implemented through primary
legislation. The Department will work with the EC
to ensure that guidance for candidates regarding
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Policy Sub-policy Preferred Option Implementation Plan
candidates
addresses to be
published
acting as their own election agents in the notice of
election agents. We will also add that all election
agents may use a correspondence address. This
is for all UK parliamentary elections, and local
elections in England.
the nominations process clearly sets out how they
can choose not to have their home address made
public.
Political
Finance
Unincorporated
associations
The preferred option is to significantly lower the
transparency thresholds so that UAs will need to
register with the EC if they make donations over
£11,180, and report all gifts over £2,230.
Extend these disclosure requirements to cover
unincorporated associations that contribute
directly to candidates. Additionally, mandate that
each unincorporated association nominates a
responsible individual to be publicly listed on the
register, ensuring greater accountability.
Also requiring UAs which wish to make political
contributions above the £11,180 threshold to
conduct permissibility checks on gifts they receive
for the purpose of making political contributions.
All political finance measures will require primary
legislation, with the exception of provisions on
connected sources of funding under section 54A.
The EC is expected to issue both statutory and
non-statutory guidance in line with its regulatory
responsibilities.
To promote coherence and consistency in
electoral regulation across the UK, and subject to
devolution analysis and the outcome of legislative
consent motions, these measures are intended to
apply to reserved, excepted, and devolved
elections, pending ongoing engagement with the
Scottish and Welsh Governments.
The measures are not intended to have
retrospective effect and are expected to come
into force following Royal Assent. Certain
provisions, such as the new UAs threshold, will
be commenced by regulation on a specified date
after Royal Assent, applying only to regulated
periods beginning thereafter.
Company
donation rules
The preferred option is that companies and
limited liability partnerships will only be permitted
to make a political donation if they have made
sufficient revenue to cover the donation, and they
meet eligibility criteria on UK headquarters and on
ownership to ensure they have a genuine
connection to the UK.
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Policy Sub-policy Preferred Option Implementation Plan
Forfeiture of
donations
The preferred option is to ensure that when illicit
funds do enter the system via impermissible
donors (e.g. individuals not on the electoral
register), they will be subject to full forfeiture, and
no exception can be made to allow for partial
forfeiture where donors are eligible to vote, but
not registered in a UK electoral register at the
time of donation.
Know Your
Donor guidance
The preferred option is that recipients of
donations will be required to consider the risk of
those donations being illegitimate, such as
considering sources of funding where the risk of
foreign interference may be higher.
The EC will also provide guidance on conducting
risk assessments around accepting donations
The Electoral
Commission
and
Enforcement
Closing the
enforcement
gap
The preferred option is to extend the EC’s Remit
and Civil Sanctioning Powers to RPA and Recall
of MPs Act (RoMPA) Election Finance Offences
by extending the EC’s civil sanctioning and
investigatory powers to these offences.
Candidates, local third parties and recall petition
campaigners will also now send returns directly to
the EC rather than ROs.
All enforcement measures will require primary
legislation. Secondary legislation will be required
to amend the list of prescribed offences and
prescribed restrictions and requirements subject
to civil sanctions and the level of the EC’s
maximum fine. It is intended that reforms to apply
UK-wide at all elections, including national
elections and local government elections. To
ensure coherence and consistency across
electoral regulation in the UK, our intention is for
this to include reserved, excepted and devolved
Reclassifying
administrative
offences
The preferred option is to reclassify an extensive
range of administrative offences across PPERA,
the RPA, and RoMPA so that they are for the
most part punishable through civil sanctions.
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Policy Sub-policy Preferred Option Implementation Plan
Increase the
EC’s maximum
fine
The preferred option is to increase the EC’s
maximum fine to an amount of up to £500,000
with safeguards in place to ensure fines are
proportionate for political parties which are less
well resourced.
elections (pending ongoing discussions with the
Scottish and Welsh Governments).
It is the expectation that that all regulations will
come into force after Royal Assent. The extension
of EC remit and powers to RPA and RoMPA
election finance offences may need savings
provisions to allow the EC to build up its
resources and capacity and amend its guidance.
Enhancing EC’s
information
sharing powers
The preferred option is to give the EC an explicit
statutory gateway to enable the EC to share
information with certain law enforcement bodies
and regulators. The bodies will be listed in
primary legislation with the SoS having a power to
add additional bodies to the list through
secondary legislation.
Leave to pay The preferred option is to transfer responsibility
for granting leave to pay claims from the courts to
the EC.
Imprints Extending the
digital imprint
rules to ‘organic
material’
promoted by
third party
campaigners
who are not
recognised
The preferred option is to extend the UK-wide
digital imprint rules to require ‘organic material’
(i.e. digital material which has not been paid to be
advertised) and which is promoted by or on behalf
of third party campaigners that are not
recognised, to include an imprint, with the
exception of individuals. This will ensure that the
rules promote transparency around organic digital
campaigning material promoted by third-party
campaigning organisations who are not registered
with the Electoral Commission, while protecting
freedom of expression and avoiding undue
Delivery of the preferred changes to imprints
measures will require a mixture of primary and
secondary legislation.
The expectation is that the EC would update its
guidance to support campaigners and
enforcement authorities in understanding how the
rules will be enforced across the imprints
measures.
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Policy Sub-policy Preferred Option Implementation Plan
burdens on individuals simply expressing their
political opinions online.
Streamlining the
enforcement of
the digital and
print imprint
regimes
The preferred option is to streamline the
enforcement of the imprint rules, so that the EC
take responsibility for enforcing all imprint
offences in the first instance. This will bring
greater clarity, consistency and proportionality to
the enforcement of the imprint rules.
Amending the
procedure in
relation to the
EC’s guidance
on digital
imprints
The preferred option is to remove both the
requirement for Secretary of State approval and
the 40-day parliamentary process for
implementing minor corrective updates to the
digital imprint guidance. By removing these
procedural requirements for minor corrective
changes, the EC will be able to update its
guidance more responsively, where for example,
changes in platform names arise.
Northern
Ireland
Measures
The Northern
Ireland canvass
The preferred option is to amend primary
legislation to give the Secretary of State powers
to reform and modernise the NI canvass, the
details of which can be set out in secondary
legislation. This option should also allow for any
future reform of the system which may be
required to be made without the need for primary
legislation which has been a significant barrier to
reform of the current outdated system
Additional secondary legislation setting the detail
of how the reformed NI canvass will operate
would follow this primary legislation. We will be
able to set out the direction of the reform and its
intent at introduction to facilitate passage of the
Bill.
Adding National
Insurance
The preferred option is to amend primary
legislation to facilitate giving the CEO for NI the
This change will be implemented through
amendments to primary legislation facilitating a
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Policy Sub-policy Preferred Option Implementation Plan
numbers to
elector records
powers to add a NINo to an electors record
without them providing the information.
new power for the CEO. The details of this power
will be set out in additional secondary legislation.
The Northern Ireland Office will work with the
CEO for Northern Ireland to ensure operational
readiness following RA/commencement.
‘Calling Out’ in
polling stations
The preferred option is to amend legislation
removing the requirement for ‘calling out’ of an
elector’s name and number at a polling station.
This change will be implemented through primary
legislation, supported by updates to the Electoral
Office for Northern Ireland guidance. The
Northern Ireland Office will work with the CEO for
Northern Ireland and EC to ensure operational
readiness.
Amending
electoral ID
cards
The preferred option is to amend primary
legislation removing the requirement for the day
of birth to appear on a NI electoral ID card.
This change will be implemented through primary
legislation, supported by updates to the Electoral
Office for Northern Ireland guidance. The
Northern Ireland Office will work with the CEO for
Northern Ireland and EC to ensure operational
readiness.
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F. Appraisal
85. The analysis focuses on the impacts of primary legislation. Some measures in
the Bill will require supporting secondary legislation to set out more fully how they
will operate. This secondary legislation will be subject to its own consultation,
scrutiny, and assessment. As a result, there are limits to how fully the potential
impacts can be assessed at this stage.
86. Each policy is assessed against a ‘Do Nothing’ counterfactual scenario, where
the government takes no legislative or non-legislative action to address issues in
the electoral system. A new burdens assessment will also be undertaken for these
policies.
87. As with any form of economic modelling, there is a certain degree of
uncertainty as the final scope of the policy is yet to be determined (this will be
done at secondary legislation stage). Some of the cost components have yet to be
quantified, such as digital costs, and others are based on current best assumptions,
such as the estimated uptake of each policy. To account for this variability around
cost estimates, a range of +/-50% of the central scenario has been applied to create
a high and low scenario f or the quantifiable components of the bill. These ranges
have been used throughout the IA.
88. An appraisal period of 10 years is used as per standard practice for IAs, from
2025. This is the earliest point from which reforms may take effect. Implementation
timings will be dependent on the timing of Royal Assent, secondary legislation.
Costs are presented in 20 25/26 prices. Figures are rounded to the nearest £0.1
million and totals may not sum exactly due to this rounding.
89. The EC ha s assessed the impact of the proposed bill measures on the
Commission and estimated the resource required by the Commission to
support implementation of bill measures . The costs associated with a given
measure are presented alongside the other costs estimated for that measure. The
Electoral Commission has indicated that the implementation of the Bill will require
additional staffing beyond that associated with the new enforcement powers, for
example its engagement and public awareness work to support Votes at 16 and the
new regulatory functions not covered as part of the enforcement powers. However,
other than those associated wit h the enforcement measures, wider staffing costs
have been excluded from this Impact Assessment . This reflects the fact that the
Commission will take on new and expanded responsibilities as a direct result of the
proposed reforms around enforcement measures. The staffing costs included here
are therefore a direct impact of the policy itself, rather than being associated with
transitional or implementation support as in the other policy areas . This approach
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is consistent with the treatment of MHCLG departmental staffing costs stemming
from other policy measures included within this Impact Assessment.
90. The impacts of the policies in this Bill on the costs of conducting Police and
Crime Commissioner (PCC) elections have been included in this appraisal.
