Wir2017 en
Wir2017 en
Wir2017 en
EMBARGO
The contents of this Report must not
be quoted or summarized in the print,
broadcast or electronic media before
7 June 2017, 17:00 GMT.
(1 p.m. New York; 7 p.m. Geneva;
10.30 p.m. Delhi; 2 a.m. on 8 June, Tokyo)
WORLD
INVESTMENT
REPORT 2017
INVESTMENT AND THE DIGITAL ECONOMY
NOTE
In 2016, global flows of foreign direct investment fell by about 2 per cent, to
$1.75 trillion. Investment in developing countries declined even more, by 14 per
cent, and flows to LDCs and structurally weak economies remain volatile and
low. Although UNCTAD predicts a modest recovery of FDI flows in 20172018,
they are expected to remain well below their 2007 peak.
These developments are troublesome, especially considering the enormous
investment needs associated with the Sustainable Development Goals, detailed
in UNCTADs Action Plan for Investment in the SDGs. Progress on sustainable
development and lasting peace requires more investment in basic
infrastructure, energy, water and sanitation, climate change mitigation, health
and education, as well as investment in productive capacity to generate jobs and
income growth.
Now more than ever it is important to ensure that the global policy environment
remains conducive to investment in sustainable development. UNCTAD plays
an important role in this, by providing guidance on national and international
investment policy regimes. Its Investment Policy Framework and Roadmap for
Reform of International Investment Agreements have been used by more than
130 countries in formulating a new generation of investment policies. This years
World Investment Report builds on that track record and presents policy advice
on how to deal with close to 3,000 old-generation investment treaties.
A key challenge for policymakers in todays global economy is digital development.
The theme chapter of the Report this year shows that the digital economy is
having a major impact on global patterns of investment. It provides important
insights on the implications of the digital economy for investment policies
designed for the analogue era, and suggests how investment policy can support
digital development.
I commend this Report as an important tool for the international investment and
development community.
Antnio Guterres
Secretary-General of the United Nations
Preface iii
FOREWORD
The digital economy is becoming an ever more important part of the global economy.
It offers many new opportunities for inclusive and sustainable development. It also
comes with serious policy challenges starting with the need to bridge the digital
divide. Both the opportunities and challenges are top policy priorities for developing
countries.
The digital economy is fundamentally changing the way firms produce and market
goods and services across borders. Digital multinationals can communicate with
and sell to customers overseas without the need for much physical investment in
foreign markets. Their economic impact on host countries is thus more ethereal
and less directly visible in productive capacity generation and job creation. And,
today, the digital economy is no longer just about the technology sector and digital
firms, it is increasingly about the digitalization of supply chains across all sectors
of the global economy.
The digital transformation of international production has important implications
for investment promotion and facilitation, and for regulations governing investor
behaviour. Rules designed for the physical economy may need to be reviewed in
light of new digital business models. Some countries have already taken steps
to modernize policies; others face the risk of letting rules become obsolete or of
unintentionally slowing down digital development.
Because it is not just about digital multinationals. It is also about developing
domestic digital capacities. Many countries around the world have development
strategies for the digital economy. Yet most of these strategies fail to adequately
address investment issues. And those that do tend to focus exclusively on
investment in telecommunication infrastructure. The investment policy dimension
of digital development strategies should be broadened to enabling domestic firms
to reap the benefits of digitalization and easier access to global markets.
The World Investment Report 2017 makes a cogent argument for a comprehensive
investment policy framework for the digital economy. It demonstrates how aligning
investment policies with digital development strategies will play a pivotal role in the
gainful integration of developing countries into the global economy and in a more
inclusive and sustainable globalization in the years to come. This is an indelible
contribution to the discourse on how to narrow the digital divide and meet the
enormous investment challenges of the 2030 agenda on sustainable development.
I commend this report to the SDG policy community.
Mukhisa Kituyi
Secretary-General of UNCTAD
The World Investment Report 2017 (WIR17) was prepared by a team led by James
X. Zhan. The team members included Richard Bolwijn, Bruno Casella, Hamed El-
Kady, Kumi Endo, Thomas van Giffen, Michael Hanni, Klmn Kalotay, Joachim
Karl, Hee Jae Kim, Ventzislav Kotetzov, Isya Kresnadi, Guoyong Liang, Hafiz Mirza,
Shin Ohinata, Diana Rosert, Astrit Sulstarova, Claudia Trentini, Elisabeth Tuerk,
Joerg Weber and Kee Hwee Wee.
Research support and inputs were provided by Jorun Baumgartner, Lorenzo
Formenti, Mark Huber, Malvika Monga and Linli Yu. Contributions were also made
by Dafina Atanasova, Charalampos Giannakopoulos, Natalia Guerra, Mathabo Le
Roux, Anthony Miller, Abraham Negash, Moritz Obst, Sergey Ripinsky, Jacqueline
Salguero Huaman, Ilan Strauss as well as interns Anastasia Bessonova, Mohamed
Mrad Namji and Armando Pascale.
Statistical assistance was provided by Bradley Boicourt, Mohamed Chiraz Baly and
Lizanne Martinez.
The manuscript was edited with the assistance of Caroline Lambert and copy-
edited by Lise Lingo. Pablo Cortizo was responsible for the design of charts, maps
and infographics; he and Laurence Duchemin typeset the report. Production of
WIR17 was supported by Elisabeth Anodeau-Mareschal, Anne Bouchet, Nathalie
Eulaerts, Rosalina Goyena, Peter Navarrette, Sivanla Sikounnavong and Katia Vieu.
WIR17 benefited from the advice of Michael Kende. At various stages of
preparation, in particular during the expert meetings organized to discuss drafts,
the team received comments and inputs from these experts: Azar Aliyev, Robert
Atkinson, Nathalie Bernasconi, Philippa Biggs, Lisa Borgatti, Jansen Calamita,
Patrice Chazerand, Silvia Constain, Christopher Foster, Torbjrn Fredriksson,
Xiaolan Fu, Ambika Khurana, Markus Krajewski, Simon Lacey, James Lockett,
Fernando Loureiro, Erik van der Marel, Makane Mose Mbengue, Teresa Moreira,
Jan Mischke, Ghislain Nkeramugaba, Davide Rigo, Cristin Rodrguez Chiffelle,
Stephan Schill, Jagjit Singh Srai, Leonard Stiegeler, Alykhan Vira and Eric White.
Also acknowledged are comments received from other UNCTAD divisions as part
of the internal peer review process, as well as comments from the Office of the
Secretary-General. The United Nations Cartographic Section provided advice for
the regional maps.
Numerous officials of central banks, government agencies, international
organizations and non-governmental organizations also contributed to WIR17. In
addition, UNCTAD appreciates the support of all the MNE and IPA executives who
responded to its 2017 World Investment Prospects and Investment Promotion
Agencies surveys. The financial support of the Government of Sweden is gratefully
acknowledged.
Acknowledgements v
ABBREVIATIONS
ACP African, Caribbean and Pacific Group of States
APEC Asia-Pacific Economic Cooperation
ASEAN Association of Southeast Asian Nations
AU African Union
BEPS base erosion and profit shifting
BIT bilateral investment treaty
BRICS Brazil, Russian Federation, India, China, South Africa
CETA Comprehensive Economic and Trade Agreement
CFIA Cooperative and Facilitation Investment Agreement
CFIUS Committee on Foreign Investment in the United States
CFTA Continental Free Trade Agreement (Africa)
CIDS Center for International Dispute Settlement
CIS Commonwealth of Independent States
CMO contract manufacturing organization
COMESA Common Market for Eastern and Southern Africa
CSR corporate social responsibility
EAC East African Community
ECT Energy Charter Treaty
EPA economic partnership agreement
ESG environmental, social and governance
ETEA economic and trade expansion agreement
FET fair and equitable treatment
FfD Financing for Development
FIE foreign-invested enterprise
FTA free trade agreement
GVC global value chain
IIA international investment agreement
ICSID International Centre for Settlement of Investment Disputes
ICTs information and communication technologies
IPA investment promotion agency
IPFSD Investment Policy Framework for Sustainable Development
ISDS investorState dispute settlement
ISP internet service provider
IT information technology
ITU International Telecommunication Union
IXP internet exchange point
LDC least developed country
LLDC landlocked developing country
M&As mergers and acquisitions
Mercosur Mercado Comn del Sur
MFN most favoured nation
NAFTA North American Free Trade Agreement
NICI National Information Communications Infrastructure (Rwanda)
NT national treatment
ODA official development assistance
PAIC Pan-African Investment Code
PPP public-private partnership
RCEP Regional Comprehensive Economic Partnership
RTIA regional trade and investment agreements
SADC Southern African Development Community
SDGs Sustainable Development Goals
SEZ special economic zone
SIDS small island developing States
SME small and medium-sized enterprise
SSE Sustainable Stock Exchanges
TFTA Tripartite Free Trade Area
TIFA trade and investment framework agreement
TIP treaty with investment provision
TISA Trade in Services Agreement
TNI Transnationality Index
TPP Trans-Pacific Partnership Agreement
TTIP Transatlantic Trade and Investment Partnership
UNASUR Union of South American Nations
UNCITRAL United Nations Commission on International Trade Law
VCLT Vienna Convention on the Law of Treaties
PREFACE. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . iii
FOREWORD . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . iv
ACKNOWLEDGEMENTS. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . v
ABBREVIATIONS . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . vi
KEY MESSAGES. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . x
INTRODUCTION. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 2
A. PROSPECTS. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 3
B. CURRENT TRENDS. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 10
1. FDI by geography . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 10
C. INTERNATIONAL PRODUCTION . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 26
2. State-owned MNEs. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 30
INTRODUCTION. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 42
A. DEVELOPING ECONOMIES . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 44
1. Africa . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .44
2. Developing Asia . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 49
B. TRANSITION ECONOMIES . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 64
C. DEVELOPED ECONOMIES. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 70
INTRODUCTION. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 98
1. Overall trends . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 99
3. Indices. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 149
A. INTRODUCTION . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 156
viii World Investment Report 2017 Investment and the Digital Economy
3. The digitalization of MNEs across industries: gradual transformation. . . . 175
REFERENCES . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 219
Annex table 2. FDI stock, by region and economy, 2000, 2010 and 2016. . . 226
Annex table 5. C
ross-border M&A deals worth over
$3 billion completed in 2016. . . . . . . . . . . . . . . . . . . . . . . . . 234
Table of Contents ix
KEY MESSAGES
chaper 1-2
INVESTMENT PROSPECTS
+5% Global investment is seeing a modest recovery, with projections for 2017 cautiously optimistic.
Cautiously Higher economic growth expectations across major regions, a resumption of growth in trade and
a recovery in corporate profits could support a small increase in foreign direct investment (FDI).
optimistic Global flows are forecast to increase to almost $1.8 trillion in 2017, continuing to $1.85 trillion
for 2017
chaper 1-2 in 2018 still below the 2007 peak. Policy uncertainty and geopolitical risks could hamper the
recovery, and tax policy changes could significantly affect cross-border investment.
FDI prospects are moderately positive in most regions, except Latin America and the Caribbean.
Developing economies as a group are expected to gain about 10 per cent. This includes a
2% 2016
Global FDI
+5%-$1.75
sizeable increase in developing Asia, where an improved outlook in major economies is likely to
boost investor confidence. FDI to Africa is also expected to increase, with a modest projected rise
tril ion
Cauti ously
chaper 1-2
in oil prices and advances in regional integration. In contrast, prospects for FDI in Latin America
and the Caribbean are muted, with an uncertain macroeconomic and policy outlook. Flows to
opti
Globalm
FDIiflows
stic transition economies are likely to recover further after their economies bottomed out in 2016.
Flows to developed economies are expected to hold steady in 2017.
for 2017
lost growth momentum
Developed $1 032 bn
+5% Developing
$646 bn
INVESTMENT TRENDS
CautiGlobal
ouslFDIy
$68 bn
20052016 Transition
After a strong rise in 2015, global FDI flows lost growth momentum in 2016, showing that the
2%m2016
-opti istic
A growing role of SO-MNEs
in the global economy
road to recovery remains bumpy. FDI inflows decreased by 2 per cent to $1.75trillion, amid weak
economic growth and significant policy risks, as perceived by multinational enterprises (MNEs).
for 2017
$1.75 tril ion Flows to developing economies were especially hard hit, with a decline of 14 per cent to
$646billion. FDI remains the largest and most constant external source of finance for developing
economies compared with portfolio investments, remittances and official development
assistance. But inflows were down across all developing regions:
1Gl500
obal FDI flows
State-owned MNEs
-20002016
Global FDI FDI flows to developing Asia contracted by 15 per cent to $443 billion in 2016. This first
86 foreign
lost growth momentum
% affiliates decline in five years was relatively widespread, with double-digit drops in most subregions
except South Asia.
$1.75 tril ion Developed $1 032 bn
$646 bn FDI flows to Africa continued to slide, reaching $59 billion, down 3 per cent from 2015,
Developing
chaper 3 mostly reflecting low commodity prices.
$68 bn
20052016 Transition
The downward trend in FDI flows to Latin America and the Caribbean accelerated, with
Gl79
Restriction/Regulation
obal% FDI flows inflows falling 14 per cent to $142 billion, owing to continued economic recession, weak
lost ngrowth
g rolemomentum commodity prices and pressures on exports.
Liberalization/Promotion
A growi of SO-MNEs
in the global economy FDI in structurally weak and vulnerable economies remained fragile. Flows to the least
21%
Developed $1 032 bn
$646 bn developed countries fell by 13 per cent, to $38 billion. Similarly, those to small island
Developing developing States declined by 6 per cent, to $3.5 billion. Landlocked developing countries
$68 bn
20052016 Transition saw stable FDI, at $24billion.
National investment
policy measures Flows to developed economies increased further, after significant growth in the previous year.
1A growi
500ng rolState-owned
e of SO-MNEs MNEs
Inflows rose by 5 per cent to $1 trillion. A fall in FDI in Europe was more than compensated
by modest growth in North America and a sizeable increase in other developed economies.
86 000
in the global
+37
in 2016
foreign
economy
affiliates
Developed economies share in global FDI inflows grew to 59 per cent.
Total IIAs
x 3,324
World Investment Report 2017 Investment and the Digital Economy
chaper 3
Cauti
Cautioousl
uslyy
optim
misistiticc
for 2017
2017
2%%2016
Global FDI
FDI flows to transition economies almost doubled, to $68 billion, following two years of steep
--2 Global FDI
2016
decline reflecting large privatization deals and increased investment in mining exploration $1.75 tril ion
activities. $1.75 tril ion
Major economic groups, such as the G20 and APEC, strongly influenced global FDI trends.
Inflows to the G20 reached a record of more than $1trillion for the first time. Intragroup FDI is a
growing feature in some groups. Global FDI flows
lost growth momentum
FDI outflows from developed countries remained weak. They declined by 11 per cent to $1trillion, Global FDI flows
mainly owing to a slump in investments from European MNEs. Outflows from North America lost growth momentum
Developed $1 032 bn
remained flat, but those from developed countries in Asia-Pacific reached their highest level $646 bn
Developing $1 032 bn
since 2008. The flow of outward investment from developing economies registered a 1per cent Developed
$68 bn
decline to $383 billion, despite a surge of outflows from China, now the second largest investing 20052016 Transition $646 bn
country in the world. Developing
$68 bn
Slower growth in international production contributed to lacklustre global trade expansion. Transition
A growing rol
20052016
e of SO-MNEs
International production by foreign affiliates of MNEs is still expanding, but the rate has slowed
in recent years. The average annual growth rates over the last five years of foreign affiliate sales in the global economy
(7.3 per cent), value added (4.9 per cent) and employment (4.9 per cent) were all lower than in A growing role of SO-MNEs
the equivalent period before 2010 (at 9.7 per cent, 10.7 per cent and 7.6 per cent, respectively).
in the global economy
UNCTADs new database on State-owned MNEs shows their growing role in the global economy.
About 1,500 State-owned MNEs (1.5 per cent of all MNEs) own more than 86,000 foreign
affiliates, or close to 10 per cent of all foreign affiliates. They announced greenfield investments 1 500 State-owned MNEs
86 000 forei gn
accounting for 11 per cent of the global total in 2016, up from 8 per cent in 2010. Their
headquarters are widely dispersed, with more than half in developing economies and almost a affiliates
third in the European Union. China is the largest home economy.
1 500 State-owned MNEs
INVESTMENT POLICY TRENDS 86 000 chaper 3
foreign
affiliates
Investment policymaking is getting more complex, more divergent and more uncertain.
79%
Restriction/Regulation
with which societies and governments respond to the effects of globalization. This, together with
more government interventions, has also reduced the predictability of investment policies for
investors. A rules-based investment regime that is credible, has broad international support and
79% 21%
Restriction/Regulation
aims at sustainability and inclusiveness can help reduce uncertainty and improve the stability of
investment relations.
Most investment policy measures introduced in 2016 aimed at investment promotion, facilitation National investment
and liberalization. Some 58 countries and economies adopted at least 124 investment policy policy measures
measures the highest number since 2006. Entry conditions for foreign investors were
liberalized in a variety of industries, and numerous countries streamlined registration procedures,
21 %
provided new investment incentives or continued privatization. About one fifth of the measures
introduced new investment restrictions or regulations, considerably more than in the early stages +37
of UNCTADs annual reporting in the 1990s. They were manifested not only in new legislation National investment
in 2016
but also in administrative decisions, especially in the context of merger controls involving foreign policy measures
takeovers. Total IIAs
3,324
+ 37
Key Messages xi
Restricti
Liberalization/Prom
National investment
policy measures
21% Many countries govern cross-border investment through specific investment laws that address
a similar set of issues as international investment agreements (IIAs). At least 108 countries have
37
such a law. Investment laws and IIAs share common elements in preambles, definitions, entry
+National investment and treatment of investors, investment promotion and dispute settlement. Reform of IIAs and
modernization of corresponding clauses in investment laws should go hand in hand.
ipolicy
n 2016measures The universe of IIAs continues to grow amid greater complexity. In 2016, 37 new IIAs were
concluded, bringing the total number of treaties to 3,324 by year-end (an additional 4 have
Total IIAs already been concluded during 2017). Over the same time, terminations of at least 19 IIAs
3,324
+37
became effective, with more to come. All of this reflects governments broader re-adjustments of
their international investment policy engagement.
The rate of new treaty-based investorState dispute settlement (ISDS) cases continues unabated.
in 2016
62
In 2016, 62 new cases were initiated, bringing the total number of known cases to 767. As of the
end of 2016, investors had won 60 per cent of all cases decided on the merits.
New Total IIAs The G20 countries adopted the Guiding Principles for Global Investment Policymaking. Drawing
3,324
ISDS cases on UNCTADs Investment Policy Framework for Sustainable Development, the non-binding G20
Principles represent the first time that multilateral consensus on investment matters has been
reached between a varied group of developed, developing and transition economies, accounting
62
for over two thirds of global outward FDI.
IIA reform has made significant progress. Consolidating phase 1 of IIA reform, most new treaties
New follow UNCTADs Road Map (WIR16), which sets out five action areas: safeguarding the right to
regulate, while providing protection; reforming investment dispute settlement; promoting and
ISDS cases facilitating investment; ensuring responsible investment; and enhancing systemic consistency.
Reforming dispute settlement is high on the agenda, with concrete steps undertaken (e.g. reform-
oriented clauses in new treaties, work on the establishment of an international investment court),
including at the multilateral level. Investment facilitation has become an area of increased interest,
and UNCTADs Global Action Menu on Investment Facilitation has obtained strong support from
all investment and development stakeholders. Moreover, recent treaties include new language
1 that preserves host States right to regulate or fosters responsible investment.
10 2 It is time to move to phase 2 of IIA reform: modernizing the existing stock of old-generation
treaties. Old treaties abound: more than 2,500 IIAs in force today (95 per cent of all treaties in
force) were concluded before 2010. Old treaties bite: as of end-2016, virtually all known ISDS
cases were
3 based on those treaties. And old treaties perpetuate inconsistencies: their continued
9 Phase 2 existence creates overlaps and fragmentation in treaty relationships and poses interaction
10options
6
IIA reform can adapt and adopt these options to pursue the reforms set out
in the Road Map in line with their policy priorities.
4 Determining which of these 10 policy options is right for a country
8
in a particular situation requires a careful and facts-based cost-
benefit analysis, while addressing a number of broader challenges.
Strategic challenges include preventing overshooting of reform,
chaper
7 4 5 which would deprive the IIA regime of its purpose of protecting and
6 promoting investment. Systemic challenges arise from gaps, overlaps and
xii World Investment Report 2017 Investment and the Digital Economy
Total IIAs
3,324
chaper 3
7079%62 40%
Restriction/Regulation
assets
%
New
saleISDS
s 21cases
fragmentation that create coherence and consistency problems. Coordination challenges require
Liberalization/Promotion
abroad abroad
prioritizing reform actions, finding the right treaty partners to implement them and ensuring
coherence between reform efforts at different levels of policymaking. Capacity challenges make %
it hard for smaller countries, particularly least developed countries, to address the deficiencies
of old-generation IIAs. National investment
policy measures
Comprehensive regime reform would benefit from intensified multilateral backstopping. UNCTAD,
through its three pillars of work research and policy analysis, technical assistance and
intergovernmental consensus-building can play a key role, as the United Nations focal point 10
+ 37
1
2
32
in 2016
for international investment and the international forum for high-level and inclusive discussions
on todays multilayered and multifaceted IIA regime. 9 TotalPhase
IIAs 2 3
3,324
The world is seeing rapid growth of capital market-related policies and instruments designed 1 10 options
IIA reform
62
to promote investment in sustainable businesses and to support the achievement of the 8 200420174
Sustainable Development Goals (SDGs). These policies and instruments are emanating primarily
More stock New
exchanges
from stock exchanges and their regulators, but with strong involvement from other capital ISDS cases
7 5
market stakeholders such as institutional investors. Stock exchanges are positioned to influence introducing sustainability 6
investors and companies in a way few other actors can through new products and services, as reporting guidance
well as through support for regulators in promoting the adoption of market standards.
chaper 4
Less than
10 2
The digital economy is a key driver of growth and development. It can provide a boost to
25
10options%
competitiveness across all sectors, new opportunities for business and entrepreneurial activity, 9 Phase 2
3
and new avenues for accessing overseas markets and participating in global e-value chains. It
also provides new tools for tackling persistent development problems. Yet, it comes with a host UNCTAD's IIA reform
of
4
8
of policy challenges, including the needs to bridge the digital divide, minimize potential negative
NEW Top 100
DiAssetgligitht:al
social and development impacts, and deal with complex internet-specific regulatory issues. The
Digital MNEs
7 5
opportunities and challenges associated with the digital economy are particularly important for 6
developing countries.
The digital economy has important implications for investment, and investment is crucial for
digital development. The adoption of digital technologies has the potential to transform the Development
chaper 4
international operations of MNEs and the impact of foreign affiliates on host countries. And
digital development in all countries, and in particular the participation of developing countries in
Strategies
the global digital economy, calls for targeted investment policies.
40%
70% assets
sales
The weight of information and communication technology (ICT) MNEs in international production abroad abroad
has increased dramatically in the last five years. Between 2010 and 2015, the number of tech
companies in UNCTADs ranking of the top 100 MNEs more than doubled. The assets of these
MNEs increased by 65 per cent and their operating revenues and employees by about 30 per
UNCTAD's 32
cent, against flat trends for other top 100 MNEs. The importance of digital MNEs including NEW Top 100
internet platforms, e-commerce and digital content firms is also growing rapidly. WIR17 presents
a new top 100, ranking digital MNEs and their international production footprint.
Di1gital MNEs 20042017
25
effects on international production. Depending on industry- and MNE-specific preferences, it can
assets
%
sales abroad
lead to fewer large investments in centralized big-data-enabled production, but also to nimbler, abroad of
distributed 3D printing production. It can lead to reshoring but also to more services outsourcing.
Digital 32
Development
Strategies Key Messages xiii
1 20042017
40%
70% assets
sales
abroad abroad
And it can lead to reconfiguration of supplier relationships in host countries, as well as new
partnership opportunities.
Investment rules and regulations, and policies and institutions for the promotion and facilitation of
investment, should consider the evolving cross-border operating models of MNEs. Of the top 10
32 traditional industries most affected by digitalization, 5 coincide with the top 10 industries in which
countries maintain investment restrictions (mirrored in IIA reservations) and digital MNEs are
expanding into other regulated sectors. Some analogue-era regulations may need to be reviewed to
1 20042017 avoid that they become obsolete or an unintended drag on digital adoption.
More stock exchanges Most countries are actively pursuing the digital opportunity because of its potential development
introducing sustainability benefits. WIR17 contains the findings of a survey of the investment dimension in more than 100
reporting guidance national and regional digital development strategies.
Investment Many digital development strategies either fail to address investment or discuss investment needs
cost estimates: only at a very general level. Less than 25 per cent contain details on investment requirements for
Less than infrastructure, and less than 5 per cent on investment needs beyond infrastructure, including for
25of
the development of digital industries. Investment promotion agencies are rarely involved in the
% formulation of digital development strategies.
A comprehensive digital development strategy should cover investment in digital infrastructure,
Digital in digital firms, and in digital adoption by firms across all industries. Infrastructure investment
requirements for achieving adequate connectivity for most developing countries could be less
Development daunting than often supposed; UNCTAD estimates the investment costs associated with near
Strategies universal basic 3G coverage in those countries (a prerequisite for the SDG universal access target)
at less than $100 billion. Regional cooperation for investment in internet infrastructure can make
infrastructure projects more attractive for international investors.
Promoting investment in local digital content and services is crucial to speed up digital development.
This means creating and maintaining a conducive regulatory framework for digital firms, as well as
active support measures, which may include technology or innovation hubs and incubators; building
or improving e-government services; and supporting venture capital funding and other innovative
financing approaches. Linkages with global firms can help, but developing the digital sector mostly
means supporting local enterprise development, rather than promoting investment by digital MNEs.
Promoting investment in ICTs across all firms, as well as business linkages and participation in
global value chains, should be an important part of digital development policies. Tariffs and taxes
on devices, and taxes on internet usage, also influence the effective costs of ICT adoption for
firms. Facilitating access to cloud services can lower such costs. Skills development potentially in
partnership with global digital MNEs is also important to allow local firms to interact digitally with
MNEs and access e-value chains.
While promoting investment in digital development, policymakers need to address public concerns.
This requires up-to-date regulations in such areas as data security, privacy, intellectual property
protection, consumer protection and the safeguarding of cultural values. Where digital transformation
causes disruption in other sectors or generates negative social or economic impacts, they need to
put in place policies to mitigate these effects. Governments need to find a balanced approach that
accommodates both public concerns and the interests of private investors.
Investment policymakers should take a more proactive approach in the formulation of digital
development strategies. Not only should they prepare for critical changes in their own policy arena,
but they can also make an important contribution to the design and implementation of digital
industrial policies. Digital development should be embedded in investment policies, and investment
policy should be embedded in digital development strategies.
xiv World Investment Report 2017 Investment and the Digital Economy
CHAPTER I
GLOBAL INVESTMENT
PROSPECTS AND TRENDS
INTRODUCTION
Following a surge in foreign investment in 2015, global FDI flows fell 2 per cent, to
$1.75trillion,1 amid weak economic growth. A fall in inflows to developing economies was
partly offset by modest growth in developed countries and a sizeable increase in transition
economies. As a result, developed economies accounted for a growing share of global FDI
inflows in 2016, absorbing 59 per cent of the total (figure I.1).
A modest recovery in global FDI flows is forecast for 2017, although flows are expected
to remain well below their peak of 2007. A combined upturn of economic growth in major
regions and improved corporate profits will boost business confidence, and consequently
MNEs appetite to invest. A cyclical uptick in manufacturing and trade is expected to result
in faster growth in developed countries, while a likely strengthening of commodity prices
should underpin a recovery in developing economies in 2017. As a result, global FDI flows
are expected to increase by about 5 per cent in 2017 to almost $1.8 trillion.
However, elevated geopolitical risks and policy uncertainty for investors could have an
impact on the scale and contours of the FDI recovery in 2017.
FDI inflows, global and by group of economies, 20052016, and projections, 20172018
Figure I.1.
(Billions of dollars and per cent)
68
+81%
2 500
PROJECTIONS
2 000
1 500
1 000
500
0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017 2018
Global FDI flows are projected to increase by about 5 per cent in 2017, to almost
$1.8 trillion. The moderate rise of FDI flows is expected to continue in 2018 to $1.85trillion
still below the 2007 peak. These expectations are based on current forecasts for a
number of macroeconomic indicators and firm-level factors, UNCTADs survey of MNEs
and investment promotion agencies (IPAs) regarding investment prospects, UNCTADs
econometric forecasting model of FDI inflows and preliminary 2017 data for cross-border
mergers and acquisitions (M&As) and announced greenfield projects.2
In South and South-East Asia, several countries are expected to further strengthen their
position in regional production networks. In West Asia, FDI is expected to remain flat, with
the positive effect of recovering oil prices offset by political and geopolitical uncertainty.
Prospects for FDI in Latin America and the Caribbean in 2017 remain muted, as
macroeconomic and policy uncertainties persist. Flows are forecast to fall by about
10per cent, to some $130 billion. Investment in the regions extractive industries will
likely be modest as operators continue to hold back on capital expenditures. Investment
in the region, especially in Central America, is also likely to be affected by uncertainties
about economic policy in the United States.
FDI flows to transition economies are forecast to rise moderately in 2017, to about
$80billion, supported by the bottoming out of the economic downturn, higher oil prices
and privatization plans. However, they may be hindered by geopolitical problems.
FDI flows to developed countries are expected to hold steady, at about $1 trillion. Flows
to Europe are projected to recover, as the large volume of negative intracompany loans
recorded in 2016 is unlikely to be sustained. However, political events may yet derail the
FDI recovery. In contrast, FDI flows to North America, which reached an all-time high in
2016, appear to be running out of steam, and MNE executives are likely to take a wait-
and-see approach in the face of policy uncertainty.
45 39
The state of the EU economy 29 Energy security 19
28 28
Changes in tax regimes 29 Food security 16
Changes in global 23 17
25 Climate change 35
financial regulations
11 4
Exchange rate volatility 57 Cyberthreats and data security 46
7 4
Rising interest rates 53 Social instability 70
3 3
Geopolitical uncertainty 87 Terrorism 75
Share of executives who think this factor Share of executives who think this factor
will lead to an increase in FDI globally will lead to a decrease in FDI globally
Source: UNCTAD, business survey.
Figure I.5. Executives global FDI spending intentions, 20172019, compared with 2016 levels
(Per cent of executives based in each region and sector)
All 26 25 41 8 18 20 50 12 13 18 53 16
Developed economies 24 26 40 10 17 19 49 15 13 18 51 18
Developing and 35 23 42 20 20 57 3 16 16 61 6
transition economies
Primary 60 13 20 7 40 20 20 20 13 27 33 27
Manufacturing 21 27 44 7 19 14 57 10 20 13 52 15
Services 22 27 44 7 11 27 51 11 4 22 63 11
Top MNEs 45 16 32 6 29 23 35 13 22 19 44 16
1. FDI by geography
a. FDI inflows
FDI recovery remains bumpy, with diverging trends among regions. In 2016, global
FDI flows decreased by 2 per cent to $1,746 billion (see figure I.1). While intracompany
loans recorded a fall at the global level in 2016, equity investments were boosted by an
18 per cent increase in the value of cross-border M&As. M&As rose to $869 billion, their
highest level since 2007, due to buoyant activity in developed economies. The value of
announced greenfield projects also increased by 7 per cent from 2015 to $828 billion
although this was largely due to a number of very large projects announced in a handful of
developing and transition economies.
