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Trade traps Why EU-ACP Economic Partnership Agreements pose a threat to Africa’s development www.actionaid.org EPA zones in Africa: Southern African Central Africa (CEMAC) West Africa (ECOWAS) Eastern and Southern Africa Development Community (ESA) (SADC) Cameroon, Central African Benin, Burkina Faso, Republic, Chad, Congo (Republic Cape Verde, The Gambia, Burundi, Comoros, Congo Angola, Botswana, Lesotho, of), Equatorial Guinea, Gabon, Ghana, Guinea, Guinea-Bissau, (Democratic Republic of), Mozambique, Namibia, São Tome and Principe Côte d’Ivoire, Liberia, Mali, Djibouti, Eritrea, Ethiopia, Kenya, Swaziland, Tanzania Mauritania, Niger, Nigeria, Malawi, Mauritius, Madagascar, Senegal, Sierra Leone, Togo Rwanda, Seychelles, Sudan, Uganda, Zambia, Zimbabwe MOORROCCO ALGERIA LIBYA EGYPT WESTTTTERN SAAHHHHARAA MAURITANIA MALI NIGER CAPE VERDE CHAD ERI SENEGALLLL SUDAN RRRREEEEA GAMBIAAAAA BURKINAA DJIBOUTI GUINEA BISSUAAAA GUINEA FASO NIGERIA SOMALILAND SIERRA LEONNNNE COTE ON CENTRAL ETHIOPIA D'IVOIREEE TTOO AFRICAN REEPPP... 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SADC LESOOOOTTTTHHHOOO SOUTH AFRICAA 19 F 39 fighting poverty together Trade traps Why EU-ACPEconomic Partnership Agreements pose a threatto Africa’s development Contents Acronyms and abbreviations Executive summary 1 Introduction 2 EPAs: the European Commission’s main arguments 3 EPAs: the impact of reciprocity on development and poverty reduction in Africa 4 EPAs: the impact on African government revenues and public services 5 EPAs: investment and other ‘Singapore issues’ 6 EPAs: the impact on African regional integration 7 EPAs: the negotiations are flawed 8 EPAs: the alternatives 9 Conclusions and recommendations References fighting poverty together 1 www.actionaid.org Acronyms and abbreviations ACP Africa, Caribbean and Pacific group ofcountries IMF International Monetary Fund ADB African DevelopmentBank IPA investmentpromotion agency AU African Union KACFC Kenya Agro-Chemicals and Food Company BIT Bilateral InvestmentTreaty MDG Millennium DevelopmentGoal CAP Common Agricultural Policy MIGA Multilateral InvestmentGuarantee Agency CEMAC Central African Economic and Monetary Community NAFTA North American Free Trade Agreement COMESA Common MarketforEastern and Southern Africa NIC Newly Industrialising Countries CPA Cotonou Partnership Agreement OECD Organisation forEconomic Co-operation and Development DRC Democratic Republic ofCongo PTA Preferential Trade Area forEastern and Southern EAC EastAfrican Community Africa EBA Everything ButArms initiative RTA Regional Trade Agreement EC European Commission SADC Southern African DevelopmentCommunity ECOWAS Economic Community ofWestAfrican States SADCC Southern African DevelopmentCo-ordination EPA Economic Partnership Agreement Conference ESA Eastern and Southern Africa (Economic Partnership SAP Structural AdjustmentProgramme Agreementgroup) SDT Special and Differential Treatment EU European Union TDCA Trade, Developmentand Co-operation Agreement FAO Food and Agriculture Organization (United Nations) (EU-South Africa) FDI Foreign DirectInvestment UNCTAD United Nations Conference on Trade and FTA Free Trade Agreement Development GATS General Agreementon Trade in Services UNDP United Nations DevelopmentProgramme GATT General Agreementon Tariffs and Trade UNECA United Nations Economic Commission forAfrica GDP Gross Domestic Product VAT Value Added Tax ICOUR Irrigation Company ofthe UpperEastRegion WAEMU WestAfrican Economic Monetary Union (Ghana) WTO World Trade Organization ICSID International Centre forthe SettlementofDisputes 2 fighting poverty together Trade traps Why EU-ACPEconomic Partnership Agreements pose a threatto Africa’s development Executive summary Proposed Economic Partnership The EU is using the EPA negotiations to push through agreements on investment, governmentprocurement Agreements (EPAs) between the and competition policy thatdeveloping countries European Union and African, Caribbean rejected atWTO negotiations in 2003. These and Pacific (ACP) countries constitute a agreements would reduce the policy space available to African governments. major threat to poverty reduction and development. They will: EPAs threaten regional integration, a central plankof African developmentstrategy since political independence. This strategy has soughtto ameliorate n constructnew and unfairtrade rules by creating free the