Although the government has announced its intention to abolish PCCs (and their
elections as a result), this change will be implemented through separate future
legislation. Consequently, the appraisal reflects the current statutory position, under
which PCC elections will continue unless and until future legislative change dictates
otherwise.
91. The Government announced its intention to introduce digital VACs and has
since announced the introduction of a new digital ID scheme which will be
implemented through separate future legislation . Consequently, this appraisal
reflects the current statutory position, and we assume that demand and associated
costs for paper VACs, remain unaffected by the potential introduction of either of
these digital products.
Option 1 – Legislative Approach
F.1 Votes at 16
F.1.1 Methodology
92. This analysis begins by estimating the eligible population. To do this, first the
number of eligible 14- to 17-year-olds is estimated using population data2324. This
figure is then multiplied by eligibility factor s to give the eligible population for
different types of election , as not all 16- and 17-year-olds will meet the criteria to
vote. To vote in UKPGEs you must be a UK or Irish citizen, or a qualifying
Commonwealth citizen living in the UK 25. To vote in local and PCC elections in
England you must meet the criteria to vote in UKPGEs or be a qualifying EU citizen
living in the UK.
93. The eligibility factors are assumed to be 96.9% for UKPGEs and 99.6% for
local and PCC elections, based on the proportion of the 18- to 25-year-olds who
report being eligible to vote in each respective election based on waves 29 and 30
of the British Election Study Internet Panel2627.
23 Estimates of the population for the UK, England, Wales, Scotland, and Northern Ireland - Office for National Statistics, 2025
24 Constituency data: Population, by age - Barton, 2025
25 Who can vote in UK elections - Electoral Commission, 2025
26 British Election Study Internet Panel waves 29 – British Election Study, 2024
27 British Election Study Internet Panel waves 30 – British Election Study, 2025
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94. The eligible population is then adjusted by population forecasts 28293031 to estimate
how the franchise changes over the 10 -year appraisal period. The relevant cost
components are then applied to these forecasts to estimate the total impact.
The cost components are as follows:
• Registration costs
• Canvass costs
• Conduct costs
• Communications costs
95. The overseas elector franchise of 16- and 17-year-olds is forecast separately.
This is based on internal MHCLG modelling used for the Elections Act 2022
Overseas Electors IA32. It is assumed that 14.2% of overseas electors will be added
to the electoral register in years with a UKPGE and 3.3% in years w here there is
not.
96. It is assumed that 88.9% of the population will be added to the electoral
register. This is higher than the current completeness of the register for
comparable age groups (60% of 18- to 19-year-olds are correctly registered as of
202233). Th e assumption is aligned with the assumed level of register
completeness at the end of the appraisal period, used in the Improving Registration
policy model.
97. Table 3 below shows the estimated size of the franchise for 16- and 17-year-
olds and the number added to the electoral register per year in the appraisal
period. This covers franchises/electoral registers for both local government
elections and UKPGEs. The figure for the number of UKPGE electors also includes
overseas electors. It should be noted that 16 - and 17-year-olds in Scotland and
Wales who can already vote in certain elections are included in these figures.
28Subnational population projections for England - Office for National Statistics, 2020
29 National population projections: 2021-based - Stats Wales, 2024
30 Projected Population of Scotland: 2020-based - National Records of Scotland, 2023
31 Population Projections for Northern Ireland: 2022-based - Northern Ireland Statistics and Research Agency, 2025
32 The Representation of the People Act – Extension of franchise to British citizens overseas – MHCLG, 2023
33 Electoral registers in the UK - Electoral Commission, 2023
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Table 3: Summary of estimated franchise and registered 16 - and 17-year-olds
(millions, 2027/28 - 2034/35)
Year
Estimated Franchise
Estimated Registered Electors
Domestic Overseas
Electors
Local
Government
Elections
UKPGE UKPGE
Local
Government
Elections
UKPGE
2027/28 1.7m 1.7m >0.1m 1.5m 1.5m
2028/29 1.7m 1.7m >0.1m 1.5m 1.5m
2029/30 1.7m 1.7m >0.1m 1.5m 1.5m
2030/31 1.7m 1.7m >0.1m 1.5m 1.5m
2031/32 1.7m 1.7m >0.1m 1.5m 1.5m
2032/33 1.7m 1.7m >0.1m 1.5m 1.5m
2033/34 1.7m 1.6m >0.1m 1.5m 1.5m
2034/35 1.6m 1.6m >0.1m 1.5m 1.4m
98. The costs of the policy are modelled separately for GB and Northern Ireland.
This is due to differing electoral systems and data availability between the two.
Costs for Northern Ireland were estimated with the support of the EONI. The
analysis described below refer to costs in GB unless specifically stated to be
Northern Ireland.
F.1.2 Monetised impacts
F.1.2.1 Direct costs
Registration costs
99. The costs for registration services are estimated using the number of eligible 14 -
to 17-year-olds, data on costs collected from LAs, methodologies and assumptions
from the Elections Act 2022, and administrative data on applications.
Register to Vote Costs
100. There will be costs for LAs in processing additional applications from 14- to 17-year-
olds. Several assumptions are made around demand for this service:
• Demand in first year eligible to vote (for 16- and 17-year-olds in 2027/28, and
16-year-olds from 2028/29 onwards) – 94.9% of the eligible population per year,
this is based on the proportion of the population assumed to be added to the
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register and the average application rejection rate (6.3% of applications, based
on data collected from LAs34).
• Demand for other years (17-year-olds from 2028/29 onwards) - 13.5% of the
eligible population per year, this is based on volumes from administrative
application data , to reflect the proportion who change their details or newly
register each year35.
• Demand for attainers - 24.5% of the eligible population per year, also higher
than current rates, this is based on the approximately same level of improvement
of register completeness for 16 - and 17-year-olds (i.e. increasing the current
60% of 18- to 19-year-olds registered to 92% of the newly enfranchised 16- and
17-year-olds registered). The level of completeness for attainers was 16% in
202236.
101. The costs are estimated based on data collected from LAs 34 on the proportion
of applications with no issues, minor issues and major issues for paper and online
applications, and how much they cost to process each type.
102. Costs are also modelled for sending the decision outcomes for all applications. Key
assumptions (based on data collected from LAs 34 and administrative application
data35) include:
• Proportion of Register to Vote applications submitted online – 89.9%
• Proportion of decision outcomes sent with paper – 19.4%
• Cost of sending physical decision outcome - £1.18
• Cost of sending digital decision outcome - £0
103. These assumptions are then used to calculate the total costs of processing
the applications. The assumptions are combined with the estimate of franchise
size, to give the number of applications, and then the number of applications of
each type (online, paper, no issues, minor issues, major issues), then finally the
total costs.
104. Currently the identity check for most register to vote applications is done
using the applicant’s NINo. But most 14- and 15-year-olds do not have NINos,
meaning different methods will need to be used. It is assumed that the proportion
of applications with no issues, minor issues and major issues are the same as for
applicants with NINos.
34 MHCLG Survey Data: Survey to Local Authorities and Valuation Joint Boards in March 2025 (185 responses of 360 LAs and
VJBs in Great Britain).
35 Register to Vote Application Administrative Data
36 Electoral registers in the UK - Electoral Commission, 2023
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105. In Scotland and Wales 16- and 17-year-olds can already register to vote. The
expected volumes assumed in this appraisal are greater than the current level of
register completeness in both Scotland and Wales meaning that LAs in Scotland
and Wales will experience increased costs due to the policy. To account for this, we
model that all the costs associated with electors already on the register are
covered using existing funding, while the costs associated with any electors
beyond that will be funded by this policy.
106. The current register completeness in Scotland and Wales is estimated using
the number of 16- and 17-year-olds registered divided by the 16- and 17-year-
old population 3738. The difference between this and the assumed register
completeness (88.9%) is divided by the assumed register completeness to give the
proportion of the costs that will be covered by new funding for the policy. The costs
for Scotland and Wales are multiplied by this figure (0.28 in Scotland, 0.47 in Wales)
to give the costs of additional volumes generated by the policy (rather than the total
costs of registering 16- and 17-year-olds).
Porting
107. As a transitional measure, LAs in Wales and Scotland will need to port existing
eligible electors on their registers for devolved elections on to their registers for
UKPGEs and PCC Elections (Wales only). It is assumed that porting will be a
largely automated process and will create no additional burden for these LAs.
Absent Vote Application Costs
108. Having registered to vote, it is expected that many 16 - and 17-years olds will
also apply to vote via post or proxy. It is assumed that there will be no absent
vote applications from attainers (14 - and 15 -year-olds). Currently in Wales and
Scotland you cannot register for devolved administration and council elections
using the Online Absent Vote Application (OAVA) service. We expect this to change
before the franchise change is introduced and these estimates assume that all
electors can apply for absent votes using the online service for all elections in GB.
109. The following assumptions have been made about demand for absent vote
applications per year:
• Postal demand in first year eligible (for 16- and 17-year-olds in 2027/28
and 16-year-olds from 2028/29 onwards): 31.1% of electorate, based on the
proportion of 18- to 34-year-olds reporting being registered for a postal vote
in the public opinion research for the Electoral Integrity Programme
37 Electoral registration in Great Britain in 2023 - Electoral Commission, 2024
38 People registered to vote - National Records of Scotland, 2025
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evaluation39 divided by the rejection rate for postal vote applications for
application administrative data40.
• Postal demand in other years ( years with UKPGE) (17-year-olds from
2028/29 onwards) : 4.3% of electorate . This is based on volumes from
administrative application data40.
• Postal demand in other years (years without UKPGE) (17-year-olds from
2028/29 onwards): 1.9% of electorate . This is based on volumes from
administrative application data40.
• Proxy demand in first year eligible (for 16- and 17-year-olds in 2027/28
and 16-year-olds from 2028/29 onwards): 6.6% of the electorate, based on
the proportion of 18 - to 34-year-olds reporting being registered for a proxy
vote in the public opinion research for the Electoral Integrity Programme
evaluation divided by the rejection rate for postal vote applications for
application administrative data41.