In 2016, flows to developed economies increased further, after significant growth in the
previous year. Inflows rose by 5 per cent to $1 trillion. Developed economies share in global
FDI inflows grew to 59 per cent the highest share since 2007. Modest growth of FDI in North
America and a sizeable increase in other developed economies more than compensated for
a fall in FDI to Europe (figure I.9). The declining value of announced greenfield projects
(-9per cent to $247 billion) points to some potential weakness in ongoing and future capital
expenditures of MNE affiliates in these markets.
The increase of FDI in developed economies was mainly driven by equity investment flows,
which continued to exhibit vigour, albeit with less dynamism than in the previous year. In 2016,
the equity component accounted for 74 per cent of FDI flows to developed economies
the largest share since 2008 (figure I.10). Equity flows were driven by cross-border M&As
targeting developed countries, which rose to $794 billion an increase of 24 per cent in value.
566
533 524 2014 2015 2016
460
443
425
390
272
231
170 165
142
75 68 71 61 59
60 57
28 38
Europe Developing Asia North America Latin America and Other developed Transition Africa
the Caribbean economies economies
Source: UNCTAD, FDI/MNE database (www.unctad.org/fdistatistics).
3 3 0
13
5
12 15
20
28 28 26
26
33
24
15 25 52
27
34
94
70 74
63 65 62 60
45 45
38
-7
2007 2008 2009 2010 2011 2012 2013 2014 2015 2016
Large deals included the $101 billion acquisition of SABMiller PLC (United Kingdom) by
Anheuser-Busch Inbev (Belgium), the $39 billion purchase of the generic drugs unit of
Allergan PLC (United States) by Teva Pharmaceutical Industries Ltd (Israel) and the acquisition
of ARM Holdings (United Kingdom) by SoftBank Group (Japan) for $32 billion (annex table 5).
Developing economies, in contrast, lost ground in 2016. Weak commodity prices and
slowing economic growth weighed on foreign investment inflows, which fell by 14 per
cent to $646billion a level last observed in 2010. Cross-border M&A activity suffered
a widespread downturn across developing regions during the year, falling by 18 per cent
in aggregate value. In contrast, the value of announced greenfield projects rose by 12 per
cent to $516 billion, pulled by the announcement of a few very large investments in a
small number of countries, while the majority of countries recorded declines. In developing
Asia, the decline in inflows (-15 per cent to $443 billion) was relatively widespread, with
every major subregion registering reductions, except South Asia. Economic recession in
Latin America and the Caribbean, coupled with weak commodity prices for the regions
principal exports, factored heavily in the decline in FDI flows to the region (down 14 per
cent to $142billion) (see figure I.9). Flows to Africa also registered a decline (-3 per cent
to $59 billion), with the region suffering external vulnerabilities similar to those in Latin
America.
FDI to transition economies enjoyed a robust upswing of 81 per cent to $68 billion,
reversing the trend observed over the last two years. The increase is principally attributed
to investments associated with the privatization of State-owned assets in the Russian
Federation and mining exploration activities in Kazakhstan.
Developing and transition economies accounted for 6 of the top 10 host economies
(figureI.11). The United States remained the largest recipient of FDI, attracting $391 billion
in inflows, followed by the United Kingdom with $254 billion, vaulting from its 14th position
in 2015 on the back of large cross-border M&A deals. China was in third position with
inflows of $134 billion a 1 per cent decrease from the previous year.
1 000
800
400 Remittances
- 200
2007 2008 2009 2010 2011 2012 2013 2014 2015 2016
Source: UNCTAD, based on data from IMF (for portfolio and other investment), from the UNCTAD FDI/MNE database (for FDI inflows), from the Organization for Economic
Cooperation and Development (for ODA) and from the World Bank (for remittances).
Note: Other investment includes loans among non-affiliated enterprises.
c. FDI outflows
Developed economies: FDI outflows
MNEs from developed countries maintained Figure I.13. and their share in world outflows,
their share of outward FDI in 2016, despite a 20052016 (Billions of dollars and per cent)
decline in their investment activity. The flow
of outward investment from developed economies
FDI outflows
declined in 2016, falling 11 per cent to $1 trillion. Share in world FDI outflows
Value Share
Nevertheless, their share in global outward FDI flows
held roughly stable dipping to 72 per cent from 2 000 90
45
The year was marked by significant variation in
Ireland (2) 166 outward investment by MNEs from developing and
42
Spain (11) 44 transition economies. Chinese outward FDI surged,
35 rising 44 per cent to $183 billion, propelling the
Germany (7) 93
country to the position of second largest home
32
Luxembourg (10) 50 country for FDI for the first time (see figure I.14). This
Switzerland (6) 31 coincided with the country becoming a net outward
104
direct investor during the year. Chinese MNEs
27
Republic of Korea (17) 24 invested abroad to gain access to new markets and
Russian Federation (15) 27 to acquire assets that generated revenue streams in
27
24
foreign currencies. The rise in outward investment
Singapore (13) 31 by Chinese MNEs was not without controversy, as a
Sweden (21) 23
15
number of deals were scrutinized by policymakers
23
both in China and abroad (chapter III).
Italy (18) 20
23 Developed economies Outward investment by African MNEs rose slightly
Finland (186)
-16 2016 2015 (1 per cent to $18 billion), largely reflecting a rise
18
Belgium (14) 30 in outflows in Angola (35 per cent to $11 billion)
Developing and
Taiwan Province 18 transition economies that more than offset a sharp reduction in flows
15
of China (22) 2016 2015 from South Africa (-41 per cent to $3 billion). In
contrast, outward investment by MNEs from Latin
Source: UNCTAD, FDI/MNE database (www.unctad.org/fdistatistics).
America and the Caribbean collapsed (-98 per cent
Figure I.15. FDI in selected groups, 2015 and 2016 (Billions of dollars and per cent)
51 3% 719 3% 2%
ACP
56 3% 660 3% 2%
2016 2015
G20
FDI flows to the G203 rose by 29 per cent to more than $1.1 trillion the highest level since
the establishment of the group in 1999. The significant rise was due to high and sharply
increasing levels of inflows to the United Kingdom, the United States, Australia and the
Russian Federation (chapter II), which resulted mainly from strong cross-border M&A sales,
greenfield activities and corporate reconfiguration transactions in some partner economies.
Despite the record level, the groups share of global FDI inflows did not match its relative
economic weight in 2016 (see figure I.15).
The G20 remained the largest recipient and source of global FDI among all existing and
prospective economic groups. It continued to hold the largest share of global inward FDI
stock (57 per cent). It has also consistently been a net exporter of FDI, and its outward FDI
stock continued to rise in 2016. The rapid expansion of investment between the transatlantic
members of the G20 and from BRICS countries contributed to the strength of outflows from
the group.
Figure I.16. Selected groups: Intragroup investment, 2010 and 2015 (Trillions of dollars and per cent)
2010 2015
16 15
3 10 6 11
20 20
Cross-border M&A activities in the G20 rose from $532 billion in 2015 to $737 billion
in 2016, by far the largest increase among all these groups. Cross-border M&A sales
increased in all three economic sectors, with significant rises recorded in oil and gas,
beverages and electronics, as well as in electricity, wholesale trade, finance, information
and communication. Economic growth, market potential, corporate factors, favorable share
valuations and the maturity of the M&A environment in selected G20 countries supported
active cross-border M&A sales. The rise in the number of megadeals exceeding $5 billion
in the second half of 2016 also pushed up cross-border M&A sales.
Active transatlantic and intra-BRICS corporate activities supported strong intra-G20
investments, with cross-border M&As among the members rising by 8 per cent to $299
billion. Intragroup activities remained significant, accounting for 76 per cent of all cross-
border M&A purchases by group members (table I.3). High-value intra-G20 M&As, such
as the ARM SoftBank deal, as well as TransCanadas (Canada) acquisition of Columbia
Pipeline (United States) for $13 billion and Air Liquides (France) acquisition of Airgas (United
States) for $11 billion, contributed to a record level of cross-border M&A sales.
APEC
Despite contributing 60 per cent of global GDP, APEC4 held only 54 per cent of global
inward FDI stock and received 53 per cent of FDI inflows in 2016. FDI flows to APEC rose
to $926 billion, from $913 billion in 2015. FDI to the 21 members of APEC remained highly
concentrated, with five economies (United States, China, Hong Kong (China), Singapore and
Australia) absorbing 80 per cent of inflows in 2016.
APEC is a major source of global investment. Its share of world outward stock rose from
47per cent in 2010 to 55 per cent in 2016. FDI outflows from APEC rose by 4 per cent last
year, from $841 billion in 2015 to $876 billion.
Intra-APEC investment remained a significant source of FDI for the group. Intra-APEC
M&As rose from 45 per cent of all the groups transactions in 2015 to 50 per cent last
year (table I.3), contributing to a growing interconnection of firms and investments among
group members. Intra-APEC investment is expected to grow further, with CEOs of MNEs
headquartered in APEC considering further investments in the region in 2017 (PwC, 2016).
The group remained a major target for cross-border M&As, which rose by 14 per cent to
$444 billion last year. Transactions were focused on the pharmaceutical, finance, chemical,
electricity, transportation and storage industries.
NAFTA
FDI flows to the NAFTA group5 rose by 7 per cent, from $423 billion in 2015 to $452 billion
in 2016, mainly driven by the 12 per cent rise in inflows to the United States (chapter II).
Since 2010, inward FDI stock in the group has risen by 63 per cent, to $7.8 trillion last year.
The group received about the same share of world FDI flows as its global economic size (see
figure I.15). As with the other economic groups, FDI flows in NAFTA are highly concentrated:
about 90 per cent inflows and more than 80 per cent of inward FDI stock in 2016 was in the
United States. The lions share of FDI in NAFTA came from the European Union and Japan.
However, the United States is the dominant source of FDI to Mexico and Canada.
NAFTA is a significant source of FDI globally and is home to 30 per cent of the worlds
largest 500 companies. The group contributed 25 per cent of global outflows in 2016. Intra-
NAFTA investment accounts for only 15 per cent of the total outward FDI stock of the group
(see figure I.16), a share that has remained stable for the past five years.
An eventual renegotiation of the NAFTA treaty is likely to affect the FDI landscape. Changes
in the treaty may have implications for the magnitude and composition of flows not only
in NAFTA, but also in other groups, such as the G20 and APEC, in which NAFTA members
are partner countries. A renegotiation is likely to affect corporate investment, production
decisions and supply chain development in the group, and a possible relocation of industries
back to the United States would affect FDI within and outside NAFTA. To what extent the
FDI environment would change, however, will depend on the nature and scope of changes
to the treaty investment provisions, rules of origin and tariff rate arrangements which
remain unclear.
MNEs investment and production decisions in NAFTA in industries such as automotive
and electronics could be affected. In addition, non-United States companies may seek to
strengthen their presence in the United States to serve the local market. Major United States
automotive manufacturers in early 2017 have been urged to build plants domestically. Some
automotive companies such as Ford, Fiat Chrysler and Volkswagen plan to expand or further
invest in their United States operations.
BRICS
BRICS the economic group comprising Brazil, the Russian Federation, India, China and
South Africa accounted for 22 per cent of global GDP but received only 11 per cent of
global inward FDI stock in 2016. FDI flows to the five BRICS countries last year rose by 7per
cent to $277 billion. The increase in inflows to the Russian Federation, India and South
Africa more than compensated for the decline of FDI to Brazil and China. Cross-border
M&A sales declined from $44 billion in 2015 to $37 billion in 2016. However, greenfield
investment increased by 1 per cent, with transactions concentrated in the manufacture
of foods, chemicals, electricals and electronics, motor vehicles, infrastructure services
(electricity, information, telecommunication) and business activities.
FDI inflows to BRICS exceeded the groups outflows. However, investments from BRICS are
on the rise. Outflows rose by 21 per cent in 2016, pushing the groups outward stock to
$2.1 trillion or over 8 per cent of the world total in 2016, up from 5 per cent in 2010.
Box I.1. FDI flows along the One Belt One Road initiative
In 2013, China introduced an initiative to jointly build the Silk Road Economic Belt and the 21st Century Maritime Silk Road (jointly
referred to as One Belt One Road). More than 60 countries in various regions and economic groupings are located along the Belt and
Road, with a combined inward FDI stock of nearly $6 trillion and outward FDI stock above $3 trillion. More than 50 agreements have
been signed between China and its partners, covering six major international economic corridors.
Stretching from China to Europe, One Belt One Road is by no means a homogenous investment destination. However, investment
dynamism has built up rapidly over the past two years, as more and more financial resources are mobilized, including FDI. A number of
countries located along the major economic corridors have started to attract a significant amount of FDI flows from China as a result of
their active participation in the initiative.
In Central Asia, a core region along the Silk Road Economic Belt, the implementation of the initiative is generating more FDI from China
in industries other than natural resources and helping diversify the economies of various host countries. Chinese companies already
own a large part of the FDI stock in extractive industries in countries such as Kazakhstan and Turkmenistan. The ongoing planning of
new Chinese investments in the region, however, has focused on building infrastructure facilities and enhancing industrial capacities.
In addition, agriculture and related businesses are targeted. For example, Chinese companies are in negotiation with local partners to
invest $1.9 billion in Kazakh agriculture, including one project that would relocate tomato processing plants from China.
South Asia is benefiting from a number of projects being implemented along the China-Pakistan Economic Corridor. This has resulted
in a large amount of foreign investment in infrastructure industries, especially electricity generation and transport. For instance, Power
Construction Corporation (China) and Al-Mirqab Capital (Qatar) have started to jointly invest in a power plant at Port Qasim, the second
largest port in Pakistan. In addition, the State Power Investment Corporation (China) and the local Hub Power Company have initiated
the construction of a $2 billion coal-fired plant.
As a proactive participant in North Africa, Egypt has signed a memorandum of understanding with China, which includes $15 billion
in Chinese investment, related to Egypts involvement in the initiative. It is undertaking a number of cooperative projects under the One
Belt One Road framework, including the establishment of an economic area in the Suez Canal Zone and investments in maritime and
land transport facilities.
Source: UNCTAD.
ACP
FDI flows to the ACP8 declined from $56 billion in 2015 to $51 billion in 2016. The group is
a net recipient of FDI flows and absorbed a slightly larger share of global FDI measured
in stock than the 2 per cent of global GDP it produced in 2016 (see figure I.15). However,
FDI flows to this group of 79 developing economies are concentrated: the top 10 recipients9
accounted for 65 per cent of FDI inward stock in 2016. The Pacific subgroup received the
smaller share of inflows.
Outward FDI from the ACP remains relatively small, both compared with inward FDI and in
terms of global share. Outward FDI stock rose from $117 billion in 2010 to $254 billion in
2016, or from 0.6 per cent of global outward FDI stock in 2010 to just 1 per cent in 2016.
Outward FDI stock from the group is even more concentrated than the investment received:
four countries alone (South Africa, Angola, Nigeria and the Cook Islands) accounted for
89 per cent, suggesting that most countries in the ACP do not yet have the capacity or a
sufficient pool of private companies to invest abroad.
Intra-ACP investment is low but increasing. Some 11 per cent of outward FDI stock in 2015
was intra-ACP, compared with only 6 per cent in 2010.
Figure I.18. Estimated global inward FDI stock by major industry, 2015 (Billions of dollars)
1.6
Unspecified
The sectoral breakdown of global FDI stock, as reported in the WIR, suggests that about two thirds of FDI is in the services sector.
However, the data provide an inflated picture of the actual cross-border investment activity taking place in services industries. In fact,
FDI in services could be overstated by more than a third.
One of the main reasons for the excessive allocation of FDI stock to services is that industry classifications in reported FDI data are
based on the economic activity of foreign affiliates, rather than the industry of the multinational enterprise to which they belong.
Many affiliates of manufacturing MNEs perform services-like activities, including regional headquarter functions, back-office functions,
financial holdings, procurement or logistics hubs, distribution or after-sales services, and research and development. Examining a
sample of more than 15,000 foreign affiliates of the largest primary sector and manufacturing MNEs, more than half are classified in
the services sector (box figure I.2.1).
19
Wholesale and retail trade 43 of which 70% wholesale
Foreign
affiliates Financial and 19 of which 52% holding companies
insurance activities
performing
services Professional scientific
13 of which 54% head offices
and technical activities
activities
52%
Administrative and 7
support service activities
Information and
5
communication
Others 13
Source: UNCTAD.
The exaggerated allocation of FDI stock to the services sector is further exacerbated by the fact that affiliates performing services
functions within MNEs often act as aggregators of asset value within corporate groups. A significant proportion of global FDI stock in
financial services and management activities is reported by a small number of economies that act as hub locations for the regional
headquarters of MNEs. For example, the majority of global FDI stock in management activities is reported by Hong Kong (China)
making it the second largest host of FDI stock in the world, after the United States.
The largest industries within the services sector are finance and business activities, which together account for 62 per cent of
the total global FDI stock in services. Yet, the highest greenfield values are consistently recorded in such sectors as utilities and
telecommunication. Clearly, finance is not just banking and insurance, as it is generally thought of, but consists in large part of the
financial holding companies of MNEs in other sectors. Similarly, business activities are not just professional services firms, but also (and
predominantly) the overseas administrative offices of MNEs.
Data on cross-border M&As and announced greenfield investments show significantly lower shares of FDI in services. On average about
4050 per cent of greenfield investment announcements and cross-border M&As are labelled as projects in services, a more realistic
share.
This is not to say that sectoral FDI data are wrong. From the perspective of host countries, foreign investment that does not add to
productive capacity in the primary sector or in manufacturing must fall by default in the services category. However, a more detailed
look at the composition of services FDI shows that commonly used estimates of the share of services in FDI tend to provide an inflated
impression of the real importance of the services sector in cross-border investment.
Source: UNCTAD, based on UNCTAD (forthcoming).
Among services industries, the largest recipients of inward FDI stock were finance, business
activities, trade and telecommunication (figure I.18.a). Within the manufacturing sector, five
major industries, namely chemical products, food and beverages, electronics, motor vehicles
and petroleum products, accounted for more than 70 per cent of all FDI stock in specified
manufacturing activities (figure I.18.b). These industries have been subject to major waves
Cross-border M&As and announced greenfield projects in extractive industries, value and
Figure I.19.
share in all industries, 20092016 (Billions of dollars and per cent)
21% 9%
66
17% 1
3
12% 8%
1 4%
35
18 4 5 80
69 -6% 1
14 2 10
31 37 6 28
20 21
7
2009
-1
2010 2011 2012 2014 2015 2016
-28
2013
12%
33
8%
7% 7%
6%
4% 4% 6
5%
48
83 34
14
18 15
16 48
23 22 28 20
13 18
Source: UNCTAD, cross-border M&A database (www.unctad.org/fdistatistics) and information from Financial Times Ltd, fDi Markets (www.fDimarkets.com) for announced
greenfield projects.
80 135
79
327
51 Inbev SABMiller deal (see annex table 5).
2013
196 46 140
95 135
-13
In manufacturing, the total value and
37
34
188 breakdown of cross-border M&As have
203
changed significantly over the past few
2014
Primary 83
years. Electrical and electronic equipment
Manufacturing
Services
394 registered a significant increase, as did
food, beverages and tobacco, mostly due
403
to the large acquisition of SABMiller PLC. In
306
contrast, M&As in pharmaceuticals where
15 tax inversion deals slowed and chemical
20
products dropped (figure I.21). In the services
sectors, transportation and storage, entertainment
383
and recreation, and construction have led a surge
in cross-border M&As, with growth rates of 34 per
2016 cent, 71 per cent and 116 per cent, respectively.
Source: UNCTAD, cross-border M&A database (www.unctad.org/fdistatistics).
Figure I.21. Value of cross-border M&As in manufacturing industries, 2015 and 2016 (Billions of dollars)
31
24 35
49
74
138
26
09
some very large announced investments in a small
20
463 20
12
number of countries while the rest of the world 429 434
336
experienced a widespread slump. At the sectoral 378
2008
56 70
2013
279
level, all manufacturing industries recorded a decline, 655 117
465
511 30
with the total amount of greenfield FDI announced in 129
324
38
the sector down by about 9 per cent to $292 billion. 42
Announced foreign investments in the primary 35
321
359
2014
sector, in contrast, increased to $54 billion, pushed Primary 54 320
by some large announcements, such as the Tengiz Manufacturing 292
project in Kazakhstan (section II.B). Greenfield FDI Services 419
15
20
15per cent to $481 billion, driven by a concentrated 481
Source: UNCTAD, based on information from Financial Times Ltd, fDi Markets
(www.fDimarkets.com).
International production continues to expand. Sales and value added of MNEs foreign
affiliates rose in 2016 by 4.2 per cent and 3.6 per cent, respectively. Employment of foreign
affiliates reached 82 million (table I.4). The rate of return on inward FDI of foreign affiliates
in host economies continued to decline, falling from 6.2 per cent in 2015 to 6 per cent in
2016.
International production by foreign affiliates of MNEs is expanding at a slower rate. The
average annual growth rates over the last five years of foreign affiliate sales (7.3 per
cent), value added (4.9 per cent) and employment (4.9 per cent) were all lower than in the
equivalent period before 2010 (at 9.7 per cent, 10.7 per cent and 7.6 per cent, respectively).
The deceleration in international production is a contributing factor behind slower trade
expansion.
Figure I.23. Internationalization trends in top 100 MNEs, 19902015 (Per cent)
Foreign sales ratio Foreign assets ratio Foreign employment ratio TNI
75
70
65 66 65
64 65
62
60 60
58
56
55 55
53
52
51
50
47
45
40
1990 1993 1995 1997 1999 2001 2003 2005 2007 2009 2011 2013 2015
Sales
Foreign 6 060 4 856 -19.9 4 764 -1.9 2 135 1 769 -17.2
Domestic 3 036 2 756 -9.2 2 700 -2.0 2 161 2 011 -7.0
Total 9 096 7 612 -16.3 7 464 -1.9 4 296 3 780 -12.0
Foreign as % of total 67 64 -2.8c 64 0.0c 50 47 -2.9c
Employment
Foreign 9 589 9 305 -3.0 9 330 0.3 4 168 3 954 -5.1
Domestic 6 518 6 969 6.9 6 993 0.4 7 390 8 090 9.5
Total 16 107 16 273 1.0 16 323 0.3 11 558 12 044 4.2
Foreign as % of total 60 57 -2.4c 57 0.0c 36 33 -3.2c
Source: UNCTAD.
Note: From 2009 onwards, data refer to fiscal year results reported between 1 April of the base year 31 March of the following year. Complete 2016 data for the 100 largest MNEs
from developing and transition economies are not yet available.
a
Revised results.
b
Preliminary results.
c
In percentage points.
2. State-owned MNEs
Despite the negative impact of the financial and economic crises of 20082009 on
their activities, State-owned MNEs (SO-MNEs) continue to play a major role in the world
economy. UNCTAD identified close to 1,500 SO-MNEs, with more than 86,000 foreign
affiliates operating around the globe. These companies represent close to 1.5 per cent of
the universe of MNEs and close to 10 per cent of all affiliates. Their total number is small,
yet 15 of the top 100 non-financial MNEs and 41 of the top 100 MNEs from developing
and transition economies are State-owned. More than half of SO-MNEs are headquartered
in developing economies, and the EU is home to almost one third of them. Some countries,
such as China, Malaysia, South Africa and the Russian Federation, have a particularly large
number of SO-MNEs.
The internationalization of State-owned enterprises from a wide range of
countries constitutes an important component of FDI. While the majority of SO-MNEs
are headquartered in developing and transition economies, several developed countries are
also home to a significant number of such firms, sometimes listed among the largest MNEs
The analysis presented in this section of the WIR uses information available from UNCTADs newly constructed database on SO-MNEs.
The database, which covers close to 1,500 firms, contains information about State ownership shares, assets, sales, employment and
the geographical distribution of foreign affiliates. The selection of companies is based on a common definition of what SO-MNEs are,
taking into consideration both the share of public ownership and the amount of investment abroad.
SO-MNEs are defined here as separate legal entities established or acquired by governments to engage in commercial activities,
including FDI operations, by way of having affiliates abroad or engaging in non-equity modes. An additional criterion is that a government
entity should either own at least 10 per cent of the capital, be the largest shareholder or benefit from a golden share a type of share
that gives special voting rights and the ability to block key strategic decisions, especially takeovers by other shareholders.a Subnational
entities in federal countries with significant State functions (e.g. German Laender, or Republics as federal subjects in the Russian
Federation, or States in the United States) and municipalities are considered State owners.
Source: UNCTAD.
a
The definition of SO-MNEs used in this report was established in WIR11 (p. 28). This edition of the WIR adds more precision to that definition. It is in line with the
definition of Blundell-Wignall and Wehinger (2011, p. 107), which is that SO-MNEs are entities (separate from public administration) that have a commercial activity
where the government has a controlling interest (full, majority or significant minority) whether listed or not on the stock exchange. The rationale is often industrial/
regional policy and/or the supply of public goods (often in utilities and infrastructure such as energy, transport and telecommunications) SOEs are not pools of
investable capital as such, but they may finance investments via their earnings, fiscal appropriations from the government, or from debt markets at a (possibly) distorted
low cost of capital. In some sense, there is greater scope for financially less-constrained investment, and with strategic objectives very much in mind.
Russian Federation
Canada 51
18
European Union
420
Republic
China of Korea Japan
257 33 6
Egypt Qatar
14 27
United Arab Emirates
50 India
61
Colombia Malaysia
5 79
Sweden 49
France 45
Singapore
Italy 44 29
Germany 43
Brazil Belgium 32
Zimbabwe
12 Norway 32 9
Portugal 26
Slovenia 24 South Africa
Austria 23 55
Finland 23
Poland 21
Switzerland 20
New Zealand
Spain 19
24
Netherlands 11
Croatia 10
of the world. The impact of State or private ownership on MNEs and their objectives, motives
and strategies has become the subject of intense interest and debate, and of a growing
body of research (WIR11).
SO-MNEs are present in many countries. In 2017, there were close to 1,500, with more
than 86,000 foreign affiliates operating worldwide (box I.3). A particularly large number of
SO-MNEs (more than 400) are headquartered in the EU. State ownership in some cases,
especially in the financial sector, results from rescue operations after the 20082009
financial crisis.
More than half of SO-MNEs are headquartered in developing economies, while
close to two fifths are in developed countries, especially EU member countries; the rest
are in transition economies. Some countries are home to a particularly large number of
SOMNEs (figure I.25). Among them, 18 per cent are headquartered in China, where they are
instrumental in the countrys outward FDI expansion strategy. China is followed by Malaysia
(5 per cent), India (4 per cent), South Africa (4 per cent) and the Russian Federation (3per
cent). SOMNEs are typically large and play major roles in key economic activities in their
home countries.
The sectoral distribution of SO-MNEs is more heavily focused on financial services
and natural resources than that of other MNEs. Measured by the main activities of
their corporate headquarters, over half of SOMNEs are concentrated in five industries:
finance, insurance and real estate; utilities (especially electricity provision); transport
services; holdings; and mining (figure I.26). Holdings is a miscellaneous category, covering
either diversified conglomerates or headquarters of companies that in substance operate
51%
10%
33
34
Table I.7. The top financial SO-MNEs, ranked by total assets, 2015 (Millions of dollars and number of employees)
State
Ranking Corporation Home economy Industrya Assets Sales Employment
ownership (%)
1 The Industrial & Commercial Bank of China (ICBC) China Commercial banks 34.6 3 421 363 103 301 466 346
2 China Construction Bank Corporation JSC China Commercial banks 57.0 2 826 695 93 834 369 183
3 Agricultural Bank of China Ltd China Commercial banks 40.0 2 740 721 82 086 503 082
4 Japan Post Holding Co Ltd Japan Insurance carriers 80.5 2 592 090 126 587 250 876
5 Bank of China Ltd China Commercial banks 64.0 2 590 402 73 052 310 042
6 Bank of Communications Co Ltd China Commercial banks 26.5 1 102 266 29 281 89 269
7 The Royal Bank of Scotland Group Plc United Kingdom Bank holding 71.9 982 507 15 648 77 000
8 China Merchants Bank Co Ltd China Commercial banks 26.8b 843 407 31 120 76 192
9 Shanghai Pudong Development Bank China Commercial banks 20.0 777 070 22 576 48 427
Russian
Federation
Canada 1 128
1 151
European Union
33 200
United States
8 706 Japan
China 691
3 630
31 300
Total foreign affiliates of European SO-MNEs
Europe Brazil 2%
Australia 2%
567
501
Canada 1% 452
Singapore 1% 350
Norway 1% 349
39 000
Total foreign affiliates of Asian SO-MNEs
Asia China 7%
Australia 7% 2 048
2 489
Singapore 5% 1 842
British Virgin Islands 3% 1 346
India 3% 1 259
Indonesia 2% 812
Cayman Islands 2% 760
The degree to which governments influence the decisions of SO-MNEs does not depend
only on percentage ownership, but also on foreign expansion strategy. The political and
economic environment in home countries for instance, the degree of free market policies
or interventionism influences the relationship between States and their MNEs. The home
countrys level of development also influences the internationalization of SO-MNEs, with
the probability of State intervention higher in less developed countries: in some cases, the
government might discourage FDI by its SO-MNEs, as this could reduce their contribution
(e.g. social, industrial) to the domestic economy; in other cases, the State might be ready to
support FDI to help build economies of scale and further enhance the competitive position
of its MNEs and that of the home country (WIR11).
16%
100% 5199% 2550% <25% (State largest shareholder or golden share)
Three main stances have been identified when it comes to the foreign expansion of SO-MNEs
(WIR11): (i) The government as hindrance to internationalization (e.g. in Italy, where there has
been repeated concern about the potential effects of SO-MNEs internationalization on local
unemployment rates); (ii) the government as supporter of internationalization (e.g. Chinas
Go Global policy); and (iii) the government as indifferent to SO-MNE internationalization,
but providing guidance on the developmental impact of outward FDI (e.g. Vattenfall (Sweden)
in Africa). Besides these three main models, a fourth has re-emerged during and after the
crisis of 20082009, namely the bailing out of failing firms, especially in the financial
sector. In this case, the government acts as a bankruptcy manager: its aim is not to control
the firm for the long term as a strategic priority, but to save it from oblivion and to divest
once the companys finances have improved (as in
the case of General Motors, from which the United
States Government divested at the end of 2015). Announced greenfield FDI projects by
Home-country governments have created their Figure I.30. SO-MNEs, value and share of total,
SOMNEs for specific purposes: they needed them 20102016 (Billions of dollars and per cent)
to implement development priorities, such as dealing
with market failures or non-economic considerations Value Value Share of total Share
in public policies, as well as controlling natural
100 12
monopolies or strategic resources. In turn, both
home- and host-country governments are aware
10
that the existence and activities of SO-MNEs raise 80
35
30
25
20
15
10
0
Electric, gas, and Transport, storage Construction Coke, petroleum Motor vehicles Business activities Metal and
water distribution and communications products and and other transport metal products
nuclear fuel equipment
Source: UNCTAD, based on information from the Financial Times Ltd, fDi Markets (www.fDimarkets.com).
