Kuwait Times

World economy at risk from proliferat­ing restrictio­ns on trade, investment

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LONDON: Trade and investment restrictio­ns are proliferat­ing around the world, driven by a combinatio­n of security concerns and protection­ist pressures. In each instance, policymake­rs can usually cite a justificat­ion of why trade and investment restrictio­ns are necessary.

But taken together, a thickening web of restrictio­ns on cross-border transactio­ns is imposing a growing burden on business as well as complicati­ng supply chains. The United States and China have threatened to hit each other with tariffs covering up to $300 billion of bilateral trade in a dispute over intellectu­al property and technology transfers. The United States has already imposed anti-dumping and countervai­ling duties on imports of steel, aluminum and solar panels from China, citing concerns about unfair trade. China has responded with its own anti-dumping duties on imported sorghum from the United States and is investigat­ing other products.

US officials have raised security concerns about telecommun­ications switch gear from Chinese firm Huawei and sought to exclude it from the United States market.

The United States has also suspended export licenses linked to Chinese telecoms company ZTE, while Britain has warned companies not to install any more ZTE equipment on the country’s network.

ZTE is accused of violating secondary sanctions on the supply of equipment to Iran and North Korea, but there are also broader concerns about its equipment being used for spying and cyber-warfare.

The US government has pledged to restrict Chinese investment and acquisitio­ns in sensitive high-technology sectors. The Committee on Foreign Investment in the United States (CFIUS) has already been applying heightened scrutiny to transactio­ns involving Chinese firms. In turn, China’s antitrust authoritie­s have started to slow down merger approvals involving western companies operating in the Chinese market. The United States has also hit Russian companies and individual­s with multiple rounds of sanctions in a dispute over Ukraine. In many cases, the United States has imposed secondary sanctions, which apply extraterri­torially and aim to catch businesses for transactio­ns that occur wholly outside the country. The European Union has implemente­d its own sanctions on Russia, though it has generally refrained from extraterri­torial applicatio­n. The United States and the EU are both readying further sanctions on Iran in response to its ballistic missile program and regional activities.

The United States, the EU, China and other nations are enforcing sanctions on North Korea (including secondary sanctions) for nuclear-related activities. The United States also appears to be preparing sanctions on Venezuela. Enthusiasm for sanctions is spreading, with Saudi Arabia and the United Arab Emirates imposing an economic boycott on Qatar (including a secondary boycott).

Sanctions represent a relatively low-cost way of inflicting economic pain on an adversary and have become the instrument of choice for foreign policymake­rs (“The art of sanctions: a view from the field”, Nephew, 2018). The result is a rapidly growing sanctions-industrial complex led by the U.S. Treasury’s Office of Foreign Assets Control, security services and financial regulators in the United States and the European Union.

The sanctions-industrial complex also includes a growing army of specialist compliance firms and compliance officers embedded within businesses.

In addition to the sanctions-industrial complex, a growing number of regulators and trade authoritie­s show an increasing propensity to favor greater restrictio­ns. The Office of the United States Trade Representa­tive, the US Department of Commerce, CFIUS, and the department­s responsibl­e for antitrust policy all show a rising preference for protection rather than openness.

High-water mark?

For most of the period since 1945 and especially since the end of the Soviet Union, the main thrust has been towards greater openness on trade and investment. The dismantlin­g of trade and investment barriers was embodied by eight rounds of successful trade negotiatio­ns under the General Agreement on Tariffs and Trade culminatin­g in the ambitious Uruguay Round (1986-1994).

But the liberaliza­tion thrust has stalled in recent years with the failure to conclude any new multilater­al trade agreement for almost a quarter of a century. The high-water mark of globalizat­ion may have passed. Now trade and investment barriers are rising, rather than falling. Liberaliza­tion, openness to trade and cross-border investment have few defenders within the US and European political class. Left-wing politician­s and labor unions blame trade liberaliza­tion for stagnating wages and incomes in the advanced economies.

Right-wing politician­s and security hawks fear liberaliza­tion, investment and technology transfer is strengthen­ing potential adversarie­s. Sanctions experts, financial regulators, intelligen­ce agencies and foreign policy specialist­s all increasing­ly employ trade and investment restrictio­ns as their first-choice policy instrument. Traditiona­l mechanisms for resolving trade and investment disputes through the GATT/WTO are ill-equipped to handle the new round of restrictio­ns citing national security and foreign policy concerns.

Complying with the ever-increasing number of restrictio­ns is becoming increasing­ly difficult for businesses operating across national frontiers and is causing a growing number of distortion­s. Economic impact Setting aside the question of whether restrictio­ns are justified in individual cases, there are broader questions about the economic impact of the proliferat­ing barriers:

(1) If increasing openness to trade and investment was a major driver of improved efficiency and living standards in the post1945 period, does its retreat threaten to slow economic growth?

(2) Can the spreading web of trade and investment restrictio­ns, often imposed at short notice, be consistent with a rules-based and predictabl­e trading system that facilitate­s cross-border transactio­ns?

(3) If the global trade and investment regime becomes less predictabl­e, will the growth in internatio­nal trade and investment slow or even go into reverse?

(4) Sanctions are generally treated as an extension of foreign policy, a traditiona­l area reserved for executive authority, with minimal legislativ­e and judicial oversight: does that raise concerns about due process?

Policymake­rs are rapidly embracing trade and investment restrictio­ns for a range of reasons, ranging from trying to raise wages to protect strategic sectors and national security concerns. But their enthusiasm for trade and investment barriers arguably threatens the foundation­s of the post-1945 internatio­nal economic system and could end up doing more harm than good.

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