Tag: Treasury Board

  • Norway-review

    What a Norwegian-Style Review Would Ask of ALTO

    Norway has spent twenty-five years subjecting every major public investment to mandatory independent review at two decision gates. Measured against that standard, ALTO’s $75 billion figure has not yet cleared the first gate — and the conceptual choice between the corridor alternatives has never been independently reviewed at all.

    ⚠ What This Brief Examines

    Since 2000, Norway has run a mandatory two-gate external Quality Assurance scheme — QA1 on the choice of concept, QA2 on cost estimates before funding — under its Ministry of Finance, for every major public investment project.

    This brief sets out how the scheme works, what twenty-five years of evidence across roughly 160 reviewed projects shows about whether independent review improves cost discipline, and what that working institutional template implies for the ALTO corridor decision and for the High Performance Rail (HPR) alternative the Initiative has advocated.

    Headline Finding

    Twenty-five years of operating evidence shows that systematic external review materially improves cost discipline: roughly three-quarters of post-QA2 projects have been delivered within their parliamentary cost frame, against pre-QA cost overruns documented at 59 to 183 percent on Norwegian transport projects.

    ALTO’s published $75 billion cost figure is a concept-stage estimate that, by Norwegian standards, has been subjected to neither external concept-stage review (QA1) nor stochastic pre-budget cost validation (QA2). A federal investment of ALTO’s scale would unambiguously fall within mandatory independent review under any institutional design comparable to Norway’s.

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    Norway’s Quality Assurance Scheme as Precedent — Full Research Note (PDF)
    Reference note for federal decision-makers, parliamentarians, journalists, and residents along the corridor
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    Section 1 · Origin and Purpose

    A scheme built to filter flawed investments

    Norway’s Quality Assurance scheme — kvalitetssikringsordningen, rendered in English as QA1 and QA2 — was established in 2000 by the Ministry of Finance in response to a recurring pattern of cost overruns and weak strategic justification on megaprojects through the 1980s and 1990s. It was built with two objectives: to avoid budget overruns on projects already under construction, and to filter out flawed investment cases that should not have been started at all.

    In its initial form (2000–2005) the scheme was QA2 only — assurance of cost estimates immediately before parliamentary approval. From 2005, QA1 was added as an upstream gate covering the choice of conceptual solution itself, before a project enters preliminary design. The two-gate structure has been substantially unchanged since, with periodic recalibration through Ministry of Finance circulars; the current governing circular is R-108/23, superseded in part by R-108/25.

    The scheme is mandatory. It applies to all government investment projects above a threshold of roughly one billion Norwegian kroner — about CAD 130 million in 2026 terms — and about CAD 39 million for digitalisation projects. The petroleum sector is exempt; state enterprises such as Bane NOR, Nye veier and Statnett run parallel internal regimes that mirror the central scheme. Essentially every Norwegian federal infrastructure investment of comparable scale to ALTO would face mandatory external review at two decision points.

    2000
    Scheme established; QA1 concept gate added 2005
    ~$130M
    Mandatory threshold (CAD); ~$39M for digital projects
    2 gates
    QA1 on concept choice; QA2 on cost before funding
    Section 2 · The Two Review Gates

    One gate on the concept, one on the cost

    The scheme’s power lies in where it intervenes: once on whether the right concept has been chosen, and again on whether the cost presented to Parliament is honest. Each gate has a defined deliverable and a defined methodological standard.

    QA1 — Quality assurance of concept choice

    Performed before Cabinet decides to start a pre-project. The proponent must prepare a Conceptual Appraisal (KVU), and the external reviewer assesses whether the alternatives analysis is genuine — whether the do-nothing case and conceptually different options were evaluated rigorously, rather than treated as nominal foils to a predetermined preference. The recommendation goes to Cabinet on the public record.

    QA2 — Quality assurance of cost

    Performed before the project goes to Parliament for funding. Its core is stochastic cost estimation: not a single figure but a probability distribution, with the budgeted cost normally set at P85 and a P50 target committing the executing agency — because deterministic estimates are systematically skewed and under-assure against overrun.