The value of these announcements fluctuated between 2010 and 2014 but increased
significantly in 2015 and 2016 (figure I.30). In 2016, the value reached $91 billion, or
11 per cent of the world total, up from 8 per cent in 2010. These projects announced the
creation of the equivalent of more than 100,000 jobs per year, with a record of 120,000
in 2016. In other words, the projects announced by SO-MNEs tended to be particularly
big and important for host countries. These projects targeted a wide range of countries: in
2016 alone, more than 500 projects were announced in 64 developing, 28 developed and
9 transition economies.
SO-MNEs focus most of their greenfield projects in three industries: utilities,
automotive and transportation. These three together accounted for close to 60 per cent
of the cumulative value of announced projects over 20102016. The dynamism of these
three industries varied over time: The value of announced greenfield projects in electric,
gas, and water distribution increased, reaching $32 billion in 2016 (figure I.31). Projects
announced in transport, storage and communications fluctuated more, and grew more
slowly, to $17 billion. The value of projects in motor vehicles and other transport equipment
had declined to $5 billion in 2016. By 2016, the value of announced projects in construction
and in coke, petroleum products and nuclear fuel exceeded the value of greenfield projects
announced in the automotive industry.
SO-MNEs are also involved in major cross-border M&A purchases, as they seek to improve
their international competitive position or reach their international strategic objectives. As
these are mostly one-off transactions, they do not follow a clear-cut trend. Nevertheless,
between 2010 and 2016, SO-MNEs carried out major transactions for the reorganization
of their respective industries, especially in telecommunication, electricity and transport
services, such as France Telecoms (now Orange) purchase of T-Mobiles United Kingdom
assets in 2010 (for more than $8 billion) and Vattenfalls (Sweden) acquisition of Noun NV
in the Netherlands in 2011 (for close to $5 billion).
REGIONAL
TRENDS
INTRODUCTION
Global foreign direct investment (FDI) inflows declined by 2 per cent overall in 2016 to
$1,746 billion, down from $1,774 billion in 2015, but with variance among country groups
and regions (table II.1).
Flows to developed economies increased by 5 per cent to $1,032 billion. The decline of FDI
flows to Europe (by 6 per cent to $533 billion) was more than offset by a modest growth in
flows to North America (+9 per cent to $425 billion) and by investment more than doubling
in other developed economies. FDI to developing economies experienced a decline of
14 per cent, to $646 billion. Flows to developing Asia contracted by 15 per cent to
Table II.1. FDI flows by region, 20142016 (Billions of dollars and per cent)
FDI inflows FDI outflows
Group of economies/region
2014 2015 2016 2014 2015 2016
World 1 324 1 774 1 746 1 253 1 594 1 452
Developed economies 563 984 1 032 708 1 173 1 044
Europe 272 566 533 221 666 515
North America 231 390 425 353 370 365
Developing economies 704 752 646 473 389 383
Africa 71 61 59 28 18 18
Asia 460 524 443 412 339 363
East Asia 257 318 260 289 237 291
South-East Asia 130 127 101 89 56 35
South Asia 41 51 54 12 8 6
West Asia 31 28 28 23 38 31
Latin America and the Caribbean 170 165 142 31 31 1
Oceania 2 2 2 1 1 1
Transition economies 57 38 68 73 32 25
Structurally weak, vulnerable and small economiesa 68 64 58 26 14 10
LDCs 41 44 38 18 9 12
LLDCs 28 25 24 6 5 -2
SIDS 6 4 4 0.3 0.7 0.2
Memorandum: percentage share in world FDI flows
Developed economies 42.6 55.5 59.1 56.5 73.6 71.9
Europe 20.6 31.9 30.5 17.7 41.8 35.4
North America 17.4 22.0 24.3 28.1 23.2 25.2
Developing economies 53.2 42.4 37.0 37.7 24.4 26.4
Africa 5.4 3.5 3.4 2.3 1.1 1.3
Asia 34.8 29.5 25.3 32.9 21.2 25.0
East Asia 19.4 17.9 14.9 23.0 14.9 20.1
South-East Asia 9.9 7.1 5.8 7.1 3.5 2.4
South Asia 3.1 2.9 3.1 1.0 0.5 0.4
West Asia 2.3 1.6 1.6 1.8 2.4 2.1
Latin America and the Caribbean 12.8 9.3 8.1 2.5 2.0 0.1
Oceania 0.2 0.1 0.1 0.1 0.1 0.1
Transition economies 4.3 2.1 3.9 5.8 2.0 1.7
Structurally weak, vulnerable and small economiesa 5.1 3.6 3.3 2.1 0.9 0.7
LDCs 3.1 2.5 2.2 1.5 0.6 0.8
LLDCs 2.1 1.4 1.4 0.5 0.3 -0.1
SIDS 0.4 0.2 0.2 0.03 0.04 0.01
Source: UNCTAD, FDI/MNE database (www.unctad.org/fdistatistics).
Note: LDCs = least developed countries, LLDCs = landlocked developing countries, SIDS = small island developing States.
a
Without double counting countries that are part of multiple groups.
FDI flows, top 5 host economies, 2016 (Value and change) -3.5%
Share in world
3.4%
Egypt
$8.1 bn
+17.1%
Ethiopia
$3.2 bn
+45.8%
Nigeria
$4.4 bn
+45.2%
Ghana
$3.5 bn
+9.2%
Flows, by range
Angola
Above $3.0 bn $14.4 bn
-11.2%
$2.0 to $2.9 bn
$1.0 to $1.9 bn
$0.5 to $0.9 bn
Below $0.5 bn
Mozambique
Top 5 host economies $3.3 bn
-11%
Economy
$ Value of inflows
2016 % change
2015 2010
Source: UNCTAD.
Note: The boundaries and names shown and the designations used on this map do not imply official endorsement or acceptance by the United Nations. Final boundary between
the Republic of Sudan and the Republic of South Sudan has not yet been determined. Final status of the Abyei area is not yet determined.
4.4 4.1 4.9 5.2 5.4 3.5 3.4 1.8 1.5 2.5 2.7 2.3 1.1 1.3
80 40
35
60 30
25
40 20
15
20 10
5
0 0
2010 2011 2012 2013 2014 2015 2016 2010 2011 2012 2013 2014 2015 2016
North Africa East Africa West Africa Southern Africa Central Africa Share in world total
Inflows
Robust FDI to Egypt continues to boost inflows to North Africa. FDI flows into
North Africa rose by 11 per cent, to $14.5 billion, driven by foreign investment reforms
and new gas discoveries. As in 2015, much of the growth was due to investments in
Egypt, where FDI inflows increased by 17 per cent to $8.1 billion. The discovery by Shell
(Netherlands) of gas reserves in Egypts Western Desert continued to drive investment
in the countrys hydrocarbons sector. FDI inflows to Morocco, in contrast, were down by
29 per cent to $2.3 billion in 2016, owing to reduced European consumer demand, which
negatively affected export-oriented FDI in the country. After registering negative inflows
in 2015, Algeria attracted $1.5 billion in FDI in 2016, led partly by improved investment
policies and a recent recovery in its oil production. Low oil prices and continued conflicts
kept FDI flows to the rest of North Africa subdued.
Low commodity prices have dampened economic prospects in Sub-Saharan
Africa and shrunk investor interest in the subregion. FDI flows to Central Africa fell by
15 per cent in 2016, to $5.1 billion. The Democratic Republic of the Congo saw FDI decline by
28 per cent to $1.2 billion in 2016, as the country attracted only investment into its mineral
sector. Central Africas major net oil exporters saw mixed performances, highlighting the
importance of strong government responses to macroeconomic and financing conditions.
Equatorial Guinea saw a substantial decline in FDI inflows (-77 per cent to $54 million), Chad
experienced no change, while flows to Gabon increased by 13 per cent to $703 million.
FDI in the Congo rose by 8 per cent, to $2 billion, mostly due to continued investments by
Chinese companies operating in cobalt and copper extraction.
East Africa received $7.1 billion in FDI in 2016, 13 per cent more than in 2015. However,
the aggregate increase masks divergent FDI performance within the subregion. Flows to
Ethiopia rose by 46 per cent to $3.2 billion, propelled by investments in infrastructure
and manufacturing. FDI was also buoyant in Mauritius, thanks to a variety of services
investments and in Madagascar, in the context of a continued recovery since the decline
in 2014. FDI into Kenya continued its decline, slumping by 36 per cent to $394 million in
2016 only slightly more than a quarter of its 2011 level despite investment reforms
and a supportive domestic policy environment. Yet the trading value on Kenyas liquid stock
exchange overtook that of Nigerias exchange for the first time last year. This propped up
cross-border M&As, with the private equity fund Helios (United Kingdom) buying 70 per cent
of Telkom Kenya from Orange (France). Flows to the United Republic of Tanzania shrank by
Prospects
FDI inflows to Africa are expected to increase by about 10 per cent in 2017, to
almost $65 billion, in view of modest oil price rises and a potential increase in non-oil
FDI. An uptick in oil prices, if sustained, should help stabilize capital spending in major oil-
dependent African economies in 2017 and might revive foreign appetites for oil assets, even
as capital expenditure remains muted. French oil giant Total has already agreed in 2017
(through its South African subsidiary) to purchase a stake in a development in Uganda led by
Tullow Oil (United Kingdom) for $900 million in order to revitalize an ailing project. The launch
of a $3.3 billion joint venture by the Africa Finance Corporation, a Lagos-based development
institution, and the infrastructure fund of South Africas Harith General Partners to create
one of the biggest pan-African energy companies will further support energy investments
in the continent.
Africa will need to rely on greater non-oil FDI in 2017, if FDI is to expand amid low commodity
prices. Announced greenfield projects for 2016 which were high in real estate, followed by
natural gas, infrastructure, renewable energy, chemicals and automotives indicate such
an increase. Non-commodity FDI may occur in 2017, with multiple prospective investments
by MNEs from China and the United Arab Emirates being initiated in infrastructure and
business services. The challenge remains putting policies in place to leverage this FDI so as
to diversify domestic productive capacity before the next commodity downturn.
Growing inter- and intraregional integration through the signing of economic partnership
agreements with Europe by key African regional economic communities in the last years,
as well as the negotiations between the Common Market for Eastern and Southern Africa,
the East African Community and the Southern African Development Community towards the
Tripartite Free Trade Agreement, should foster competitive global integration and encourage
stronger FDI flows. The Continental Free Trade Area negotiated under the African Union
could also have a significant impact on intra-African FDI flows in the medium term.
442.7 bn
DEVELOPING ASIA 2016 Decrease
FDI flows, top 5 host economies, 2016 (Value and change) -15.5%
Share in world
25.3%
China
$133.7 bn
-1.4%
Singapore
$61.6 bn
-12.7%
Flows, by range
Above $50 bn
$10 to $49 bn
Top 5 host economies Figure A. Top 10 investor economies by FDI stock,
$1.0 to $9.9 bn
2010 and 2015 (Billions of dollars)
Economy
$0.1 to $0.9 bn $ Value of inflows 757
China
2016 % change 224
Below $0.1 bn
Hong Kong, China 616
394
Source: UNCTAD.
Note: The boundaries and names shown and the designations used on this map do not imply official endorsement or acceptance by the United Nations. Dotted line represents
approximately the Line of Control in Jammu and Kashmir agreed upon by India and Pakistan. The final status of Jammu and Kashmir has not yet been agreed upon by
the parties.
Chapter II Regional Trends 49
FDI inflows to developing Asia experienced their first decline since 2013
HIGHLIGHTS Outward FDI rose thanks to surging outflows from China
A recovery in inflows is expected
29.7 26.8 25.2 29.2 34.8 29.5 25.3 21.0 20.2 21.9 25.9 32.9 21.2 25.0
600 500
400
400
300
200
200
100
0 0
2010 2011 2012 2013 2014 2015 2016 2010 2011 2012 2013 2014 2015 2016
East Asia South-East Asia South Asia West Asia Share in world total
Inflows
The decline in FDI flows to developing Asia affected Developing Asia: FDI inflows
three of the four subregions (figure II.1) and most Figure II.1. by subregion, 2015 and 2016
(Billions of dollars)
major economies. In absolute terms, the bulk of the
decline in flows to developing Asia was registered
in Hong Kong (China), but inflows to Indonesia, 318 2015 2016
Mongolia, Singapore, Thailand and Turkey also fell
260
sharply. In contrast, foreign investment in China
and India remained more or less unchanged,
experiencing a 1 per cent decline and 1 per cent
increase, respectively. 127
101
In East Asia, FDI decreased in Hong Kong
51 54
(China), but held steady in China. FDI flows 28 28
to East Asia registered a decline of 18 per cent to
$260 billion. This was mainly the result of diminishing East Asia South-East South Asia West Asia
flows to Hong Kong (China) from $174 billion in Asia
2015 to $108 billion in 2016. Following a major
Source: UNCTAD, FDI/MNE database (www.unctad.org/fdistatistics).
corporate restructuring in 2015 that had made the
economy the largest FDI recipient in developing Asia
and the second largest in the world (WIR15), inflows normalized in 2016. FDI to Hong Kong
(China) nonetheless remained well above the average of about $80 billion registered over
20102013.
Inflows to China saw a slight decrease, by 1 per cent to $134 billion, owing to a decline in
FDI in finance. In non-financial sectors, the country recorded 27,900 new foreign-invested
enterprises (FIEs)1 in 2016, including 840 with investments above $100 million. In addition,
450 existing FIEs significantly expanded their businesses, undertaking additional investment
above $100 million.2 Non-financial services continued to underpin new FDI, with inflows in
the sector growing by 8 per cent while foreign investment into manufacturing continued
to shift to higher value added production. In March 2017, for example, Boeing started to
build an assembly facility in China, the first such project outside the United States. Further
openness and reforms at both the national and local levels have contributed to the growth
in FDI inflows. The four pilot free trade zones the first established in Shanghai in 2013
and the other three set up later in Fujian, Guangdong and Zhejiang received inflows of
$13 billion in 2016, a surge of 80 per cent.
West Asia absorbed only 1.6 per cent of the worlds FDI inflows in 2015 and 2016. The global financial and economic crisis that
started in 20082009 presaged a significant decline in both the amount of FDI flowing to the subregion and its share of global flows,
after the preceding five years of robust growth. Total FDI had surged from a mere $4 billion in 2002 to a peak of $85 billion in 2008
(box figure II.1.1), propelling the subregions share of global FDI flows from 0.7 per cent to 5.7 per cent.
Value FDI inflows to West Asia Share of West Asia in global inflows Share
90 9
80 8
70 7
60 6
50 5
40 4
30 3
20 2
10 1
0 0
2000 2001 2002 2003 2004 2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016
Two factors stand out as major determinants of FDI inflows to the subregion:
Oil price volatility. The rise of West Asias share in global FDI during 20032008 paralleled a surge in oil prices. Rising oil prices
boosted expected returns in oil-related industries and therefore boosted foreign investment in oil-exporting countries in the subregion.
Rising income from oil production and exports also increased public spending in oil and gas production and in infrastructure, which
further encouraged foreign investment to flow into related areas. When the global financial crisis in 2008 disrupted the oil-price super-
cycle, FDI flows to West Asia started declining. The collapse of oil prices in mid-2014 accentuated the trend in 2015 and 2016.
Political instability and regional conflict. Protracted political instability and regional conflicts in the subregion have also weighed
heavily on FDI. Conflicts in countries lying at regional crossroads, such as Iraq and the Syrian Arab Republic, have interrupted traditional
business links, dragging down FDI flows in all West Asian economies.
Turkey, Saudi Arabia and the United Arab Emirates account for the lions share of inward FDI stock in the subregion. However, measuring
the competitiveness of the individual economies of the region for FDI varies greatly: FDI stock per capita ranges from $104 in Yemen to
$20,000 in Bahrain; similarly, the ratio of inward FDI stock to GDP varies from about 6 per cent in Iraq to about 116 per cent in Lebanon.
With regard to both measures, some West Asian economies, such as Bahrain, Lebanon, the United Arab Emirates and Saudi Arabia, in
that order, stand out as strong performers in attracting FDI.
Source: UNCTAD.
Outflows
FDI outflows from developing Asia rose by 7 per cent to $363 billion. This was
primarily due to surging cross-border M&A purchases by Chinese firms. Outflows from
South Asia and ASEAN, in contrast, declined substantially. Overall, the value of cross-border
M&As by Asian companies rose from $123 billion in 2015 to $143 billion in 2016, with
assets in developed countries accounting for nearly 60 per cent of all acquisitions.
China drove up outflows from East Asia. FDI outflows from East Asia rose by almost
one fourth, to $291 billion (figure II.2). Chinese outward FDI rose by 44 per cent to $183
billion, driven by a surge of cross-border M&A purchases by Chinese firms, propelling
the country to the position of second largest investor for the first time. Chinese firms
investment abroad targeted a wide range of manufacturing and services industries.
Purchases of real estate properties by Chinese individuals in developed countries such
as Australia, the United Kingdom and the United States also contributed to the boom in
FDI outflows. Outward FDI from Hong Kong (China) and the Republic of Korea, the other
two major investing economies in the subregion, followed diverging trends: outflows from
Hong Kong (China) declined by 13 per cent to
$62 billion, the lowest level since 2010; outflows
Developing Asia: FDI outflows from the Republic of Korea increased by 15 per cent
Figure II.2. by subregion, 2015 and 2016 to $27 billion, driven by rising greenfield investments.
(Billions of dollars)
Indonesia and Singapore dragged down
outflows from South-East Asia. FDI outflows
291
2015 2016
from the subregion dropped by 36 per cent to
237 $35 billion. Outflows from Singapore, the leading
outward investing economy in ASEAN, fell by 24 per
cent to $24 billion as the regional investment hub
was affected by uncertainty in the global economy.
FDI flows from Indonesia turned negative, at -$12
billion, owing to equity divestments. Outward FDI
56
35 38 from Malaysia, traditionally another major investor in
31
8 6
South-East Asia, fell sharply by 43 per cent to $6
billion. The country has a strong position in outward
East Asia South-East South Asia West Asia investment in the primary sector, particularly in oil and
Asia
gas; the oil price decline that started in 2014 has led
Source: UNCTAD, FDI/MNE database (www.unctad.org/fdistatistics). to a continued fall in its outward FDI, now at its lowest
Box II.2. Intraregional FDI flows drive industrial reconfiguration in developing Asia
Regional value chains in ASEAN, China and India, have become increasingly interlinked as a result of rising intraregional FDI flows.
As these regional production networks evolve, the contours of a new industrial landscape are emerging:
ASEAN diversifies across value chains. Production networks in ASEAN have shifted from labour- to capital-intensive industries.
The recent growth of domestic productive capacity in manufacturing industries such as automotive and high-end consumer electronics
is strongly related to ASEANs rapidly evolving regional production networks and intraregional FDI flows. Production networks in the
regional bloc have expanded their industrial and geographical coverage, and have become increasingly sophisticated. This has been
linked to industrial reconfiguration in China, the Republic of Korea and Taiwan Province of China. Both national and regional policies
in particular enhanced infrastructural connectivity and more free trade and investment arrangements within ASEAN and beyond
(ASEAN+3) have contributed to these changes.
China moves up the value chain. Chinas domestic companies have captured larger market shares and moved up the value chain
in highly competitive manufacturing industries, such as high-end chemicals, electronics (in particular information technology (IT)),
automotive and aircraft. They have done so by establishing their own brands, building up their innovative capacities and expanding their
distribution networks internationally. Cross-border M&As have become important tools to achieve strategic objectives. In smartphone
production, for example, domestic brands already accounted for nearly four fifths of the Chinese market in 2015 and continued to
strengthen their share in 2016. Companies such as Huawei, OPPO, Vivo and Xiaomi are fast expanding internationally. For instance, in
five European countries, Huawei has gained a market share of more than 20 per cent, and in India, four Chinese brands ranked second
to fifth in market share, together accounting for 46 per cent of the Indian market.a
South Asia links up with regional value chains. India and other South Asian countries are linking up with regional value chains
and infrastructure networks. Indian manufacturing industries have started to integrate significantly into the strong and sophisticated
regional production networks in East and South-East Asia. This new trend is illustrated by some large-scale investments in dynamic
industries, such as smartphone production, mainly from China. In the smartphone industry, for instance, OPPO (China) moved into
the Indian market in 2014, establishing a manufacturing facility in Noida. In late 2016, the company announced an investment of
$216 million in Andhra Pradesh.b In addition, Huawei and Xiaomi have also started to invest massively in India. Chinese investment into
other industries is also growing apace: for example, Sany Group a major heavy-equipment manufacturer in China is set to invest
$5 billion in India.
Source: UNCTAD.
a
Counterpoint Research.
b
Oppo proposes to set up Rs 1000-crore facility in Andhra Pradesh, The Economic Times, 29 June 2016.
142.1 bn
LATIN AMERICA 2016 Decrease
Mexico
$26.7 bn
-19.4%
Colombia
$13.6 bn
+15.9%
Peru Brazil
$6.9 bn $58.7 bn
-17% -8.7%
Flows, by range
Above $10 bn
$5.0 to $9.9 bn
$1 to $4.9 bn Chile
$11.3 bn
$0.1 to $0.9 bn -29%
Below $0.1 bn
165 Chile 39
Spain 22
199
Chile $6.2 -49.2%
87 Germany 34
Netherlands 31
Colombia $4.5 +7.1% 36
Venezuela, 69 Japan 31
Bolivarian Republic of
$1.4 -221.8% Luxembourg
10 30
Source: UNCTAD.
Note: The boundaries and names shown and the designations used on this map do not imply official endorsement or acceptance by the United Nations.
12.2 12.2 11.9 12.2 12.8 9.3 8.1 4.1 3.0 2.9 2.1 2.5 2.0 0.1
200 60
150
40
100
20
50
0 0
2010 2011 2012 2013 2014 2015 2016 2010 2011 2012 2013 2014 2015 2016
South America Central America Caribbean, excluding financial centres Share in world total
Inflows
FDI flows to Latin America and the Caribbean accelerated their decline in 2016,
as investment slowed throughout the region. FDI in the region fell 14 per cent to
$142 billion, the fifth straight year of decline. The divergence in FDI trends between the
north and the south of the region observed in 2015 disappeared in 2016, with inflows falling
across subregions. This coincided with a significant slump in economic activity in the region,
with real GDP contracting 1.1 per cent, and a slump in gross fixed capital formation.
The composition of the regions FDI inflows
underwent a significant shift during the year Latin America and the Caribbean:
(figure II.3). Net intracompany lending fell sharply Figure II.3. FDI inflows by component, 20142016
(-36 per cent), especially in South America. This (Billions of dollars)
reduction reflects efforts by foreign affiliates to
strengthen their balance sheets in a context of Equity Reinvested earnings Other capital
economic contraction and weakening national
currencies, as well as the impact of recently 170 165
enacted policy measures (especially tightened anti- 142
tax avoidance measures). Equity flows, the largest 80
component of FDI in the region, fell 11 per cent 89
-11%
despite a resurgence in cross-border M&A sales 79
Central and South America: Growth of merchandise export volumes, 2006 Q12016 Q4
Figure II.4.
(Per cent)
30
25
Central America
20
15
10
5
0
-5
South America
-10
-15
-20
2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016
Source: UNCTAD.
Outflows
Outward investment by Latin American MNEs plunged in 2016, as their foreign
affiliates funneled significant financial flows back to their parents. Outward FDI
from the region fell by a staggering 98 per cent, to just $751 million. Outflows were strongly
affected by swings in intracompany lending (other capital) flows, which fell deeper into
negative territory as the year progressed (figure II.5). Strained balance sheets and economic
contraction at home prompted many of the regions MNEs to consolidate capital by speeding
up the repayment of outstanding liabilities by their foreign affiliates or reducing the supply of
debt financing within their corporate group. Other capital flows were also affected by a large
increase in reverse investment in debt instruments, as foreign affiliates routed capital raised
in corporate debt markets back to their Latin American parents.
Equity outflows continued to decline (-35 per cent) and remained well below the levels
registered in 2013 and 2014. Unsurprisingly, cross-border M&A activity was exceptionally
weak, with the value of net purchases by the regions MNEs plummeting 86 per cent to
$0.7 billion a precipitous fall from the high of $31 billion in 2012. Reinvested earnings
also weakened significantly (-39 per cent), reflecting the lower profits on investments in the
region, especially in the extractive sector.
Investment from Brazil fell from $3 billion to a net divestment of $12 billion. Reverse
investment debt flows, which appear as a negative figure in FDI statistics when expressed
on a directional basis, nearly doubled to $20 billion. This increase was driven in large part
by the $10 billion raised in international debt capital markets by Petrobras (Brazil) through
its wholly owned affiliate Petrobras Global Finance BV (Netherlands). Outflows were also
hampered by an increase in the net divestment of foreign assets through cross-border
M&As by Brazilian MNEs during the year.
15
10
-5
-10
-15
-20
-25
2013 2014 2015 2016
In Mexico, FDI outflows swung from $11 billion in 2015 to a net divestment of $0.8 billion,
due primarily to the plummeting of other capital flows (largely intracompany debt) from
$1.6 billion in 2015 to a negative $6 billion. Equity outflows also slumped, despite a near
doubling in the value of cross-border M&As concluded by the countrys MNEs (98 per cent
to $4 billion). Likewise, FDI from Chile the regions largest outward investor in 2016
dipped significantly (-49 per cent to $6 billion), owing to a sharp decline in net intracompany
lending outflows (-78 per cent).
Prospects
Prospects for FDI in Latin America and the Caribbean remain muted in 2017. After
suffering a significant contraction, the regions economy is projected to return to weak
growth. Rising commodity prices might improve the terms of trade of the regions major
commodities exporters, principally South American countries, which is likely to bolster
private consumption as well as public finances.
Nevertheless, as challenging macroeconomic conditions persist, FDI flows to the region are
forecast to retreat a further 10 per cent to some $130 billion in 2017. This is already apparent
in the relatively weak increase in the value of greenfield investment projects announced in
the region in 2016 (3 per cent), which contrasted sharply with those registered in other
developing regions (Asia: 8 per cent; Africa: 40 per cent). In particular, investment in the
regions extractive sector is likely to remain modest greenfield FDI project announcements
for the sector in 2016 were only $4 billion as operators continue to strengthen their
balance sheets and restructure their capital expenditure plans.
FDI to the region will also be affected by significant uncertainties over the direction of
economic policymaking in the United States. Central America is particularly vulnerable to
recently proposed tax and trade policies. Reflecting these concerns, private sector analysts
in Mexico surveyed by the Central Bank in 2017 foresee a nearly 20 per cent decrease in
investment flows to that country this year.9
68.0 bn
TRANSITION ECONOMIES 2016 Increase
FDI flows, top 5 host economies, 2016 (Value and change) +81.1%
Share in world
3.9%
Russian Federation
$37.7 bn
+217.7%
Ukraine
$3.3 bn
+9.4% Kazakhstan
$9.1 bn
+126.0%
Azerbaijan
$4.5 bn
+11.2%
Turkmenistan
$4.5 bn
Flows, by range +2.8%
Figure A. Top 10 investor economies
Above $10.0 bn by FDI stock, 2010 and 2015 (Billions of dollars)
$5.0 to $9.9 bn Top 5 host economies Cyprus 27
65
$1.0 to $4.9 bn Economy
Germany 24
$0.5 to $0.9 bn $ Value of inflows 25
2016 % change 23
Below $0.5 bn China 6
United Kingdom 22
16
Outflows: top 5 home economies
Italy 19
(Billions of dollars and 2016 growth) 12
Russian Federation 13
18
Russian Federation $27.3 +0.7%
Austria 12
Azerbaijan $2.6 -21.0% 17
Source: UNCTAD.
Note: The boundaries and names shown and the designations used on this map do not imply official endorsement or acceptance by the United Nations.
4.6 5.0 4.1 5.8 4.3 2.1 3.9 3.6 3.5 2.4 5.4 5.8 2.0 1.7
100 80
80
60
60
40
40
20
20
0 0
2010 2011 2012 2013 2014 2015 2016 2010 2011 2012 2013 2014 2015 2016
Inflows
FDI to transition economies recovered in 2016 on the back of strong flows
to Kazakhstan and to the Russian Federation. Inflows surged by 81 per cent to
$68 billion the regions third largest volume in the 2010s, although still below the
record level of $118 billion in 2008. The FDI performance of transition subgroups diverged
again, however: flows to the CIS and Georgia almost doubled to $63 billion, while in
South-East Europe, inflows retreated slightly to $4.6 billion.
The Russian Federation saw its FDI inflows more than triple from the previous year, to
$38 billion, as the economy started to recover after the contraction in GDP in 2015 and
as export performance improved in both oil and non-oil products, in part reflecting some
stabilization in oil prices. Nevertheless, FDI flows were still only half of their 2008 record
of $76 billion and 29 per cent below the $53 billion recorded in 2013, hampered by trade
restrictions that partner countries and Russian authorities have been enacting against each
other since 2014. Equity flows rebounded from a negative $400 million in 2015 to a positive
$19 billion, mainly related to privatization of State-owned assets. A surge of reinvested
earnings by established investors rising from $11 billion to $18 billion in 2016 also
supported FDI inflows in 2016. Intracompany loans remained small $1 billion and
declined slightly from the previous year (-9 per cent).
Investments in the Russian Federation by MNEs from developing economies increased in
2016. The Government sold a 19.5 per cent stake in the State-owned oil company Rosneft
for $11 billion to a consortium led by Glencore (Switzerland) and the Qatari sovereign wealth
fund. Indian companies also acquired assets being privatized in the oil and gas sector:
Vankor India a joint venture of Oil India Ltd, Bharat Petroleum Corp and Indian Oil Corp
Ltd, headquartered in Singapore acquired 24 per cent, and ONGC Videsh Ltd (India)
an additional 15 per cent, of Vankorneft, ultimately owned by the Russian State-owned
Rosneftegaz, for $2 billion and $1.3 billion, respectively. At the same time, the Russian
Federation attracted greenfield projects from new sources, such as the Charoen Pokphand
Group (Thailand) and the TH Group (Viet Nam) in dairy production.10
FDI inflows to Kazakhstan the largest of the nine landlocked CIS countries and the most
attractive to investors more than doubled, to $9 billion, due mostly to an increase in
mining exploration activities and interest from new investors. In a new megaproject, an
international consortium11 started investing in the extension of the life of the giant Tengiz oil
field. The project, which could span a decade of work, is expected to cost up to $36.8 billion
and to produce new oil by 2022. This project underscores that foreign investors continue
In 2016, Kazakhstan attracted FDI from non-traditional investors, especially from China. Chinese State-owned oil firm Sinopec, which
has been present in the country for more than a decade, increased its stakes largely by acquiring the local assets owned by the Russian
oil company Lukoil for $1.1 billion, accentuating the shift in the exploitation of Kazakh resources towards non-traditional sources of
investment. FDI from India rose sharply, with Bharat Heavy Electricals investment in gas turbine generators at the Tengiz complex and
its joint venture with Samruk Energy in the Kazakh power sector. Niroo Transfo (Islamic Republic of Iran) formed a joint venture with a
local partner to build a transformer oil plant in Shymkent for about $1 billion.
Investment in the oil and gas and mining industries still accounted for the majority of Kazakhstans total FDI inflows in 2016; however,
the Government has been pushing for its commodity-based industries to expand towards more value added activities. For instance,
a partnership between Chinas MCC Baosteel and the Eurasian Resources Group, a Kazakh mining group in which the State holds a
40 per cent stake, is developing a $1.2 billion plant designed to increase the processing of local iron ore.