• Proxy demand in other years (years with UKPGE) (17-year-olds from
2028/29 onwards) : 0.6% of the electorate , based on volumes from
administrative application data41.
• Proxy demand in other years (years without UKPGE) (17-year-olds from
2028/29 onwards): 0.1% of electorate, based on volumes from administrative
application data41.
110. The costs associated with absent vote applications are estimated following
the methodology from the Elections Act 2022 OAVA IA42; this methodology has
since been updated to include the assumptions above and to reflect the latest
administrative data and processing cost information from LAs43.
111. 16- and 17-year-olds are already able to apply for absent votes for devolved
elections, but volumes are assumed to increase compared to what they
currently are. The same factor is used as for Register to Vote costs to estimate the
additional absent vote costs for Welsh and Scottish LAs.
Voter Authority Certificate Costs
112. 16- and 17-year-olds may also choose to apply for a VAC. It is assumed that there
will be no VAC applications from attainers (14- and 15-year-olds). These costs are
estimated using the methodology from the Elections Act 2022 Voter ID I A44. There
are two costs that are modelled for the VAC service:
i. The cost of processing the application
39 Evaluation of Electoral Integrity Programme: public opinion research wave 3 – MHCLG, 2025
40 Postal Vote Application Administrative Data
41 Proxy Vote Application Administrative Data
42 The Representation of the People (Postal and Proxy Voting) – MHCLG, 2023
43 MHCLG Survey Data: Survey to members of the Elections Expert panel in August 2024
44 The Voter Identification Regulations – MHCLG, 2022
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ii. The cost of printing paper VACs
113. It is assumed that 10% of registered 16- and 17-year-olds will apply for a VAC
each year. Based on administrative application data 45 it is assumed that 90.8% of
VAC applications will lead to a VAC being printed.
114. As discussed, the Government has announced its intention to introduce digital
VACs and has since announced the introduction of a new digital ID scheme which
will be implemented through separate future legislation . However, this appraisal
reflects the current statutory position, and so it is assumed that demand and
associated costs for paper VACs, remain unaffected by the potential
introduction of either of these digital products.
115. Total cost is calculated by multiplying the number of applications and VACs
sent to print by the unit costs (at current prices) for processing applications and
printing VACs used in the Elections Act 2022 Voter ID IA.
Overseas elector costs
116. By extending the franchise, there will also be more overseas electors who are
eligible to vote in UKPGEs. The following assumptions are made about the
demand for the Register to Vote service for overseas electors. These are based on
modelling used for Elections Act 2022 Overseas Electors IA46.
• Demand in years with a UKPGE: 15.8% of overseas franchise
• Demand in years without a UKPGE: 3.7% of overseas franchise.
117. The costs are estimated using the methodology from Elections Act 2022
Overseas Electors IA to model the overseas franchise size of 16- and 17-year-
olds. The unit costs and other assumptions of the methodology have been updated
based on administrative application data 47 and processing cost information from
LAs48.
Training and Staffing Costs
118. Extra staff may be needed to deal with the additional demand in some LAs.
The LAs that will need extra staff are predicted using an experimental relationship
between the size of electorate and the number of registration staff needed, found
in internal MHCLG research. The number of 16 - and 17-year-olds expected to be
on the regi ster is added to this equation and the LAs that require an additional
member of staff are found.
45 Voter Authority Certificate Application Administrative Data
46 The Representation of the People Act – Extension of franchise to British citizens overseas – MHCLG, 2023
47 Overseas Elector Application Administrative Data
48 MHCLG Survey Data: Survey to members of the Elections Expert panel in August 2024
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119. The total number of extra staff needed when 16- and 17-year-olds are included
in the franchise is then multiplied by wages and the costs of required training
(based on data collected from LAs49) to find the total cost for each LA.
120. Both existing and new registration staff are expected to need training on
processing applications from young people. The total number of staff that
require training is found using the relationship described in the above paragraph
applied to the expected total electorate aged 16 and over. The training is assumed
to last for one day (7 hours), at the standard cost for training delivered by the AEA.
This training is expected to only occur in 2027/28.
Northern Ireland: Registration Costs
121. Registration costs are calculated based on the existing registration costs
provided by the EONI multiplied by the expected percentage increase of the
franchise. This is then uplifted by population growth to reflect demographic
changes.
122. These estimates are based on the current level of register completeness in
Northern Ireland (83% as of 2022 50), which is lower than the assumed
completeness rate (88.9%) for 16- and 17-year-olds in GB.
123. The ambition is for the completeness to match what is assumed for GB. To
account for this, the costs in Northern Ireland are then uplifted by the ratio of these
two completeness rates (88.9%/83% = 1.07).
Northern Ireland: Training and staffing costs
124. Training and staffing costs in Northern Ireland are calculated using the same
methodology as described for GB.
Northern Ireland: Systems costs
125. An estimate was provided by EONI on how much it would cost to update their
systems to be able to process and store data from/on young people.
126. In summary, total registration costs are estimated to cost between £11. 2
million and £33. 7 million, with a central estimate of £22. 5 million (2025/26
prices, 10-year PV).
Canvass costs
49 MHCLG Survey Data: Survey to members of the Elections Expert panel in August 2024
50 Electoral registers in the UK - Electoral Commission, 2023
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127. Canvass costs are estimated using the number of eligible 16- to 17-year-olds and
data on costs collected from LAs.
128. With the increased franchise size, there will be more people to canvass as
part of the annual canvass. In England 16- and 17-year-olds will now be part of
the annual canvass. The two costs are modelled for the annual canvass:
i. Invitations to Register (ITR)
ii. Household Canvassing.
129. The number of ITRs sent to electors and households canvassed as part of the
annual canvass is taken from the EC’s annual canvass data from 2020 to
202351. This is then divided by the current eligible population. This is then multiplied
by the expected population of eligible 1 6- and 17-year-olds to give the additional
volumes associated with the policy.
130. The cost associated with sending ITRs is found by multiplying the above
volume, the unit cost of sending paper ITRs and the proportion of ITRs sent
via paper (both collected from LAs52). It is assumed that the cost of sending online
ITRs is negligible.
131. The cost associated with house canvassing is found by multiplying the above
volume with the unit cost of household canvassing. The additional household
canvassing costs only apply for the first canvass after the franchise changes comes
into effect.
Northern Ireland: Canvass costs
132. While the canvass system in Northern Ireland is due to change, the specific
details will be set out in forthcoming secondary legislation. The proposed
changes are anticipated to be cost neutral. Therefore, for the purposes of this
assessment, the cost implications of lowering the voting age on canvass costs in
Northern Ireland have been modelled using the existing canvass system, where the
canvass is run every 10 years, with it last being run in 2021.
133. These costs are calculated based on canvass costs from 2021 provided by
the EONI, multiplied by the expected percentage increase of the franchise.
This cost is then uplifted by the expect population change between 2021 and 2030,
to reflect the number of 16 - and 17 -year-olds that are expected to be part of
canvass.
51 Electoral registers in the UK - Electoral Commission, 2023
52 MHCLG Survey Data: Survey to Local Authorities and Valuation Joint Boards in March 2025 (185 responses of 360 LAs and
VJBs in Great Britan).
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134. Canvass costs are estimated to cost between £0.5 million and £1.5 million,
with a central estimate of £1.0 million (2025/26 prices, 10-year PV).
Conduct costs
UKPGE and PCC conduct costs
135. With additional electors the costs for running elections will increase. Costs
for UKPGEs and PCC Elections are reimbursed to ROs via the Consolidated Fund.
The additional costs associated with extra electors are based on the Maximum
Recoverable Amounts (MRAs) from the 2024 UKPGE and 2024 PCC Elections5354.
136. UKPGEs are assumed to take place in May 2028 and May 2032 on the same
day as other May elections. It is not possible to accurately predict when the next
UKPGEs will occur, so this analysis presents a possible scenario. This does not
reflect any plans of when future elections will take place.
137. If the UKPGE were to take place on a day separate from the scheduled May
local and PCC elections, then the cost of the policy would rise.
138. Costs associated with the running of these elections are split into three types. These
are costs on a per-elector basis, costs on a per-polling station basis, and costs that
are independent of electors or polling stations.
139. The costs on a per -elector basis are costs that vary with the number of
electors. These are the costs associated with:
i. Poll cards
ii. Postal Voting (including training, not including application costs)
iii. Overseas Electors (not including application costs)
iv. RO Service Fee
v. Addressed Candidate Mailing (UKPGE only)
140. For the per -elector costs, the total costs are divided by the electorate for the
2024 elections to give the cost per elector. These are then multiplied by the
expected 16- and 17-year-old electorate for both 2028 and 2032, to give the costs
at these elections for 16- and 17-year-olds.
141. The costs on a per -polling station basis are costs that vary with the number
of electors. These are the costs associated with:
i. Polling stations
ii. Poll clerks
53 The Parliamentary Elections (Returning Officers’ Charges) - MHCLG, 2024
54 The PCC Elections (Local Returning Officers’ and Police Area Returning Officers’ Charges) – MHCLG, 2024
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142. The number of poll clerks per polling station is based on EC guidance55 which
recommends a maximum of 2,250 electors per polling station. For a polling station
with 0 to 1,250 electors, two poll clerks are recommended, and for polling stations
with 1,250 to 2,250 electors, three poll clerks are recommended.
143. For every 2,250 16 - to 17-year-old electors, an additional polling station is
assigned to the LA/constituency , and for every 1,250 electors on top of that
an extra poll clerk is assigned to an existing polling station (for example, if
there are 6,000 16- to 17-year-old electors in an LA, it will be allocated two additional
polling stations and one additional poll clerk at an existing polling station).