    The KVU underlying a QA1 review must contain a defined set of elements, and the reviewer checks each:

    • A needs analysis identifying the underlying problem the project is intended to address.
    • A goals and objectives statement specifying the societal outcomes the project is meant to deliver.
    • A requirements analysis identifying functional and operational specifications.
    • An alternatives analysis covering at minimum the zero option (do nothing) plus at least two conceptually different alternatives.
    • A cost-benefit analysis covering each alternative.

    QA2 adds a forward-looking management challenge assessment of operational, procurement, scope and schedule risk, and produces a project-specific reduction list (kuttliste) — pre-identified scope items that can be removed during execution if costs trend toward the upper bound. This preserves flexibility within the parliamentary cost frame rather than requiring re-authorization for each overrun.

    Section 3 · Who Reviews, and How Independence Is Preserved

    The funding ministry picks the reviewer — not the proponent

    The reviewers are external private-sector consultants on a Ministry of Finance framework agreement. The current framework (September 2023) covers seven consortia — including Holte Consulting, Menon Economics, A-2 Norge, Dovre Group Consulting and the Institute of Transport Economics. Use of a pre-approved consortium is compulsory; ad hoc retention outside the framework is not permitted. Several features preserve independence:

    • The Ministry of Finance selects the reviewer — not the project-proposing ministry — removing the conflict that arises when a proponent can choose its own reviewer.
    • Pre-defined methodology. The reviewer follows requirements set in the Ministry circular and cannot redefine scope or renegotiate methodology with the proponent.
    • Conflict-of-interest restrictions. A consortium that did concept-stage advisory work on a project is generally precluded from reviewing the same project.
    • Public reporting. QA reports are public documents (with limited commercial redactions) and are catalogued by NTNU’s Concept Research Programme, which has tracked every review since 2000.

    The review itself is cheap relative to what it examines — typically a fraction of one percent of project capital cost — and is funded by the Ministry of Finance rather than charged against the project ministry.

    Section 4 · The Empirical Record

    Twenty-five years of evidence: review works

    NTNU’s Concept Research Programme has tracked the cost performance of every project subject to the scheme since 2000 — roughly 160 QA2 reviews and 60 QA1 reviews, a sample large enough to draw robust conclusions. The finding is consistent: post-QA2 Norwegian projects substantially out-perform international cost-overrun benchmarks.

    ~75%
    Of post-QA projects delivered within their parliamentary cost frame (Welde & Klakegg, 2022)
    59–183%
    Cost overruns on pre-QA Norwegian transport projects (Odeck, 2004)
    45%
    Mean rail cost overrun across 258 international projects (Flyvbjerg et al., 2003)

    A multi-country study of Scandinavian rail and road projects completed 2008–2022 (Love et al., 2025) concludes they are generally delivered “on cost, over time” — within approved budgets, though often behind schedule. The introduction of mandatory external QA materially compressed the cost-overrun distribution.

    The harder finding: front-end escalation persists

    The more nuanced result concerns the front-end — the period between QA1 and QA2. Even with mandatory concept review, average cost escalation between the two gates has run at about 40 percent (Welde & Odeck, 2017). As a project moves from concept to detailed pre-design, scope clarification reveals cost drivers the initial estimate missed; Norway’s Planning and Building Act, which gives municipalities significant influence over alignment and siting, is a documented contributor. In response, the Ministry introduced a continuous change-log requirement in 2019, tightened further in the 2025 circular.

    Implication for ALTO’s $75 billion

    ALTO’s published $75 billion is a pre-QA1-equivalent estimate. The Norwegian record predicts ~40 percent escalation through the equivalent pre-project phase — which alone would lift the figure to roughly $105 billion, before any of the further adjustments the Initiative’s reference-class analysis applies.

    Section 5 · Norway QA versus Canadian Practice

    The gap is structural, not incidental

    Set side by side with current Canadian federal practice, the differences are structural. The most consequential is at the concept gate: Canada has no equivalent of QA1 — no mandatory external review of conceptual alternatives before a project enters pre-design.