Source: UNCTAD.
to favour the countrys hydrocarbon and mineral reserves when it comes to FDI, although
recent interest from Chinese, Indian and Iranian investors has focused on downstream
manufacturing, too (box II.3). In addition to established investors expansion of existing
activities, interest from these new investors drove equity investments upwards. In addition,
reinvested earnings amounted to almost $5 billion the second largest volume recorded
so far.
FDI inflows also increased in Ukraine by 9 per cent to $3.3 billion largely due to the
recapitalization of foreign-owned banks. Greenfield investment, in contrast, has been
limited in a business environment characterized by slow reforms as well as regulatory
and tax problems. In addition to traditional investors, the country is also attracting FDI
from China: for instance, China Western Power Industrial announced a $189 million
project in renewable energy production. Inflows also rose moderately in landlocked
Turkmenistan, by 3 per cent to $4.5 billion, as Daewoo International (Republic of
Korea) began the construction of an iron manufacturing plant, dealing with such key
aspects as engineering, procurement, construction, operation and management, and
work started on the expansion of the Galkynysh gas field, attracting various investors,
including CNPC from China. In Azerbaijan, inflows mostly concentrated in oil and
gas rose by 11 per cent to $4.5 billion. In Georgia, a country relying on various types
of FDI (e.g. transportation infrastructure, tourism, finances), inflows rose by 5 per cent to
$1.7 billion, recovering from the drop of 2015. In contrast, FDI flows to Belarus, Kyrgyzstan,
the Republic of Moldova and Tajikistan all fell in 2016.
In South-East Europe, FDI flows declined slightly to $4.6 billion. FDI increased
substantially in the former Yugoslav Republic of Macedonia and Albania but decreased
in Montenegro and Serbia. Flows to the former Yugoslav Republic of Macedonia grew by
65 per cent as Hystead Ltd (United Kingdom) bought Skopje City Mall, a shopping centre
operator, for $100 million. Albania, another growing recipient of FDI, is attracting both
traditional and new investors. Interest from Chinese investors is mounting, through both FDI
and other forms of involvement.12 Chinese firms have shown interest in road construction
projects, acquiring access to natural resources (Geo-Jade Petroleum bought controlling
rights in two Albanian oil fields for $442 million), and obtaining the concession for Tirana
International Airport. In Serbia, even though overall FDI inflows fell in 2016, the interest of
Chinese investors is also on the rise: for example, State-owned Hebei Iron & Steel Group Co
Ltd acquired Serbian State-owned Zelezara Smederovo for $52 million.
Outflows
FDI outflows from the transition economies declined to $25 billion in 2016.
The marginal expansion from $27.1 billion to $27.3 billion recorded in the Russian
Federation was offset by a decline in the rest of the region, from $5.1 billion to
-$2.1 billion, due to negative FDI outflows from Kazakh firms (-$5.4 billion), especially
through reverse intracompany loans (-$6.5 billion). The net M&A purchases of MNEs from
the region turned negative in 2016: for instance, Viva Telecom Bulgaria EAD acquired
Bulgarian Telecommunications Co AD, a Sofia-based wired telecommunications carrier,
from the Russian State-owned Bank VTB, for $354 million. Notwithstanding the general
trend in the regions outward FDI, some Russian firms continued their foreign expansion.
For example, Polymetal acquired Orion Minerals, a gold mine operator in Kazakhstan,
for $180 million; retailer Lenta acquired the K-Ruoka supermarket chain in Finland for
$177 million; and Lukoil started the construction of a gas processing complex in Kandym,
in southwestern Uzbekistan, originally announced in 2015 one of the major greenfield
projects undertaken by Russian firms in the CIS. Most of the outward FDI stock of the
Russian Federation continued to be registered in Cyprus, the Netherlands and the British
Virgin Islands, in that order, accounting for more than two thirds of the total at the end of
2015 (the last year for which complete information was available), followed by developed
countries such as Austria, Switzerland and Germany, in that order, accounting for almost
17 per cent of the outward stock. CIS countries together attracted only 2.5 per cent of
Russian outward FDI, mostly concentrated in Kazakhstan and Ukraine, both accounting for
0.9 per cent. Russian firms targeted emerging markets moderately: Turkey accounted for
2.1 per cent of the outward stock and China for only 0.1 per cent.
Main challenges for outward-investing Russian firms include not only getting access
to finance, but also finding new targets for expansion. Although projects in emerging
economies do not offer the same access to cutting-edge technologies as in traditional
advanced countries, Russian firms are increasingly active in these new markets. Russian
outward investment has traditionally been concentrated in natural resources. By the end
of 2016, the accumulated value of Russian MNEs projects in oil and gas around the
globe, including all forms of engagement (FDI and non-equity), was thought to exceed
$6 billion. Some Russian firms are also involved in downstream projects, such as RT-Global
Resources and the construction of the KarachiLahore gas pipeline in Pakistan, which is
part of a $2 billion build-operate-transfer project to be completed by 2020. In addition,
transportation projects include a $2.5 billion railway line on the island of Kalimantan in
Indonesia, constructed by State-owned Russian Railways, to be completed by 2019.
1 032.4 bn
DEVELOPED ECONOMIES 2016 Increase
FDI flows, top 5 host economies, 2016 (Value and change) +4.9%
Share in world
59.1%
United
Kingdom
$253.8 bn
+669.1%
Netherlands
Canada $92.0 bn
$33.7 bn +33.8%
-18.8%
United States
$391.1 bn
+12.3%
Australia
$48.2 bn
+147.4%
Source: UNCTAD.
Note: The boundaries and names shown and the designations used on this map do not imply official endorsement or acceptance by the United Nations.
49.0 51.8 53.8 47.4 42.6 55.5 59.1 69.4 71.7 70.2 63.7 56.5 73.6 71.9
1 200 1 200
900 900
600 600
300 300
0 0
2010 2011 2012 2013 2014 2015 2016 2010 2011 2012 2013 2014 2015 2016
European Union North America Other developed countries Other developed Europe Share in world total
Inflows
FDI flows to Europe were subdued in 2016, despite megadeals in the United
Kingdom. Inflows declined in 19 of the 32 European economies, resulting in a 6 per cent
fall in aggregate inflows, to $533 billion. Two opposite trends contributed to this pattern: the
completions of cross-border M&A megadeals, which add to the equity component of FDI,
and significant declines in intracompany loans.
The value of completed M&A deals targeting assets in Europe shot up to $377 billion, its
highest level since 2007. Many of the largest of these assets were based in the United
Kingdom, where FDI inflows rose from $33 billion in 2015 to $254 billion in 2016. Three
of the four largest deals in the world completed in 2016 were foreign acquisitions of
companies based in the United Kingdom: the purchases of the beverage company SABMiller
by Anheuser-Busch (Belgium), the oil and gas company BG Group by Shell (the Netherlands)
and the semiconductor technology company ARM by SoftBank (Japan).
Inflows to other major recipients of FDI in Europe continued to be influenced by large
fluctuations in intracompany loans, which diminished substantially in 2016. FDI to Ireland
the largest recipient in Europe in 2015, with inflows worth $188 billion fell to $22 billion
in 2016. Intracompany loans worth a negative $124 billion were responsible for most of
this decline. Intracompany loans also declined by $16 billion in France and $14 billion in
Germany. On the positive side, rising intracompany loans (up $14 billion) pushed inflows
to the Netherlands to $92 billion, making it the second largest recipient in Europe. Flows
to Switzerland the third largest recipient economy in Europe in 2015 turned negative
(-$26 billion), underscoring the volatile nature of FDI flows to economies with concentrations
of corporate headquarters and treasury functions.
FDI stock data shed light on the role intracompany loans play in the FDI flows of those
economies. For instance, FDI stock in the form of intracompany loans in Ireland had been
negative and limited in absolute value before leaping to $272 billion in 2015 (figure II.6).
The huge expansion was attributed to reconfigurations of MNEs corporate structures,
but the decline in 2016 suggests that it was a transitional development in the process
of reconfigurations; if this is the case, intracompany loans could decline further in
the coming years. In Belgium, inward FDI stock data show that foreign affiliates in the
country collectively had outstanding loans worth $122 billion in net terms to their parent
companies or to other affiliates of those parents outside Belgium. It is possible, however,
that intracompany loans will play a lesser role in the coming years in Belgium, too. The
negative stock of intracompany loans in the country has been steadily diminishing after
peaking in 2012 at -$297 billion.
Ireland Belgium
706
595 809 800
696
425 452 624 597
387 534 570
312 296 272 373
340
134
-26 -6 -4 -16 -36 -297 -228 -219 -169 -122
2010 2011 2012 2013 2014 2015 2016 2010 2011 2012 2013 2014 2015 2016
In Sweden inflows rose sharply, to $20 billion. The acquisition of the pharmaceutical
company Meda by Mylan (United States) and increases in reinvested earnings were the
main contributing factors. In the four other Nordic countries, M&A sales declined, resulting
in FDI inflows falling or remaining low. In particular, inflows to Norway turned into a net
divestment of -$5.5 billion. In the Baltic states, inflows to Latvia and Lithuania fell, with the
latter recording a net divestment of -$208 million. In Estonia, although M&A sales were
negative, inflows bounced back to $870 million (box II.4).
In the Central and East European member countries of the EU, inflows generally
stabilized or bounced back in 2016, after contracting sharply in 2015. However, the dollar
value of FDI inflows to Poland the largest recipient in this group fell further, due to
the falling exchange rate and a series of divestment deals (box II.4). Inflows to Hungary
still recorded a net divestment, although smaller than in 2015 at -$5.3 billion, thanks to
recovering intracompany loans. Inflows to the Czech Republic substantially recovered, as
the large negative intracompany loans responsible for the decline of FDI in 2015 turned
positive.
In developed countries around the Mediterranean, inflows increased in 2016. In Spain,
inflows recovered to $19 billion, and FDI to Italy grew by 50 per cent to $29 billion.
FDI flows to Greece almost trebled, to $3.1 billion, as foreign financial MNEs acquired
assets in the country.
The origin of FDI in European countries can be gauged from M&A deals. Two thirds of these
transactions originated from MNEs based in other European countries, with Belgium and
the Netherlands being the largest investors owing to the mega-acquisitions by Anheuser-
Busch and Shell. The third largest buyer of European assets was the United States, followed
by Japan.
Brexit is likely to have a limited impact on FDI until the terms of the departure
become clear. Cross-border investment data up to 2016 show few discernible effects of
the Brexit vote. The widely held expectation before the referendum in June 2016 that the
United Kingdom would vote to remain in the EU might explain the lack of impact so far.
Moreover, transactions that took place in 2016 are the result of decisions that predate
the referendum. Many of the M&A deals completed in 2016 were announced in 2015
or earlier. Any potential change in FDI plans caused by Brexit would take a few years to
translate into actual flows.
In Europe, the number of divestments M&A deals in which MNEs sell their stakes in foreign affiliates to domestic investors in the host
country has gradually declined, from 554 in 2005 to 469 in 2016. However, in some areas divestments appear to be on the rise,
with 16 such deals recorded in the Baltic countries and 56 in the Central and East European countries in 2016. The actual impact of
divestments on FDI flows depends on the size of such deals, but the upward trend since 2010 is clear (box figure II.4.1).
Divestment deals in Central and Eastern Europe and the Baltics, 20052016
Box figure II.4.1.
(Indexed, 2005 = 100)
600
500 Baltic
countries
400
300
Central and
200
Eastern Europe
Europe
100
0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016
Government policy has been driving divestment in some cases. In Hungary and Poland, for instance, the Governments are pursuing
a policy to increase domestic ownership in the banking industry, which in practice involves State-owned enterprises. In Hungary, the
Government called for 60 per cent or more of its banking industry to be brought under domestic control.a In 2014, it acquired MKB Bank
from BayernLB (Germany) for $74 million. In Poland, this policy sometimes dubbed re-polonization was introduced after the global
financial crisis. For instance, in 2016 State-owned Alior Bank acquired the Polish assets of GE Capital (United States), with a combined
value of $678 million. UniCredit (Italy) announced in December 2016 an agreement to sell its controlling stake in Bank Pekao, Polands
second largest bank, for $2.5 billion to a consortium comprising the State-controlled insurance company PZU and the State-owned
Polish Development Fund. From the investors side, the exits of GE Capital and UniCredit came about after reviews of their business
portfolios prompted by the 2008 financial crisis. In other cases, such as Nordea (Sweden) selling its affiliate PKO Bank Polski in 2014,
regulatory changes were thought to be the main factors behind the exit. State involvement in these two countries is likely to extend to
other industries. In Hungary, State-owned enterprises have been acquiring assets in utilities and the media. In Poland, a policy to restrict
foreign ownership of the media is under discussion.
State-owned enterprises have also played a role in divestments in the Czech Republic, such as the acquisition of the domestic water-
supply system operator Vodarna Plzen by the State-owned Mesto Plzen. However, in this country, as in the Baltic countries, it is domestic
investment funds that are active in acquiring assets divested by foreign MNEs.
Source: UNCTAD.
a
Hungarys Orban sees two-thirds of banks in domestic hands, Reuters, 14 November 2014.
Perhaps more important, the largest companies based in the United Kingdom are global
MNEs. Thus, any acquisition of these companies reflects changes in asset ownership and
revenue streams around the world, which are not necessarily influenced by the policy
environment in the United Kingdom or Europe. Looking at the major deals completed in
2016, for instance, the main attractions of BG Group for Shell were its natural gas assets,
most notably in Australia and Brazil. Similarly, Europe accounts for just 16 per cent of
SABMillers revenues.14 ARM, which licenses semiconductor technologies that are widely
Announced cross-border M&A deals targeting the United Kingdom, the EU and the rest of
Figure II.7.
the world, 2014 Q12016 Q4 (Indexed, 2014 Q1 = 100)
150
140
United Kingdom
130
120
World excluding the EU
110
100
2014 2015 2016
Outflows
Diminishing intracompany loans depressed outflows from Europe. FDI outflows
from Europe declined by 23 per cent to $515 billion. However, M&A purchases by European
MNEs rose for the third successive year, reaching the highest level since 2007. The
discrepancy suggests that negative intracompany loans were the main factor behind the
Prospects
Political uncertainty clouds a generally positive economic outlook. FDI flows to
developed countries are expected to hold steady, at about $1 trillion. Flows to Europe are
projected to recover as the large volume of negative intracompany loans in 2016 is unlikely
to be sustained. In contrast, FDI flows to North America, which reached an all-time high in
2016, appear to be running out of steam and MNE executives are likely to take a wait-and-
see approach in the face of policy uncertainty
As in 2016, M&A megadeals are likely to heavily influence FDI flows to developed countries
in 2017. Cross-border M&A deals announced in 2016 were worth $1.1 trillion, substantially
down from $1.4 trillion in 2015. Both the number and the value of cross-border M&A
deals in developed countries were significantly down in the first quarter of 2017. Likewise,
the value of greenfield projects in developed countries announced in 2016 was down
9 per cent compared with 2015. Although the general economic outlook is positive,
Table II.2. The largest cross-border M&A deals targeting developed countries announced in 2016
Transaction value
Target company Target country Acquiring company Acquiring country Status
(Billions of dollars)
Monsanto United States Bayer Germany 57 Pending
Reynolds American United States British American Tobacco United Kingdom 49 Pending
Syngenta Switzerland China National Chemical China 44 Pending
Linde Germany Praxair United States 35 Pending
Baker Hughes United States GE Oil and Gas United Kingdom 32 Pending
ARM Holdings United Kingdom SoftBank Group Japan 32 Completed
Actelion Pharmaceuticals Switzerland Johnson & Johnson United States 30 Pending
Spectra Energy United States Enbridge Canada 28 Completed
Johnson Controls United States Ty International Ireland 23 Completed
Sky United Kingdom 21st Century Fox United States 15 Pending
Source: UNCTAD, FDI/MNE database (www.unctad.org/fdistatistics).
FDI flows, top 5 host economies, 2016 (Value and change) -12.8%
Share in world
2.2%
Myanmar
$2.2 bn
-22.5%
Ethiopia Bangladesh
$3.2 bn
+45.8% $2.3 bn
+4.4%
Angola
$14.4 bn
-11.2%
Mozambique
$3.1 bn
-20.0%
Thailand 7
2
Outflows: top 5 home economies
Norway 6
(Billions of dollars and 2016 growth) 4
Korea, Republic of 6
3
Angola $10.69 +34.7%
Hong Kong, China 6
Togo $0.45 +29.6% 6
Democratic Republic
of the Congo
$0.27 -46.4% Portugal 5
3
Cambodia $0.12 +155.7% 3
Singapore
1
Liberia $0.04 ..
South Africa 2
3 2015 2010
Source: UNCTAD.
Note: The boundaries and names shown and the designations used on this map do not imply official endorsement or acceptance by the United Nations. Final boundary between
the Republic of Sudan and the Republic of South Sudan has not yet been determined. Final status of the Abyei area is not yet determined. Dotted line in Jammu and
Kashmir represents approximately the Line of Control agreed upon by India and Pakistan. The final status of Jammu and Kashmir has not yet been agreed upon by the
parties.
Chapter II Regional Trends 79
After a high in 2015, FDI flows contracted
HIGHLIGHTS China remained the largest home economy investing in LDCs
Investments related to oil and gas will continue to drive overall FDI flows
0.4 1.0 2.0 3.6 1.9 1.5 1.4 1.3 2.2 2.2 2.9 2.5 2.8 3.0 3.1 2.5 2.2
50
40
30
20
10
0
2000 2001 2002 2003 2004 2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016
Africa Asia Oceania Latin America and the Caribbean Share in world total
Inflows
Aggregate FDI flows to African LDCs and Haiti fell by 12 per cent to $31 billion.
FDI flows to Angola, the second largest oil producer in Africa, declined for the second
consecutive year to $14 billion (-11 per cent) from a record of $17 billion posted in 2014.
Nevertheless, it remained by far the largest FDI host in LDCs, absorbing nearly 40 per cent
of total foreign investment flows to the group. Foreign investors reduced their reinvested
earnings to a nine-year low of $1 billion (-46 per cent). Although equity investment declined
by 6 per cent to $13 billion from a record of $14 billion in 2015 it remained higher than
the annual average of $10 billion recorded in 20112013. FDI flows to the Sudan, another
oil-related economy, fell to $1 billion (-38 per cent), as compared with a peak of over
$2 billion in 2012. Although South Sudan recorded negative flows in 2016, it attracted
investments into coffee farms, thereby positioning coffee beans as its primary non-oil export.
Facing challenging macroeconomic conditions and a deteriorating business climate,
Mozambique saw its FDI inflows fall for the third consecutive year to a six-year low of
$3 billion (-20 per cent from 2015). With the finalization of agreements on a large
natural gas project between the Government and foreign investors taking longer
than expected, the surge in FDI in auxiliary infrastructure came to a temporary halt
in 2016. In the United Republic of Tanzania, which is also expected to become a new
producer of natural gas in the future, FDI slipped for the third consecutive year, to
$1.4 billion (-15 per cent), amid uncertainty about FDI policies and tax rules.
Two leading mineral exporters the Democratic Republic of the Congo and Zambia also
saw their FDI shrink further in the face of low commodity prices. In the former, despite
growing interest from Chinese firms, FDI fell for the fourth consecutive year to $1 billion
(-28 per cent), significantly below its 2012 peak of more than $3 billion. In Zambia, FDI
slumped to $469 million (-70 per cent) about a fifth of its peak of $2.1 billion, posted in
2013. Low commodity prices and uncertainty about mining tax policy amendments could be
the main reasons why foreign investors put on hold projects in the countrys mining sector,19
although some positive prospects cropped up in non-mining sectors.20
In contrast, thanks to investments in infrastructure and manufacturing, Ethiopia again posted
strong growth in FDI (up 46 per cent to $3 billion) and became the second largest LDC host
economy, up from the fifth position in 2015. The largest cross-border M&A sale of the
year ($510 million) was also recorded in the country, with Japan Tobacco acquiring a local
cigarette manufacturing facility. Ethiopia attracted new FDI in manufacturing, which could
create opportunities for local SMEs to link to global supply chains. Although China was one
of the major sources of FDI, foreign investors from other economies have started investing
more in Ethiopias agro-processing, hotels and resorts, as well as in its manufacturing
activities.
Prospects
industries.
Despite this potential for diversification, large-scale FDI projects in African LDCs continue to
focus on extractive and related industries and to dominate aggregated FDI flows to LDCs.
Examples include petroleum refineries; natural, liquefied and compressed gas production;
24.3 bn
LANDLOCKED 2016 Decrease
Turkmenistan Kazakhstan
$4.5 bn $9.1 bn
+2.8% +126.0%
Azerbaijan
$4.5 bn
+11.2%
Ethiopia
$3.2 bn Lao People's
+45.8% Democratic
Republic
$0.9 bn
-20.5%
Flows, by range
Above $1 bn
Figure A. Top 10 investor economies
$0.5 to $0.9 bn by FDI stock, 2010 and 2015 (Billions of dollars)
Top 5 host economies
$0.1 to $0.5 bn 26
Economy China 8
$10 to $99 mn $ Value of inflows
Canada 8
Below $10 mn 2016 % change 5
Russian Federation 5
6
Germany 1
1 2015 2010
Source: UNCTAD.
Note: The boundaries and names shown and the designations used on this map do not imply official endorsement or acceptance by the United Nations. Final boundary between
the Republic of Sudan and the Republic of South Sudan has not yet been determined. Final status of the Abyei area is not yet determined. Dotted line in Jammu and
Kashmir represents approximately the Line of Control agreed upon by India and Pakistan. The final status of Jammu and Kashmir has not yet been agreed upon by the
parties. Chapter II Regional Trends 85
Flows to landlocked developing countries stabilized
HIGHLIGHTS The rise of investors from the South continues
FDI prospects warrant cautious optimism
0.3 0.8 1.3 1.6 1.8 0.7 0.8 0.8 1.7 2.2 2.0 2.3 2.1 2.1 2.1 1.4 1.4
40
30
20
10
0
2000 2001 2002 2003 2004 2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016
Transition economies Africa Asia and Oceania Latin America and the Caribbean Share in world total
Inflows
FDI to LLDCs stabilized in 2016 but still remained marginal. After a major fall in
2015, the groups flows retreated by only 2 per cent, to $24 billion. LLDCs continue to play
a marginal role on the global FDI scene, accounting for less than 2 per cent of world inflows,
although this share is higher than their share in world GDP (1 per cent). FDI dynamics varied
across the group. FDI rebounded in landlocked transition economies thanks to buoyant FDI
in Kazakhstan, Armenia, and the former Yugoslav Republic of Macedonia, although in the
latter two, it surged from a low base. In all other regions, FDI inflows declined. In Africa, the
continued upward trend in Ethiopia was more than offset by major declines in Botswana and
Zambia. A slump of FDI flows was recorded in Asian LLDCs as well, due to negative inflows
in Mongolia. FDI to the two Latin American LLDCs also fell, as moderate gains in Paraguay
could not compensate for the decline of FDI in the Plurinational State of Bolivia. FDI to
LLDCs shares similarities small volume, volatility, dependence on commodities in various
countries with FDI to LDCs. This is to a large degree due to a significant overlap between
the two groups (17 of the 32 LLDCs are LDCs), particularly in Africa and Asia.
In the 16 African LLDCs, FDI inflows fell by 14 per cent to $7 billion in 2016. This is low even
compared with total FDI into Africa, reflecting the fact that LLDCs are often the poorest and
most disadvantaged economies in the region. Among African LLDCs, Ethiopia was by far
the most dynamic and largest FDI recipient (accounting for almost half of the total inflows of
LLDCs in Africa), thanks to improvements in infrastructure and advances in industrialization.
Inflows to Ethiopia have been rising constantly since 2012, even when FDI declined in
many other LLDCs. Small countries such as Burkina Faso and the Central African Republic
also registered high FDI growth in 2016, but from very low levels in 2015. Rwanda also
experienced a rise in inflows by 8 per cent, to $410 million.
The heterogeneous group of five Asian LLDCs (Afghanistan, Bhutan, the Lao Peoples
Democratic Republic, Mongolia and Nepal) recorded negative inflows in 2016 (-$3 billion).
The Lao Peoples Democratic Republic remained by far the largest recipient of FDI in this
group, although inflows declined by 20 per cent to about $900 million. Inflows to Mongolia
turned negative (-$4 billion) in the face of negative intracompany loans, which were a result
of various factors, including policy and judiciary uncertainty, low commodity prices and profit
taking from mature projects.
The two Latin American LLDCs (the Plurinational State of Bolivia and Paraguay) attracted
less than $700 million in FDI in 2016 a 16 per cent decline from the previous year. In the
Plurinational State of Bolivia the decline came about in part as foreign investment in oil and
gas and in mining contracted.
Prospects
FDI prospects in LLDCs warrant cautious optimism. Renewed interest by investors
has so far bolstered the oil and gas industry mainly, building on expectations of higher
international prices. However, some interest is discernible in manufacturing, offering some
hope for diversification. Diversification into manufacturing takes time, however, and LLDCs
continue to rely on natural resources. Therefore, FDI prospects are still heavily influenced
by the commodity price recovery. The strong performance of announced greenfield
projects in 2016 gives reason for optimism in the near future, although the largest projects
(in Kazakhstan and Ethiopia) are expected to be carried out over the longer run.
LLDCs can contribute to attracting FDI by establishing reliable and transparent regulatory
environments. Continued FDI growth also hinges on political issues, heavily weighing
on the success of cooperation with neighbouring countries, especially transit countries.
Regional integration initiatives can provide a framework of cooperation deeper than bilateral
agreements. Examples of progress with regional integration affecting LLDCs positively
include the Eurasian Union in Central Asia, the Central European Free Trade Agreement for
South-East European LLDCs, ASEAN cooperation for the Lao Peoples Democratic Republic
and African integration schemes for Ethiopia, Rwanda and Uganda.
3.5 bn
SMALL ISLAND 2016 Decrease
Maldives
$0.4 bn
+45.6%
Bahamas Mauritius
$0.5 bn $0.3 bn
+27.8% +67.8%
Jamaica Fiji
$0.9 bn $0.3 bn
-7.5% -12.3%
Source: UNCTAD.
Note: The boundaries and names shown and the designations used on this map do not imply official endorsement or acceptance by the United Nations. Final boundary between
the Republic of Sudan and the Republic of South Sudan has not yet been determined. Final status of the Abyei area is not yet determined.Dotted line in Jammu and
Kashmir represents approximately the Line of Control agreed upon by India and Pakistan. The final status of Jammu and Kashmir has not yet been agreed upon by the
parties.Report 2017 Investment and the Digital Economy
90 World Investment
FDI inflows shrank for the second consecutive year
HIGHLIGHTS Some SIDS received more diversified FDI
Prospects for attracting FDI remain dim
0.2 0.3 0.4 0.6 0.5 0.4 0.4 0.3 0.6 0.4 0.3 0.3 0.2 0.2 0.4 0.2 0.2
10
0
2000 2001 2002 2003 2004 2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016
Latin America and the Caribbean Africa Oceania Asia Share in world total
Inflows
Despite recoveries in some leading host economies, fragile FDI inflows to SIDS
shrank for the second consecutive year. Although flows into the 10 Caribbean
economies in the group slipped to $2 billion (-13 per cent), they still absorbed almost 60 per
cent of total inflows to the 29 SIDS members. The largest recipient economy in this region
was Jamaica, followed by the Bahamas and Barbados. The third largest host economy in
2015, Trinidad and Tobago, saw it FDI flows turn negative.
After a high of $925 million in 2015, FDI inflows to Jamaica retreated to $856 million
(-7 per cent), as new investments in tourism and infrastructure slowed down. In mining,
Jiuquan Iron and Steel (China) acquired a bauxite mining company for $299 million from a
Russian investor. This is an important project, though this cross-border M&A sale did not
generate additional FDI flows to Jamaica during the year. The growth momentum was not
lost, as the level of 2016 FDI flows was 47 per cent higher than in 2014.
In the Bahamas, FDI flows bounced back by 28 per cent to $522 million, as FDI in
construction picked up. Yet the volume remained less than one third of its previous peaks
($1.6 billion in 2014 and $1.5 billion in 2011). FDI flows into Barbados also rebounded from
$69 million in 2015 to $228 million in 2016, though they are still less than half of the $559
billion posted in 2014.
After posting positive flows in 20142015, the highly volatile FDI to fuel-exporting Trinidad
and Tobago reversed to -$60 million. Unlike in previous years (when divestments took
place in coke and refined petroleum products in 20112015 or in extraction of crude
petroleum and natural gas in 20122014), the aggregated divestments registered in 2016
in chemicals and chemical products, as well as in transport and storage, exceeded the gains
made in financial and insurance activities.
FDI flows to the five African SIDS recovered to $654 million (+18 per cent) but remained
below the peak of $860 million recorded in 2014. Thanks to a comeback of luxury real estate
projects (nearly three quarters of total flows) and increased investments in financial services
and insurance, FDI in Mauritius, the largest FDI host among SIDS in Africa, rebounded
from 2015 to $349 million (+68 per cent) but still fell short of the levels attained in 2014
($418 million) and 2012 ($589 million). While FDI flows to Cabo Verde also picked up
modestly (+3 per cent to $119 million), those to Seychelles contracted for the second year
to a 10-year low of $155 million (-20 per cent).
FDI flows to the 14 SIDS in Asia and Oceania nearly half of all SIDS fell by 4 per
cent to $807 million. Driven by infrastructure and resort developments, FDI in Maldives,
the largest FDI host among SIDS in this region, reached a record high of $448 million
(+46 per cent). Announced greenfield projects suggest a growth in investments from
Sri Lanka in tourism and financial services. FDI flows into Fiji, in contrast, shrank further to a
Prospects
Prospects for attracting more FDI for sustainable development remain dim.
A sharp fall in the value of announced greenfield projects from 2015 to 2016 (tables B
and C) underscores the continuing challenge for SIDS of securing FDI. The greenfield
projects announced during 2016 suggest that electricity generation (including alternative
and renewable energy) and business activities (including wired telecommunication carriers)
will drive FDI in the services sector. Although commodity-based SIDS have attracted no
large-scale greenfield project in the primary sector for the last three years, both Papua
New Guinea and Trinidad and Tobago remain attractive to foreign investors expanding
into their extractive industries; they are also attracting modest investments in electricity,
telecommunication (table II.4) and hotel construction (table II.5 in WIR16).
Owing to the absence of sizeable projects announced by North American MNEs (table
D), the share of capital spending plans attributed to developing economies in greenfield
FDI projects swelled to 72 per cent (from the 20132015 average of 43 per cent). The
five largest greenfield projects announced during the year were all attributed to South-
based investors, including Jamaica (table II.4). The role played by South-South FDI in SIDS,
therefore, is likely to grow.
RECENT POLICY
DEVELOPMENTS
AND KEY ISSUES
INTRODUCTION
Investment policymaking is getting more complex, more divergent and more uncertain.
Sustainable development considerations make investment policies more challenging and
multifaceted. Policymaking is also becoming more divergent, reflecting the variety of ways in
which societies and governments respond to the effects of globalization. This fact, together
with more government interventions, has also reduced predictability of investment policies
for investors.
Although many countries continue to liberalize and promote foreign investment, the share
of such measures among all newly adopted investment policy measures has been declining
lately. Moreover, several countries are taking a more critical stance towards foreign takeovers
if the targeted companies are strategically important for the host country or if they affect
national security. In addition, companies are exposed to political pressure on where to invest
and to retention measures, discouraging them from investing abroad.