144. Polling station and poll clerk costs are estimated by multiplying the extra
demand by unit cost. To estimate additional polling station costs, the 2024 cost
per polling station is multiplied by the number of additional polling stations needed.
The extra poll clerk costs are estimated as the number of extra poll clerks needed
multiplied by the poll clerk day wage.
145. Costs that are independent of electors or polling stations are assumed to not
change with the expansion of the franchise. These costs are:
i. Costs associated with the count.
ii. Unaddressed candidate mailing ( UKPGE only) – as the number of
households will not change.
146. When elections in a given area are run on the same day, some costs can be
combined across elections. In this case , the costs concerned are those
associated with polling stations, as the same polling stations and polling station staff
will be used for all elections. These costs are split equally between all the different
polls in the given area.
Local and Devolved Election Conduct Costs
147. Costs for local (all GB) and devolved (Wales and Scotland only) elections,
which are not reimbursed from the consolidated fund, are also expected to
increase due to the policy, due to a larger franchise in England, and increased
registration rates in Scotland and Wales . Since less granular data is available
for these elections, a different approach is used.
148. The costs for these elections are estimated using data on the cost per elector
per election collected from LAs56. A different unit cost is used depending on the
55 Guidance for (Acting) Returning Officers administering a UK Parliamentary election in Great Britain - Electoral Commission,
2024
56 MHCLG Survey Data: Survey to Local Authorities and Valuation Joint Boards in March 2025 (185 responses of 360 LAs and
VJBs in Great Britan).
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number of concurrent elections taking place, as some costs can be shared between
elections run on the same day. Unit costs for standalone, 2 -way combination and
3-way combination are used in the model. Due to a lack of data, in cases where
there are expected to be 4 concurrent elections, the unit cost for 3-way combination
is used. This could lead to a small overestimate of the costs in these cases. The
appropriate unit cost is then multiplied by the expected number of 16- and 17-year-
old electors and the expected number of local elections each year to give the total
cost. The unit costs are shown below:
i. Standalone - £2.85 per elector per election
ii. 2-way combination - £1.35 per elector per election
iii. 3-way combination - £1.09 per elector per election
149. In Scotland and Wales 16- and 17-year-olds can already vote in local and devolved
administration elections. But the turnout is assumed to increase with a greater
amount of 16 - and 17-year-olds on the register, meaning there will be increased
costs for LAs. The same factor is used as for Register to Vote and absent vote
costs to estimate the additional conduct costs for Welsh and Scottish LAs.
By-Election Conduct Costs
150. Outside of the regularly scheduled elections there are also by -elections that
16- and 17-year-olds will be able vote in . The following number of by -elections
are assumed to happen each year:
i. LA by-elections: 63
ii. Parliamentary or PCC by-elections: 0.9
iii. Parish by election and local referendums: 196.
151. The size of the 16- and 17-year-olds electorate for these elections is estimated as
the average by-election electorate size, multiplied by the percentage change in the
electorate when 16- and 17-year-olds are added to the franchise (based on previous
assumptions described).
152. For LA, Parish by election and local referendums the cost per elector is assumed
to be the same as for scheduled elections. For UKPGEs and PCC elections the cost
per electors is calculated based on the total modelled costs for these elections
divided by the expected number of electors.
153. The total by-election costs are estimating by multiplying the expected number of by-
elections, the expect number of electors and the unit cost.
Northern Ireland: Conduct Costs
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154. Conduct costs (for UKPGEs, Assembly Elections, and Council Elections) are
calculated based on the existing registration costs provided by the EONI
multiplied by the expected percentage increase of the franchise. These costs
are also uplifted by population growth and the completeness ratio, as described for
registration costs.
155. To estimate the costs for candidate mailing (in UKPGEs) and by -elections in
Northern Ireland, the costs for GB were multiplied by the ratio of the population in
Northern Ireland to the population of GB.
156. Conduct costs are estimated to be between £11. 2 million and £33. 7 million,
with a central estimate of £22.5 million (2025/26 prices, 10-year PV).
Communication costs
Wider communications costs
157. Wider communications costs are calculated using the same methodology for
GB and Northern Ireland. These costs are estimated using the number of eligible
16- and 17-year-olds multiplied by the costs of sending a second-class letter57.
Looked-after children costs
158. LAs will have a duty to promote the policy to relevant children they have care
of. The number of 16 - and 17-year-olds looked after by LAs 58,59,60 is uplifted by
population growth61,62,63 to reflect demographic changes. This is then multiplied by
the cost of sending a 2-sheet letter via Notify57 to estimate the total costs. This part
of the policy will only apply in GB.
159. Communication costs of the Votes at 16 policy are estimated between £1.1
million and £3.3 million, with a central estimate of £2.2 million (2025/26 prices,
10-year PV).
Electoral Commission Costs
160. The EC has assessed the impact of the votes at 16 policy on the Commission
and estimated the cost it will incur supporting implementation of the policy.
The main driver of the EC costs are the costs associated with public awareness
campaigns. Wider staffing costs associated with the votes at 16 policy have been
57 Pricing – Notify, 2025
58 Children looked after in England including adoptions – DfE, 2024
59 Children looked after - StatsWales, 2024
60 Children’s Social Work Statistics - Scottish Government, 2024
61 Subnational population projections for England - Office for National Statistics, 2020
62 National population projections: 2021-based - Stats Wales, 2024
63 Projected Population of Scotland: 2020-based - National Records of Scotland, 2023
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excluded, in line with the treatment of MHCLG departmental staffing costs in this
impact assessment.
161. Detailed planning of the work required will be undertaken in parallel with the
implementation of the policy. Cost estimates are therefore indicative and based
on the EC’s current understanding of the proposed changes, as well as learning
from the implementation of other major changes in the democratic process.
162. Electoral Commission costs are estimated between £19.9 million and £59.6
million, with a central estimate of £39.8 million (2025/26 prices, 10-year PV).
F.1.2.2 Indirect costs
163. There are no monetisable indirect costs resulting from this policy.
F.1.2.3 Direct benefits
164. There are no monetisable direct benefits resulting from this policy.
F.1.2.4 Indirect benefits
165. There are no monetisable indirect benefits resulting from this policy.
F.1.2.5 Summary – Business Net Present Value ( BNPV), Net Present Social Value
(NPSV), Equivalent Annual Net Direct Cost to Business (EANDCB)
166. Under the central scenario, the estimated total quantified benefits and costs are £0
and £ 88.0 million, respectively , which provides a NPSV for Votes at 16 under
Option 1 of around -£88.0 million (2025/26 prices) over the 10-year appraisal
period.
Table 4: Summary of monetised impacts for Votes at 16 (£m, 2025/26 - 2034/35)
Impact Scenario
Low Central High
Benefits
Total benefits - - -
Costs
Registration 11.2 22.5 33.7
Canvass 0.5 1.0 1.5
Conduct 11.2 22.5 33.7
Communications 1.1 2.2 3.3
Electoral Commission 19.9 39.8 59.6
Total costs 44.0 88.0 132.0
NPSV -44.0 -88.0 -132.0
Figures may not sum due to rounding
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167. As there is inherent uncertainty with modelling the Votes at 16 policy, analysis has
been conducted to estimate the upper and lower bound of these estimates. To
account for this, and other uncertainties, a range of +/ - 50% of the central
scenario has been applied to create a high and low scenario:
• Under the low scenario, the estimated quantified total costs and benefits are
£44.0 million and £0, respectively, thus resulting in an estimated NPSV of
-£44.0 million (2025/26 prices, 10-year PV).
• Under the high scenario, the estimated quantified total costs and benefits are
£132.0 million and £0, respectively, leading to an estimated NPSV of -£132.0
million (2025/26 prices, 10-year PV).
168. Further sensitivity analysis has been conducted in section H that shows the
change in outputs when the estimated completeness of the electoral register for 16-
and 17-year-olds, the most sensitive assumption, is adjusted.
169. The BNPV and EANDCB are expected to be £0 as there are no impacts on
businesses which fall in scope of the BNPV and EANDCB. Whilst some businesses
may benefit from increased profit as a result of the introduction of this policy, there
is no available evidence on this and it is therefore not proportional to monetise it.
F.1.3 Non-monetised impacts
F.1.3.1 Direct costs
170. The digital systems used for applying to register to vote, for an absent vote
or a VAC may require changes to support the registration of younger people.
The exact nature of these changes is yet to be defined, and any costs will be
commercially sensitive. Therefore, this cost is not monetised.
171. There will be a time cost for newly enfranchised electors who will be dealing
with registration and voting processes for the first time . For many young
people, preparing to vote may require a substantial time investment in order to
register (potentially navigating government digital services for the first time to do
so), to follow voting process and to decide who to vote for. This policy introduces
this time cost at an earlier age, and may be higher for younger first time voters due
to them having additional new systems to navigate such as government digital
services.
172. Lowering the voting age would require the CEO in Northern Ireland to share
details of 16- and 17-year-olds with the courts, even though they cannot serve
on juries. This is because the law requires the CEO to share the names and details
of all registered electors with the court service in Northern Ireland for the purpose
of drawing up jury lists, regardless of age. As individuals under 18 are not eligible
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to serve on juries, this would create unnecessary administrative issues for the court
service. To address this, there is an intention to amend the law so that the CEO will
not be required to share the details of 16 - and 17-year-olds with the court service
in Northern Ireland. This change will be made through secondary legislation, and
so the relevant provisions are not included in this bill.
F.1.3.2 Indirect costs
173. There is likely to be a time cost for parents and families of newly enfranchised
young people who may need to support each of the steps involved. While this
support might have been needed at age 18, the change means these costs are
incurred at a younger age, when individuals may be less familiar with civic
processes and more reliant on family guidance.
174. There is also an additional resource implication arising from the collaborative
development of this policy, with staff time from other government departments,
principally DfE, contributing meaningfully to its design . There is also a potential
impact on education staff . H owever, these contributions are not considered
significant in cost terms and have therefore not been monetised.