economic problems created by the colonial trade areas between the EU and regional groupings fragmentation ofAfrica into many nation states with little ofACPcountries economic coherence. The EPAs configuration process n reduce the policy space thatACPcountries need to has created new regional groupings thatare develop theireconomies and eradicate poverty inconsistentwith, and undermine, existing African economic and political blocs. Reducing regional n lead to significantlosses in ACPfiscal revenues integration to trade liberalisation undermines the broadersocio-economic and political objectives of n lead to de-industrialisation in ACPcountries existing bodies. n undermine African regional integration ACPconcerns have been marginalised while the European Commission has employed divide-and-rule n grantEuropean corporations greaterrights over tactics in the EPA negotiations. The European African economies. Commission ignored ACPconcerns during the first phase ofthe negotiations and continues to meddle in This reportchallenges the European Commission’s internal ACPnegotiation processes underthe guise of argumentthatfree trade EPAs are the only way to meet capacity building. WTO requirements and to integrate African countries into the global economy. Developing countries have a There are viable alternatives to EPAs, such as extending rightto special and differential treatmentunderWTO the Everything ButArms scheme to all ACPcountries or rules: any new trade agreementbetween the EU and revising WTO rules to allow fortruly pro-poorand pro- ACPcountries mustpreserve and expand this right. developmentEPAs. New research by ActionAid in Ghana and Kenya refutes ActionAid calls on British and European governments the European Commission’s argumentthatEPAs would to change the European Commission’s EPA negotiating aid poverty reduction and promote sustainable mandate, and withdraw demands forreciprocal trade development. On the contrary, reciprocal trade liberalisation and agreements on the ‘Singapore issues’. liberalisation underEPAs would lead to a decline in Both EU and ACPcountries mustpush forthe reform of manufacturing and agro-industrial development. Agro- WTO rules to allow forpro-poorand pro-development processing industries, such as the Ghanaian tomato trade agreements between developing and developed and Kenyan sugarindustries are particularly vulnerable. countries. The European Commission mustbegin an Eliminating tariffs would create significantrevenue immediate examination ofall possible alternatives losses fora typical sub-Saharan African government to EPAs. leading to eithersevere cutbacks in public services or increased taxes on poorpeople. fighting poverty together 3 www.actionaid.org 1. Introduction Three decades afterthe firstLomé convention setthe arrangementbetween them had to treatACPcountries trading relationship between the European Union and differently. With the expiry ofthe Lomé preferences, the African, Caribbean and Pacific (ACP) countries, new EU and ACPcountries signed a cooperation accord economic partnership agreements (EPAs) are being known as the Cotonou Partnership Agreement(CPA) in negotiated thatconstitute a majorthreatto poverty 2000, which provides forthe negotiations and reduction efforts and the developmentprospects of establishmentofnew trade agreements between the some ofthe world’s poorestcountries. EU and regional ACPgroupings by 1stJanuary 2008. New research by ActionAid in Ghana and Kenya shows EPA negotiations are one setofa series ofbilateral thatthe proposed EPAs would harm African negotiations taking place in parallel to the multilateral industrialisation efforts by forcing fledging industries to WTO talks.5The growing influence ofdeveloping compete with established European corporations. Lost countries atthe WTO, particularly oflargercountries revenues from indiscriminate and premature trade such as China, India and Brazil, has made itmore liberalisation would create a strain on government difficultforthe EU and US to dictate terms to the rest finances and public services. EPA investment ofthe world.6 As a resultboth economic superpowers agreements would restrictthe ability ofAfrican have increasingly focused on bilateral and regional governments to pursue nationally prioritised economic trade negotiations in orderto secure new markets for and social objectives. theirgoods and services and obtain concessions from poorcountries thatwould be difficultto achieve