In international investment policies, investment treaties including procedures for invest-
ment dispute settlement are going through a reform phase, resulting in the modernization
of treaties, with a stronger emphasis on sustainable development considerations, but also
in the withdrawal from the regime by some countries. Megaregional agreements are
becoming difficult to negotiate and implement.
These developments may represent temporary turbulence in a rapidly changing world as
governments adjust their overall approaches to foreign investment. The impact of these
developments may be limited, as numerous countries have recently explicitly confirmed
their support for a multilateral, rules-based trading system and announced that they are
negotiating new investment treaties. Yet, current developments might also be the prelude
to more profound policy changes with longer-term implications for global investment
governance. A rules-based investment regime that is credible, has broad international
support and aims at sustainability and inclusiveness can help reduce uncertainty and
improve the stability of investment relations.
75
50
1. Overall trends 25
Countries remain keen to attract and facilitate FDI, but the share of regulatory or restrictive
measures has increased since 2015. They manifest themselves not 0 only in new legislation
1992 1997 2002
but also with regard to host countries approaches to foreign takeovers, trade restrictions that
indirectly affect foreign investors and political pressure and retention measures influencing
investment decisions.
In 2016, according to UNCTADs count, 58 countries
and economies adopted 124 policy measures
Changes in national investment
affecting foreign investment1 an increase of more Figure III.1.
policies, 19922016 (Per cent)
than 25 per cent over the previous years figure
and the highest number since 2006. Eighty-four of
Liberalization/Promotion Restriction/Regulation
these measures liberalized, promoted or facilitated
investment, while 22 introduced new restrictions or 100
Item 2002 2003 2004 2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016
Number of countries that
43 59 79 77 70 49 40 46 54 51 57 60 41 49 58
introduced changes
Number of regulatory
94 125 164 144 126 79 68 89 116 87 92 88 74 99 124
changes
Liberalization/promotion 79 113 142 118 104 58 51 61 77 63 65 64 52 74 84
Restriction/regulation 12 12 20 25 22 19 15 24 33 21 21 21 12 14 22
Neutral/indeterminate a 3 - 2 1 - 2 2 4 6 3 6 3 10 11 18
Source: UNCTAD, Investment Policy Monitor database.
a
In some cases, the expected impact of the policy measures on the investment is undetermined.
Cambodia launched an online business registration system as a single window for providing
all the services related to registering a business and keeping the business registration
up-to-date. Egypt established the Supreme Council for Investment, which will overlook
the States investment policies with a view of further improving the investment climate
and facilitating investment. Moreover, in 2017, the countrys Parliament adopted a revised
investment law providing, inter alia, for a one-stop shop and several investment incentives.
India introduced a new e-form called the Simplified Proforma for Incorporating Company
Electronically (SPICe) to speed up and streamline the process of corporate establishment.
Kazakhstan introduced a one-stop shop for the issuance of various permits and licenses.
The Republic of Korea established the Special Act on Revitalizing Companies, aimed at
facilitating voluntary corporate restructuring and mergers and acquisitions (M&As). It also
amended the Foreign Investment Promotion Act to simplify FDI registration procedures.
Mexico relaxed the procedures in the General Corporations Law for opening new small
businesses, substantially reducing the time needed for the registration process. Myanmar
amended its investment law, simplifying investment approval and authorization procedures
for both foreign and domestic investors, while reserving some special treatment for local
small and medium-sized enterprises (SMEs) on market access, land lease and technical
support. The Philippines launched Project Repeal: The Philippine Red Tape Challenge to
clean up regulations by revoking provisions that are no longer necessary or that may be
detrimental to the economy. Saudi Arabia expedited the licensing procedures for foreign
investors by reducing the number of required documents and shortening the review period.
Tajikistan amended its investment law. It provides, among other things, a single window
to facilitate investment and more detailed rules on investment protection. Ukraine abolished
the mandatory State registration of foreign investment.
100 World Investment Report 2017 Investment and the Digital Economy
(ii) New investment incentives to attract foreign investment
Algeria introduced a new investment law offering tax incentives and infrastructure that
is needed for investment projects. Mauritius introduced various tax incentives for both
global and non-global businesses. Israel launched a new incentive programme Innovation
Visas to attract innovative foreign entrepreneurs. Singapore amended its Economic
Expansion Incentives Act to support pioneering activities. Switzerland revised its federal
tax holiday scheme to improve the attractiveness of specific economic development areas.
Tunisia enacted a new investment law, which, inter alia, removes profit taxes on major
investment projects for 10 years and gives foreign investors more flexibility to transfer
funds out of the country. Turkey introduced an extensive support package for research and
development (R&D) and innovation-related activities. Also, in 2017, the country introduced
a regulation offering Turkish citizenship to foreign investors, subject to certain conditions.
In 2017, Italy tripled the tax credit for businesses engaged in R&D. It also adopted new
rules to provide for a golden visa for foreign investors, subject to certain conditions. The
Lao Peoples Democratic Republic promulgated a new investment promotion law, offering
various incentives to attract investment in promoted industries and hardship areas. Serbia
introduced the Regulation on Terms and Conditions for Attracting Direct Investments,
stipulating, among other points, the criteria, terms and conditions for attracting direct
investment and investment of special importance.
Bahrain opened the Investment Gateway Bahrain for business, allowing the purchase
of land on Muharraq Island by foreign investors for commercial and light industrial use.
Bangladesh offered a new package of incentives for investors in special economic zones
(SEZs), exempting developers and investors from value-added tax and import duties on
items directly linked with the development and construction of SEZs. Indonesia transformed
the status of Batam from a free trade zone to an SEZ, providing additional benefits, including
tax holidays and accelerated amortizations. Morocco promulgated a new investment law
that centralizes investment promotion activities in the Moroccan Agency for Investment
Development and Export, and creates free zones in each of the countrys 12 regions. In
2017, Zimbabwe introduced various tax incentives for companies within SEZs, on the
condition that these incentives be limited to production for export.
Bahrain introduced two specialized courts for commercial and investment disputes, aiming
to ensure that disputes will be resolved quickly and fairly. Myanmar promulgated a new
arbitration law, providing a comprehensive legal framework for domestic and international
arbitration.
India permitted 100 per cent FDI in the capital of asset reconstruction companies under
the automatic route. It further liberalized the pension and insurance sectors. The Philippines
allowed 100 per cent foreign ownership in insurance adjustment companies, lending
companies, financing companies and investment houses. Thailand exempted foreign
businesses from license requirements in certain banking and insurance activities.
Argentina eased certain restrictions on the acquisition and leasing of rural lands by foreign
individuals and legal entities. Brazil lifted the requirements for the national oil company to
be the sole operator of all pre-salt oil fields and to hold a minimum of 30 per cent equity in
each of these fields, opening the door to greater foreign investment. Malawi lifted a ban on
oil and gas exploration in Lake Malawi. Myanmar introduced the new Condominium Law,
permitting foreigners to own up to 40 per cent of a condominium building.
India raised the foreign ownership ceiling in Indian stock exchanges, depositories, banking
and insurance companies and commodity derivative exchanges from 5 to 15 per cent.
Zimbabwe expanded foreign ownership limits, allowing foreign investors to own up to 49
per cent of companies listed on the Zimbabwe Stock Exchange.
Bahrain amended its Commercial Companies Law, allowing 100 per cent foreign ownership
in health and social work, information and communications, mining and quarrying, among
others. Brunei Darussalam exempted seven business activities such as retail stores and
gas stations from the requirement for a business license. China replaced, to a large
extent, the approval requirement for the establishment of and changes in foreign-invested
enterprises through a nationwide filing system. India amended regulations to further
liberalize and rationalize the investment regime for foreign venture capital investors and
to encourage foreign investment in start-ups. In June 2016, the country also introduced
another comprehensive FDI liberalization strategy, raising sectoral caps in different industries,
bringing more activities under the automatic route. Indonesia introduced its new Negative
List for investment, increasing the allowed ceiling for foreign investment in a number of
sectors, but also adding some restrictions. Myanmar opened trade in construction materials
to foreign investors, if they engage in such activities in joint ventures with local firms. Saudi
Arabia raised the ceiling for foreign investment in wholesale and retail trade from 75 to
100 per cent, if certain conditions are met. Ukraine adopted a law that allows State
enterprises in the aviation sector to set up joint ventures with foreign partners.
Several countries undertook full or partial privatization, benefiting both domestic and
foreign investors. For instance, Finland privatized a 49.9 per cent stake in its State defense
company, Patria Oy. Greece finalized the privatization of the Kassiopi site, located on the
island of Corfu. Also, the Greek Privatization Fund sold the majority stake in the Piraeus Port
Authority to a Chinese investor. The Republic of Korea undertook a partial privatization of
102 World Investment Report 2017 Investment and the Digital Economy
the State-owned Woori Bank. The Russian Federation partially privatized Alrosa (a diamond
mining company) and Rosneft (an oil company). Serbia signed a contract with a Chinese
investor for the sale of the countrys only steel mill. Ukraine issued a list of more than
130 State entities subject to privatization. It also introduced a law titled On amendments
to some laws of Ukraine to streamline the process of privatization (see also chapter I).
Bulgaria amended the Privatization and Post-Privatization Control Act to include three
defence suppliers in the list of State-owned enterprises that are not subject to privatization.
Canada issued Guidelines on the National Security Review of Investments in an effort
to provide more clarity to foreign investors.
Indonesia imposed a 20 per cent limit on foreign ownership in companies that offer
electronic payment services. Namibia adopted a new investment law, reserving certain
business activities, including retail, for Namibians. The law also allows the Government to
reserve specific sectors to certain categories of investors in the interest of national security
and in the public interest. Romania introduced a law requiring large retailers that have
an annual net turnover of more than 2 million or own assets representing that amount
to purchase at least 51 per cent of certain foodstuffs from domestic producers.
Territorial subdivisions in Australia and Canada introduced new fees and taxes relating
to the acquisition of residential real estate in areas with overheated housing markets.
Poland adopted new restrictions for the acquisition of agricultural and forest land and for
purchasing shares in Polish companies that have agricultural property.
f. Concluding remarks
Recent investment policymaking shows a mixed picture. On the one hand, investment
liberalization, promotion and facilitation were core features of investment policymaking
in 2016. On the other hand, countries have become, in general, more critical of foreign
takeovers, in particular if those takeovers affect national security or aim at acquiring
strategic assets. Companies are also exposed to political pressures influencing investment
104 World Investment Report 2017 Investment and the Digital Economy
Table III.2. Foreign takeovers withdrawn for regulatory reasons in 2016 (Illustrative list)
For national security reasons
The German Ministry of Economy and Energy withdrew its initial certificate of non-objection to the takeover of Aixtron
Fujian Grand Chip Invest Fund (Germany) by a Chinese company on 24 October 2016. On 2 December 2016, following a recommendation of the
-Aixtron SEa Committee on Foreign Investment in the United States (CFIUS), the President of the United States prohibited the acquisition
of the United States subsidiary of Aixtron by the same Chinese company on the basis of national security concerns.
The CFIUS raised concerns about a planned sale by the Dutch electronics group Philips of the majority of its Lumiled
Consortium led by Chinese investors
(United States) LED lights unit to a consortium headed by Go Scale Capital of China on the basis of an alleged threat
- Philips NVb
to the national security of the country. In January 2016, Phillips announced that it was abandoning the proposed sale.
Xiamen Sanan Integrated Circuit announced in March 2016 its intention of acquiring the Taiwan Province of Chinabased
Xiamen Sanan Integrated Circuit Co
power electronics and chip foundry GCS Holdings Inc, including its California-based subsidiary Global Communication
Ltd - GCS Holdingsc
Semiconductors (GCS) LLC. The deal was abandoned on 1 August 2016 because of concerns expressed by the CFIUS.
For competition or prudential reasons
On 14 March 2016, Visma (Norway) announced a recommended tender offer to the shareholders and holders of warrants
of Fortnox (Sweden). The Swedish competition authority did not approve the transaction and issued a draft statement of
Visma AS Fortnox AB d
objections to Visma, raising the possibility of initiating a court proceeding to prevent the finalization of the transaction.
Consequently, Visma abandoned the acquisition of Fortnox.
In October 2016, Frances stock market authority (Autorit des Marchs Financiers) opposed the public exchange offer
Altice NV SFR Groupe filed by Netherlands-based Altice for all the remaining shares issued by SFR Group and not currently owned by Altice
(equivalent to 22 per cent of all ownership).
For tax-related reasons
On 6 April 2016, Pfizer terminated a $160 billion deal with the Ireland-based pharmaceutical corporation Allergan.
Pfizer, a United States-domiciled corporation, attempted to merge with Allergan so as to shift its domicile to Ireland and
Pfizer - Allerganf benefit from lower corporate taxes. However, the United States Treasury elaborated new rules targeting serial inverters
(companies that have repeatedly changed their domicile in order to gain fiscal benefits). As a consequence of these
regulatory changes, the deal turned out to be less economically attractive.
Withdrawn during approval process
On 8 April 2016, the agribusiness company Felda Global Ventures (Malaysia) announced the termination of a planned
Felda Global Ventures - Zhong Ling deal to buy a 55 per cent stake in China-based edible oils producer Zhong Ling Nutril-Oil Holdings Ltd. The purchases
Nutril-Oil Holdings Ltdg were subject to several conditions. Among others, they needed the written approvals of Bank Negara and the Finance
Ministry. When Felda withdrew its offer, it did not disclose which conditions could not be met.
Source: UNCTAD, based on cross-border M&A database (www.unctad.org/fdistatistics).
a
https://www.nytimes.com/2016/10/25/business/dealbook/germany-china-technology-takeover.html?_r=0, https://www.bloomberg.com/news/articles/2016-12-02/obama-blocks-
chinese-takeover-of-aixtron-as-u-s-security-risk.
b
www.reuters.com/article/us-philips-lumileds-sale-idUSKCN0V02D4.
c
www.taipeitimes.com/News/biz/archives/2016/08/02/2003652261, www.ledinside.com/news/2016/8/gcs_holdings_sell_to_sanan_opto_blocked_by_us_authorities_to_form_
joint_venture.
d
https://www.visma.com/press-releases/fortnox290616.
e
https://www.telegeography.com/products/commsupdate/articles/2016/10/05/amf-blocks-altice-sfr-public-exchange-offer.
f
www.reuters.com/article/us-allergan-m-a-pfizer-idUSKCN0X3188, https://www.theguardian.com/business/2016/apr/06/pfizer-allergan-tax-inversion-deal-merger.
g
www.thestar.com.my/business/business-news/2016/04/08/fgv-unit-scraps-plan-to-buy-55pc-stake-in-chinas-zhong-ling.
decisions and to retention measures discouraging them from investing abroad. Investors
operating in global value chains may also be indirectly affected by an increasing number of
trade-restrictive measures.
In light of the critical role of investment as a source of economic growth and job creation,
it is important that countries maintain a rules-based, predictable, inclusive and non-
discriminatory environment for investment. The non-binding Guiding Principles for Global
Investment Policymaking,6 endorsed by the G20 leaders at the Hangzhou Summit in
September 2016, can be useful guidance for this purpose (see also section B).
(i) Objectives
(ii) Definitions
Almost all (98) of the laws include a definition of either investment (66) or foreign investment
(59). More than half (60) of these laws apply a broad, asset-based approach, and more
than a third (38) follow a limited enterprise-based approach. The phrase every kind of
asset is frequently used by national investment laws as the formula for introducing a non-
exhaustive list of assets qualifying as investments. Several investment laws explicitly specify
that investment also includes portfolio investment.
Most (87) of the laws include a definition of investor or foreign investor, which, in
general, includes both natural and legal persons. In the great majority of these laws, natural
persons include both domestic citizens and foreigners, and may also cover those with
106 World Investment Report 2017 Investment and the Digital Economy
permanent residence outside the country. Legal persons are qualified as investors if they
are registered or incorporated in the host country. Legal entities that are registered in the
home country but have a certain level of foreign participation are sometimes qualified as
foreign investors.
excluding certain industries from the laws scope or National security and
25
by specifying the restrictions in the law itself. Nine public order safeguards
laws, mainly in Africa, include a positive list of Environmental
21
industries in which foreign investment is permitted, protection safeguards
by default excluding any other industry. Some laws
Public health safeguards 18
explicitly specify that the restricted sectors are
reserved for nationals or refer to the fact that industry-
Source: UNCTAD.
specific laws and regulations may include (foreign)
investment restrictions. Most restricted sectors relate
to strategic industries, such as defense, extractive
industries and energy. A number of laws also include
references to one or more general safeguards, such Investment protection in
Figure III.5.
as the protection of national security, public order, investment laws (Number of laws)
environmental protection or public health, as a
justification for restricting investment.
Capital transfer 98
(iv) Investment protection
Expropriation 82
The majority of the investment laws cover three
key protection rights. These are the right of cross- National treatment 70
border capital transfers (98 laws), protection in case
of expropriation (82) and the guarantee of national Entry of foreign personnel 43
treatment (70). To various degrees, the investment
Intellectual property 27
laws also include other protection provisions
(figure III.5). 17
Access to local finance
The fact that an investment law does not cover a
Fair and equitable 8
certain right does not mean that the country does treatment
not grant it. For example, in most cases the countrys
Civil strife 8
Constitution would also cover the right of non-
discrimination or protect property rights, including
Source: UNCTAD.
protection in case of expropriation.
Capital transfers
Almost all (98) of the investment laws examined contain provisions on capital transfers in
relation to investments, and the text and structure of the provisions are relatively similar.
These laws usually provide in very basic terms that investors have the right to transfer
abroad in a freely convertible currency proceeds resulting from their investment. The
majority then set out a non-exhaustive list of examples of protected capital movements.
These may include the initial capital and additional amounts to maintain or increase an
National treatment
Nearly two thirds (70) of the investment laws include a provision on non-discriminatory
treatment between domestic and foreign investors. In some cases, investors can claim
national treatment only in like circumstances or under the condition of reciprocity.
In addition, the majority of investment laws with a national treatment provision (43)
include exceptions to it. These exceptions, which are often drafted in a vague manner,
stipulate that national treatment is subject to special laws or international agreements,
108 World Investment Report 2017 Investment and the Digital Economy
or exclude, through negative lists, certain economic Investor obligations in
sectors or activities or other specific matters Figure III.8.
investment laws (Number of laws)
(e.g. access to real estate, import of goods) from the
scope of national treatment.
Comply with national laws 41
(v) Investor obligations
Disclosure requirements 40
More than two thirds (77) of all investment laws
examined explicitly refer to certain obligations of Labour rights 33
investors. The most commonly stated, fundamental
obligation is that investors must comply with the Environment and
25
public health
host countrys laws and regulations (figure III.8).
Often, duties that are more specific complement Fiscal obligations 25
this general obligation. The most common one is
Staff-related obligations 20
the requirement to provide accurate and timely
accounting information of operations (corporate Corporate social
2
disclosure). Thirty-three laws pay particular attention responsibility
to respect for labour rights and standards, such as
those pertaining to social security, minimum wages Source: UNCTAD.
and trade union rights.
In the 25 laws dealing with environmental and health
issues, obligations remain very general and lack any specifics as to the concrete legal acts
or sectors involved. An explanation may be that most countries have specific environmental
and health regulations in addition to the general investment laws.
Some investment laws either explicitly specify that investors should honour their fiscal
obligations or refer to obligations regarding local staff, such as training and skill transfer,
or an obligation to give preference to local personnel in the hiring process. Only two laws
mention that investors should respect international principles and instruments on corporate
social responsibility, without providing any details.
Most (74) of the investment laws examined include provisions on investment incentives.
Forty-six of the investment laws include provisions related to investment promotion agencies
(IPAs) and describe their tasks, such as building the countrys reputation and confidence in
its investment climate or identifying and promoting investment opportunities.
Investment facilitation provisions are also included in a number of investment laws. In
addition to clauses on transparency (15 laws) and entry and sojourn (43), provisions refer to
a one-stop shop (25), which is often set up as part of the countrys IPA. The tasks of these
one-stop shops usually relate to facilitating investment by providing information, issuing
enterprise or concession certificates, or issuing notifications in relation to the investment.
One investment law established an ombudsman for facilitating the settling of grievances of
foreign investors.
Investment laws often include investorState dispute settlement (ISDS) provisions. In total,
85 of the laws examined include an ISDS provision. International arbitration is the ISDS
mechanism to which investment laws most often refer, followed by recourse to domestic courts
and alternative dispute resolution mechanisms such as conciliation or mediation (figure III.9).
Case-by-case 46%
31
b. Investment laws and IIA reform
26
38%
Investment laws and IIAs are separate but closely
Advance consent related policy tools for dealing with foreign
investment. In each, policymakers need to decide
how to treat foreign investment, how to balance
Source: UNCTAD. investor rights and obligations, how to incorporate
sustainable development considerations and how to
deal with the interaction between the two instruments. On all these issues, investment laws
and IIAs can be a mutual source of inspiration, as IIA negotiators may learn from policy
approaches taken in investment laws and vice versa.
Investment laws and IIAs have many commonalities in respect of their main building
blocks (preamble, definitions, provisions on entry and treatment of investment, investment
promotion and dispute settlement). At the same time, they show considerable diversity in
respect of the inclusion of specific law or treaty provisions, and the drafting of details.
Another difference between investment laws and IIAs is that the laws are usually only one
element within a host countrys domestic policy framework for investment, whereas IIAs
tend to be the exclusive or principal international instrument in this area.
IIA reform may call for parallel reform steps in corresponding clauses in investment laws.
If similar or identical provisions in investment laws do not mirror IIA reform, undesirable
incongruities between the two legal instruments can result and can risk rendering the IIA
reform ineffective. In addition, host countries would be well advised to look beyond investment
laws and assess whether IIA reform may require parallel modernization steps in other parts of
their investment-related policy framework.
110 World Investment Report 2017 Investment and the Digital Economy
B. INTERNATIONAL
INVESTMENT POLICIES
The universe of IIAs continues to grow amid greater complexity. In 2016, 37 new IIAs were
concluded, bringing the total to 3,324 treaties by year-end (with an additional 4 treaties
concluded in early 2017). Over that time, terminations of at least 19 IIAs became effective. All
these actions reflect governments broader re-adjustment of their international investment
policy engagement.
In 2016, countries concluded 37 new IIAs: 30 bilateral investment treaties (BITs) and
7 treaties with investment provisions (TIPs).9 In addition, 26 IIAs entered into force. This
brought the size of the IIA universe to 3,324 agreements (2,957 BITs and 367 TIPs) by year-
end (figure III.11). The most active country was Turkey, concluding seven treaties, followed
by Canada, Morocco and the United Arab Emirates, with four treaties each, and the Islamic
Republic of Iran and Nigeria with three treaties each. Between January and March 2017,
four additional IIAs were signed.
Annual
number of IIAs Annual BITs Annual TIPs All IIAs cumulative
250
Cumulative
number of IIAs
200
3324
150
100
50
0
1980 1982 1984 1986 1988 1990 1992 1994 1996 1998 2000 2002 2004 2006 2008 2010 2012 2014 2016
2. Three agreements with limited investment provisions (e.g. market access, national
treatment (NT) and most favoured nation (MFN) with respect to commercial presence,
not-lowering standards clauses or provisions on free movement of capital relating to
direct investments):
European Free Trade Association (EFTA) StatesGeorgia Free Trade Agreement (FTA)14
EUSouthern African Development Community (SADC) Economic Partnership
Agreement (EPA)15
ChileUruguay FTA16
112 World Investment Report 2017 Investment and the Digital Economy
(ii) Developments at the regional level
Countries are actively engaged in international investment policymaking at the regional level,
with current efforts including both the negotiation of new treaties as well as the reform and
modernization of existing ones. Such developments occur with regard to regional groupings;
the continental level (particularly in Africa); and plurilateral agreements covering different
regions or continents.
North American Free Trade Agreement (NAFTA): The United States expressed to
its partners its intention to review NAFTA. In February 2017, the Mexican Government
announced that it is beginning a consultation with the countrys Senate and private
sector before talks begin with the United States to review the agreement.
Regional Comprehensive Economic Partnership (RCEP): Several rounds of negotia-
tions took place throughout 2016 on the proposed RCEP.17 Thus far, two chapters (the
chapter on SMEs and the one on economic and technical cooperation) were concluded.
In 2017, RCEP negotiations made progress on goods, services and investment, as well as
intellectual property, electronic commerce, and legal and institutional issues.
Mercado Comn del Sur (Mercosur): The Member States of Mercosur signed a
Protocol for the Cooperation and the Facilitation of Investment within Mercosur (April
2017). The protocol lists the characteristics an investment must have in order to be
covered; circumscribes the scope of NT and MFN; and provides for protection against
expropriation (without making a reference to indirect expropriation). The protocol
includes specific investment facilitation provisions; emphasizes investors obligations
and social responsibility; and includes a provision creating a focal point or ombudsman
in each party, charged with questions concerning investment development, promotion
and cooperation. The protocol does not contain either a fair and equitable treatment
(FET) clause or an ISDS clause.
Southern African Development Community (SADC): The SADC Member States
amended Annex 1 of the SADC Finance and Investment Protocol (August 2016). The
amended version omits the FET provision and the ISDS mechanism, refines the definition
of investment and investors, introduces exceptions to the expropriation provision for
public policy measures, clarifies the NT provision (with reference to like circumstances)
and includes detailed provisions on investor responsibility and the right of host countries
to regulate investment for the public interest. These amendments are in the process of
ratification.
Continental Free Trade Agreement (CFTA): The purpose of the CFTA is to create a
free trade area among the member States of the African Union (AU), which is expected
to cover investment. Following the launching of negotiations for a CFTA by the AU
summit (June 2015), negotiations are planned for two phases: the first, expected to be
concluded by end-2017, covering trade in goods and trade in services; the second will
deal with the issues of investment, intellectual property rights, and competition policy.
COMESAEACSADC Tripartite Free Trade Area (TFTA): The TFTA was launched in
June 2015 and will come into force once ratification is attained in two thirds of the
26 member States of the Common Market for Eastern and Southern Africa (COMESA),
the SADC and the East African Community (EAC). Negotiations on investment are
scheduled to take place in the second phase of the negotiations, together with trade in
services, competition policy and intellectual property rights.
Pan African Investment Code (PAIC): Developed during 2016, the PAIC is envisaged
as a guiding instrument for AU member States as they embark on negotiations of
IIAs, including the investment chapter for the CFTA. The PAIC includes sustainable
development elements aimed at protecting legitimate public welfare objectives (e.g.
public health, safety and the environment) and clarifications and refinements to the
114 World Investment Report 2017 Investment and the Digital Economy
Figure III.12. Trends in known treaty-based ISDS cases, 19872016
Annual
number of cases ICSID Non-ICSID
80
Cumulative number
of known ISDS cases
70
767
60
50
40
30
20
10
0
1987 1994 1996 1998 2000 2002 2004 2006 2008 2010 2012 2014 2016
the actual number of disputes filed for this and Most frequent respondent States,
previous years is likely to be higher. Figure III.13.
19872016 (Number of known cases)
Respondent States
19872015 2016
The new ISDS cases in 2016 were commenced
against 41 countries. With four cases each, Colombia, Argentina 59
India and Spain were the most frequent respondents Bolivarian Republic 3 41
of Venezuela
(figure III.13). The cases against Colombia are the 1
Czech Republic 34
first known in the countrys history. At 29 per cent,
the relative share of cases against developed Spain 4 34
countries was lower than in 2015 (45 per cent). Egypt 2 28
1
Home States of claimants Canada 26
Mexico 2 25
Developed-country investors brought most of the
62 known cases in 2016. Investors from the Russian Federation 3 24
1
Netherlands and the United States initiated the most Ecuador 23
cases with 10 each, followed by investors from the
United Kingdom with 7 (figure III.14). Investors from Poland 23
About 60 per cent of the cases filed in 2016 related to activities in the services sector,
including the following:
Supply of electricity and gas (11 cases)
Construction (6 cases)
Information and communication (6 cases)
Financial and insurance services (4 cases)
Real estate (3 cases)
Transportation and storage; and arts, entertainment and recreation (2 cases each)
Accommodation and food service, and administrative and support service (1 case each)
Primary industries accounted for 24 per cent of new cases, and manufacturing for the
remaining 16 per cent. This is broadly in line with the overall distribution of the 767 known
ISDS cases filed to date.
Measures challenged
Investors in 2016 most frequently challenged the following types of State conduct:
Alleged direct expropriations of investments (at least 7 cases)
Legislative reforms in the renewable energy sector (at least 6 cases)
Tax-related measures such as allegedly unlawful tax assessments or the denial of tax
exemptions (at least 5 cases)
Termination, non-renewal or alleged interference with contracts or concessions (at least
5 cases)
Revocation or denial of licenses or permits (at least 5 cases)
Other measures that were challenged included the designation of national heritage sites,
environmental conservation zones, indigenous protected areas and national parks; and
money laundering and anticorruption investigations.
116 World Investment Report 2017 Investment and the Digital Economy
Amounts claimed
The amounts claimed ranged from $10 million (Grot and others v. Moldova and Grkem
Insaat v. Turkmenistan) to $16.5 billion (Cosigo Resources and others v. Colombia).
Information regarding the amounts sought by investors has been reported for about half of
the new cases.
Overall outcomes
By the end of 2016, some 495 ISDS proceedings Results of concluded cases,
had been concluded. The relative shares of case Figure III.15. 19872016 (Per cent)
outcomes changed only slightly from those of 2015.
About one third of concluded cases were decided in Breach but
favour of the State (claims were dismissed either on no damagesa 2
Discontinued
jurisdictional grounds or on the merits), and about
one quarter were decided in favour of the investor, 10
with monetary compensation awarded. A quarter Decided in
favour of State 36
of cases were settled; in most, the specific terms 25 Settled
of settlements remain confidential (figure III.15).
In the remaining proceedings, either cases were
discontinued or the tribunal found a treaty breach
27
but did not award monetary compensation.
Of the cases that ended in favour of the State, about Decided in favour of investor
half were dismissed for lack of jurisdiction. Looking
at the totality of decisions on the merits (i.e. where a Source: UNCTAD, ISDS Navigator.
a
Decided in favour of neither party (liability found but no damages awarded).
tribunal determined whether the challenged measure
breached any of the IIAs substantive obligations), about
60 per cent were decided in favour of the investor and
40 per cent in favour of the State (figure III.16).
With the objective of (i) fostering an open, transparent and conducive global policy environment for investment, (ii) promoting coherence
in national and international investment policymaking, and (iii) promoting inclusive economic growth and sustainable development, G20
members hereby propose the following non-binding principles to provide general guidance for investment policymaking.
I. Recognizing the critical role of investment as an engine of economic growth in the global economy, Governments should avoid
protectionism in relation to cross-border investment.
II. Investment policies should establish open, non-discriminatory, transparent and predictable conditions for investment.
III. Investment policies should provide legal certainty and strong protection to investors and investments, tangible and intangible,
including access to effective mechanisms for the prevention and settlement of disputes, as well as to enforcement procedures.
Dispute settlement procedures should be fair, open and transparent, with appropriate safeguards to prevent abuse.
IV. Regulation relating to investment should be developed in a transparent manner with the opportunity for all stakeholders to
participate, and embedded in an institutional framework based on the rule of law.
V. Investment policies and other policies that impact on investment should be coherent at both the national and international levels
and aimed at fostering investment, consistent with the objectives of sustainable development and inclusive growth.