F.1.3.3 Direct benefits
175. The non -monetised direct benefits associated with the Votes at 16 policy
include the representation of younger people's views in elections, as well as
the potential strengthening of democratic engagement and voter turnout
among them. Expanding the franchise to give younger people the vote will enable
elections to reflect the views of a wider set of individuals in the population.
176. Academic evidence suggests that lowering the voting age may promote young
people becoming more democratically engaged citizens who are more likely
to turn out at elections if introduced alongside the right conditions . This process
could create a more engaged electorate and even lead to an increase in turnout
over time. However, this evidence is mixed.
177. Research in Scotland suggests that young people who were eligible to vote
for the first time at the age of 16 -17 were more likely to turnout in future 64. It
should be noted that this habituation is not necessarily guaranteed in the long
term65, and a person’s experiences when they are enfranchised may be
fundamental to whether it then becomes a habit 66. Another of the main studies on
64 Longer-Term Effects of Voting Age 16: Higher Turnout Among Young People in Scotland - Eichhorn and Huebner, 2025
65 Is Voting Really Habit-Forming and Transformative? Long-Run Effects of Earlier Eligibility on Turnout and Political
Involvement from the UK - Jessen, Kuehnle and Wagner, 2021
66 How Young People in Scotland Experience the Right to Vote at 16: Evidence on ‘Votes-at-16’ in Scotland from Qualitative
Work with Young People – Huebner, 2021
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this topic, looking at Austria67, has since been found to have been based on a coding
error68. Wider literature is mixed65,69.
178. Initial evidence from Scotland could support the argument that lowering the voting
age increases turnout among younger people ; and turnout amongst young
people tends to be high, and higher than their slightly older peers. At the 2014
Scottish independence referendum, 75% of registered 16 - and 17 -year-olds
claimed to have turned out to vote, significantly higher than amongst 18 –24-year-
olds (54%), although still much lower than overall turnout (85%) 70. This effect
appears to be lasting; young people who were enfranchised at 16 or 17 (both
the first cohort and later cohorts) were more likely to vote in the 2021 Scottish
Parliament elections than young people who were first eligible at 18 or older71.
However, this may have been impacted by an increased polarisation around the
independence referendum. In Wales, turnout among 16 - and 17-year-olds in the
2021 Senedd election was broadly consistent with other young people 72, however
due to this first experience of Votes at 16 in Wales occurring at a time of educational
disruption due to the COVID-19 pandemic some academics have described it as a
‘false start’73, also noting alongside others that more time and research is needed
to fully assess impact74.
179. Lowering the voting age would allow young people to register to vote from the age
of 14, and to vote from age 16. As a result, for many young people, registering
to vote could become their first interaction with online government services.
Designing these services effectively to be easy to use and secure could help to
promote trust in government digital services.
180. Implementation of the votes at 16 policy will also provide greater alignment
of election processes across the UK . Currently, 16 - and 17-year-olds have the
right to vote in devolved and local elections in Scotland and Wales. Introducing
votes at 16 for reserved elections across the UK would increase alignment across
the nations across the UK and across different election types, making these easier
for administrators to manage and for electors to understand.
F.1.3.4 Indirect benefits
67 Voting at 16: Intended and unintended consequences of Austria's electoral reform – Bronner and Ifkovits, 2019
68 Revisiting eligibility effects of voting at 16: Insights from Austria based on regression discontinuity analyses - Graf,
Partheymüller, Bronner, and Kritzinger, 2024
69 Is voting transformative? Expanding and meta-analyzing the evidence. Holbein, Rangel, Moore and Croft, 2023
70 Scottish independence referendum - Electoral Commission, 2014
71 Votes at 16 in Scotland - Eichhorn and Hübner, 2022
72 May 2021 elections in Wales - Electoral Commission, 2021
73 A False Start - Griffiths, Larner, Jones and Poole, 2025
74 Longer-Term Effects of Voting Age 16: Higher Turnout Among Young People in Scotland - Eichhorn and Huebner, 2025
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181. The Votes at 16 policy is planned to be implemented alongside
communications, engagement and education initiatives for young people, to
help them become engaged and informed voters . Academic evidence outlines
a range of different possible approaches to this, which could have positive results
in enhancing democratic engagement, however there is limited evidence of its
impact.
182. In Scotland, schools sought to enable young people to confidently participate
in political discussions ahead of the 2014 independence referendum .
Research found that although teachers faced various obstacles to deliver this, the
impact was largely positive75.
183. In Wales, young people who had an opportunity to discuss votes at 16 either
at school or in a youth club or society expressed higher likelihood to vote and
greater interest in the 2021 Senedd election than those who had not (though
the authors of this study highlighted that they could not rule out the possibility that
the former were already more politically engaged). Additionally, the introduction of
Votes at 16 in Wales during the COVID -19 pandemic limited the opportunity for
formal and informal discussion in contexts such as education76.
184. In Estonia, following the lowering of the voting age for local elections in 2015,
the government developed a guideline for political discussions in schools ,
which was developed with youth organisations and intended to be binding and non-
partisan. The guide was revised after the first elections in 2017, to make it more
effective in practice77.
185. In Austria, legislation to enhance the teaching of democracy and politics in
schools was implemented concurrently to lowering the voting age78,79,80. Their
educational provision included a web platform which enabled teachers to access
materials and initiatives when they lowered the voting age to 16. Their curriculum
shifted to focus upon developing competencies and skills rather than factual
knowledge.
F.2 Improving registration
F.2.1 Methodology
75 Votes at 16 in Scotland - Eichhorn and Hübner, 2022
76 A False Start - Griffiths, Larner, Jones and Poole, 2025
77 Making Votes-at-16 Work in Wales: Lessons for the Future – Eichhorn, Smith, Mycock, Loughran & Hübner, 2023
78 Modernising Elections: How to Get Votes Back – Patel & Swift, 2024
79 Votes at 16: What Effect Would It Have? – Renwick, 2015
80 Votes at 16 Without Investment in Political Education Is a Missed Opportunity: Learning from Scotland and Wales –
Hübner, Smith, Loughran, Mycock & Eichhorn, 2022
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186. The modelling for the Improving Registration policy follows a multistage approach
to assess the volume of additional registrations and the associated costs.
Stage 1: Estimate volume of incomplete register entries
187. The most recent Completeness and Accuracy report published by the EC81 is
used to establish the baseline completeness of electoral registers as 86% for
GB and 83% for Northern Ireland, working out to a weighted average of 85.9% for
the UK. This corresponds to around 7.7 million people who were not correctly
registered or were missing entirely from the register in December 2022. Adjusting
this figure in line with ONS population projections 82, the total volume of incorrect
and missing registrations, under the counterfactual scenario, is estimated for each
year of the appraisal period.
Stage 2: Assumptions of new completeness rate under the policy scenario
188. The assumption for the completeness of UK registers at the end of the
appraisal period is informed by the completeness of Australian electoral
registers, which was 92% as at 30th June 202483,84 – equivalent to an increase of
6 percentage points relative to the GB baseline of 86%. In the central scenario, the
model assumes that, by the end of the appraisal period, the completeness of UK
registers will have increased by 3 percentage points, equal to half of the total
difference between the GB baseline and the Australian completeness rate. The
overall increase is assumed to be achieved by uniform annual increases of 0.37
percentage points , in each of the eight years from 202 7/28 to the end of the
appraisal period. When weighted in accordance with the respective electorates of
Great Britain and Northern Ireland , this works out to a final UK register
completeness rate of 88.9% by the end of the 10-year appraisal period.
Stage 3: Estimate the additional complete register entries in each year
189. The difference between the assumed future completeness rate and the
baseline completeness rate (86% for GB, 83% for NI) is multiplied by the
eligible electors (highlighted in Stage 1) in each year of the appraisal period. This
results in a total estimated figure of 1.7 million additional correct register entries by
the end of the appraisal period.
Stage 4: Calculate costs associated with additional register entries
81 Electoral registers in the UK - Electoral Commission, 2023
82 National population projections – Office for National Statistics, 2025
83 Size of the electoral roll and enrolment rate – Australian Electoral Commission, 2024
84 Annual Roll Integrity Review – Australian Electoral Commission, 2024
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190. The final stage is to calculate the various cost lines, with methodology for the
costs outlined in the following section . In line with the policy implementation
schedule, registration and conduct costs are modelled from the 2027/28 financial
year onwards.
191. The most impactful assumption on the total modelled cost is the assumption
for the new completeness rate following the policy interventions, described in
Stage 2.
F.2.2 Monetised impacts
F.2.2.1 Direct costs
Registration application processing costs
192. The estimated number of additional registrations is multiplied by the assumption for
the staff time cost to process a registration application of £0.71 (2025/26 prices)85.
193. Registration application processing costs are estimated to be between £0.5
million and £1.6 million, with a central estimate of £1.0 million (2025/26 prices,
10-year PV).
Postal correspondence costs
194. The model includes a provision for the overall cost of corresponding by post
with electors. The unit cost per postal communication is assumed to be £1.14
(2025/26 prices), based on the cost of sending an Invitation to Register by post.
The overall cost is calculated assuming that a number of postal c ommunications
equal to 60% of the additional annual registrations will be sent , each year from
2027/28 to the end of the appraisal period.
195. Postal correspondence costs are estimated to be between £0.5 million and
£1.5 million, with a central estimate of £ 1.0 million (2025/26 prices, 10 -year
PV).
Duplicate application costs
196. It is possible that interventions designed to increase completeness and
accuracy may inadvertently lead to some duplicate electoral registration
applications being made. While efforts will be made to avoid this as part of the
detailed policy design, an allowance has been made here for costs associated with
duplicate applications.
85 Internal survey of EROs – MHCLG, 2025 (Unpublished)
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197. The cost of processing duplicate registration applications is estimated by
multiplying the average duplicate rate across LAs holding elections in a given year,
ranging between 46.7% and 47.5%, depending on the year 86, by the number of
additional registered electors at given completeness levels from the model. The
resulting volume of duplicate applications is then multiplied by the assumed staff
time cost to process a registration application of £0.71 (2025/26 prices)87.