    FeatureNorway QA1 / QA2Canada (federal practice)
    Mandatory threshold≈ CAD 130M (NOK 1B); CAD 39M for ITNo threshold-triggered mandatory external QA
    Concept-stage external review (QA1)Required before Cabinet approves pre-projectInternal departmental review only; none mandatory
    Pre-funding external review (QA2)Required before Storting funding voteTreasury Board review; not external; not stochastic by default
    Cost basis for ParliamentP85 of probability distributionTypically a deterministic point estimate
    Reviewer selectionMinistry of Finance call-off against frameworkProposing department selects its own consultants
    Public availability of reportPublic document (with redactions)Generally not published; subject to ATIP
    Concept alternatives requiredZero option plus ≥ 2 different alternativesVariable; not standardised
    Track record≈160 reviews; ~75% on budgetNo comparable institutional record

    ALTO is a paradigmatic example of the gap. The conceptual choice between high-speed rail (ALTO), high-frequency rail (HFR, the 2021 Joint Project Office concept), and high-performance rail (HPR, the Initiative’s alternative) has never been the subject of structured external review. Under Norwegian rules, that comparison would be the literal substantive content of QA1 — and Cabinet could not authorize a pre-project on any one concept without first having the comparison externally reviewed.

    Section 6 · Application to the ALTO Decision

    Five things a Norwegian review would find

    Applying the Norway framework as an analytical lens to ALTO yields five specific findings.

    1

    The cost figure would not be acceptable to a Norwegian Parliament

    QA2 requires the parliamentary cost frame to be set at P85 of a stochastic distribution. ALTO’s $75 billion is a deterministic point estimate — not acceptable as a funding basis by Norwegian standards, however rigorously derived internally. The Initiative’s reference-class range ($143B central; $264B P97.5) is a conservative analogue of what QA2 would produce.

    2

    The conceptual-alternatives requirement has not been met

    QA1 requires the zero option plus at least two conceptually different alternatives. The comparison among ALTO, HFR and HPR has not been structured, has not been externally reviewed, and is not in public ALTO documentation. A QA1 reviewer would not have approved corridor selection on the documentation produced to date.

    3

    ALTO is the kind of investment QA1 exists to filter

    The Initiative’s iso-BCR analysis finds a benefit-cost ratio of about 0.11 at central reference-class parameters — roughly eleven cents of benefit per dollar invested. That is the textbook profile of a flawed investment case, precisely what QA1 was built in 2000 to flag for substantive reconsideration.

    4

    The HPR alternative warrants concept-stage review

    HPR — electrified passenger service along the Highway 401 corridor with freight relocated onto a parallel dedicated corridor — is a substantively different concept, developed to a level comparable to proponent-stage QA1 documentation. The next institutional step is an independent concept-stage review of all three alternatives before any final corridor selection.

    5

    An adapted Canadian framework is feasible and proven

    Norway is not unique — comparable schemes operate in the UK, the Netherlands and at the European Investment Bank. The absence of a Canadian equivalent is a gap in institutional design, not a settled choice, and the design work is substantially complete in the English-language academic literature.

    Section 7 · Recommendations

    Three steps, project-specific to institutional

    Three recommendations follow, ordered from immediately applicable to the ALTO decision through to broader federal investment governance.

    1. Independent concept-stage review of the three corridor alternatives. Before any final corridor selection, the Department of Finance should commission an external review of ALTO, HFR and HPR modelled on QA1 — conducted by a consortium not previously engaged on any of the three, against pre-defined methodology, with a public report tabled before the Cabinet decision on the preferred concept.
    2. Stochastic cost framing for any preferred concept. Whichever concept is chosen, the Treasury Board submission should rest on a probabilistic cost distribution, not a point estimate — with the parliamentary frame at P85, a P50 target committing the agency, and a documented reduction list. This is the QA2 standard and the minimum-acceptable framing for an investment of this scale.
    3. A Canadian QA scheme. Canada lacks a federal equivalent of QA1/QA2, and the absence is structural. The 2021 JPO Business Case for HFR — still unreleased, with the Initiative’s Access to Information request pending — would under Norwegian design have been a public QA1 deliverable. Establishing a Canadian analogue would address a weakness documented across multiple Auditor General reports.
    Where Things Stand

    A working template, and an unreviewed decision

    Norway has demonstrated, over twenty-five years and 160-odd projects, that mandatory independent review at the concept and cost gates materially improves how major public investments perform. Canada has no equivalent — and ALTO, a federal investment of paradigmatic scale and policy importance, is advancing toward corridor selection without its conceptual choice having been independently reviewed, and on a deterministic cost figure that by Norwegian standards could not anchor a funding vote. The template exists; the decision has not yet been tested against it.