VI. Governments reaffirm the right to regulate investment for legitimate public policy purposes.
VII. Policies for investment promotion should, to maximize economic benefit, be effective and efficient, aimed at attracting and retaining
investment, and matched by facilitation efforts that promote transparency and are conducive for investors to establish, conduct and
expand their businesses.
VIII. Investment policies should promote and facilitate the observance by investors of international best practices and applicable
instruments of responsible business conduct and corporate governance.
IX. The international community should continue to cooperate and engage in dialogue with a view to maintaining an open and conducive
policy environment for investment, and to address shared investment policy challenges.
These principles interact with each other and should be considered together. They can serve as a reference for national and international
investment policymaking, in accordance with respective international commitments, and taking into account national, and broader,
sustainable development objectives and priorities.
Source: G20.
118 World Investment Report 2017 Investment and the Digital Economy
The G20 Principles have the following main features:
New generation: The Guiding Principles contain key new generation investment policy
elements, such as sustainable development and inclusive growth, the right to regulate for
public policy purposes and guidelines on responsible business practice. It is noteworthy
that the first draft considered by the Trade and Investment Working Group of the G20
drew on the Core Principles of UNCTADs Investment Policy Framework for Sustainable
Development.
Global statement: The Guiding Principles are a statement of the G20s collective position
on the four key building blocks of investment policy and treaty making: establishment,
protection and treatment, promotion and facilitation, and dispute settlement.
Improving coherence: A key driver for the Guiding Principles was the desire to strengthen
policy coherence between national and international policies, and consistency between
investment policies and other policy areas, as well as sustainable development objectives.
Delicate balance: The Guiding Principles try to strike a delicate balance between the
rights and obligations of firms and States, between liberalization and regulation, and
between the strategic interests of host and home countries.
Non-binding instrument: The Guiding Principles are non-binding. They are meant to
serve as a guiding instrument for reviewing and formulating national investment policies
and strategies. They are also meant to serve as an important reference for drafting and
negotiating international investment treaties.
120 World Investment Report 2017 Investment and the Digital Economy
Table III.3. Reform-oriented provisions in IIAs concluded in 2016
1 2 3 4 5 6 7 8 9 10 11
ArgentinaQatar BIT
AustriaKyrgyzstan BIT
BrazilPeru ETEA
CanadaEU CETA
CanadaHong Kong, China BIT
CanadaMongolia BIT
ChileHong Kong, China Investment Agreement
Islamic Republic of IranJapan BIT
Islamic Republic of IranSlovak Republic BIT
JapanKenya BIT
MexicoUnited Arab Emirates BIT
MoroccoNigeria BIT
MoroccoRussian Federation BIT
MoroccoRwanda BIT
NigeriaSingapore BIT
NigeriaUnited Arab Emirates BIT
RwandaTurkey BIT
TPP
The scope and depth of commitments in each provision varies from one IIA to another.
Selected aspects of IIAs
1 References to the protection of health and safety, labour rights, 6 Omission of the so-called umbrella clause
environment or sustainable development in the treaty preamble
7 General exceptions, e.g. for the protection of human, animal or
2 Refined definition of investment (e.g. reference to characteristics plant life or health; or the conservation of exhaustible natural
of investment; exclusion of portfolio investment, sovereign debt resources
obligations or claims to money arising solely from commercial
contracts) 8 Explicit recognition that parties should not relax health, safety or
environmental standards to attract investment
3 Circumscribed fair and equitable treatment (equated to the
minimum standard of treatment of aliens under customary 9 Promotion of Corporate and Social Responsibility standards by
international law and/or clarification with a list of State obligations) incorporating a separate provision into the IIA or as a general
reference in the treaty preamble
4 Clarification of what does and does not constitute an indirect
expropriation 10 Limiting access to ISDS (e.g. limiting treaty provisions subject to
ISDS, excluding policy areas from ISDS, limiting time period to
5 Detailed exceptions from the free-transfer-of-funds obligation, submit claims, no ISDS mechanism)
including balance-of-payments difficulties and/or enforcement of
national laws 11 Specific proactive provisions on investment promotion
Source: UNCTAD.
Note: Based on 18 IIAs concluded in 2016 for which texts are available; does not include framework agreements that lack substantive investment provisions. IIA texts are
available at UNCTADs IIA Navigator at http://investmentpolicyhub.unctad.org/IIA.
122 World Investment Report 2017 Investment and the Digital Economy
Refining investment dispute settlement
Tasking tribunals to dismiss ISDS claims of investors where they or the investment
have violated host State laws (e.g. those related to fraud, tax evasion, corruption) or
where the investment was made through fraudulent misrepresentation, concealment,
corruption, or conduct amounting to an abuse of process (e.g. Islamic Republic of
IranSlovak Republic BIT)
Including a reference allowing for the incorporation of a multilateral investment
tribunal and an appellate mechanism for the resolution of investment disputes (e.g.
CanadaEU CETA)
Strengthening public-private partnerships
Requiring the parties to discuss initiatives to strengthen public-private partnerships
(e.g. MoroccoNigeria BIT)
Introducing gender-related considerations
Preserving the right to regulate for gender-specific policies; setting out specific gender-
related cooperation activities (e.g. sharing of experiences in policy design, conducting
seminars and joint research); identifying specific areas of cooperation (e.g. financial
inclusion, skill-building and leadership for women); and establishing an institutional
framework (i.e. a Gender Committee); all of which with a view to eliminating all forms of
discrimination and promoting equal rights, equal treatment and equal opportunities for
men and women, for the purposes of achieving sustainable development and inclusive
economic growth (Chile-Uruguay FTA).21
In addition to these innovative sustainable development-oriented elements, some new
treaties also impose new, more far-reaching obligations on States. This includes broadening
the scope of covered investments or introducing more far-reaching investor protections
(e.g. expanding the list of prohibited performance requirements).
After first exploratory talks in the margins of the UNCTAD World Investment Forum (Nairobi,
July 2016) and the OECD Investment Treaty Dialogue (Paris, October 2016), Canada and the
European Commission co-hosted two days of exploratory discussions with third countries
on the establishment of a multilateral investment court in Geneva (in December 2016).
A non-paper outlined possible features of a future multilateral investment dispute
mechanism and identified discussion points. Shortly after, the European Commission
launched a public consultation on a multilateral reform of investment dispute settlement,
which was open until mid-March 2017. In addition, a ministerial-level breakfast discussion
on the multilateral investment court initiative was co-hosted by the European Trade
Commissioner and the Minister of International Trade of Canada in January 2017 on the
sidelines of the World Economic Forum in Davos, Switzerland.
In early July 2016, UNCITRAL considered a report by the Geneva Center for International
Dispute Settlement (CIDS), which suggested a road map for the possible reform of ISDS,
including the potential of using the opt-in mechanism of the Mauritius Convention as a model
UNASUR22 consultations and national experts meetings are discussing the constituting
agreement of the regions investment dispute resolution centre. In November 2016, national
experts from UNASUR held a meeting in Caracas, Bolivarian Republic of Venezuela, to carry
forward the consultations.
ICSID started work to update and modernize its rules and regulations in October 2016 by
asking its member States for preliminary suggestions on topics or themes for possible
amendments. In January 2017, the ICSID Secretariat sent an additional invitation to all
other interested stakeholders to file suggestions for amendments of the ICSID rules by the
end of March 2017. Having collected and processed the comments received, the ICSID
Secretariat announced that potential areas for amendments include arbitrator-related issues
(appointment, code of conduct, challenge procedure), third-party funding, consolidation of
cases, means of communication, preliminary objections proceedings, time frames, allocation
of costs and some others. The last amendments to the ICSID rules, which came into effect
in 2006, were adopted after a two-year period of consultations with member States and
other stakeholders.
124 World Investment Report 2017 Investment and the Digital Economy
Clauses furthering transparency: Action
line 1 of the Global Action Menu promotes the Share of mapped BITs containing
accessibility of clear, up-to-date information on an entry and sojourn of personnel
Figure III.17.
the investment-related legal regime. Similarly, IIA or transparency provision,
provisions on transparency typically require that 19682016 (Per cent)
the parties publish measures or laws that affect
investments.23 Such provisions have become Transparency Entry and sojourn of personnel
Facilitating investment is critical for achieving the Sustainable Development Goals (SDGs). According to UNCTADs calculations (WIR14),
developing countries face an annual SDG investment gap of $2.5 trillion. Despite the fundamental importance of investment facilitation
for growth and development, to date national and international investment policies have paid relatively little attention to it.
To remedy this, in 2016 UNCTAD launched its Global Action Menu for Investment Facilitation, which is based on the organizations rich
experiences with investment promotion and facilitation efforts worldwide over the past decades. It incorporates measures considered of
key importance by investment promotion agencies (IPAs) and by the business community. It also builds on the 2012 and 2015 editions
of UNCTADs Investment Policy Framework for Sustainable Development, as well as UNCTADs SDG Investment Action Plan (2014).
Following the endorsement of the Global Action Menu at the July 2016 World Investment Forum, during UNCTAD XIV, Ministers, heads
of IPAs, senior investment treaty negotiators and others endorsed the initiative and requested that UNCTAD develop further policy
advice and technical assistance tools, and continue building global consensus. The September 2016 update of the Global Action Menu
incorporates the feedback and lessons learned from these multi-stakeholder consultations and intergovernmental processes.
In December 2016, UNCTADs Trade and Development Board, the organizations governing body, continued the debate in a dedicated
session also benefiting from a review of investment facilitation-related policies prepared by UNCTAD. At the session, regional groups and
delegations affirmed their support for the Global Action Menu as an instrument for investment facilitation. Member States commended
UNCTAD on the timeliness and quality of the updated version and endorsed the Global Action Menu as a high-quality reference
document for investment facilitation policies.
Source: UNCTAD.
Regional
Act at all levels Ensuring Reforming
Enhancing
responsible investment
systemic
investment dispute
consistency
Sequence properly settlement
Bilateral
126 World Investment Report 2017 Investment and the Digital Economy
add new sustainable development-oriented features. Sustainable development-oriented
IIA reform may also include adding new treaty elements that can help make a countrys
investment climate more attractive, e.g. investment facilitation elements (sections III.A.1
and III.B.2).
At the same time, it is becoming more common for new IIAs to not only contain reform-
oriented elements, but to also impose new, more far-reaching obligations on States. This
includes broadening the scope of covered investments or introducing more far-reaching
investor protections (e.g. expanding the list of prohibited performance requirements).
800
600
400
200
0
By 2016 2017 2018 2019 2020 2021 2022 2023 2024 2025 After
2025
Source: UNCTAD.
Note: Data derived from UNCTADs IIA Navigator and the IIA Mapping Project for 2,009 mapped BITs in force (1,313 BITs provide for automatic renewal for an
indefinite period, with anytime termination, and 696 BITs provide for renewal for a fixed term, with end-of-term termination).
Stock of IIAs and share not in force, Countries experience with ISDS cases shows that
Figure III.21.
by year of signature old treaties bite. At the end of 2016, virtually all of
the known treaty-based ISDS cases had been filed
pursuant to treaties concluded before 2010, which
Cumulative number typically feature broad and vague formulations and
Number of IIAs of IIAs not in force
include few exceptions or safeguards. Even though
1 600
700 the stock of older treaties that are in force is larger
than the number of more recent treaties and those
11%
1 400 treaties have been in existence for longer, the
relative number of cases based on old treaties is still
1 200
significantly higher (figures III.19 and III.22).
28% It is also noteworthy that about 20 per cent of all
1 000
ISDS cases were brought under two plurilateral
800 agreements from the early 1990s, the Energy Charter
Treaty (ECT) and the North American Free Trade
600 Agreement (NAFTA) (though the latter agreement
contains several of todays IIA reform features).
400
In recent years, many countries (developing and
5%
200 56% increasingly developed countries alike) have
6%
experienced first-hand that IIAs are not harmless
0 political declarations, but do bite. Broad and vague
Before 1979 19801989 19901999 20002009 20102016 formulations of IIA provisions have enabled investors
to challenge core domestic policy decisions
IIAs in force IIAs signed but not in force
for instance, in environmental, financial, energy
and health policies. They have also generated
Source: UNCTAD, IIA Navigator. unanticipated, and at times inconsistent, arbitral
128 World Investment Report 2017 Investment and the Digital Economy
interpretations of core IIA obligations, resulting in a IIAs invoked in known treaty-based
lack of predictability as to the kinds of State measures Figure III.22. ISDS cases, by IIA year of signature
(Per cent)
that might violate a specific IIA provision.
New
As a result, there is today a broadly shared view that 0
treaty provisions need to be more clear and more 11
26
16 Replacement
6 Suspension
167
141
119
Total number of TIPs No overlap with IIAs Overlap with at least one IIA Provision that replaces or Coexistence with
suspends at least one IIA overlapping IIAs
African countries are actively engaged in IIA reform at the regional level through parallel negotiations of, and amendments to, various
new generation international investment instruments. These include, among others, the Pan-African Investment Code, Phase II of
the Tripartite FTA between the Common Market for Eastern and Southern Africa (COMESA), the East African Community (EAC) and the
Southern African Development Community (SADC), the Continental Free Trade Area, the COMESA Common Investment Area and the
SADC Finance and Investment Protocol. This is in addition to IIA reform efforts at the national level under way in a number of African
countries (e.g. Botswana, Egypt, Nigeria, South Africa).
These initiatives express the determination of African countries to embark on IIA reform in order to make the policy framework for
investment in Africa more balanced and more oriented to sustainable development. However, they risk overlapping with one another,
potentially diluting the impact of regional reform efforts and creating a more complex regime instead of harmonizing and consolidating it.
Another challenge relates to the existing intra-African BITs, of which 165 had been signed by the end of 2016 (of which only 38 are
in force). The fate of these first-generation treaties remains uncertain. If the new regional IIAs under negotiation do not entail the
replacement of older BITs, the result will be an undesirable multiplication of treaty layers. On the other hand, replacing existing BITs with
new regional initiatives would contribute to the consolidation and harmonization of the international investment policy framework in Africa.
It is therefore crucial to synchronize reform efforts at different levels of policymaking (continental, regional and national). This requires
coordination and cooperation among African countries in order to avoid overlap, policy inconsistencies and fragmentation.
Source: UNCTAD.
investment law from evolving further into an even more isolated system with a narrow set of
objectives. Many newer IIAs include reference to other international agreements and global
standards, but within the overall network they remain rare.
130 World Investment Report 2017 Investment and the Digital Economy
requires a careful and facts-based cost-benefit analysis, while addressing a number of
broader challenges.
There are at least 10 options available for countries that wish to change existing treaties
to bring them into conformity with new policy objectives and priorities and to address the
challenges arising from the fragmentation of the IIA regime (table III.5). The options are not
mutually exclusive and can be used in a complementary manner, especially by countries
that have extensive IIA networks.
The 10 options differ in several aspects, as they encompass actions that are more
technical (e.g. interpreting or amending treaty provisions) or rather political (e.g. engaging
multilaterally), focus on procedure (e.g. amending or replacing treaties) or also on substance
(e.g. referencing international standards), or imply continuous engagement with the IIA
regime (e.g. amending, replacing, engaging multilaterally) or exit from it (e.g. termination
without replacement, withdrawing from multilateral treaties). They represent modalities
for introducing change to the IIA regime, rather than for designing treaty content (for the
latter, see the UNCTAD Investment Policy Framework for Sustainable Development and the
UNCTAD Road Map for IIA Reform (included in WIR15), as well as the stocktaking of reform
undertaken in WIR16).
Determining whether a reform option is right for a country in a particular situation requires
a careful and facts-based cost-benefit analysis, while addressing a number of broader
challenges. Strategic challenges include producing a holistic and balanced result, rather
than overshooting on reform and depriving the IIA regime of its purpose of protecting and
promoting investment. Systemic challenges arise from gaps, overlaps and fragmentation
that create coherence and consistency problems. Coordination challenges require prioritizing
reform actions, finding the right treaty partners to implement them and ensuring coherence
between reform efforts at different levels of policymaking. Capacity challenges make it hard
for smaller countries, particularly LDCs, to address the deficiencies of first-generation IIAs.
Choices must be made for identifying the best possible combination of the 10 policy options.24
The chosen combination of options should ultimately reflect a countrys international
investment policy direction in line with its national development strategy. Moreover, when
implementing IIA reform, policymakers have to consider the compound effect of options.
IIAs with broadly worded provisions can give rise to unintended and contradictory
interpretations in ISDS proceedings. Joint interpretations, aimed at clarifying the meaning
of treaty obligations, help reduce uncertainty and enhance predictability for investors,
contracting parties and tribunals.
Clarifying IIA clauses can help reduce uncertainty arising from (broadly worded) provisions of
first-generation BITs (UNCTAD, 2011). Authoritative joint party interpretations therefore offer
a degree of much-needed clarity for investors, host States and arbitrators alike. This reform
tool is potentially the easiest in its practical application as it allows treaty parties to voice
132 World Investment Report 2017 Investment and the Digital Economy
Table III.6. Reform action: Jointly interpreting treaty provisions
Clarifies the content of a treaty provision and narrows the scope of interpretive discretion of tribunals
Outcomes (pros) Challenges (cons)
Allows the parties to clarify one or several specific provisions without Is limited in its effect as it cannot attach an entirely new meaning to the
amending or renegotiating the treaty (no ratification required, less cost- provision being interpreted
and time-intensive) Can raise doubts about its true legal nature (may not always be easy to
Is particularly effective if the treaty expressly provides that joint distinguish between a joint interpretation and an amendment)
interpretations by the parties (or their joint bodies) are binding on tribunals Can leave tribunals with a margin of discretion
Becomes relevant from the moment of adoption, including for pending Might be difficult to establish as genuine if either party has consistently
disputes acted in a way that does not comport with the interpretation
Has authoritative power as it originates from the treaty parties May be difficult to negotiate in cases when a pending dispute involves the
application of the provision concerned
Source: UNCTAD.
their positions on a specific IIA clause without undertaking a comparatively higher-cost and
more time-consuming amendment or renegotiation of the treaty (interpretative statements
do not require ratification). By stating explicitly in the treaty that joint interpretation is binding
on the tribunal, the parties can remove any doubt regarding its legal effect (WIR13). However,
even in the absence of such a provision, the VCLT obliges arbitrators to take into account,
together with the context, [a]ny subsequent agreement between the parties regarding the
interpretation of the treaty (Article 31.3(a)).
Several countries have engaged in joint interpretations. In 2001, the NAFTA Free Trade
Commission adopted Notes of Interpretation of Certain Chapter 11 Provisions, clarifying
e.g. NAFTA Article 1105(1) on the minimum standard of treatment. In 2013, through a joint
interpretative understanding, Colombia and Singapore clarified several provisions (such as
FET and MFN) of their BIT (also signed in 2013). In January 2016, the parties to the TPP
issued the Drafters Note of interpretation of Like Circumstances, which is applicable to
the treatys NT and MFN provisions.
Two recent policy developments, different from but related to the traditional understanding
of joint interpretations, also merit consideration: In February 2016, India proposed a Joint
Interpretative Statement to 25 countries with which it has IIAs whose initial period of validity
had not expired. The statement sets out Indias proposed interpretation of several provisions
in those treaties, including the definitions of investor and investment; the MFN, NT, FET
and expropriation clauses; and the ISDS provisions. In October 2016, the EU, its member
States and Canada released a Joint Interpretative Instrument on the Comprehensive
Economic and Trade Agreement (CETA). It sets out the parties agreement on a number of
provisions that have been the subject of public debate and concern (such as the right to
regulate and compensation).
Of note also is the frequent establishment in recent IIAs of joint bodies with a mandate to
issue binding interpretations (e.g. CanadaEU CETA (2016); MoroccoNigeria BIT (2016);
ChileHong Kong, China BIT (2016)).
The expansively formulated obligations common to old IIAs may sometimes be difficult to
fix through a joint interpretation. By amending treaty provisions, the parties can achieve a
higher degree of change and thereby ensure that the amended treaty reflects their evolving
policy preferences.
Typically, amendments are limited in number and do not affect the overall design and
philosophy of a treaty (WIR13). Where treaty parties are concerned only with certain specific
provisions (e.g. MFN, FET), discrete amendments might be preferred to the renegotiation
Constitutes a broader, more far-reaching tool than interpretation: can Typically requires domestic ratification in order to take effect
introduce new rules rather than merely clarify the meaning of existing Only applies prospectively, i.e. does not affect pending disputes
ones Does not lead to overall change in treaty design and philosophy
Selectively addresses the most important issues on which the parties May lead to horse trading in which desired amendments are achieved
policy positions align only through a quid pro quo with parties demanding other amendments
Can be easier to agree upon with the treaty partner and more efficient to
negotiate compared with a renegotiation of the treaty as a whole
Source: UNCTAD.
of the whole treaty, an exercise that could be time-consuming and, depending on the other
party (or parties), challenging.
Applicable amendment procedures depend on the treaty that is subject to change. For
IIAs that do not regulate amendments, the general rules of the VCLT will usually apply.
However, many newer IIAs include their own provisions on amendment. This is particularly
important for pluri- or multilateral treaties, in which the large number of parties involved
adds complexity to the process. IIA amendments are usually formalized through separate
agreements (e.g. protocols or exchanges of letters or notes), which take effect following a
procedure similar to the original treaty, i.e. after respective domestic ratification procedures
are completed.
Comprehensive data on amendments are not yet available. Existing evidence suggests,
however, that States have thus far used amendments rather sparingly (Gordon and Pohl,
2015; Broude et al., 2016). Exceptions are the EU member States from Eastern Europe
(Bulgaria, Croatia, the Czech Republic, Estonia, Latvia, Lithuania, Poland, Slovak Republic,
Slovenia and Romania), which have made amendments by using protocols before and
after accession to the EU. Of a sample of 84 IIAs concluded by these countries that
contain protocols, over 60 concern extra-EU BITs that were amended, among others,
to bring their international obligations in line with their obligations under EU law. Some
introduce exceptions to MFN clauses for regional economic integration organizations or
include exceptions for national security reasons (e.g. Protocol (2007) to the Bulgaria
India BIT (1998) or the Protocol (2010) to the Czech RepublicMorocco BIT (2001)).
Amendments have also been used by several EU member States to introduce balance-
of-payments exceptions to provisions on the free transfer of funds (e.g. Protocol (2013)
to the KuwaitLithuania BIT (2001), Protocol (2011) to the BulgariaIsrael BIT (1993) or
Protocol (2009) to the Czech RepublicGuatemala BIT (2003)). These latter amendments
have also been made in reaction to the ruling of the European Court of Justice in 2009
that the transfer of funds provisions in certain EU member States BITs with third countries
breached EU law.27
Other countries have used amendments in a more sporadic manner to include adjustments
to the ISDS mechanism (e.g. the Exchange of Notes (1997) to the ParaguayUnited
Kingdom BIT (1981), the Protocol (2000) to the PanamaUnited States BIT (1982), the
Protocol (2003) to the GermanyMoldova BIT (1994)). More recent examples include the
May 2016 amendments to the SingaporeAustralia FTA (2003) agreed by the parties upon
their third review of the treaty. The revised investment chapter includes numerous changes
to definitions and substantive obligations, and adds exceptions to dispute settlement
(including a carve-out from ISDS for tobacco control measures). These amendments are in
the process of ratification.
134 World Investment Report 2017 Investment and the Digital Economy
Finally, in August 2016, members of the SADC amended Annex 1 of the SADC Finance
and Investment Protocol. The amended version omits the FET provision and the ISDS
mechanism, refines the definition of investment and investor, introduces exceptions to
the expropriation provision and clarifies the NT provision and investor responsibilities as
well as the right of host countries to regulate investment. These amendments are in the
process of ratification.
To ensure a smooth transition from the old to the new regime and prevent situations in which both apply concurrently, it is important to
delineate clearly the respective treaties scope of temporal application, e.g. by means of transition clauses. Such clauses clarify in which
situations and for how long after an old IIAs termination an investor may invoke the old IIA to bring an ISDS case. Often such periods
are limited to three years. Transition clauses typically modify the operation of survival clauses in the outgoing IIA (box III.5). They also
ensure that investors do not fall between the cracks but remain protected throughout the transition from the old to the new IIA regime.
Anecdotal evidence suggests that only a minority of replacement IIAs contain transition clauses and that their prevalence is growing in
recent regional and plurilateral IIAs. Treaty partners that are known to have used transition provisions at least once include Australia,
Canada, Chile, the EU, the Republic of Korea, Mexico, Panama, Peru, Singapore and Viet Nam. Examples of transition clauses can be
found in the PeruSingapore FTA (2008) (Article 10.20), AustraliaChile FTA (2008) (Annex 10-E), CanadaEU CETA (2016) (Article
30.8) and other treaties.
Source: UNCTAD.
Abrogating multiple old BITs and replacing them with a new plurilateral IIA helps to modernize
treaty content and reduce fragmentation of the IIA network at the same time.
Consolidation is a form of replacement (see option 3). It means abrogating several pre-
existing treaties and replacing them with one single new, modern and sustainable
development-oriented one. From an IIA reform perspective, this is an appealing option as it
has the dual positive effect of modernizing treaty content and reducing fragmentation of the
IIA network (i.e. establishing uniform treaty rules for more than two countries).
For the EU, for example, whenever it signs an IIA with a third country, this new treaty
replaces all BITs previously concluded with that country by individual EU member States.
The CanadaEU CETA (2016), for example, is scheduled to replace eight prior BITs between
Canada and EU member States (Article 30.8). Similar provisions are included in the EUs
recently negotiated FTAs with Singapore (12 pre-existing BITs to be replaced) and Viet Nam
(22 pre-existing BITs to be replaced).
Another example is the MexicoCentral America FTA concluded in 2011 (Costa Rica,
El Salvador, Guatemala, Honduras, Mexico and Nicaragua), which replaced three earlier
FTAs that were in place between Mexico and the other participating countries (i.e. Costa
RicaMexico FTA (1994), MexicoNicaragua FTA (1997) and El SalvadorGuatemala
HondurasMexico FTA (2000)).
However, most other plurilateral IIAs have missed the opportunity for consolidation and,
instead, have led to parallel application of the new and old treaties (figure III.23). This adds
complexity and inconsistency to an already highly complex system (WIR14). Some of these
136 World Investment Report 2017 Investment and the Digital Economy
IIAs employ conflict clauses to manage overlapping treaty relationships (see option 5).
Others adopt a default approach of parallelism but grant flexibility to the parties to decide
between themselves. For example, in the TPP context, Australia separately agreed to
terminate its BITs with Mexico, Peru and Viet Nam upon the entry into force of the TPP. Other
TPP parties have thus far decided to keep their pre-existing IIAs in place (the number of
IIAs with investment commitments between TPP parties that overlap with the TPP exceeds
20). In some ongoing plurilateral negotiations, the issue is still up for debate. For example,
in Africa, the COMESAEACSADC Tripartite FTA has the potential to replace more than
100 existing BITs between the participating States (box III.3).
As with replacement generally, when opting for consolidation, countries need to be mindful
of termination provisions in the outgoing IIAs and ensure an effective transition from the old
to the new treaty regime (see option 3).
Where countries opt for maintaining both old and new treaties in parallel, IIA reform
objectives will be achieved only if in the event of conflict or inconsistency the new, more
modern IIA prevails.
Instead of opting for replacement, some treaty parties decide that their old and new
treaties should exist in parallel. This often appears to be the case when the new treaty is
plurilateral (e.g. a regional FTA with an investment chapter), and the old, underlying treaties
are bilateral. For instance, of the sample of 167 TIPs, more than two thirds (119) coexist
with prior, overlapping IIAs (figure III.23). Generally, such parallelism adds complexity to the
system and is not conducive to IIA reform. For the purpose of effective and comprehensive
IIA reform, the better approach would be to avoid parallel application of coexisting IIAs
between the same parties. However, States may have their reasons to opt for coexisting IIAs.
To mitigate potentially adverse consequences arising from this situation, States can include
clauses that clarify the relationship between the coexisting IIAs.28 For example, a conflict
clause may specify which of the treaties prevails in case of conflict or inconsistency. Only
about 35 treaties, or roughly one third of the 119 TIPs that overlap with coexisting IIAs,
contain a clause explicitly allocating priority to either the existing or the new IIA.
Conflict clauses may be a useful tool for IIA reform if they prioritize new, more modern IIAs.
For instance, of the 35 TIPs examined that contain conflict clauses, more than half (20)
prioritize the newer IIA in cases of inconsistency. Examples include the ColombiaRepublic
of Korea FTA (2013) (Article 1.2(2)), the MexicoPeru FTA (2011) (Article 1.3(2)) and the
PanamaTaiwan Province of China FTA (2003) (Article 1.03(2)).
However, States often also opt to include clauses that give explicit priority to the earlier
(often less reform-oriented) treaty (e.g. the AustraliaMalaysia FTA (2012) (Article 21.2(2))
or the ChinaJapanRepublic of Korea Trilateral Investment Agreement (2012) (Article 25)).
In their IIA reform efforts, countries can refer to multilaterally recognized standards and
instruments. Such instruments reflect broad consensus on relevant issues and referencing
them can help overcome the fragmentation between IIAs and other bodies of international
law and policymaking.
IIAs are currently the most prominent tools that deal with foreign investment (at bilateral,
regional, plurilateral and multilateral levels). However, international policymaking has also
resulted in numerous other standards and instruments that may or may not be binding and
directly or indirectly concern international investment (table III.12). In September 2015, for
example, the global community adopted the 17 Sustainable Development Goals (SDGs), and
several of the 169 targets note the important role of investment for achieving these global
objectives (e.g. Goal 7 target 7.a or Goal 10 target 10.b) or related to investment policy
(e.g. Goal 1 target 1.b, Goal 17 targets 17.14, 17.15, 17.16). Similarly, in the 2015 Addis
Ababa Action Agenda, the outcome document of the Third UN Conference on Financing for
138 World Investment Report 2017 Investment and the Digital Economy
Development (FfD), member States noted (in paragraph 91) that [t]he goal of protecting
and encouraging investment should not affect our ability to pursue public policy objectives.
We will endeavour to craft trade and investment agreements with appropriate safeguards so
as not to constrain domestic policies and regulation in the public interest.
Noteworthy is also UNCTADs Investment Policy Framework for Sustainable Development, a
non-binding framework that aims at making investment work for sustainable development
and inclusive growth. Developed in 2012, and re-launched in updated form at the 2015
FfD Conference, the UNCTAD Policy Framework has since served as a point of reference for
policymakers in more than 130 countries.
To this must be added numerous voluntary and regulatory initiatives to promote CSR
standards and guidelines that foster sustainable development (e.g. ISO 26000 Social
responsibility, the UN Global Compact). Such instruments are a unique and rapidly evolving
dimension of soft law. They typically focus on the operations of multinational enterprises
(MNEs) and, as such, have increasingly shaped the global investment policy landscape over
the last decades (WIR13).
Although some uncertainty remains about the role and weight that international arbitration
tribunals would give to such instruments, policymakers have certain options for harnessing
these global standards for IIA reform. For example, they can take the following actions:
Introduce (e.g. by means of cross-referencing) global standards and instruments in their
new IIAs, as a small, but growing number of agreements already do. Such clauses
would at a minimum serve to flag the importance of sustainability in investor-State
relations. They could also attune investors to their sustainable development-related
responsibilities and operate as a source of interpretative guidance for ISDS tribunals.
Multilateral engagement is the most impactful but also most difficult avenue for IIA reform.
When drawing inspiration from current or past multilateral processes, attention should be
given to their differences in terms of intensity, depth and character of engagement.
