\section{Conclusion} To summarise, there is little opportunity for the general public to influence the decision on resource consent applications, because only a fraction of them is publicly notified. The decision whether to notify or not is made by the council and depends on the quality and coverage of the local plan. Overall, plans are of medium to poor quality, making it difficult for planners to evaluate a proposal and its accompanying assessment in the intended spirit of the policies. More importantly, however, the implementation of a plan is influenced by the responsible council's capacity and the attitude of the council officers assigned to evaluate resource consent application. Councils are subject to capacity bottlenecks which give rise to an implementation gap, i.e. the use of less sophisticated procedures and methods than declared in the plans. As a result, inadequate assessments of environmental effects are more likely to pass through the review stage. Since consultation is not a mandatory part of the resource consent process under the RMA, non-notified applications may never be exposed to much needed independent scrutiny. Notified applications with assessments that are hard to understand for lay people may require members of the public to gain access to expert knowledge and professional representation to have their concerns heard and accepted as valid. Grinlinton's statement seems to imply that councils are purposefully negligent in the evaluation of applications that are expected to have economic benefits, or at least accept this bias. This analysis, however, suggests that this is not the case. While it may be true that individual councils are primarily interested in the economic effects of a proposal and only take a secondary interest in the environmental or social impacts, it seems that the two major difficulties in consent processing are a lack in the capacity to implement plans and a history of underestimating the size of the group of `directly affected' persons. As a result, the ability of the general public to participate in the decision-making process under the requirements for consultation laid out by the RMA is severely limited.