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    Norway’s Quality Assurance Scheme as Precedent (PDF)
    Reference note for federal decision-makers, parliamentarians, journalists, and residents along the corridor
    Download Note
    Sources

    Sources and supporting documents

    1.
    Norwegian Ministry of Finance. Circular R-108/23 (English translation R-108/25), “The State Project Model: Quality Assurance of Major Public Projects.” The current governing circular for the QA scheme.
    2.
    NTNU Concept Research Programme. “The QA Scheme — QA1 and QA2.” ntnu.edu/concept. Has tracked every QA review since the scheme’s inception in 2000.
    3.
    Samset, K., Volden, G.H., Olsson, N., & Kvalheim, E.V. (2015). “Governance Schemes for Major Public Investment Projects.” Concept Research Programme Report No. 47, NTNU.
    4.
    Welde, M., & Odeck, J. (2017). “Cost escalations in the front-end of projects — empirical evidence from Norwegian road projects.” Transport Reviews 37(5).
    5.
    Odeck, J., Welde, M., & Volden, G.H. (2015). “The impact of external quality assurance of cost estimates on cost overruns.” European Journal of Transport and Infrastructure Research 15(3).
    6.
    Welde, M., & Klakegg, O.J. (2022). “Cost performance in major public investment projects after external quality assurance.” Concept Research Programme. Source of the ~75% on-budget finding.
    7.
    Love, P.E.D., Ahiaga-Dagbui, D., et al. (2025). “On cost, over time: How Scandinavian transport infrastructure challenges conventional understanding of project delivery performance.” International Journal of Project Management.
    8.
    Christensen, T. (2011). “The Norwegian front-end governance regime of major public projects.” International Journal of Managing Projects in Business 4(2).
    9.
    Flyvbjerg, B., Skamris Holm, M.K., & Buhl, S.L. (2003). “How common and how large are cost overruns in transport infrastructure projects?” Transport Reviews 23(1), 71–88.
    10.
    Odeck, J. (2004). “Cost overruns in road construction — what are their sizes and determinants?” Transport Policy 11(1), 43–53.
    11.
    Initiative supporting documents: ALTO NPV Research Report (full NPV methodology and JPO 2021 comparison); ALTO Iso-BCR Research Note (the parameter space within which BCR = 1 is achievable); and ALTO NPV Analysis v3 (Excel model with iso-BCR sheets, discount-rate comparison, and Monte Carlo).
  • Two targets

    Two Targets

    Ridership figures in ALTO’s 2025-26 Corporate Plan and current public materials, side by side.

    In current ALTO materials

    ALTO’s Corporate Plan Summary 2025-2026 to 2029-30 — the formal accountability document submitted to the Minister of Transport for Treasury Board approval, signed by the Chief Financial Officer in January 2025 — cites a Project Outcome of at least 17 million annual passenger trips by 2059, defined to include “both Alto Passenger Rail Services and Local Services.”

    ALTO’s consultation website, as of May 6, 2026, continues to host a CEO opinion piece projecting 24 million passengers annually by 2055, “fully consistent with international outcomes.” A Globe and Mail editorial citing the same source extended this to 43 million by the 2080s. altotrain.ca

    Summary

    Two ridership figures currently appear in ALTO documents. The figure listed as Project Outcome #1 in the Corporate Plan submitted for Treasury Board approval is 17 million by 2059, defined to include both Alto Passenger Rail Services and the continuation of VIA Rail’s conventional Local Services. The figure in current public-facing materials is 24 million by 2055, rising to 43 million by 2084, presented in reference to Alto.

    The 17 million figure is the same target set in the 2023 Request for Qualifications, when the project was specified as 177 km/h High Frequency Rail at an estimated capital cost of $27.7 billion. It carries forward into the current Corporate Plan, which describes the project as 300 km/h high-speed rail at a Class 4 capital cost estimate of $60–90 billion. The Corporate Plan does not record a formal revision of the figure when the specification changed.