at Trade with the EU is very importantforAfrica. The EU the WTO. is a farmore importantmarketforAfrica than the US orJapan.1 Forhistorical reasons, the EU is sub-Saharan EPAs are premised on the assumption that Africa’s single largesttrading partner, receiving about indiscriminate trade liberalisation and market 31% ofAfrica’s exports and supplying 40% ofits deregulation are bestforachieving development. This imports.2 model ofdevelopmentwas forced upon many developing countries in the 1980s and 1990s through Between 1975and 2000, trade between the EU and policy conditions imposed by the World Bankand the ACPcountries was governed by the Lomé conventions,3 IMF, with disastrous consequences.7 Underthis model, which granted ACPcountries betteraccess to the EU the numberofpeople living below the poverty line marketthan otherdeveloping countries.4The continued to rise ratherthan decline, with 1.2billion preferences granted to ACPcountries underthese people in the developing world living on less than conventions were non-reciprocal: ACPcountries did not US$1a day by 2000. In Africa, the numberincreased have to extend similarorotherpreferences to the EU in from 217million in 1987to 291million (46% ofthe total return. This was based on the recognition that, because population) in 2000.8 ofthe vastdifferences in economic development between the EU and ACPcountries, any fairtrade 1 Stevens, C. and Kennan, J. (2004) ‘Comparative Study of Preferential Access Schemes forAfrica’, Report on a DFID-commissioned study, IDS: April 2004, p.17. 2 Hinkle, L. and Schiff, M. (2004) ‘Economic Partnership Agreements between Sub-Saharan Africa and the EU: a development perspective’, World Economy, Vol.27, Issue 9. 3 They remain in place undera WTO waiveruntil December2007when they must eitherbe replaced by anothertrade agreement orbe extended through anotherWTO waiver. 4 Guaranteed quotas and prices and/orduty free market access, in certain agricultural products, especially sugar, beef and bananas. 5 There are 6 EPA regions in total: 4forAfrica, 1forthe Caribbean, 1forthe Pacific. 6 Although rich countries still do theirbest to get theirway by using dirty tricks and underhand tactics. See ActionAid (2004) ‘Divide and Rule: the EU and US response to developing country alliances at the WTO’. 7 On the failure of the ‘Washington Consensus’see, Kohsaka, A. (2004) New development strategies: Beyond the Washington Consensus, Palgrave, Macmillan; Stewart, F. et al (1987) Adjustment With a Human Face, UNICEF, New York; UNCTAD (2002) Economic Development in Africa, UNCTAD, Geneva. 6 World Bank(2001) Attacking Poverty, Oxford University Press, Oxford. 4 fighting poverty together Trade traps Why EU-ACPEconomic Partnership Agreements pose a threatto Africa’s development In a series ofstudies, Harvard University economist, Evidence from successful developers including the US, Dani Rodrik, has shown thatthere is little evidence that UK, otherEuropean countries and the ‘Asian tigers’ trade liberalisation is correlated with economic growth. shows thatprotecting infantindustries was an important He has shown thatwhilstno country has developed partofearly trade and industrial policy.12 Careful use of successfully by turning its backon international trade, protection togetherwith otherpolicies to encourage none has developed by simply liberalising its trade backward and forward linkages, learning and adoption either. The critical balance lies in each country adopting oftechnology will be needed by African countries to its own trade and investmentpolicies and strategies, in overcome the many marketfailures thatexistin their line with its developmentneeds.9 economies. Successful developed countries did not acceptthe economists’notion offixed comparative A growing body ofevidence supports Rodrik’s work. For advantage in producing and exporting particulargoods; instance, the Africa Economic Report 2004 concludes rather, they developed comparative advantage as they thattrade liberalisation alone will notboostgrowth and wentalong. Forexample, Taiwan was transformed from poverty reduction in Africa.10 Instead, the reportargues a tiny Japanese colony in the 1940s to a global leader thatthe successful integration ofAfrica into the world in steel and micro-processors in a single generation. economy will require better-educated and healthier Successful developmentneeds a dynamic, long-term workforces, improved economic and political policy