Northern Ireland firearms licensing consultation

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Say no to NI firearms licensing fees increase

The Northern Ireland Department of Justice (DoJ) is consulting on proposals to increase all firearms licensing fees by 153 per cent and to make changes to the banded system.

BASC is urging all certificate holders in Northern Ireland to respond to the consultation, which closes at 5pm on 29 May.

This webpage contains background information and guidance on how to respond.

BASC’s position

BASC does not support the DoJ’s proposal to move to full cost recovery and is strongly opposed to any increase in fees without a full, independent, transparent review of the necessary processes within firearms licensing.

That review must involve the organisations on the Northern Ireland Firearms Representative Group (NIFRG), which is chaired by BASC.  Without clarity on the work carried out by Police Service of Northern Ireland Firearms and Explosives Branch (PSNI FEB) staff, it is impossible to accurately determine the true cost of the various transactions.

BASC supports the addition of more calibers to the banded system, which is based on amendments we submitted to the Justice Committee in 2020. However, BASC is opposed to proposals move certain calibers between bands.

BASC guidance on responding to the consultation

Below are some options and suggestions for you to consider when having your say.

Option 1

Email your views to FEB@justice-ni.gov.uk and please copy nire@basc.org.uk into your response.

Our suggested key points for your email:

  • I do not support the DoJ proposal to move to full cost recovery.
  • I am strongly opposed to any increase in fees without a full, independent, transparent review of the necessary processes within firearms licensing. That review must involve the organisations on the Northern Ireland Firearms Representative Group. Without clarity on the work carried out by FEB staff, it is impossible to accurately determine the true cost of the various transactions.
  • The consultation document focuses heavily on the £2M (approx.) shortfall, however it fails to provide any detail in relation to how that figure was achieved.
  • The consultation refers to a PSNI FEB data collection exercise that took place in June 2025 however that data has not been included in the consultation, hence it is impossible to understand the true costs of the various transactions listed in Schedule 6 (the fees schedule).
  • No assurances in relation to any improvement in service have been provided.
  • There is a serious lack of accountability within PSNI FEB, and this has been the case for many years. A first step in achieving greater accountability would be the implementation of a Service Charter which is permitted under Managing Public Money in Northern Ireland (MPMNI).  Additionally, there must be a mechanism for holding FEB to account when they fail to meet the agreed processing timescales set out in the Service Charter.
  • Given the vital role that FEB plays in helping to ensure public safety, any income derived from firearms licensing fees should, in its entirety, be ringfenced for FEB. Additionally, the Chief Constable should ensure that FEB is always staffed to full capacity.  The implementation of both measures would help ensure that FEB perform to the standards set out in MPMNI.
  • The DoJ appeals process is broken, as those who appeal face protracted delays of up to and beyond two years. The broken appeals system means that a person aggrieved by a decision of the Chief Constable has no recourse. Once again this demonstrates a lack of accountability, contrary to the standards set out in MPMNI. The DoJ appeals process needs to be fixed.
  • I recommend that air rifles should remain within what has been known as the air rifle band (Band 1).
  • I recommend that 17 Winchester Super Magnum (.17WSM) should not be included in band 3 of Schedule 1A as this is a rimfire calibre which belongs in Band 2.
  • I recommend that .17WSM should be added to Schedule 1A, but it should be added to Band 2, to sit alongside the other rimfire calibres with which it has more in common than those in Band 3.
  • I agree with the proposal to add the 6.5 Creedmoor; 6.5×47 Lapua; .260 Remington and 7×57 Mauser to Band 4 of Schedule 1A.
  • DoJ and PSNI are aware that banded system transactions significantly reduce the administrative burden on FEB and with that I feel strongly that the list of calibres should be significantly expanded compared to what currently exists. If PSNI and/or DoJ have any genuine public safety concerns in relation to any calibre within specific bands, these concerns need to be shared and discussed with key stakeholders.
  • I feel strongly that firearms dealer holdings under the Ministerial Directive are increased, as the current limits on holdings restrict trade.

Add further points as you wish.

Option 2

Submit the key points from option 1 and any further points in a typed or hand-written letter to:

Firearms and Explosives Branch,
Department of Justice,
Block 4,
Knockview Buildings,
Stormont Estate,
Belfast,
BT4 3SJ.

Option 3

Respond to the consultation using either the DOJ’s online consultation response form or the DoJ’s downloadable response questionnaire.

Complete the DoJ online consultation response form

Download the DoJ response questionnaire

The questions are the same for both forms and BASC’s guidance can be used for either. The online form gets submitted direct to DoJ when you complete it. The completed response questionnaire needs to emailed or posted to the DoJ.

Download BASC guidance on answering the questions

Why your response is critically important.

The service delivered by PSNI FEB has for many years been well below that standard required by Managing Public Money in Northern Ireland (MPMNI) and that needs to improve, hence BASC’s call for a review.  This is your opportunity to strengthen the argument for an improvement in service.

Even if you are not an air rifle or rifle holder/user, please also take the time to respond to the banded system section of the consultation. 

Banded system transactions are same day, over the counter transactions, carried out by a firearms dealer on his premises.  The DoJ and PSNI have acknowledged that such transactions reduce the administrative burden on FEB.  If the administrative burden on the branch is reduced, the licensing system becomes more efficient and that benefits all applicants.

Thank you

Thank you for reading this and we hope that you will act on it. Please help spread the word to everyone that shoots by sharing this webpage by email and on your social media accounts. 

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