    This brief sets out what each document says, when each figure was published, and what other publicly available evidence indicates about ridership at the corridor scale. It does not draw conclusions about which figure is the operative one. The purpose is to make the documentary record visible.

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    Two Targets — Full Brief (PDF)
    Documentary record of ALTO ridership figures across 2021–2026 publications
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    The Setting

    Why ridership figures matter for accountability

    A megaproject’s ridership projection anchors several other figures: the revenue model, the benefit-cost ratio, the modal-shift carbon argument, and the agglomeration economic case. When a ridership projection moves, related figures move with it.

    For ALTO, two ridership figures are currently visible in the public record. They appear in different documents, communicated to different audiences. This brief sets the two figures alongside each other, with the document trail and the available comparator evidence, and identifies the questions that would resolve which figure is the operative one.

    The brief is not an assessment of either figure on the merits. It is an assemblage of what has been published, in chronological order, with the structural definitions of each figure made explicit. Readers are invited to draw their own conclusions.

    A note on dating the Corporate Plan

    The Corporate Plan Summary 2025-26 to 2029-30 carries a CFO attestation dated January 7, 2025. Several elements of its content, however, post-date that signature: it describes the February 2025 HSR announcement and Cadence selection, the March 2025 PDA execution, Stage 1 of Co-Development as having “occurred from April 2025 to July 2025,” and workforce figures “as of May 2025.” Appendix 12’s chronology ends with August 2025. The document was therefore finalised in approximately mid-2025, with the CFO attestation date preserved as the formal accountability anchor. References in this brief to the Corporate Plan should be read with that timing in mind.

    Side by Side

    The two figures, in their own words

    Both figures appear in current ALTO materials. Both are being communicated to different audiences in May 2026.

    Public Materials · May 6, 2026Corporate Plan to Treasury Board · 2025-26
    24 million by 2055, rising to 43 million by 2084

    From the Imbleau opinion piece originally published in the Toronto Star and La Presse on April 17, 2026, reposted on the consultation site as of May 6, 2026:

    “Alto’s projected 24 million passengers annually by 2055 is fully consistent with international outcomes, based on the modelling used worldwide.”

    The Globe and Mail editorial citing the same source extended this to “43 million by the 2080s, up from three million today.”

    This figure is referenced in connection with the project’s benefit-cost claims, the 1.1% GDP uplift estimate, and the 50,000-job projection.
    At least 17 million by 2059

    From the Corporate Plan Summary 2025-26 to 2029-30, Project Outcome #1, signed by the CFO January 7, 2025:

    “Significantly Increase Intercity Rail Passengers to at least 17 million by 2059 through both the new passenger rail services (NPRS Services) and Local Services through increased annual seat capacity.”

    The same figure appears in Appendix 9 (Long-term Outcomes) as: “up from 4.8 million in 2019, including both Alto Passenger Rail Services and Local Services.”

    This is the figure listed as a Project Outcome in the document submitted for Treasury Board approval.

    Three observations about the two figures, drawn from the documents themselves:

    The 17 million figure includes Local Services

    The Corporate Plan target counts “Alto Passenger Rail Services and Local Services” together. Local Services is the planning term, defined in the Corporate Plan’s glossary, for VIA Rail’s continuing conventional service in the Quebec City–Windsor corridor. The 24 million public figure, as presented, is referenced in connection with Alto. The two figures therefore measure across different scopes.

    The 17 million figure carries forward unchanged from the 2023 RFQ

    17 million by 2059 was the Project Outcome attached to the 2023 Request for Qualifications, when the project was specified as 177 km/h High Frequency Rail at an estimated capital cost of $27.7 billion. The same figure, with the same target year, appears in the Corporate Plan that describes the project as 300 km/h high-speed rail at a Class 4 cost estimate of $60–90 billion. Project Outcomes are formally established in procurement documents and are not trivially revised; the Corporate Plan does not record a revision to this figure on either the specification change or the cost-envelope change.