approach, which Africa will lose ifitlocks itself governance, betterquality infrastructure, and dynamic into free trade with Europe. trade policies, including gradual and targeted trade liberalisation. A recentreportby the United Nations ActionAid believes thattrade and markets can be Conference on Trade and Development(UNCTAD) importantinstruments forachieving economic draws a similarconclusion.11 developmentand poverty reduction. Butthey mustbe managed fairly to enhance opportunities forthe poor Trade liberalisation plus enhanced marketaccess does and to protectthe vulnerable. ActionAid calls forthe notnecessarily equal poverty reduction: mostpoor demands forfull reciprocal trade liberalisation and countries undertookextensive trade liberalisation in the negotiations on investment, competition policy and 1990s, and also received some degree ofpreferential public procurementto be dropped from the EPA marketaccess from developed countries, but negotiations. Alternatives to EPAs mustbe sought. performed dismally in reducing poverty. UNCTAD warns thatifpasttrends continue, the poorestcountries in the world will continue to lag behind the restin 2015, the yearby which the international community hopes to halve the proportion ofthe global population living in extreme poverty. 9 See Rodriquez, F. and Rodrik, D. (1999) ‘Trade Policy and Economic Growth: A Sceptic’s Guide to the Cross-Country Evidence’, Centre forEconomic Policy Research, Discussion Paper Series 2143; Rodrik, D. (2001) ‘The Global Governance of Trade As If Development Really Mattered’, UNDP; Rodrik, D. (2002) ‘Trade Rout: Reform in Argentina, Take Two’, New Republic, 14th January 2002. 10 UNECA (2004) Africa Economic Report 2004, UNECA, New York. 11 UNCTAD (2004) The Least Developed Countries Report, UNCTAD, Geneva. 12 Chang, H-J. (1993) ‘The Political Economy of Industrial Policy in Korea’, Cambridge Journal of Economics, Vol.16, No.2; Amsden, A. (1989) Asia’s Next Giant, OUP, Oxford. fighting poverty together 5 www.actionaid.org 2. EPAs: the European Commission’s main arguments The European Commission advances two main 5. (c) any interim agreement shall include a plan and arguments in supportofits demand forthe creation of schedule forthe formation of such a customs union free trade agreements (FTAs) between itselfand orof such a free-trade area within a reasonable regional groupings ofACPcountries. The firstis legal – length of time16 thatthis is the only arrangementacceptable to the The WTO’s understanding ofa “reasonable length of WTO. The second is economic – thatsuch FTAs will time”is that: stimulate economic developmentin ACPcountries.13 We deal with each ofthese in turn. The "reasonable length of time" referred to in paragraph 5(c) of Article XXIVshould exceed 10 WTO compatibility: years only in exceptional cases. In cases where the European Commission’s legal argument Members parties to an interim agreement believe The Cotonou Partnership Agreement(CPA) that that 10 years would be insufficient they shall provide provides forEPA negotiations explicitly links them to the a full explanation to the Council forTrade WTO, stating that: in Goods of the need fora longerperiod.17 The Parties agree to conclude new WTO-compatible Article XXIVgoes on to say that: trading arrangements.14 8. (b) A free-trade area shall be understood to mean In the early 1990s, the non-reciprocal trade preferences a group of two ormore customs territories in which underLomé governing trade relations between the EU the duties and otherrestrictive regulations of and ACPcountries were increasingly challenged: they commerce (except, where necessary, those were seen to discriminate againstotherdeveloping permitted underArticles XI, XII, XIII, XIV, XVand XX) countries and were therefore deemed incompatible with are eliminated on substantially all the trade between certain WTO rules. There was also concern thatthe the constituent territories in products originating in trade preferences had failed to integrate many ACP such territories… 18 countries into the global economy and were less likely The European Commission interprets the above clauses to do so because ofincreasing preference erosion (a to mean that90% ofthe trade in goods between the decline in the value ofthe Lomé preferences as a result two parties mustbe liberalised overa period of10-12 ofmultilateral trade liberalisation).15This was the context years19 an interpretation firstused during the EU-South