198. Correspondence costs are also included . It is assumed that 19.4% of Register
to Vote applicants do not consent to be contacted by email 88 and therefore receive
postal correspondence in relation to their duplicate application. The unit cost of
postal correspondence for each of these applicants is assumed to be the same as
the average cost of sending an ITR of £1.14 (2025/26 prices )88. Email
correspondence, applicable to the remaining 80.6% of duplicate applicants, is
assumed to incur no cost.
199. Duplicate application costs are estimated to be between £0.3 million and £1.0
million, with a central estimate of £0.6 million (2025/26 prices, 10-year PV).
In-person voting costs
200. The conduct cost per in-person voter of £0.18 (2025/26 prices)89 is multiplied
by the estimated number of additional registered electors who will are
expected to cast a vote in an election each year, using turnout rate from the last
set of elections as a proxy, of 60.4% in UKPGE years90 and 31.6% in non-UKPGE
years90. This is then weighted by the proportion of people who vote in-person, given
the election typ e occurring in that year : 66.1% for UKPGE and 67.8% for local
elections91.
201. In-person voting costs are estimated to be between £ 0.1 million and £0. 3
million, with a central estimate of £0.2 million (2025/26 prices, 10-year PV).
Postal voting costs
202. The conduct cost per postal voter of £3.36 (2025/26 prices)89 is multiplied by
the estimated number of additional registered electors who will are expected
to cast a vote in an election each year, using a turnout rate of 60.4% in UKPGE
years and 31.6% in non-UKPGE years92. This is then weighted by the proportion
86 Electoral registration in Great Britain in 2024 - Electoral Commission, 2025
87 Internal survey of EROs - MHCLG, 2025 (Unpublished)
88 Register to Vote application data - MHCLG, 2020-2025 (Unpublished)
89 Costs of the 2019 UK Parliamentary General Election – MHCLG, 2025
90 2024 UK Parliamentary general election and the May 2024 elections - Electoral Commission, 2024
91 Evaluation of Electoral Integrity Programme: public opinion research wave 3 – MHCLG, 2025
92 2024 UK Parliamentary general election and the May 2024 elections - Electoral Commission, 2024
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of people who vote by post , given the election type occurring in that year : 33.9%
for UKPGE years and 32.2% for non-UKPGE years93.
203. Postal voting costs are estimated to be between £0.9 million and £2.8 million,
with a central estimate of £1.8 million (2025/26 prices, 10-year PV).
Voter Authority Certificate costs
204. The additional registered electors may also choose to apply for a VAC to use
as voter identification when voting in elections. The associated costs are
estimated using the methodology from the Elections Act 2022 Voter ID I mpact
Assessment94. Two cost lines are modelled in relation to VAC: the cost of
processing VAC applications, and the production cost for paper VACs.
205. It is assumed that the percentage of registered electors who apply for a VAC
is 0.28% in general election year s95. In years without a general election, it is
assumed that 0.24% of registered electors in areas holding local elections wi ll
apply for a VAC 96. It is assumed that 90% of VAC applications will lead to a VAC
being printed97.
206. As discussed, the Government has announced its intention to introduce digital
VACs and has since announced the introduction of a new digital ID scheme which
will be implemented through separate future legislation . However, this appraisal
reflects the current statutory position, and so it is assumed that demand and
associated costs for paper VACs, remain unaffected by the potential
introduction of either of these digital products.
207. The total cost is calculated by multiplying the number of applications and
VACs sent to print by the unit costs (adjusted to 2025/26 prices) for processing
applications and printing VACs used in the Elections Act 2022 Voter ID I mpact
Assessment.
208. VAC costs are estimated to cost between <£0.1 million and <£0.1 million, with
a central estimate of <£0.1 million (2025/26 prices, 10-year PV)98.
Electoral Commission Costs
209. The EC has assessed the impact of the improving registration policy on the
Commission and estimated the cost it will incur supporting implementation
93 Evaluation of Electoral Integrity Programme: public opinion research wave 3 – MHCLG, 2025
94 The Voter Identification Regulations - MHCLG, 2022
95 Voter Authority Certificate application data - MHCLG, 2024 (Unpublished)
96 Voter Authority Certificate application data - MHCLG, 2023 (Unpublished)
97 Voter Authority Certificate application data - MHCLG, 2023-25 (Unpublished)
98 The total estimated costs for VAC in the model are non-zero, but round to £0.0m when rounded to the nearest £0.1m.
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of the policy. Wider staffing costs associated with the improving registration policy
have been excluded, in line with the treatment of MHCLG departmental staffing
costs in this impact assessment.
210. Detailed planning of the work required will be undertaken in parallel with the
implementation of the policy. Cost estimates are therefore indicative and based
on the EC’s current understanding of the proposed changes, as well as learning
from the implementation of other major changes in the democratic process.
211. Electoral Commission costs are estimated between £ 0.2 million and £ 0.7
million, with a central estimate of £0.5 million (2025/26 prices, 10-year PV).
F.2.2.2 Indirect costs
212. There are no monetisable indirect costs resulting from this policy.
F.2.2.3 Direct benefits
213. There are no monetisable direct benefits resulting from this policy.
F.2.2.4 Indirect benefits
214. There are no monetisable indirect benefits resulting from this policy.
F.2.2.5 Summary – BNPV, NPSV, EANDCB
215. Under the central scenario, the estimated total quantified costs and benefits are
£5.2 million and £0, respectively, which provides a NPSV for Improving
Registration under Option 1 of around -£5.2 million (2025/26 prices) over the
10-year appraisal period.
Table 5: Summary of monetised impacts for Improving Registration (£m 2025/26
- 2034/35)
Impact Scenario
Low Central High
Benefits
Total benefits - - -
Costs
Processing new registration applications 0.5 1.0 1.6
Postal correspondence with new applicants 0.5 1.0 1.5
Duplicate application costs 0.3 0.6 1.0
VAC processing and production <0.1 <0.1 <0.1
In-person voting 0.1 0.2 0.3
Postal voting 0.9 1.8 2.8
Electoral Commission 0.2 0.5 0.7
Total costs 2.6 5.2 7.8
NPSV -2.6 -5.2 -7.8
Figures may not sum due to rounding
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216. As there is inherent uncertainty with modelling the Improving Registration policy,
analysis has been conducted to estimate the upper and lower bound of these
estimates. To account for this, and other uncertainties, a range of +/- 50% of the
central scenario has been applied to create a high and low scenario:
• Under the low scenario, the estimated quantified total costs and benefits are
£2.6 million and £0, respectively, thus resulting in an estimated NPSV of -£2.6
million (2025/26 prices, 10-year PV).
• Under the high scenario, the estimated quantified total costs and benefits are
£7.8 million and £0, respectively, leading to an estimated NPSV of -£7.8
million (2025/26 prices, 10-year PV).
217. Further sensitivity analysis has been conducted in section H that shows the
change in outputs when the estimated completeness of the electoral register, the
most sensitive assumption, is varied.
218. The BNPV and EANDCB are estimated to be £0 , as there are no direct impacts
on businesses that fall within the scope of these measures.
219. While some businesses may be indirectly affected by the open register
becoming opt-in, it is not proportional to quantify due to the lack of available
information around the profit margin of the businesses involved. Additionally,
they are second-order effects and are therefore excluded from the BNPV and
EANDCB. For example, if fewer individuals choose to make their information
publicly available, the volume of data accessible to these businesses to sell on or
use for purposes could decrease, potentially req uiring them to adapt. However,
these are considered second order effects, as they are not a direct result of the
policy itself and instead depend on behavioural responses that are difficult to
predict. As such, they are excluded from the BNPV and EANDCB.
F.2.3 Non-monetised impacts
F.2.3.1 Direct costs
220. Implementing new registration systems poses practical challenges including
resource investment to develop and maintain infrastructure and train staff .
The digital systems used for voter registration may require changes to support the
implementation of the policy. The exact nature of these changes is yet to be defined,
and any associated costs will be commercially sensitive. Therefore, these costs
have not been monetised at this stage.
F.2.3.2 Indirect costs
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221. There will be an additional staff cost to MHCLG to implement effective data
sharing systems and infrastructure and work with other government
departments to build the appropriate service s. The development of this policy
has involved collaboration with several other government departments, particularly
in relation to the assessment of government digital services. While these
contributions involve some staff time, they are not considered significant in cost
terms and have therefore not been monetised.
222. Other government departments may also incur some costs associated with
supporting data -sharing arrangements , adapting existing digital services,
and contributing to cross-government coordination. While these contributions
may involve potential system changes, the exact nature of these changes is yet to
be defined, and will be commercially sensitive so have not been monetised.
223. As discussed above, some businesses may be indirectly affected by the
change to make the open register opt -in. The full register , used for credit
referencing purposes, will remain unaffected by the change. However, the open
register, used for other commercial purposes including resale by agencies 99, will
be affected by the change. While the change will not prevent the open register
being used for these purposes, it may result in a reduction in the volume of
available entries, depending on the proportion of electors who choose to opt -in
under the new model. Should a large proportion of electors choose not to opt-in, it
is possible the dataset may be too limited to retain its current utility, diminishing its
commercial value. As this impact is contingent on future elector behaviour
and the resulting availability of data, it is deemed a second-order impact and
therefore it is not monetised. It is also worth noting, the number of voters opted
out of the open register has grown steadily in recent years, making it a less useful
resource. In England and Wales, the figure was around a third in 2013 and has
grown each year since 99. According to data from the Office of National Statistics,
in December 2019 27.4 million voters were opted out of the open register in
England and Wales. This was 63% of the 43.7 million electors registered to vote in
local elections.100
F.2.3.3 Direct benefits
224. All of the legislative interventions have the potential to improve the
completeness and accuracy of registration to some extent , as they make it
easier for electors to register (assisted registration) or remove the burden of
registering from electors (direct registration). This in turn would give a greater
proportion of the population the opportunity to exercise their democratic right to
vote.