    The two figures use different baseline years

    The Corporate Plan cites a 4.8 million baseline from 2019 (pre-COVID). The Imbleau opinion piece cites “three million today.” VIA Rail’s 2024 Annual Report records 4.19 million corridor passengers, of which 3.34 million on Corridor East. The growth multiplier from each baseline to its corresponding target therefore differs.

    Document Trail

    When each figure was published

    The chronology below sets out the principal ALTO ridership figures in the public record, in order of publication.

    DateDocumentHeadline ridership figure
    December 2021 JPO Business Case Update v.002
    VIA / CIB internal (released via ATI, November 2025)
    405M cumulative30-year cumulative trips 2030–2059 for HFR Electric scenario, an average of approximately 13.5 million per year. BCR ~ 0.4. NPV −$21.1 billion.
    February 2023 Request for Qualifications (HFR)
    PSPC, 126 pp.
    17M by 2059The Project Outcome attached to the 177 km/h HFR specification at an approximate $27.7B capital cost. Zero operating subsidy was a parallel commitment.
    February 2025 HSR announcement
    Government of Canada
    Specification changeProject rebranded from 177 km/h HFR to 300 km/h HSR. Cadence selected as Private Developer Partner. $3.9B Co-Development Phase funding announced.
    March 2025 Fast Forward: Shaping Canada’s Future
    ALTO public document
    24M by 2055
    43M by 2084
    Stated baseline of “3 million today.” Used in subsequent ALTO public materials and consultation graphics; cited in the Globe and Mail editorial.
    CFO signature
    Jan 7, 2025
    (finalised
    mid-2025)
    Corporate Plan Summary 2025-26 to 2029-30
    Treasury Board submission
    17M by 2059Listed as Project Outcome #1. Defined to include “both Alto Passenger Rail Services and Local Services.” 4.8M (2019) baseline. CFO attestation dated January 7, 2025; document content references events through summer 2025.
    April 17, 2026 Imbleau opinion piece
    Toronto Star · La Presse · ALTO website
    24M by 2055Published one week before the consultation deadline. Described as “fully consistent with international outcomes, based on the modelling used worldwide.” Reposted on ALTO’s consultation site, where it remains as of May 6, 2026.

    The chronology has a feature worth surfacing on its own. The 24 million and 43 million figures first appear in the Fast Forward document of March 2025. The Corporate Plan, finalised in approximately mid-2025, references only the 17 million figure as a Project Outcome and does not mention, footnote, or otherwise acknowledge the higher Fast Forward figures. The April 2026 Imbleau opinion piece reverts to the 24 million figure for public-facing communications.

    In other words: since at least March 2025, the two figures have been running on parallel tracks. The lower figure has appeared in formal accountability documents (the Corporate Plan submitted for Treasury Board approval). The higher figure has appeared in public-facing communications (the Fast Forward document, the consultation website, the CEO’s opinion pieces, and external commentary citing them). Neither document has reconciled the two, and neither has stated which is the operative ridership target.

    Adjacent Disclosure

    The cost figure, in the same period

    The Imbleau opinion piece of April 17, 2026 contains the following statement on the project’s capital cost:

    “In order to finalize project cost, we need to know what is being built and where. We must choose the best alignment through consultation. Then comes detailed engineering for bridges, tunnels and the design; a 320 km/h train requires millimeter level precision.”

    The publicly cited Class 4 capital cost estimate is $60–90 billion. The Co-Development Phase funding of $3.9 billion has been approved and is being expended over fiscal years 2024-25 to 2029-30 per the Corporate Plan. The CEO’s statement above appears in the same publication on the same day as the 24 million ridership figure cited earlier in this brief.

    This brief makes no inference about the relationship between the cost statement and the ridership figures. They are presented here together because they appear in the same document and are part of the documentary record currently available to the public.

    Comparator Evidence

    Other publicly available ridership analyses for the corridor

    For context, three additional sources of corridor ridership analysis are part of the public record. Each uses a different methodology and a different scope.

    Munk School Global Economic Policy Lab (Toronto–Montréal segment only)

    The University of Toronto’s Global Economic Policy Lab published an analysis projecting 9.44 million annual passengers by year 20 and 10.45 million by year 30 on the Toronto–Montréal segment, which the GEPL identified as generating 57% of total corridor ridership. Scaled to the full corridor on the GEPL’s own segment-share assumption, this implies approximately 16–17 million by year 20. This is the only independent academic modelling exercise for the corridor that has been published with a disclosed methodology.