underwhich EPAs were proposed. African trade negotiations in 1999. EPAs fall underthe WTO rules on regional trade There are a numberofproblems with the EU’s agreements (RTAs). The mostimportantofthese is conception ofreciprocity in EPAs. Firstly, the principle of Article XXIVofthe General Agreementon Tariffs and reciprocity as intended in the GATT/WTO does not Trade (GATT) 1994, a founding documentofthe WTO, necessarily carry overto North-South trade agreements, which states that: since small countries have notbeen required to offer 13 Lamy, P. (2004) Opening of the negotiations forthe Economic Partnership Agreement (EPA) between the Caribbean Forum of ACPStates (CARIFORUM) and the European Union, Statement by Pascal Lamy, Kingston, Jamaica, 16th April 2004, http://europa.eu.int/comm/commissioners/lamy/speeches_articles/spla220_en.htm 14 Article 36.1of the Cotonou Partnership Agreement (2000). 15 Mbuende, K. and Davies, R. (2002) ‘Beyond the Rhetoric of Economic Partnership Agreements’, www.weedbonn.org/eu/texte/Booklet-Cape-Town-JPA.doc 16 WTO (1994) ‘General Agreement on Tariffs and Trade: Article XXIV’: http://www.wto.org/english/tratop_e/region_e/regatt_e.htm#gatt 17 WTO (1994) ‘Understanding on the Interpretation of Article XXIVof the General Agreement on Tariffs and Trade 1994’, http://www.wto.org/english/tratop_e/region_e/regatt_e.htm#gatt 18 WTO (1994) ‘General Agreements on Tariffs and Trade: Article XXIV’, http://www.wto.org/english/tratop_e/region_e/regatt_e.htm#gatt 19 European Commission (undated) interpretation of Article XXIV, http://europa.eu.int/comm/external_relations/mercosur/bacground_doc/template_paper5.htm; also based on EU-South Africa Trade, Development and Co-operation Agreement liberalisation timescale. 6 fighting poverty together Trade traps Why EU-ACPEconomic Partnership Agreements pose a threatto Africa’s development reciprocal concessions to industrial countries in Asymmetrical ornot, reciprocity would ‘lockin’African multilateral negotiations.20The 1979 Enabling Clause countries to only one path to development– thatofa calls upon industrialised countries notto seekreciprocal liberalisation orfree trade model. More importantly, concessions inconsistentwith the development, basing African country trade liberalisation commitments financial and trade needs ofindividual developing on arbitrary timeframes presupposes thatdevelopment countries. Secondly, reciprocity between developing is a linearprocess, which is often notthe case. Whatis and developed countries can be very damaging to the the use ofgiving a country a longertransition period, formerbecause the asymmetries in economic size when they may be worse offeconomically in 15years’ mean thatdeveloping countries have to make relatively time than they are now? largerconcessions and beardisproportionately high costs ofadjustmentthan the developed countries. Special and differential treatment fordeveloping Premature trade liberalisation can also contribute to de- countries industrialisation in developing countries, characterised The European Commission’s claim thatEPAs mustbe by a decline in manufacturing, the collapse of free trade areas in orderto conform to WTO rules is industries, and a loss ofjobs and ‘tacitknowledge’.21 self-serving and misleading. The WTO recognises that ForAfrican counties to liberalise 90% ofall trade with developing and developed countries are different, and the EU within a 10-12yearperiod would require them to reflects this in its rules on special and differential open all but10% oftheirmarkets to EU products within treatment(SDT). Forexample, the General Agreement a decade, regardless ofthe structural weaknesses or on Trade in Services (GATS) makes special provision for the macro-economic conditions oftheireconomies. developing countries in relation to regional agreements on services.23SDTis also explicitly partofthe Cotonou ‘Asymmetrical liberalisation’is not the solution Partnership Agreement, which states that: The proposition thatthe gap in developmentbetween Economic and trade co-operation shall take account EU and ACPcountries can be addressed through of the different needs and levels of development of ‘asymmetrical reciprocity orliberalisation’is not the ACPcountries and regions. In this context, the convincing. Parties reaffirm theirattachment to ensuring special and differential treatment forall ACPcountries.24 Although this differential approach, based on the trade agreementbetween