99 Electoral Registers and Access to them - Johnston, 2025
100 Electoral statistics, UK - Office for National Statistics, 2021
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Data sharing powers
225. In line with the Government’s ambition to modernise services and in recognition that
technological advances will continue, the data sharing powers have been
deliberately designed with broad scope to support both current policy
objectives and provide flexibility for future developments . The new data
sharing powers will make clear the ability for EROs, government departments, other
public bodies across central and local government, the education sector and others
to make new arrangements to share data in appropriate ways for electoral
registration purposes.
226. Using enhanced data may improve accessibility by reducing barriers citizens
may currently face when registering to vote. Through access to improved data,
EROs could be better placed to facilitate more automated forms of registration, for
example, by piloting ‘directly’ registering or updating entries they know to be eligible,
or assisting eligible individuals to register and update current entries (as set out
elsewhere in this legislation) , by supporting applicants and presenting them with
semi-pre-populated application forms.
227. Enhanced data sharing capabilities could also enable EROs to more
effectively identify individuals who are either not registered or incorrectly
registered, and carry out their existing duties to invite such people to register and
ensure their registers are as complete and accurate as possible.
228. While enhanced data sharing is expected to improve register completeness
and accuracy, current evidence is limited and the scale of potential
improvements remains uncertain. Further legislation, which will set out the detail
of data sharing agreements, p iloting new registration methods , and testing data
flows, will be essential to realising the full potential of these powers and ensuring
their effective deployment.
Direct registration
229. An important benefit of automated systems is that they are more inclusive of
those with higher personal costs to registering , such as those from lower
socioeconomic groups who may have limited access to information about
registering101.
230. Research by the EC indicates there could be public support for automatic
registration: In 2024, approximately half of respondents (52%) to the EC’s Winter
Tracker survey said automatic registration would be better than the current
101 Do text messages increase voter registration? Evidence from RCTs with a local authority and an advocacy organisation in
the UK - Cheng-Matsumo, Foos, John & Unan, 2023
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system102. Additionally, 17% of respondents to the 2023 version of the survey said
their satisfaction with the registration system would be most likely to increase ‘if it
was possible to automatically be added to the electoral register when you receive
your NINo aged 16103.
231. Evidence suggests that automatic/direct registration ha s the potential to
increase the completeness of the register , although more research would be
beneficial in the UK context.
232. James & Garnett’s (2023) 104 cross national analysis of 159 countries’ electoral
registration systems finds that automatic registration systems are seen to
significantly increase register completeness by 0.53 points on a 1 -5 scale,
where the closer to 5 the better completeness. The same study suggests
automatic/direct registration also has the potential to improve accuracy; the effect
is statistically significant, but smaller (0.32 points on the 1-5 scale described above).
It is important to note, however, that this study relies on the subjective judgements
of ‘electoral integrity experts’ as opposed to more objective data on completeness
and accuracy.
233. In addition, two US studies find that automatic registration increases completeness.
Although these studies were not conducted in the UK, automatic registration
appears to have had a positive effect in states of different sizes and
characteristics. The first study compared seven states (and Washington DC) to
jurisdictions where automatic registration was not in place. It found that registrations
increased by between 9% and 94%, depending on the state105106. The second study
used statistical techniques and multiple data sources from 2012 -2020. A cross
states, it finds that automatic registration increased registration rates by 3% and by
0.2% each month107.
Future of the Open Register
234. The policy change introduces a more robust standard of consent by requiring
individuals to actively opt -in to the open register. This strengthens personal data
autonomy and aligns with wider government objectives around digital safety and
responsible data use, including commitments to uphold high standards of
transparency, accountability, and individual control in the digital environment. By
102 Public attitudes 2024 - Electoral Commission, 2024
103 Public attitudes 2023 - Electoral Commission, 2023
104 The Determinants of Electoral Registration Quality: A Cross-National Analysis – James & Garnett, 2023
105 The large variation in effect size likely relates to differences in the way automatic registration was adopted and to variations
in state characteristics. For example, automatic registration would likely have a greater impact when introduced in a state with a
smaller proportion of eligible citizens already registered to vote.
106 Automatic Voter Registration – Morris and Dunphy, 2019
107 The Registration and Turnout Effects of Automatic Voter Registration - McGhee, Hill and Romero, 2021
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reducing the risk of unintended or uninformed data sharing, the policy
contributes to a safer digital infrastructure.
235. Key electoral stakeholders have suggested that , in its current form , the Open
Register may deter potential electors from registering due to the prospect of having
their personal data sold on108. As a result, the change to an opt-in system could
enhance public trust in the electoral registration system and in turn
potentially have a small positive impact on registration rates.
F.2.3.4 Indirect benefits
236. Certain organisations are entitled to purchase copies of the full register and rely on
this data to conduct credit checks and identity verification. If the move to an ‘opt-in’
model removes a deterrent to r egistration, it may result in more individuals being
added to the full register. This could improve the accuracy and coverage of the
data available to such organisations, enhancing their ability to carry out these
checks effectively and responsibly. Moreover, removing the deterrent could also
benefit the individuals who are able to get credit ratings after getting added to the
register.
F.3 Voter ID
F.3.1 Methodology
237. It is assumed that allowing bank cards to be used as an accepted form of
voter identification at polling stations will result in some additional costs to
government and LAs. While bank cards are already widely held by electors and
do not require new issuance systems, costs are expected to arise from updates to
communications campaigns . These costs have been modelled based on
information provided by the EC regarding planned updates to national
communications and guidance for LAs.
238. The EC has indicated that the introduction of bank cards will not place a
significant burden on communications activity. However, it will require updates
to existing campaigns and guidance materials, which will result in additional costs.
These have been estimated based on information provided by the EC on the
planned updates and the advice they intend to issue to LAs.
239. The AEA has indicated that integrating bank cards into polling station
guidance would not generate significant operational burdens , provided the
changes are clearly communicated and incorporated into routine training.
108 Sale of the Register of Electors – The Association of Electoral Administrators, 2019
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240. The potential impact on elector behaviour and any resulting impact on costs
have not been modelled, as the scale and direction of these effects are highly
uncertain and therefore difficult to estimate with precision. While it is clear that
some individuals experienced a barrier to in-person voting under the current photo
ID requirement, robust modelling of the impact of allowing bank cards to be used is
not possible given the limited and variable evidence . For example, fewer than 1%
of people who tried to vote in -person at the 2024 UKPGE were turned away and
didn’t come back later to vote because they didn’t show an accepted form of ID.
This equates to nearly 16,000 individuals who weren’t able to cast their vote 109. A
further 3% - 4% of non -voters cited ID as a factor in why they did not vote .110
Expanding the list of accepted ID s to include bank cards should help reduce the
risk of voters not presenting a valid form of ID , particularly for individuals who face
difficulty accessing the current set of approved IDs. However, there is limited
evidence to reliably quantify the impact on voter behaviour.
F.3.2 Monetised impacts
F.3.2.1 Direct costs
Local Authority Communications
241. It is assumed that there will be a justifiable benefit to LA-led communications
activity to support the introduction of bank cards as an accepted form of voter
identification, alongside the national campaign led by the EC. LAs are well
placed to tailor messaging to their communities, drawing on their understanding of
local demographics and communication channels to help ensure that all voters are
aware of the change. While both national and local campaigns will deliver consistent
messages, they will do so t hrough different forums and at different levels of
engagement. Local communications are therefore expected to play a
complementary role in reinforcing awareness and supporting effective
implementation of the policy.
242. Communications costs for LAs have been estimated using a per -elector
approach, consistent with the methodology used in the 2022 Elections Bill
Impact Assessment111. In that assessment, the average cost per elector for local
communications activity to support the full voter identification policy was estimated
at £0.21. This per -elector metric allows for variation in LA size and reflects the
resource intensity for larger versus smaller areas. For the introduction of bank cards
as an additional form of accepted ID, information from the EC indicates that updates
required to LA communications should be relatively minor, involving proportionate
changes to existing material s. To reflect the more limited scope of this change
109 Voter ID at the 2024 UK general election - Electoral Commission, 2024
110 Voter ID at the 2024 UK general election - Electoral Commission, 2024; Evaluation of Electoral Integrity Programme: public
opinion research wave 3 – MHCLG, 2025
111 Elections Bill Impact Assessment - Cabinet Office, 2022
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compared to the original voter ID policy, a scale factor of 2% has been applied to
the previous average cost per elector, and uplifted to account for inflation.
243. Total costs are then calculated by multiplying the adjusted cost per elector of
£0.01 by the number of electors eligible to vote in each year where
communications campaigns are expected to take place.
244. The total cost of LA -led communications activity around bank cards is
estimated to be between £0.2 million and £0.6 million, with a central estimate
of £0.4 million (2025/26 prices, 10-year PV).
Electoral Commission Costs
245. The EC will be responsible for public awareness activities across GB to ensure
that all voters, including those who may face barriers to meeting current ID
requirements, are aware of the change and understand how bank cards can now
be used as an accepted form of identification at polling stations. The EC will also
be responsible for providing updated guidance and support to ROs and electoral
administrators as they prepare for and deliver the change.
246. The EC has assessed the impact of the voter identification policy on the
Commission and estimated the cost it will incur supporting implementation
of the policy. Detailed planning of the work required will be undertaken in parallel
with the implementation of the policy. Cost estimates are therefore indicative and
based on the EC’s current understanding of the proposed changes, as well as
learning from the implementation of other major changes in the democratic
process.