If successful, a global multilateral reform effort would be the most efficient way to
address the inconsistencies, overlaps and development challenges that characterize the
140 World Investment Report 2017 Investment and the Digital Economy
thousands of treaties that make up todays IIA regime. That said, multilateral reform action
is challenging in particular, how to pursue it (WIR15, WIR16).
The recent past has seen a number of policy developments at the multilateral (or plurilateral)
level that can inspire future multilateral IIA reform efforts. Inspiration can be found in both
the way the new rules were developed and the processes or tools employed to extend
the new rules to existing treaties. In this regard, multilateral rulemaking processes in areas
others than IIAs (e.g. the OECD-based base erosion and profit shifting (BEPS) project) may
also be instructive.
When considering to what extent lessons can be learned from these initiatives, attention
needs to be given to the characteristics of various multilateral processes. Differences
may exist regarding, inter alia, the scope and breadth of content covered, the number of
countries involved (during rule creation and for later rule application), its legal nature (both
of the actual rules and the mechanism used to foster broader application) and the extent to
which such processes are institutionalized or hosted by an intergovernmental organization.
For example, the United Nations Convention on Transparency in Treaty-based Investor-
State Arbitration (the Mauritius Convention) fosters greater application of the UNCITRAL
Transparency Rules to IIAs concluded prior to 1 April 2014. The Mauritius Convention
effectively modifies a number of first-generation IIAs (of those countries that have ratified
the Convention), which turns it into a collective IIA reform action.29 Future IIA reform actions
could draw upon (i) the process of multilateral negotiations that led to the UNCITRAL Rules
and the Mauritius Convention and (ii) the Mauritius Conventions opt-in mechanism, which
modifies certain aspects of pre-existing IIAs (section III.B.1).
Beyond the investment regime, the Multilateral Convention to Implement Tax Treaty
Related Measures to Prevent Base Erosion and Profit Shifting (the BEPS Multilateral
Instrument) fosters States implementation of the tax treaty related measures of the Final
BEPS Package, potentially amending over 3,000 bilateral tax treaties concluded thus far.
The BEPS Multilateral Instrument deals with a number of issues of concern (e.g. hybrid
mismatch arrangements, treaty abuse, streamlining dispute resolution) and creates change
in a flexible, la carte way. For example, the BEPS Multilateral Instrument will apply only to
the tax treaties specifically designated by the parties to the Convention, and it uses opt-out
mechanisms that allow parties to exclude or modify the legal effects of certain provisions.
Choices between alternative provisions and opt-in mechanisms give the possibility of taking
on additional commitments.30 Future IIA reform actions could draw upon (i) the multilateral
stakeholder process that led to the adoption of the Final BEPS Package; and (ii) the treatys
architecture, which is similar to (but more complex than) the Mauritius Convention, allowing
for unilateral declarations, and selective reservations to or amendments of pre-existing
tax treaties.
Current discussions on the establishment of a multilateral investment court and/or appellate
mechanism (section III.B.2) could result in an instrument that ultimately changes ISDS
provisions included in earlier treaties. The opt-in technique of the Mauritius Convention as
a potential model for reform is also explored in the ongoing process involving UNCITRAL
and the CIDS that examines the establishment of a permanent investment tribunal or an
appellate mechanism.
Yet another example are the G20 Guiding Principles on Global Investment Policymaking,
adopted with the backstopping of UNCTAD (section III.B.1). Although non-binding, the
principles are meant to serve as an important reference for negotiating IIAs and modernizing
existing ones. They could effectively be the touchstone for global reform of the existing
IIA regime and for the formulation of a new generation of IIAs, more appropriately aligned
with 21st century concerns and priorities. Inspiration may be found in suggestions that
A relatively large number of BITs, many of them old, have not yet entered into force.
A country can formally indicate its decision not to be bound by them as a means to help
clean up its IIA network and promote the negotiation of new, more modern treaties.
Under international law, countries are obliged to refrain from acts which would defeat the
object and purpose of a treaty they have signed, even before the said treaty enters into
force (VCLT Article 18). Formally abandoning a treaty (abandonment being used as a
colloquial and legally neutral term) would make certain that a country has released itself
from that obligation. This is usually a straightforward process because the treaty is not in
force.
To date, few countries are known to have undertaken this reform action, though not all cases
may have received public attention. Brazil abandoned 14 BITs signed in the 1990s after some
of them were rejected by its Congress, as certain provisions were deemed unconstitutional.
In 2008, Ecuador denounced two unratified BITs (with Honduras and Nicaragua).
Most recently, in January 2017, the United States publicly stated its intention not to become
a party to the TPP.31
However, in certain treaties, countries agree to provisional application, which means
that the treaty (or part of it) is applied after its signature but before its entry into force.
Relinquishing a provisionally applied treaty is usually more complicated, as it comes close
to terminating a treaty that has entered into force. Typically, the IIA will stipulate a process
that a country must follow in order to terminate provisional application; this may also trigger
the operation of a survival clause (box III.5). Provisional application is more common in
plurilateral IIAs (e.g. the ECT (1994); CanadaEU CETA (2016)32) as ratification by multiple
parties is likely to be a protracted process.
For example, in 2009, the Russian Federation issued a notice to terminate the provisional
application of the ECT (the treaty contains a separate 20-year survival clause for signatories
terminating provisional application).
Can help clean up a countrys IIA network Could be perceived as negatively affecting the countrys investment
Is procedurally simple, requiring only a notice to the other parties climate
Can send a reform message to other treaty parties and the public Could disturb relations with other treaty parties
May not affect existing cases arising from provisional application
May not affect future ISDS claims (during the survival clause period) if a
country accepted provisional application pending ratification
Source: UNCTAD.
142 World Investment Report 2017 Investment and the Digital Economy
(ix) Terminating existing old treaties
Survival clauses, included in most BITs, are designed to extend a BITs application for an additional period (some for 5 years, but most
commonly for 10, 15 or 20 years) after treaty termination. Survival clauses apply to investments made prior to the date of termination
but cover governmental measures adopted both before and after the date of termination (for the duration of the survival period). There
are two main types of survival clauses: some are formulated to apply to unilateral treaty termination only (type 1); others do not make
it clear whether they are limited to cases of unilateral termination or also apply to joint termination by the parties (type 2). Unilateral
treaty terminations will invariably trigger the survival clause. In joint terminations, the situation is less clear: the survival clause may
or may not be triggered, depending on its formulation (type 1 or 2) and whether it has been neutralized by the treaty parties at the
time of termination.
To date, two known ISDS cases have been filed pursuant to BITs that had been jointly terminated (without replacement by a new
treaty) by the contracting parties: Marco Gavazzi and Stefano Gavazzi v. Romania (ICSID Case No. ARB/12/25), filed in 2012 under
the ItalyRomania BIT (1990), jointly terminated on 14 March 2010; and Impresa Grassetto SpA, in liquidation v. Republic of Slovenia
(ICSID Case No. ARB/13/10), filed in 2013 under the ItalySlovenia BIT (2000), jointly terminated on 10 June 2009. In both cases, the
tribunals have issued their jurisdictional decisions, but their texts were not public at the time of writing. Available evidence suggests
that both proceedings are going forward, i.e. that the tribunals dismissed any jurisdictional objections raised. It is unknown, however,
whether the respondent States in these two cases raised an objection based on the purported inapplicability of the survival clause.
Given the lack of certainty on the matter, when jointly terminating an IIA countries are well advised to clarify their intention with regard
to the survival clause, either by explicitly amending and/or suppressing it (neutralization), or explicitly confirming that they wish for
the survival clause to apply. For instance, the survival clause was neutralized by the parties express agreement in the context of the
joint termination of the ArgentinaIndonesia BIT (1995) as well as the joint termination of several BITs between the Czech Republic
and several other EU member States.
Source: UNCTAD.
Almost 200 BITs are in force among EU member States. The European Commissions position is that these intra-EU BITs need to be
terminated because they are incompatible with EU law. In the Commissions view, they overlap and conflict with the EU single market
rules, thereby discriminating against investors from other EU member States and interfering with the EU courts exclusive competence
to ensure full effect of EU law (e.g. through the substantive protection they provide and due to ISDS). In 2015, the Commission initiated
infringement proceedings against five member States for failing to terminate their intra-EU BITs (i.e. the AustriaCzech and Slovak
Federal Republic BIT (1990), the NetherlandsCzech and Slovak Federal Republic BIT (1991) and the SwedenRomania BIT (2002)),
followed by a so-called reasoned opinion to these member States issued in September 2016, formally requesting them to terminate
the BITs under investigation. In parallel, the Commission has also initiated separate EU Pilot proceedings against 21 other member
States. With the latter, the Commission seeks to achieve compliance without having to resort to formal infringement proceedings. The
Commission has urged the member States not only to terminate their intra-EU BITs, but also to make sure that all the legal effects of
those BITs are likewise terminated.
Some member States have already terminated all their intra-EU BITs (e.g. Ireland, Italy), and termination efforts are currently under
way or being considered in several others (e.g. the Czech Republic, Romania, the Slovak Republic). Certain member States have
sought to propose compromise solutions going forward and to retain aspects of the status quo, notably ISDS. For example, in April
2016, Austria, Finland, France, Germany and the Netherlands presented to the Trade Policy Committee of the EU Council a non-
paper suggesting such a compromise, which envisages the conclusion of an agreement among all EU member States in order to
coordinate the phasing out of existing intra-EU BITs, to codify existing investor rights under EU law, and to provide protection to
EU investors further to the termination of these BITs, including a binding and enforceable settlement mechanism for investment
disputes as a last resort to mediation and domestic litigation. The proposal also refers to the parallel elimination of survival clauses
in the respective intra-EU BITs.
Source: UNCTAD.
144 World Investment Report 2017 Investment and the Digital Economy
Table III.16. Reform action: Withdrawing from multilateral treaties
Releases the withdrawing parties from the instruments binding force
c. Concluding remarks
Determining which reform option is right for a country in a particular situation requires
a careful and facts-based cost-benefit analysis, while addressing a number of broader
challenges. Comprehensive regime reform would benefit from intensified multilateral
backstopping. UNCTAD, through its three pillars of work research and policy analysis,
technical assistance and intergovernmental consensus building can play a key role, as the
United Nations focal point for international investment and the international forum for high-
level and inclusive discussions on todays existing multi-layered and multifaceted IIA regime.
Sustainable development-oriented IIA reform has entered the mainstream of international
investment policymaking (WIR15, WIR16). The second phase of IIA reform builds on
progress achieved in the past, by focusing on what can be done to modernize the large
stock of first-generation treaties and to reduce fragmentation of the global IIA network.
146 World Investment Report 2017 Investment and the Digital Economy
multilateral) will deliver an IIA regime in which stability, clarity and predictability serve the
objectives of all stakeholders: effectively harnessing international investment relations for
the pursuit of sustainable development. In the absence of such a coordinated approach, the
risk is that IIA reform efforts could become fragmented and incoherent. Reform needs to be
pursued with a common agenda and vision in mind.
A final set of challenges relate to capacity. Successful reform requires strong internal
structures for preparing and carrying out actions, with solid processes and decision-
making and implementation capacities (e.g. sustained internal coordination among State
organs, awareness raising and capacity-building). This is particularly difficult for developing
countries and LDCs, which face challenges in terms of bargaining power, negotiating and
implementing capacities, and greater vulnerability to reform risks.
In practice, these challenges make it very difficult for LDCs and smaller developing countries
to be effective in altering their existing IIA networks and addressing the drawbacks of
existing first-generation IIAs. For such countries it is particularly important to benefit from
opportunities to build the capacity of IIA negotiators, to ensure that knowledge of IIA issues
is preserved in institutional memory and does not disappear due to turnover of officials, as
well as to ensure some continuity in the staff engaged in IIA reform in order to maintain a
coherent and cohesive IIA reform approach over time.
All these challenges call for a coordinated approach to IIA reform, supported by multilateral
backstopping. UNCTAD, through its three pillars of work research and policy analysis,
technical assistance and intergovernmental consensus building can play a key role in
this regard. In particular, UNCTADs role as the United Nations focal point for international
investment and the international forum for high-level and inclusive discussions on todays
multilayered and multifaceted IIA regime, as reconfirmed in its mandates from the Nairobi
Maafikiano and the Addis Ababa Action Agenda, can help bring coordination and coherence
to reform efforts. Ultimately, the higher the degree of coordination at various levels of
policymaking (national, bilateral and regional, as well as multilateral), the higher the chances
of creating a less fragmented and more balanced, stable and predictable IIA regime that
effectively pursues sustainable development objectives.
1. Sustainable Stock
Exchanges initiative
The growth of the United Nations Sustainable Stock
Sustainable Stock Exchanges Exchanges (SSE) initiative,34 in which membership
Figure III.26. initiative members, by year, has more than tripled in the last two years (figure
20122017 Q2 III.26), can be seen as a proxy for the growing
attention that exchanges are giving to sustainability
63
58 in their markets. Launched in 2009 by the UN
Secretary General, the SSE was developed in
48
response to the demand from exchanges for a
place to come together with investors, companies,
regulators and policymakers to share good practices
and challenges. The initiative has grown into a
17
global partnership platform that includes most of
9 the worlds exchanges. Through the SSE, exchanges
6
have access to consensus and capacity-building
2012 2013 2014 2015 2016 2017 Q2
activities, guidance, research and other support to
assist in their efforts to contribute to sustainable
Source: UNCTAD, SSE initiative database. development. The SSE is organized by UNCTAD, the
UN Global Compact, UN Environment and Principles
for Responsible Investment.
148 World Investment Report 2017 Investment and the Digital Economy
As of 2017 Q2, 63 partner exchanges from five continents, listing over 30,000 companies
and representing a market capitalization of more than $55 trillion, have made a public
commitment to advancing sustainability in their market. They range from global giants such
as the NYSE and Nasdaq (United States) to large emerging-market exchanges such as
B3 (Brazil) and Johannesburg Stock Exchange (South Africa) to small-developing country
exchanges such as the Rwanda Stock Exchange or the Namibia Stock Exchange.
2. Green bonds
Another significant development is the growth of What sectors green
green finance. Green bonds, first issued in 2007, Figure III.27.
bonds finance (Per cent of funds)
finance industries in an array of sectors, from clean
and efficient energy to low-carbon transport and Agriculture and forestry Climate adaptation
water (figure III.27). In the past five years, green bond Waste and pollution
2 4
listings have grown considerably,35 and the green 6
Sustainable water
bond market is estimated to reach $100 billion in 9
further growth.
Source: Climate Bonds Initiative.
By listing green bonds, stock exchanges can play a
leading role in promoting standards for assurance
and guidance for issuing such bonds, while opening new channels of finance for climate
mitigation and adaptation projects. The Luxembourg Stock Exchange, for example, is one of
the pioneers, listing its 100th green bond in 2016. Exchanges in developing countries are
also active; for example, Nairobi Securities Exchange of Kenya announced in 2016 that it
would be listing a green bond. Although exchanges have expressed intentions to list more
green bonds in the near future and green finance experts foresee more growth in this area
in the coming years, the number of exchanges listing green bonds is still low.
3. Indices
ESG indices remain the most popular sustainability instrument among exchanges, with 38
of 82 exchanges providing them. Indices with ESG themes are used to promote sustainable
investments, while encouraging greater voluntary transparency among issuers. There are
more than a hundred ESG-themed indices around the world, created by exchanges as
well as by specialist companies such as FTSE Russell, Standard & Poors, Stoxx, Thomson
Reuters and MSCI.
Looking at the policy landscape, governments are also encouraging corporate disclosure
of ESG factors, with 30 of the largest 50 economies having in place at least one regulation
on disclosure of such factors. Government involvement on the investment side is less
developed, however, with only 8 of the 50 countries implementing an investor stewardship
code that addresses ESG factors.
Despite many reasons to be optimistic, data from the SSE initiative show that more action
is needed if stock exchanges are to play an important role in promoting the reorientation of
financial markets to support the SDGs.
150 World Investment Report 2017 Investment and the Digital Economy
While the spectrum of company approaches to reporting on ESG information continues to
evolve rapidly, standards are emerging for instance, the GRI standard for ESG disclosure,
the most widely used by companies and the most commonly referenced by stock exchanges.
Moving beyond voluntary guidance, ESG information is incorporated into the listing rules
on 12 exchanges as of mid-2017. Mandatory ESG disclosure rules are emanating from
stock exchanges (e.g. Hong Kong Stock Exchange, Singapore Stock Exchange) as well as
securities regulators (e.g. Securities and Exchange Board of India). Mandatory rules can
have different scopes of application, sometimes applying only to a subset of the largest listed
companies, thus relieving smaller companies of any undue additional disclosure burden.
Findings from a 2016 Corporate Knights survey of stock exchanges40 emphasize the
impact of mandatory disclosure rules: all but one of the top 10 most transparent stock
exchanges in that study had at least one mandatory policy instrument designed to regulate
sustainability disclosure in force in the jurisdictions where they operate. The report noted
that although governments remain the most prevalent initiator of policy instruments aimed
at sustainability disclosure, the cases of B3, Bursa Malaysia, Johannesburg Stock Exchange
and Stock Exchange of Thailand represent instances in which exchanges, through their
ability to influence the reporting behaviour of their listed entities, are successfully generating
a rapid uptake of sustainability disclosure practices.
152 World Investment Report 2017 Investment and the Digital Economy
24
For example, treaty termination is frequently combined with replacement or consolidation.
25
MFN clauses typically prohibit less favourable treatment of investors from a signatory State when compared
with treatment of like investors from any third country.
26
Typically, such clauses cover governmental measures adopted both before and after the date of termination
(for the duration of the survival period), but apply only to investments made before the treatys termination.
27
See European Court of Justice (ECJ), Commission v Austria, C-205/06, Judgement (3 March 2009); ECJ,
Commission v Sweden, C-249/06, Judgement (3 March 2009); ECJ, Commission v Finland, C-118/07,
Judgement (19 November 2009).
28
If the new overlapping treaty does not include a relationship clause of any kind, the relationship between
the co-existing treaties will be guided by the VCLT, notably its Articles 30 and 59 (as applicable).
29
For the status of the Convention, see the UNCITRAL website at www.uncitral.org/uncitral/en/uncitral_texts/
arbitration/2014Transparency_Convention_status.html.
30
Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit
Shifting (adopted 24 November 2016).
31
United States, The White House, Presidential Memorandum Regarding Withdrawal of the United States
from the Trans-Pacific Partnership Negotiations and Agreement, 23 January 2017.
32
Note that only some provisions of the investment chapter will be provisionally applied. See Council of the
European Union, 10974/16 (5 October 2016).
33
The text in this section is based on UNCTAD, UN Global Compact, UNEP and PRI (2016).
34
The SSE initiative is a peer-to-peer learning platform for exploring how exchanges, in collaboration with
investors, regulators, and companies, can enhance corporate transparency and ultimately performance on
environmental, social and corporate governance issues and encourage sustainable investment. For more
information, visit www.SSEinitiative.org.
35
SSE, Green Finance Policy Brief, 2016.
36
Climate Bonds Initiative, Bonds and Climate Change The State of The Market 2016, 2016.
37
UNEP Inquiry, The Financial System We Need, 2015.
38
Global Compact, UNCTAD, UNEP FI and PRI, Private Sector Investment and Sustainable Development,
2015.
39
Global Compact, UNEP FI, PRI and UNEP Inquiry, Fiduciary Duty in the 21st Century, 2015.
40
Corporate Knights, Measuring Sustainability Disclosure: Ranking the Worlds Stock Exchanges, 2016.
INVESTMENT
AND THE DIGITAL
ECONOMY
A. INTRODUCTION
156 World Investment Report 2017 Investment and the Digital Economy
governments better understand and respond to societal trends and developments, such as
changes in migration patterns and migrants behaviour and needs. Or they can facilitate
the delivery of humanitarian and development assistance (e.g. information management
and communications can strengthen crisis response to environmental disasters, health
pandemics and population displacements). In general, digitalization can expand choices and
lower transaction costs in social and economic interactions; improve livelihoods by allowing
users to create, access, utilize and share information; and boost individual empowerment
and collective engagement through the use of social media.
Besides these significant opportunities, however, digitalization also presents serious
challenges:
First, the digital divide caused by a lack of investment, skills and capacity makes
digitalization a complex process, particularly for developing and least developed countries
(LDCs).
Second, digitalization can help address some development challenges, but it also has
important limitations (e.g. remote teaching or health services cannot fully substitute for
physical schools and hospitals).
Third, governments must address not only concerns over the impact of digitalization and
automatization on employment and inequality, but also new regulatory challenges, e.g.
the protection of security and privacy.
Finally, digitalization will affect all countries, irrespective of whether they actively pursue
it. Developing countries, and especially LDCs, may risk increasing dependency on a few
global digital MNEs, or further marginalization from the global economy.
Policymakers around the world are grappling with the implications of digitalization, trying
to capture the opportunities and address the challenges. The number of digital economy
studies has mushroomed in recent years, both in the private sector (consultants, think tanks)
and in the public sector (public institutions, international organizations). The varying scope
of these studies reflects the many dimensions of the digital economy. They range from
specific discussions on the impact of the internet in economic interactions (e-commerce) to
broader discussions on the use of new technologies in everyday life (e-health, e-education,
the internet of things) and the adoption of digital technologies in business (robotics, big
data), all driving a new industrial revolution.
The many studies on the digital economy contain multiple policy perspectives, ranging from
implications and legislative needs driven by new technologies (e.g. privacy, data standards
and protection, intellectual property rights, internet governance, cybersecurity) to advice
on tackling broader economic and societal implications, including effects on employment,
equality, competition and tax systems. The development perspective is equally well covered,
with policy advice ranging from white papers focusing on how to improve connectivity and
access to the internet, to broad debates on new entrepreneurial and business development
opportunities and greater access to overseas markets for SMEs in developing countries. With
such a broad array of policy advice on offer and with digital development widely considered
a key avenue for economic growth, many governments, in both developed and developing
countries, have formulated or are formulating policies for the development of the digital
economy, from broadband plans to digital development strategies and industry 4.0 visions.
In light of the vast amounts of analysis already conducted in recent years on the pros and
cons of the transition to a digital economy, this chapter, in its main analytical sections, focuses
instead on the implications for international investment and investment policymaking.
However, in the concluding section, it aims to bring the development perspective back in,
building on existing knowledge, in an overarching policy framework for investment in the
digital economy.
The objective of this chapter is first to show how the digital economy changes MNE
operations and investment behaviour, and to discuss implications for investment policy. The
chapter then aims to show how investment policy can support digital development. Taken
together, these two perspectives provide the basis for an investment policy framework for
the digital age.
Section IV.B documents how the digital economy is affecting the global investment landscape
and MNE operations. Section IV.C discusses the investment dimension of digital development.
Section IV.D summarizes key policy implications and proposes a policy framework.
158 World Investment Report 2017 Investment and the Digital Economy
B. MNEs AND INTERNATIONAL
PRODUCTION IN THE
DIGITAL ECONOMY
Information and communication technologies (ICTs) have been a fundamental enabler of
the growth of international production. The rise of the digital economy represents both an
intensification and a disruption in the symbiotic relationship between ICTs and international
production. An intensification in that it provides MNEs with more far-reaching opportunities
to redesign processes and routes to market, and to redefine governance modalities in global
production networks. A disruption in that it gives rise to entirely new multinational business
models, from born globals to virtual MNEs, with fundamentally different international
footprints.
ICTs have been a fundamental enabler of the growth of international production. The
coordination of increasingly complex and dispersed global production networks would not
have been possible without commensurate improvements in communication capabilities.
Advances in ICTs have facilitated the spread of new governance mechanisms in GVCs.
Internet-based digital technologies also shape modern global production networks (Foster
and Graham, 2016). The implications for MNE location and governance decisions are still
the subject of empirical analysis and academic debate. Some studies (e.g. Rangan and
Sengul, 2009) argue that ICT adoption facilitates control in outsourcing and other non-
equity relationships, through constant information exchange. Others tend to associate ICTs
with higher in-house production and intrafirm trade (Chen and Kamal, 2016).
This section examines how the international footprint of ICT and digital MNEs differs from
that of other multinationals, and looks at the consequences for FDI and host economies. The
rise of digital companies and the digitalization of MNEs across all sectors have implications
for financing choices, asset profiles, employment and tax contributions. They also have
implications for firms in host countries, including SMEs, that aim to establish linkages to
MNEs and gain access to global markets.
UNCTAD has historically collected data on the largest global MNEs and compiled an annual ranking of the top 100 non-financial
MNEs worldwide. UNCTAD uses foreign assets, estimated from the geographical segmentation disclosed in financial statements, as
the leading metric for establishing the MNE ranking. This focus on the foreign (or FDI) component of the business enables UNCTAD to
identify corporations that have a more pronounced international footprint.
For the purpose of this study, UNCTADs list of the top 100 is divided into three types of MNEs, the first two of which are considered
ICT firms:
Tech MNEs. This group includes MNEs operating in the broader information technology (IT) industry, either as manufacturers of
computers, ICT devices and related components (e.g. Apple, Samsung, Hon Hai) or as providers of software and services (e.g.
Microsoft, SAP). These companies not only supply the IT tools supporting the digital revolution, but are themselves providers of digital
services as well. This group does not include MNEs operating mainly in adjacent sectors, such as consumer electronics (e.g. Philips).
Telecom MNEs. This group includes the providers of communication infrastructure and connectivity.
Other MNEs. This group includes MNEs from all other (non-digital) industries. These MNEs may be exposed to digital technologies
and services, but they are all users rather than providers or enablers.
Box figure IV.1.1 identifies the tech and telecom MNEs in UNCTADs rankings since 2000 and charts the dynamics leading to the current
list. As UNCTADs methodology is based on foreign assets, some well-known global digital giants, such as Amazon and Facebook, do
not feature in the top 100. Neither do major telecom players, such as Verizon and AT&T, whose domestic assets and revenues are very
large, but whose foreign businesses are relatively small.
Box figure IV.1.1. Movement of ICT players in UNCTADs top 100 MNEs
Tech MNEs
Ericsson HP Alphabet (Google)
HP IBM Apple
IBM Nokia Hon Hai
LG Sony HP
Motorola IBM
Sony Microsoft
Apple
Oracle
Google Google Samsung
Nokia Hon Hai Microsoft Samsung SAP Oracle SAP
Sony
Telecom MNEs
Cable & Wireless Deutsche Telekom Altice
SBC Liberty America Movil
Telefonica Orange Deutsche Telekom
Verizon Telefonica Liberty
Vodafone TeliaSonera NTT
Vivendi Orange
Deutsche Telekom
Vodafone Softbank
Liberty
Altice Telefonica
Orange
America Movil Vodafone
TeliaSonera
America Movil Softbank NTT
Vivendi
Source: UNCTAD, based on UNCTADs FDI/MNE database, company reports and data from Orbis Bureau van Dijk (BvD) and Thomson ONE.
Note: The selection of top 100 MNEs is compiled and updated annually by UNCTAD as part of the research for the World Investment Report.
160 World Investment Report 2017 Investment and the Digital Economy
Figure IV.1. Evolution of ICT MNEs in UNCTADs ranking of the top 100 MNEs, 2006 and 20102015
13
11 9
Number of firms 9
6 6
7 7
7
8 8 10
6 5 7
4
20%
11% 11% 9%
Share in assets 9%
6%
6% 6%
7% 7%
11%
6% 8% 8%
5% 4% 4%
19%
7%
Share in operating 10% 10% 6%
4%
revenues 4%
4% 5% 5%
12%
8% 10% 10%
6% 5% 5%
Source: UNCTAD, based on UNCTADs FDI/MNE database, company reports and data from Orbis BvD and Thomson ONE.
results from a group of tech MNEs, mainly from the United States, entering the ranking.
Some of these companies, such as Alphabet (Google) and Microsoft, are leading the digital
revolution; others, such as Oracle, heavily rely on and benefit from the acceleration of the
internet to deliver their value proposition. When including telecom MNEs, other important
enablers of the digital economy, 19 MNEs in the top 100 are ICT companies a sizeable
portion of megacorporations.
Tech megacorporations are enjoying exceptional growth momentum. Figure IV.2 describes
the recent evolution of assets, operating revenues and employees for the sample of MNEs
in the 2015 UNCTAD top 100. In the last five years, the largest tech MNEs have outpaced
traditional MNEs and telecom companies, with assets growing by more than 10 per cent
annually, compared with an essentially flat trend for the other two groups. Growth in operating
revenues and employees is more moderate, but still higher than in other members of the top
100 MNEs. These figures confirm that tech MNEs represent by far the most dynamic players
among the largest global multinationals.
The fast growth of tech MNEs is a result of multiple and interrelated factors, including strong
technological and market momentum prompted by the digital revolution, financial solidity
and spending capacity due to very high margins and liquidity, as well as a managerial
culture oriented towards investment and innovation. As a result, not only have tech
megacorporations gained market dominance in their core segments, but they have also
successfully expanded in neighbouring digital areas. In just a few years, some have become
digital hubs operating across the full spectrum of the digital economy.
165 11%
Assets
1%
103
100 99 0%
130 5%
Operating
revenues
100 -2%
92
91
-2%
125 5%
Employees 108 1%
100
92 -2%
Source: UNCTAD, based on UNCTADs FDI/MNE database, company reports and data from Orbis BvD and Thomson ONE.
Note: The analysis includes the subset of UNCTADs 2015 ranking of the top 100 MNEs that had reported information consistently for the relevant years (97 MNEs for assets
and operating revenues, of which 9 tech, 8 telecom and 80 other MNEs; 81 MNEs for employees, of which 6 tech, 8 telecom and 67 other MNEs).
A critical issue related to digitalization is employment. It is often argued that rising productivity
and the growing role of intangibles in value generation could result in a loss of human
labour. The debate is polarized between those who foresee sizeable new opportunities and
those who expect significant jobs dislocation (WEF, 2016). The employment trend reported
in figure IV.2 conveys a multifaceted picture. In telecom and other MNEs, employment has
remained substantially flat, in line with assets and operating revenues, which suggests
that digitalization in these groups has, so far, not affected jobs specifically. The number of
employees in tech MNEs, in contrast, has increased by about 5 per cent annually over the
last five years. This employment creation is roughly aligned with the increase in operating
revenues, but significantly lower than the increase in total assets (at 11 per cent annually).
This indicates that although tech MNEs are creating more employment as they grow, sources
of corporate value are shifting from labour to capital.
Critically, the focus is moving toward capital components such as intangibles and cash,
which generate relatively little employment. The average market capitalization of tech
megacorporations is almost three times higher than that of other MNEs. At the end of 2015,
10 tech MNEs made up about 26 per cent of the total market capitalization of the top 100
MNEs in the UNCTAD ranking, a share over two times larger than their share in number,
assets and operating revenues (for comparison, see figure IV.1). Such market capitalization
can be largely attributed to highly valuable unrecorded intangibles, such as brand, know-
how and intellectual property (as demonstrated by the wide gap between market value
162 World Investment Report 2017 Investment and the Digital Economy
Figure IV.3. Sources of value of the top 100 MNEs: market capitalization and asset composition, 2015
7%
Telecom 57 6% + 9% 0.4
MNEs
9%
Other
MNEs 69 68% + 23% 0.4
12%
Average, 81 + 30% 0.5
top 100
Source: UNCTAD, based on UNCTADs FDI/MNE database, company reports and data from Orbis BvD and Thomson ONE.