    JPO Business Case Update v.002 (December 2021, ATI release)

    The Joint Project Office Business Case Update released through Access to Information by the Canada Infrastructure Bank in November 2025 projects 405 million cumulative trips over 30 years (2030–2059) for the HFR Electric scenario, an average of approximately 13.5 million per year. The same document records a benefit-cost ratio of approximately 0.4 and a 30-year NPV of −$21.1 billion against a $27.7B capital cost baseline.

    VIA Rail Annual Report 2024 (current corridor baseline)

    The most recent published actual corridor ridership figure is 4,191,080 passengers in 2024, of which 3,336,057 on Corridor East (Quebec City–Toronto). The Montréal–Ottawa–Toronto segment alone carried 2,314,024 passengers. These figures were achieved with on-time performance averaging 51% for the year.

    No reconciliation between the ALTO 17 million Corporate Plan figure, the ALTO 24 million public figure, and these comparator analyses has been published.

    From the Documentary Record

    Five things visible in the public record

    Without drawing inferences about motive or intent, five observations can be made directly from the documents reviewed for this brief.

    1. The two figures have been running on parallel tracks since March 2025

    The 24 million figure was introduced in the Fast Forward document of March 2025. The Corporate Plan was finalised in approximately mid-2025; it references only the 17 million figure as a Project Outcome and does not mention or footnote the Fast Forward figures. Both figures remain in active circulation in May 2026: the 17 million figure in the Corporate Plan, the 24 million figure in the consultation website and the CEO’s April 2026 opinion piece.

    2. The two figures have different scopes

    The 17 million figure is defined as “Alto Passenger Rail Services and Local Services” combined. The 24 million figure, as presented in the Imbleau opinion piece, references Alto. The Corporate Plan does not break the 17 million figure into Alto-component and Local-Services-component shares.

    3. The 17 million figure was set under the previous specification

    17 million by 2059 was the Project Outcome attached to the 2023 RFQ for the 177 km/h HFR specification at $27.7B. The same figure carries forward into the Corporate Plan that describes the project as 300 km/h HSR at $60–90B, without a recorded revision to the target.

    4. The capital cost is also presented as a working figure

    The CEO has publicly stated that “in order to finalize project cost, we need to know what is being built and where.” The Class 4 estimate of $60–90 billion is, on this account, a working figure pending corridor selection and detailed engineering. The Co-Development Phase funding of $3.9 billion has been approved and is being expended.

    5. Independent ridership review remains unpublished

    The Parliamentary Budget Officer has not published a review of either the cost or the ridership figures. The only independent academic modelling exercise for the corridor with a disclosed methodology, the Munk School GEPL analysis, projects approximately 16–17 million for the full corridor by year 20 of operation.

    Where things stand · May 6, 2026

    Disclosure ledger

    The following items are, or are not, currently in the public record.

    Disclosed
    Corporate Plan ridership figure: 17 million by 2059, including Alto Passenger Rail Services and Local Services. Corporate Plan Summary 2025-26 to 2029-30, Project Outcome #1.
    Disclosed
    Public-facing ridership figure: 24 million by 2055, rising to 43 million by 2084. Fast Forward (March 2025); Imbleau opinion piece (April 2026); ALTO consultation website (current).
    Partial
    Definition of the 17M target. Disclosed in Appendix 9 of the Corporate Plan as including Local Services, but not surfaced in summary communications about the figure.
    Not disclosed
    Demand modelling methodology for either the 17 million or the 24 million figure. No model documentation, elasticity assumptions, modal-shift coefficients, or sensitivity analysis has been published for either figure.
    Not disclosed
    Reconciliation between the two figures. No public ALTO statement explaining the relationship between the Corporate Plan figure and the public-marketing figure, or stating which is intended to be the operative ridership target.
    Not disclosed
    The Alto-only share of the 17M target. The Corporate Plan does not break the 17 million into the share attributable to high-speed services and the share attributable to Local Services.
    Not disclosed
    Updated benefit-cost ratio for the current 300 km/h HSR specification at $60–90 billion capital cost against the 17M ridership target. The last published BCR (~0.4) was calculated against the $27.7B HFR specification.
    Not disclosed
    Door-to-door journey time projection from representative origin points, accounting for the now-likely suburban Toronto station and Tremblay Ottawa terminus. The 24M figure is presumed to assume downtown-to-downtown service that is no longer the operating reality.
    Not disclosed
    Independent demand audit results from the Parliamentary Budget Officer or comparable independent body, against either the 17M or the 24M figure.
    Download Full Brief
    Two Targets (PDF)
    Documentary record of ALTO ridership figures, with comparator analyses
    Download PDF
    Questions for the Minister and the PBO