247. Electoral Commission costs are estimated to be between £0.1 million and £0.3
million, with a central estimate of £0.2 million (2025/26 prices, 10-year PV).112
F.3.2.2 Indirect costs
248. There are no monetisable indirect costs resulting from this policy.
F.3.2.3 Direct benefits
249. There are no monetisable direct benefits resulting from this policy.
F.3.2.4 Indirect benefits
250. There are no monetisable indirect benefits resulting from this policy.
F.3.2.5 Summary – BNPV, NPSV, EANDCB
112 These are not inflated or discounted as they have directly been provided by the EC.
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251. Under the central scenario, the estimated total quantified benefits and costs are £0
and £ 0.6 million, respectively, which provides a NPSV for Voter Identification
under Option 1 of around -£0.6 million ( 2025/26 prices) over the 10 -year
appraisal period.
Table 6: Summary of monetised impacts for voter identification (£m, 2025/26 -
2034/35)
Impact Scenario
Low Central High
Benefits
Total benefits - - -
Costs
LA communications 0.2 0.4 0.6
Electoral Commission 0.1 0.2 0.3
Total costs 0.3 0.6 0.9
NPSV -0.3 -0.6 -0.9
Figures may not sum due to rounding
252. As there is inherent uncertainty with modelling the voter identification policy ,
analysis has been conducted to estimate the upper and lower bound of these
estimates. To account for this, and other uncertainties, a range of +/- 50% of the
central scenario has been applied to create a high and low scenario113:
• Under the low scenario, the estimated quantified total costs and benefits are
£0.3 million and £0, respectively, resulting in an estimated NPSV of -£0.3
million (2025/26 prices, 10-year PV).
• Under the high scenario, the estimated quantified total costs and benefits are
£0.9 million and £0, respectively, leading to an estimated NPSV of -£0.9
million (2025/26 prices, 10-year PV).
253. The BNPV and EANDCB is expected to be £0 as there are no impacts on
businesses which fall in scope of the BNPV and EANDCB. Whilst some businesses
may benefit from increased profit as a result of the introduction of this policy, there
is no available evidence on this and it is therefore not propo rtional to monetise it.
For example, the inclusion of bank cards as a form of identification could
theoretically increase demand for bank cards, but ownership is already near -
universal, and any marginal increase is n ot expected to have a material impact on
business revenues or costs . As such, this potential effect is excluded from the
BNPV and EANDCB.
F.3.3 Non-monetised impacts
113 The +/- 50% range has not been applied to the cost line relating to Electoral Commission communications. Instead, a cost
range for this cost line was provided by the EC directly, and has been used here.
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F.3.3.1 Direct costs
254. Allowing bank cards to be used as Voter ID may increase the number of
acceptable documents polling staff need to check, and could introduce
complexity where cards lack photographs, names, or identifying features .
Electoral administrators will need to be trained to recognise such cards and apply
clear guidance on verification standards. These changes can be incorporated into
existing pre-election training at marginal cost, though additional clarity in national
guidance may be required.
F.3.3.2 Indirect costs
255. Stakeholder feedback has previously emphasised the importance of public
confidence in the voter ID policy. Allowing bank cards could prompt concerns
about impersonation risk, even if actual incidence is very low. Indeed, survey
data on using bank cards in the polling station found that people were less
comfortable showing their bank card (73% comfortable) than other prevalently used
photographic ID (driving licence – 88% comfortable, travel / concessionary pass –
86% comfortable and passport – 79% comfortab le).114 Safeguarding measures,
such as clear eligibility criteria and visual aids for polling staff, may help to mitigate
these perceptions.
256. Public confusion over eligibility may increase if the list of accepted IDs
becomes more complex. Although awareness of the ID requirement is high (84%),
awareness of specific forms of accepted ID, such as the VAC, remains lower (58%),
and varied across the population 115. However, d ata from a 2025 public opinion
survey carried out by Verian on behalf of MHCLG found th at t he likelihood of
carrying a physical bank card outside the home is higher than other types of ID
(81% versus 56% who carry a driving licence) which suggests adding bank cards
could be easily adopted in practice.
F.3.3.3 Direct benefits
257. Allowing bank cards to be used as Voter ID aligns with efforts to ensure all
legitimate voters are able to vote at the polling station, should they wish to .
Survey data collected by Verian on behalf of MHCLG in 2025 found that 92% of
respondents have a physical bank card issued in the UK114. In addition, the research
highlighted that adding bank cards to the list of accepted IDs closes the gap to less
than 1% who do not have a form of ID. This is in line with data from the World Bank,
which indicates that 96.4-99.8% of people aged 15 and over in the UK have a bank
account, while Financial Conduct Authority research confirms that even holders of
114 Voter identification research - MHCLG, 2025
115 Voter ID at the 2024 UK general election - Electoral Commission, 2024
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basic bank accounts, typically used by those facing financial hardship, are issued
debit cards116.
258. Expanding the accepted ID list to include these may reduce dependency on
free VACs, which have had relatively low uptake - just over 210,000 issued despite
an estimated 750,000 eligible electors without photo ID.
259. While precise effects on turnout are uncertain, it is plausible that the policy
could reduce perceived barriers for vulnerable groups, including those in socio-
economically deprived areas, who may struggle to obtain formal photographic
identification but do hold a bank card. As the research from Verian indicates, adding
bank cards to the list of prescribed IDs closes the gap in ownership to less than 1%
which should reduce the likelihood of electors being turned away at polling stations
for not having an accepted form of ID.
F.3.3.4 Indirect benefits
260. The policy could also support perceptions of fairness and accessibility of the
Voter ID policy , especially if implemented alongside a clear communication
campaign. Around 87% of people were aware of the need to bring ID when voting
in person, but awareness levels varied across the population and were lower for 18
to 24 -year-olds (71%) and people from ethnic minority communities (76%) 117.
Moreover, only 58% of people were aware of the VAC. Bank cards are more
familiar, frequently carried, and may serve as a more accessible form of ID for day-
to-day use.
261. Evidence from the Child Financial Harms Consortium and the Money and Pensions
Service also suggests that debit card ownership is increasingly common among 16-
to 18-year-olds, though data on 14 - to 17-year-olds remains limited . Therefore,
inclusion of bank cards is anticipated to increase ownership levels of
accepted ID types among young electors , subject to further evidence on
ownership patterns from upcoming research being conducted by MHCLG.
F.4 Candidate ID and Nomination Changes
F.4.1 Monetised impacts
262. There are no monetisable costs or benefits, either direct or indirect, resulting from
this policy.
F.4.2 Non-monetised impacts
116 Financial Lives 2022 - Financial Conduct Authority, 2023
117 Voter ID at the 2024 UK general election - Electoral Commission, 2024; Evaluation of Electoral Integrity Programme: public
opinion research wave 3 – MHCLG, 2025
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F.4.2.1 Direct costs
263. The introduction of a statutory declaration and ID requirement may require
updates to nomination forms, guidance materials, and data handling
protocols. Similarly, enabling party withdrawal of nominations will require changes
to nomination procedures. These are expected to be absorbed within existing
administrative frameworks, with short -term resource implications for Returning
Officers and suppliers.
264. The requirement for candidates to provide proof of ID as part of the
nominations process are likely to result in a small time cost for candidates
as well as elections staff who complete the checks. In the 2025 English local
elections, a total of 8,624 candidates118 stood across 1,637 seats in 23 LAs119. This
means that, on average, the change would have roughly resulted in an additional
375 ID checks per LA. The figure is much smaller from the recent UKPGE, where
an average of seven candidates stood per constituency across the UK 120. Given
the quantity of checks and short length of time they take , they are expected to be
absorbed within existing administrative framework s and so have been deemed
disproportionate to monetise.
F.4.2.2 Indirect costs
265. There may be a temporary increase in candidate queries and administrative
handling, particularly around ID submission and revocation procedures .
Clear guidance and communications will be essential to minimise confusion and
ensure consistent application across electoral areas.
F.4.2.3. Direct benefits
266. The reforms will strengthen the integrity and transparency of the
nominations process. A statutory declaration reinforces candidate accountability,
while the ID requirement provides a proportionate safeguard against
impersonation. Enabling political parties to revoke support for a candidate prior to
the close of nominations will allow parties to uphold standards and respond to
emerging concerns during the nomination period, without significant impact on the
administration of the ele ction. It ensures voters are not misled about party
endorsement and reduces reputational risk, particularly in high -profile contests
where party affiliation is a key factor in voter decision-making.
F.4.2.4. Indirect benefits
118 May 2025 local elections in England - Electoral Commission, 2025
119 Local elections 2025: Results and analysis - Isabel Buchanan, 2025
120 Who stood in the 2024 general election? - Rachael Harker, 2025
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267. These changes are expected to enhance public confidence in the democratic
process by addressing vulnerabilities in candidate nominations and
ensuring voters are not misled about party endorsement . They also support
parties in upholding standards and provide Returning Officers with clearer
procedures for managing nominations.
F.5 Outcomes of the Elections Review
F.5.1 Methodology
268. The Review of Electoral Conduct and Registration 121 was commissioned in
October 2024 in response to growing pressures on the electoral system. The
Review identified several specific issues requiring attention including inefficiencies
in the postal vote process, burdensome registration procedures and challenges with
high levels of registration activity in the lead up to polls. It also highlighted
challenges in securing polling venues, recruiting polling station staff, and ensuring
that ROs have access to the resources they need.
269. Upon completion, the review’s recommendations were grouped into the following
categories:
i. Electoral timetable
ii. Absent voting
iii. Electoral resourcing
iv. Elector information power
v. Election Forms Consolidation Measures
270. An assessment of all potential monetised and non -monetised impacts
resulting from the policy has been undertaken. The EC has identified a
monetised cost it expects to incur as a result of the proposed changes . The
appraisal of the outcomes of the elections review policy areas also relies on a
qualitative assessment of non -monetised impacts, where the assessment is
proportionate to the scale and significance of the relevant policy.
271. To support this appraisal, a theory of change has been developed for the two
most impactful categories, electoral timetable and absent voting. These are
included in the annex and provide a structured framework for evaluating the key
consequences of the reforms.
F.5.2 Monetised impacts
F.5.2.1 Direct costs
121 Letter from Minister Norris to the electoral sector - MHCLG, 2024