the EU and South Africa22, gives WTO compatibility is a moving target ACPcountries the opportunity to make slightly less drastic (under90%) cuts in tariffs overa slightly longer Furthermore, an examination ofall SDT-related time period, the extentto which developing countries provisions is partofthe ongoing WTO Doha round liberalise theirtrade should be based on theirindividual negotiations,25 effectively making WTO compatibility a developmentand economic needs, and notdetermined moving target. In fact, ACPcountries tabled a proposal by arbitrary timeframes and productcoverage. atthe WTO in April 2004seeking more flexibility with regard to the interpretation ofreciprocity in FTAs between developed and developing countries: 20 Freund, C. (2002) ‘Reciprocity in Free Trade Agreements’, World Bank; Staiger, R. ‘Tariff Phase-Outs: Theory and Evidence from GATTand NAFTA: Comment’in Frankel, J (ed) (1998)The Regionalization of World Economy, University of Chicago Press, Chicago; Yanai, A. (2001) ‘Reciprocity in Trade Liberalisation’, APEC Study Center, Working PaperSeries 00/01– No 2. 21 See forinstance, Freund, C. (2002); Hinkle, L. and Schiff, M. (2004); Frankel, J. (1998); World Bank(2004) Global Economic Prospects 2005, World Bank, Washington D.C; Yanai, A. (2001). 22 Underwhich South Africa was to liberalise about 86% of its trade with the EU, and the EU was to liberalise about 94% with South Africa (90% unweighted average of the two sides’trade). 23 Article V, paragraph 3.a of WTO (1994) General Agreement on Trade in Services. 24 Article 35.3 of the Cotonou Partnership Agreement (2000) 25 WTO (2001) ‘Doha Ministerial Declaration’’, Paragraph 44. fighting poverty together 7 www.actionaid.org 2. EPAs: the European Commission’s main arguments With regard to duties, appropriate flexibility shall be Whateverhappened to the ‘round forfree’? provided fordeveloping countries in meeting the In May 2004the EU proposed a special deal forthe “substantially all the trade”requirement in respect of world’s poorestcountries atthe WTO. Known as a trade and product coverage, including in terms of ‘round forfree’, the offerwas thatthe G-90 group of the application of favourable methodology and/or leastdeveloped countries and ACPstates, lowerthreshold levels, if to be applied, in the measurement of trade and product coverage of would not be called upon to furtheropen their developing country parties to an RTA [regional trade markets while they would benefit from improved agreement]. access to developed and rich developing markets fortheiragricultural and industrial products.28 The maximum length of the transition period permissible is to be established, the period should Although this was a political tactic employed by the EU be determined in such a mannerthat is consistent to divide developing countries atthe WTO (by creating with the trade, development and financial situation a wedge between the G-90 and the G-20), taken at of developing countries, but in any case not less face value, the EU appeared to acceptthe development than 18 years.26 case fornon-reciprocal trade liberalisation atthe WTO. Yetin parallel EPA negotiations, the EU insists that This matteris ofinterestto many developing countries reciprocity is good forACPcountries. The contradiction in the lightofthe proliferation ofFTAs between is glaring. developed and developing countries.27 However, the EU continues to show little interestin changing WTO rules on regional trade agreements, insisting thatthe current WTO rules offerenough ‘flexibility’to enable the creation ofdevelopment-friendly trade agreements between developed and developing countries. 26 WTO (2004) ‘ACPSubmission on Regional Trade Agreements’, 28th April 2004, pp.3-4. 27 Forinstance, CAFTA (the Central America Free Trade Agreement) which brings togetherthe US and El Salvador, Honduras, Nicaragua, Guatemala, and laterCosta Rica and the FTAA (the Free Trade Area of the Americas) which brings togetherthe US and 34othercountries in the Americas8 28 European Commission (2004) ‘WTO-DDA – EU ready to go extra mile in three key areas of the talks’, 10th May 2004, http://europa-eu-un.org/articles/lt/article_3490_lt.htm 8 fighting poverty together

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EPA Economic Partnership Agreement. ESA Eastern and Southern Africa ( Economic Partnership. Agreement group). EU European Union. FAO Food and
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