    Six questions that would resolve the disclosure gaps

    The following questions, addressed to the Minister of Transport and to the Parliamentary Budget Officer, would surface the items currently undisclosed.

    Question 1 “Which is ALTO’s operative ridership target: the 17 million by 2059 figure in the Corporate Plan submitted for Treasury Board approval, or the 24 million by 2055 figure in the Corporation’s consultation materials and the CEO’s opinion pieces?”
    Question 2 “Will ALTO publish a breakdown of the 17 million Project Outcome figure into the share attributable to Alto Passenger Rail Services and the share attributable to Local Services?”
    Question 3 “Will ALTO publish the demand modelling methodology, elasticity assumptions, modal-shift coefficients, and sensitivity ranges underpinning both the 17 million and the 24 million figures?”
    Question 4 “What is the updated benefit-cost ratio for the current 300 km/h high-speed rail specification at the Class 4 capital cost estimate of $60–90 billion, calculated against the 17 million Treasury Board ridership target?”
    Question 5 “Has the Parliamentary Budget Officer been asked to review the ridership and cost figures underpinning ALTO’s benefit-cost case, and if so, what is the expected timeline for publication of that review?”
    Question 6 “Given the Corporation’s acknowledgment that ‘in order to finalize project cost, we need to know what is being built and where,’ what is the formal status of the $60–90 billion capital cost figure relative to the $3.9 billion in Co-Development Phase funding already committed?”
    Sources

    Primary documents

    1.
    VIA HFR–VIA TGF Inc. (Alto), “Corporate Plan Summary 2025-2026 to 2029-30,” submitted to the Minister of Transport for Treasury Board approval, signed by the Chief Financial Officer January 7, 2025. Project Outcome #1 (Executive Summary, Appendix 2, Appendix 9, Appendix 13).
    2.
    Martin Imbleau, “High-speed rail is not a leap of faith: Why it matters for Canada’s growth,” opinion piece published Toronto Star and La Presse, April 17, 2026; reposted on ALTO consultation website. altotrain.ca (retrieved May 6, 2026)
    3.
    ALTO, “Fast Forward: Shaping Canada’s Future with a High-Speed Rail Network,” explanatory document, March 2025.
    4.
    Public Services and Procurement Canada, “Request for Qualifications — High Frequency Rail Project (RFQ No. T8128-210188/C),” February 17, 2023. Project Outcomes including 17M ridership by 2059 and zero operating subsidy. 126 pages.
    5.
    VIA Rail Canada / Canada Infrastructure Bank, “JPO Business Case Update v.002,” December 2021. Released through Access to Information by CIB, November 2025. Source for 405M cumulative trips, BCR ~0.4, and 30-year NPV of −$21.1B for HFR Electric option.
    6.
    VIA Rail Canada, “Annual Report 2024,” published 2025. 2024 actual corridor ridership: 4,191,080 passengers; Corridor East subtotal: 3,336,057; Montréal–Ottawa–Toronto segment: 2,314,024.
    7.
    The Globe and Mail, editorial referencing ALTO ridership projections: “projected ridership numbers – 24 million trips annually, in the 2050s, rising to 43 million by the 2080s, up from three million today.”
    8.
    Munk School of Global Affairs and Public Policy, University of Toronto, Global Economic Policy Lab analysis of Toronto–Montréal HSR ridership: 9.44 million by year 20; 10.45 million by year 30 on Toronto–Montréal segment (57% of corridor).