Note: The analysis includes the subset of UNCTADs 2015 ranking of the top 100 MNEs that reported the relevant information on the asset composition (92 MNEs, of which
10 tech, 8 telecom and 74 other MNEs). Estimates of undisclosed intangible assets are equivalent to the difference between market capitalization and equity book value
(market capitalization method). For an alternative application employing the enterprise value instead of market capitalization, see the Global Intangible Financial Tracker
(Brand Finance, 2016). Replacing the market capitalization with the enterprise value in this analysis leads to similar results (with a smaller, but still sizeable, difference in
the weight of intangibles between tech MNEs and other MNEs).
and asset book value). When including this component (calculated according to the market
capitalization method), tech MNEs intangibles are estimated to be roughly equal to their
asset book value significantly more than the average 40 per cent recorded for other
MNEs (figure IV.3). The second distinctive feature in the asset composition of tech MNEs
is the large share of cash and cash equivalents, which stands at 28 per cent of total asset
book value, or more than three times higher than the share of cash in other MNEs. Strong
liquidity and high spending capacity have fueled the exceptional growth of these companies
in recent years.
These major differences in asset profile indicate a structural shift in the sources of corporate
value from fixed, tangible assets to intangibles and current assets, and illustrate the
profound disruption brought about by digital and tech MNEs. The traditional approach to
growth and investment characterized by high capital expenditure and debt, stretched
liquidity, high fixed costs and squeezed margins is largely absent in the digital world.
So the question arises, How is this business revolution affecting MNEs decisions about
international investment?
164 World Investment Report 2017 Investment and the Digital Economy
a. Mapping the digital economy
To address the issue, UNCTAD has undertaken three steps:
Defined categories of MNEs on the basis of a qualitative assessment of their digital
intensity
Quantified MNEs international footprint using company reporting on geographical
segments
Analyzed relevant patterns and relationships between the digital categories and their
(average) international footprint
This approach required expanding the statistical base of firm-level data. The preceding
section focused on tech and telecom MNEs through the lens of the UNCTAD top 100 MNEs;
this section introduces specific classifications for digital MNEs and ICT MNEs and two
corresponding new top 100 lists. The methodology behind the creation of the two new lists
is described in box IV.2, and in more detail in the annex to this chapter (available online).
UNCTAD has mapped the digital economy by classifying relevant MNEs into two groups
(figure IV.4):
1. Digital MNEs are characterized by the central role of the internet in their operating
and delivery model. They include purely digital players (internet platforms and providers
of digital solutions) that operate entirely in a digital environment and mixed players
(e-commerce and digital content) that combine a prominent digital dimension with a
physical one.
a. Internet platforms: digitally born businesses, operated and delivered through the
internet, e.g. search engines, social networks and other platforms, such as for
sharing.
b. Digital solutions: other internet-based players and digital enablers, such as electronic
and digital payment operators, cloud players and other service providers.
c. E-commerce: online platforms that enable commercial transactions, including
internet retailers and online travel agencies. Delivery may be digital (if the content of
the transaction is digital) or physical (if the content is tangible).
d. Digital content: producers and distributors of goods and services in digital format,
including digital media (e.g. video and TV, music, e-books) and games, as well as
data and analytics. Digital content can be delivered through the internet but also
through other channels (e.g. cable TV).
2. ICT MNEs provide the enabling infrastructure that makes the internet accessible to
individuals and businesses. They include IT companies selling hardware and software,
as well as telecom firms.
a. IT: manufacturers of devices and components (hardware), software developers and
providers of IT services
b. Telecom: providers of telecommunication infrastructure and connectivity
The complete ranking of the top 100 digital MNEs is provided in the annex to this chapter.
For each category, figure IV.5 identifies the three largest (publicly listed) players in terms of
operating revenues, as of 2015. The allocation of firms to categories is unique and is based
on the main activity or main source of revenues. In practice, unambiguous classification
of these firms is difficult. Digital and ICT MNEs may have a significant presence in various
UNCTADs new database is an effort to systematically rank digital and ICT MNEs. Through its scale, breadth and depth, which is part of
the value added of the analysis, it seeks to achieve two key objectives:
Profile the leading digital and ICT MNEs in all the main digital areas. Doing so has value beyond the international footprint analysis
developed here; UNCTADs sample can be used as a basis for firm-level analysis of other relevant dimensions of digital MNEs.
Build an extensive sample of digital and ICT firms to support solid empirical analysis, addressing not only the comparison between
digital and non-digital MNEs, but also relevant patterns between categories of digital and ICT MNEs.
a. Selection and classification of top digital and ICT MNEs
UNCTADs research of company data identified the largest 100 digital and 100 ICT MNEs by operating revenues and/or sales. The
definitions of digital MNE and ICT MNE follow the classification of figure IV.4. Box table IV.2.1 provides key statistics for the selected
MNEs and summarizes the selection criteria as well as the main analytical steps.
b. International footprint analysis
This study mainly relied on consolidated geographic information reported by publicly listed MNEs. The key metrics used to analyze
MNEs international footprint were the following:
Share of foreign assets
Share of foreign sales
Ratio of the share of foreign sales to the share of foreign assets
A more detailed discussion of the construction of the database and the approach to the international footprint analysis can be found in
the annex to this chapter.
UNCTADs database of the top digital and top ICT MNEs: key elements and
Box table IV.2.1.
descriptive statistics
# MNEs Sales, 2015, $ billion
# MNEs with full info Avg Max Min
Selection criteria Search engines 3 2 27.6 75.0 2.8
Social networks 5 5 5.5 17.9 1.0
Listed companies Internet platforms
Other platforms 3 3 4.6 8.6 2.1
Multinational enterprises
Total 11 10 11.3 75.0 1.0
Reported information on
foreign business (at least Electronic payments 5 3 6.2 11.5 1.3
one between foreign sales
and foreign assets) Digital solutions Other digital solutions 21 19 3.7 11.7 1.0
Total 26 22 4.2 11.7 1.0
Digital
Main analytical steps MNEs
Internet retailers 13 9 11.9 107.0 1.0
Extraction of the initial sample E-commerce Other e-commerce 5 5 4.8 9.2 1.6
- all companies with annual
operating revenues above $1 Total 18 14 9.9 107.0 1.0
billion (about 20,000 firms from
the ORBIS company database)
Digital media 22 20 11.9 74.5 1.2
Selection of the 100 largest Games 7 5 4.5 15.8 1.4
multinationals (in terms of Digital
operating revenues) for digital content Info and data 16 15 3.7 12.2 1.1
MNEs and ICT MNEs based
on activity codes, trade Total 45 40 7.8 74.5 1.1
description, financial
reporting and company Total 100 86 7.6 107.0 1.0
websites
Software and services 21 19 19.5 85.3 4.6
Cross-validation with
IT Devices and components 52 50 31.4 215.6 5.0
other lists, both generalist
(Fortune 2000, Forbes 500, ICT
Total 73 69 28.0 215.6 4.6
S&P 500) and specialized MNEs
(UNCTAD Information Telecom 27 27 31.3 146.8 5.1
Economy Reports and
consultants reports)
Total 100 96 28.9 215.6 4.6
Source: UNCTAD, based on UNCTADs FDI/MNE database, company reports and data from Orbis BvD and Thomson ONE.
Note: MNEs for which there is complete information include the subset of the top 100 digital and 100 ICT MNEs that report information on foreign assets and on foreign
sales or operating revenues in their financial accounts.
Source: UNCTAD.
166 World Investment Report 2017 Investment and the Digital Economy
Figure IV.4. The architecture of the digital economy
Digitalization of
the global economy
Purely digital
Internet platforms
Digital solutions Search engines Mixed
Social networks
Electronic/digital payments
Other platforms/sharing economy
Other digital solutions/cloud
Source: UNCTAD.
neighbouring areas of the digital world. Examples include top digital companies such as
Apple, Microsoft, Facebook, Alphabet and Amazon that have become leaders in multiple
digital products and services.
The largest firms in each category are not all truly global, however. Some large corporations,
such as Baidu and NetEase, are highly concentrated in one market and have a comparatively
small foreign presence. These companies fall out of the scope of this study, which focuses
specifically on MNEs and their transnationality.
A conceptual matrix positioning MNEs on the basis of their internet intensity, both in terms
of products and operations and in terms of commercialization and sale of their products,
provides another useful way to compare digital MNEs with ICT and other MNEs (figure IV.6).
At the top end of the matrix are the purely digital MNEs, the group of internet platforms
and providers of digital solutions, for which both operations and sales are digital. At the
lower end of the matrix is the heterogeneous group of non-ICT, non-digital firms, some of
which are gradually moving towards digital adoption in operations and sales, as confirmed
for example by the growing importance of e-commerce in traditional business. For each
category, the figure reports the annual growth rate of the aggregate operating revenues
in the last five years (the median growth rate produces similar results, confirming that the
trend applies across the sample). The growth pattern revealed by the matrix highlights the
rapid expansion of digital MNEs and the role of the internet as a growth engine.
Digital players
Internet retailers
Alibaba JD.com
Commissions from sellers
Other e-commerce
Amadeus IT Expedia
Digital content
4%
Digital media
21st Century Fox Time Warner
ICT players
Telecom
5%
Sale of connectivity and
China Mobile Verizon related services
Source: UNCTAD, based on UNCTADs FDI/MNE database, company reports and data from Orbis BvD and Thomson ONE.
Note: The mapping and corresponding ranking of the companies is based on the most recent annual operating revenues, as available at the time of the data collection (between December 2016 and February 2017)
from standard financial reporting. For the majority of companies, the closing date of the latest reported financials is 31 December 2015.
Figure IV.6. The internet intensity matrix and the growth of digital MNEs
18%
Internet only
Internet platforms
9%
5%
2%
Digital solutions
Digital content
IT
Production/Operations
19%
E-commerce
Telecom
Other
-2%
-2%
Commercialization/Sales
Source: UNCTAD, based on UNCTADs FDI/MNE database, company reports and data from Orbis BvD and Thomson ONE.
Note: Positioning in the internet intensity matrix is indicative and based on a qualitative assessment. The categories Internet platforms,
Digital solutions, E-commerce and Digital content include 92 companies (of which 10 internet platforms, 14 e-commerce,
23 digital solutions and 45 digital content) from UNCTADs ranking of the top 100 digital MNEs. The categories IT and Telecom
include 92 companies (of which 66 IT and 26 telecom) from UNCTADs ranking of top 100 ICT MNEs. The category Other includes
80 companies operating in non-ICT industries from UNCTADs overall list of the top 100 MNEs.
Share of
73% 57% 64%
foreign sales
Source: UNCTAD, based on UNCTADs FDI/MNE database, company reports and data from Orbis BvD and Thomson ONE.
Note: The reference sample for the analysis is UNCTADs overall ranking of the top 100 MNEs for 2015, including 10 tech, 9 telecom and 81 other MNEs. More details on the
calculation of foreign assets and sales, their shares of the total and the related foreign asset lightness ratio are discussed in the annex to this chapter.
As illustrated in figure IV.8, delivery and operating models characterized by higher internet
intensity produce a higher foreign asset lightness ratio. In other words, the more MNEs rely
on the internet, the better they can leverage their foreign assets, obtaining a higher share
of foreign sales with relatively limited foreign assets. This pattern is not driven by a few
large companies but applies across the board: the results are consistent when replacing
categories weighted averages with median values.
The foreign asset configuration of digital MNEs reflects the different degrees of exposure to,
and usage of, internet and digital technologies.
Purely digital MNEs, including internet platforms and providers of digital solutions,
show the highest gap between (low) foreign assets and (high) foreign sales. These are
companies that operate almost entirely in a virtual environment, characterized by limited
physical ties with their markets. Tangible foreign assets in foreign markets are often
limited to corporate offices and data centre hubs.
Digital MNEs with mixed models, including providers of digital content and e-commerce,
also exhibit a lighter foreign asset footprint than traditional MNEs, but the gap is
significantly reduced. Both groups combine a digital core business with a physical
component instrumental to the delivery of their value proposition.
Internet retailers consist mainly of e-commerce multinationals, such as Amazon or
Rakuten, whose marketing and commercial activities are online, but whose delivery
activities require logistic assets and operations.
Digital content providers include large media companies, such as 21st Century Fox
and Sky. These companies operate in an inherently digital environment with digital
products and digital technologies. However, they still reach their mass customer
base in traditional ways, for example, through cable or satellite television. With
some notable exceptions such as Netflix, their online distribution segment, although
growing rapidly, is still smaller than their traditional distribution segments.
MNE business models more suited to online operations and delivery, such as online travel
agencies (in the e-commerce category), and information and data providers (in the digital
content category), are characterized by a lighter foreign asset footprint.
170 World Investment Report 2017 Investment and the Digital Economy
The group of ICT MNEs is highly polarized between IT MNEs (hardware and software) and
telecom MNEs.
IT MNEs exhibit a light foreign asset footprint overall, with a ratio between the share of
foreign sales and the share of foreign assets almost equivalent to that of purely digital
players. However, this group is quite heterogeneous, and reasons other than digitalization
may contribute to a light foreign asset configuration. The leading IT companies, such as
Apple and Samsung, and the leading software companies, such as Microsoft and Oracle,
have strong digital footprints. Conversely, smaller and specialized IT manufacturers have
more limited digital exposure. Several of these MNEs are suppliers of IT components
from East and South-East Asia. These companies tend to locate their production facilities
at home, where production costs are lower, and then to export. This clearly contributes to
a high ratio between the share of foreign sales and the share of foreign assets.
Telecom MNEs, as already observed in the context of the UNCTAD top 100 MNEs
(figureIV.7), exhibit a high share of foreign assets relative to foreign sales. They tend to
establish a heavy, tangible presence in the foreign countries where they operate. This
is intrinsic to their business and operating model, which requires telecommunication
infrastructure to achieve capillary coverage.
Figure IV.8. The internet intensity matrix and the foreign sales/assets ratio
E-commerce 1.1
Internet retailers: 0.9
Other e-commerce: 2.4
0.9
1.0
Telecom
Other
Source: UNCTAD, based on UNCTADs FDI/MNE database, company reports and data from Orbis BvD and Thomson ONE.
Note: Positioning on the internet matrix is indicative and based on a qualitative assessment. The categories Internet platforms, Digital
solutions, E-commerce and Digital content include 86 companies (of which 10 internet platforms, 22 digital solutions, 14
e-commerce and 40 digital content) from UNCTADs ranking of the top 100 digital MNEs. The categories IT and Telecom include
96 companies (of which 69 IT and 27 telecom) from UNCTADs ranking of the top 100 ICT MNEs. The category Other includes
81 companies operating in non-ICT industries, from UNCTADs overall list of the top 100 MNEs. More details on the calculation of
foreign assets and sales, their shares of the total and the related foreign asset lightness ratio are discussed in the annex to this
chapter.
Figure IV.9. Share of foreign assets and sales by industry, top 100 MNEs, 2010 and 2015
2010 2015
Ratio, share of Ratio, share of
Share of Share of foreign sales/share Share of Share of foreign sales/share
# MNEs foreign assets foreign sales of foreign assets # MNEs foreign assets foreign sales of foreign assets
Automotive
14 53% 68% 1.3 14 53% 71% 1.3
and aircraft
Chemicals and
12 59% 69% 1.2 14 64% 68% 1.1
pharmaceuticals
Petroleum refining
9 69% 63% 0.9 8 73% 60% 0.8
and related industries
Source: UNCTAD, based on UNCTADs FDI/MNE database, company reports and data from Orbis BvD and Thomson ONE.
Note: Other manufacturing includes among others machinery and electric equipment; Others is a residual category including some large conglomerates that operate in
many industries (e.g. Marubeni and Mitsubishi). Details on the calculation of foreign assets and sales, their shares of the total and the related foreign asset lightness ratio
are discussed in the annex to this chapter.
172 World Investment Report 2017 Investment and the Digital Economy
Correlation between the share of foreign sales and the share of foreign assets,
Figure IV.10.
by category (Per cent)
35 80
Red Hat 70
30
Alphabet 60
25
Facebook 50
20
LinkedIn 40
15
30
10 IAC Ebay
Yahoo 20
Twitter
5 10
0
0 10 20 30 40 50 60 70 0 20 40 60 80 100
Telecom
Ratio, share of foreign sales/share of foreign assets: 0.9
Correlation coefficient: 0.96
Share of foreign assets
100
80
60
40
20
0
0 20 40 60 80 100
Source: UNCTAD, based on UNCTADs FDI/MNE database, company reports and data from Orbis BvD and Thomson ONE.
c. Foreign earnings
Despite their limited tangible assets, foreign affiliates of tech and digital MNEs retain a
sizeable part of their foreign earnings overseas, typically in the form of cash and cash
equivalents. This practice has been in the spotlight recently because of its tax implications.4
Tech and digital MNEs are on average highly profitable and maintain large cash reserves
for investment (see also figure IV.3). A significant part of this cash consists of unremitted
foreign earnings, retained abroad for tax optimization purposes. Tech megacorporations
from the United States in UNCTADs 2015 ranking of the top 100 MNEs kept 62 per cent
of their total foreign earnings unremitted, a share almost three times higher than that of
other United States MNEs (figure IV.11). Furthermore, total foreign earnings retained abroad
by tech MNEs from the United States are growing faster, at an average annual rate of
28 per cent between 2010 and 2015, against 8 per cent for other MNEs. As a result, tech
megacorporations each retained about $75 billion abroad on average in 2015, against
$45 billion for other MNEs.
28% 385
325
Tech MNEs 271
221 62% x6 19%
168
110
8%
398 411
355 369
322
281
Other MNEs
23% x1 27%
The fact that unremitted foreign earnings are equivalent to about six times the estimated
value of foreign tangible assets suggests that these resources are only in small part used
to finance foreign productive capacity. The main objective is rather to minimize the tax
burden by (indefinitely) deferring the payment of the tax adjustment upon repatriation of
foreign earnings to the United States. Accordingly, tech MNEs incurred an average effective
tax rate of 19 per cent in 2015 significantly lower than the tax rate paid by other United
States MNEs. These patterns are likely to apply to digital MNEs as well, given the common
characteristics they share with tech MNEs. It should be noted that the phenomenon of
high retained foreign earnings is strictly linked to the United States territorial tax system
and could be less relevant for MNEs from other countries. Changes in the United States
corporate tax system currently under discussion may significantly affect overseas retained
earnings of tech and digital MNEs.
d. A concentrated geography
Most digital MNEs are from developed countries, in particular the United States. The share
of digital MNEs based in the United States is high, at almost two thirds. Their predominance,
coupled with their tendency to retain most tangible assets at home, results in a geographic
distribution of subsidiaries that is highly skewed towards domestic companies based in
the United States. Only about 50 per cent of the subsidiaries of digital MNEs are foreign
affiliates, compared with almost 80 per cent for other MNEs. Also, about 40 per cent of the
subsidiaries of digital MNEs are based in the United States, almost twice the share for other
MNEs (table IV.1). As a result, the growth of digital economy MNEs could reverse the trend
in outward FDI observed in the last decade towards democratization (with developing
economies increasingly becoming important outward investors) back towards concentration
in a few large home countries.
174 World Investment Report 2017 Investment and the Digital Economy
Table IV.1. Ownership structure of MNEs
Parent companies Subsidiaries
United States Other countries Domestic Foreign United States Other countries
Number Number Share Number Share Number Number Share Number Share Number Share Number Share
Digital MNEs 100 63 63% 37 37% 22,742 10,199 45% 12,543 55% 8,968 39% 13,774 61%
ICT MNEs 100 21 21% 79 79% 27,950 6,522 23% 21,428 77% 7,463 27% 20,487 73%
Other MNEs 81 15 19% 66 81% 57,002 12,353 22% 44,649 78% 11,834 21% 45,168 79%
Source: UNCTAD, based on UNCTADs FDI/MNE database and ownership information from Orbis BvD.
Note: Digital MNEs and ICT MNEs are from UNCTADs top 100 digital and ICT MNE databases, compiled for this report; Other MNEs are companies operating in non-ICT
industries from UNCTADs general 2015 ranking of the top 100 MNEs. To qualify as a subsidiary, minimal ownership by parents is set at 50 per cent.
The empirical analysis highlights three key trends in the mode of internationalization of
digital and tech MNEs:
Limited international asset footprint (figure IV.7 to figure IV.10)
Large cash reserves kept overseas (figure IV.11)
Concentration of productive investment in a few developed economies, especially the
United States (table IV.1)
These trends describe an entirely new multinational business model and have the potential
to radically transform the international operations of many MNEs. At the same time, this
process of digital disruption is still limited to digital and tech MNEs, or MNEs with strong
links to the digital economy, whether as providers or enablers. For other MNEs, traditional
business models are resilient.
However, the penetration of leading digital MNEs into large portions of the real economy
outside typical digital markets will give some impulse to the digitalization of broader
economic activities. The fast growth of online sales channels within traditional industries
shows that companies are already moving towards the digitalization of commercial activities.
The digitalization of production is proving more challenging, but is advancing as well. The
next section examines possible digital-adoption scenarios in more detail.
120
Share of foreign sales
115
112
110 111
Average (TNI)
2006 2015
105
Share of foreign assets Share of foreign
56% 62%
assets
100
100 Share of foreign
57% 64%
95 sales
Source: UNCTAD, based on UNCTADs FDI/MNE database, company reports and data from Thomson ONE.
Note: The transnationality index (TNI) in the figure is the arithmetic mean between the share of foreign sales and the share of foreign assets.
To date, the adoption of digital technologies in non-ICT MNEs is not yet visible in international
production patterns in the way it is for ICT and digital MNEs, as described in the previous
sections. Overall, internationalization, or the foreign share in MNEs assets and sales, has
been increasing (figure IV.12). However, the relative contributions of foreign sales and assets
have not substantially changed over the last 10 years, with the share of foreign sales roughly
aligned to the share of foreign assets. On average, in 2015 the largest MNEs generate
64per cent of their sales abroad, with 62 per cent of their assets overseas.
176 World Investment Report 2017 Investment and the Digital Economy
Companies digitalize aspects of their supply chain in response to industry-specific challenges
and drivers. They may, as for example in the pharmaceutical sector, have a pressing need to
address inventory management challenges. They may also rely on digitalization to address
quality, ensuring that their products are of a consistently high standard and their provenance
traceable. Or they may adopt a digital approach in order to maintain or regain competitive
advantage through improved customer service or to reduce their environmental impact.
The speed of digitalization in individual MNEs is driven by various factors. Developing an
end-to-end digital supply chain involves a major transformation, organization-wide disruption
and significant levels of investment. This is particularly the case for large global MNEs with a
history of mergers and acquisitions and an array of legacy systems to integrate. The speed
of adoption often also depends on digital awareness and skills at senior management levels
in firms.
At the sector and industry levels, the urgency and speed of adoption depends on industry
characteristics and competition. In some sectors, the digitalization of products and services
themselves is changing the nature of supply and consumption. For instance, streaming of
media and entertainment products as well as online purchasing of financial services are now
widespread.
Technologies enabling the sharing economy are also affecting services industries. These
business models, based on facility or product access rather than ownership, can be replicated
beyond consumer transport and hotels (such as Uber and Airbnb) in any services sector
where underutilized, time-limited capacity can be sold through digital platforms. Although
many supply-side actors are small businesses, the owners of these digital platforms have
quickly become dominant sector players. Employment rights, service quality and investment
demands imposed by digital platform operators on small providers have become a major
concern for regulators (and increasingly for consumers).
In traditional manufacturing industries, the impact of digitalization has also been significant.
Within fast-moving consumer goods, the connection to individual consumers through
e-commerce transactions offers retailers and manufacturers alike opportunities to capture
product and delivery preferences.
In engineering industries, the Rolls-Royce power-by-the-hour business model (in which
revenues from product use, service and repair exceed those of the initial sale of the primary
asset) is now the norm. The ability to track engine performance in near real time is enabled
by advances in sensors that provide data back to a central control room to manage service
requirements. Manufacturers of the latest engines are also now deploying digital 3D printing
technologies to deliver enhanced functionality and lightweight structures, demonstrating
that 3D printing is utilized not only in decentralized manufacturing of small components,
where production takes place close to the end user, but also in centralized, large-scale
manufacturing as a competitive mainstream production technology.
In the health care sector, new digitally enabled production technologies such as continuous
processing with advanced process analytics are providing alternatives to the centralized
production of large batches that is still prevalent in pharmaceuticals. These technologies
promise more flexible volume and variant production in the supply of medicines to better
target niche patient populations. Smart packaging also provides the ability, through printed
electronics and embedded sensors, to authenticate, track and ensure environmental
compliance, providing patients with assurances of the provenance and quality of the
medicines they receive. Digitally enabled packs, medical devices and wearables enable the
monitoring of both adherence to, and the effectiveness of, treatment regimes.
The introduction of digital technologies in manufacturing supply chains is leading to digital transformations in 10 areas, from inbound
logistics and supplier management, to internal processes and governance of end-to-end supply chains, to customer relationship
management (box figure IV.3.1).
Internal
Inbound Outbound
1. Automated 6. E-commerce
e-sourcing Suppliers Prime Customers fulfilment
End-to-end
8. Digital
7. Extended supply chain product quality 9. Digital supply 10. Product lifecycle
(near) real-time monitoring network design management
1. Automated e-sourcing: Electronic data interchange and automated call-off are well-established forms of digitized sourcing.
Companies are seeking not only to extend their use beyond direct suppliers but also to include proactive warning systems.
Increasingly, the sourcing bottlenecks or the materials vulnerable to supply disruption are farther back in the supply chain, and
digital systems can provide enhanced visibility.
2. Digital factory design: 3D modelling systems for factory design are becoming more sophisticated. Coupled with the advent of
flexible manufacturing systems and data connectivity, they provide the stimulus for a new paradigm in factory layout design, and
process and material flows.
3. Real-time factory scheduling: Digital business process re-engineering is leading to greater productivity, improved delivery
performance and higher responsiveness to change through sensor- and smart device-enabled management and joined-up
enterprise resource planning, manufacturing execution and cloud systems.
4. Flexible factory automation: Ever cheaper technology, collaborative robotics and machine learning are driving a new era of factory
automation, enabling flexible reconfiguration and leading to lower cost for variety and greater customization, as well as potential
labour savings.
5. Digital production processes: The shift towards replacing subtractive manufacturing processes (such as machining) with additive
processes (such as laser sintering and digital printing) also enables new product designs and enhanced customization. These
techniques could bring about the reconfiguration of entire industry supply chains.
6. E-commerce fulfilment: E-commerce is extended to web-based order management, including personalized configuration, omni-
channel access and last-mile delivery. New business models are emerging that are based on customer-connected supply chains
constantly monitoring product usage and experience, and tailoring the offering. Sectors as diverse as construction vehicles (B2B)
and consumer goods (B2C) are leading the way.
/...
178 World Investment Report 2017 Investment and the Digital Economy
Box IV.3. Adoption of digital technologies in global supply chains (concluded)
7. Extended supply-chain monitoring: Whereas transformation 4 focuses on flexible factory scheduling, a broader transformation
relates to the complete, end-to-end supply chain, using predictive analytics and real-time risk management, enabled by sensors
and track-and-trace processes to create visualization watch towers, optimize integration, predict disruptions and support dynamic
decision-making.
8. Digital product quality: Total quality management in the digital context involves end-to-end transparency, real-time analytics and
proactive resolution driven by customer connectivity. A series of traceability islands are connected back from customers, across
internal operation networks, through to suppliers, leading to faster problem resolution and prevention, and compliance verification.
9. Digital supply-network design: Transformation 2 focuses on digital factory design, but a higher-level transformation relates to the
entire supply network. This involves digital network design, modelling and visualization tools based on drivers of costs, risks and
resource access. It can lead to new network design principles and changes in supply collaboration, site location, capacity, inventory
and customer response.
10. Product life-cycle management: Next-generation systems for managing product life cycles can provide accurate, up-to-date
product information accessible throughout the value chain. This enables enhanced cross-organizational involvement in design,
collaborative innovation, design for manufacture or procurement, and quicker time to market.
Source: J.S. Srai, Centre for International Manufacturing, University of Cambridge.
End-to-end processes
Upstream/ Internal production Downstream/ and governance
supplier relations processes customer relations
E-auctions, with open or closed systems Digitally enabled automation of factory Disintermediation in product delivery Transparency and traceability and
operations and distribution models; monitoring of provenance of goods with digital
Supplier- or vendor-managed inventory
product use by end user quality and compliance systems
Digital twins enabling replication, with
Discrete assembly industries (e.g. Production-asset-intense industries Media, financial services (e.g. insurance) Regulated industries requiring
automotive, aerospace, maritime) benefiting from automation to support conformance (e.g. pharmaceuticals,
Sharing economy (e.g. Airbnb, Uber)
volume and variant flexibility food)
Consumer electronics where component
E-commerce B2C firms, retailers,
Industries complexity requires automated sourcing For 3D printing products: Through-life product servicing (e.g.
fast-moving consumer goods with
where prevalent inventory-heavy industries depending aerospace), intelligent white goods
last-mile distribution, health care
on small-scale items and spares (e.g. "smart" refrigerators)
solutions
For continuous flow: batch process Enterprise data system providers (e.g.
industries seeking volume flexibility "watch towers")
Democratizing vs. exclusive effects on High-value jobs, net employment Disintermediated modes redistribute Frequent reconfiguring of production
suppliers reduction, improved productivity value added of local partners in host locations, driving MNE footloose
capital intensity countries behaviours
International Closeness to (B2B) clients, suppliers
production following clients abroad New forms of controlled offshoring and Servitization and outcome-based Increased compliance requirements
implications outsourcing; non-equity partnerships contracting, "Intel inside" component for suppliers and users
New entry modes into GVCs and
models for value capture
international production networks Enhanced technological requirements of Openness of data flows and
MNEs, partners and suppliers Increased competition new entrants ownership becomes an investment
challenge established players determinant
Source: UNCTAD; see also box IV.3 on the adoption of digital technologies in global supply chains.
small-scale production locations. As for how and with whom MNEs partner, e-auctions lead
to broader supplier relationships, and disintermediation to looser distribution partnerships,
but complex co-design encourages closer and more exclusive supplier partnerships, and
e-commerce fulfilment can lead to new customer service partnerships.
These opposing effects in the nature and direction of investment and partnerships, which
are not mutually exclusive, in turn influence the impact of international production in host
economies, following several possible scenarios (table IV.2).
(i) Distributed production: implications for international production
Distributed production is characterized by higher levels of customization, localized close to
the point of consumption but with elements of centralized control, and supported by new
production technologies such as 3D printing, which enables factory replication (digital twins)
to ensure consistent product quality. It can also involve end-user participation in product
design and production (see Srai et al., 2016, and Srai, Harrington and Tiwari, 2016).
For example, digitalization in the pharmaceutical sector will lead to more distributed
production. The industry is currently characterized by predominantly large-batch,
centralized manufacturing. This has led to a slow, inventory-heavy operating model that is
increasingly regarded as inflexible and unsustainable. New markets and the rapidly evolving
pharmaceutical and biotechnology landscape are driving greater product variety, shorter
product life cycles and smaller drug volumes, exacerbating the accelerating unsustainability
of the traditional production model. Future pharmaceutical supply chains will involve new
production models that manufacture drugs to order and closer to the point of consumption.
This scenario requires more widely distributed microfactories rather than the traditional
centralized model. Final product or pack finishing may also take place at the local clinic or
pharmacy to meet a patients individual medical needs.
Table IV.2. Illustrative digital adoption scenarios and implications for international production
Descriptive elements Possible international production implications
Scenario Descriptive elements Possible international production implications
Localized manufacturing closer to the point Patterns of investment and modes of governance:
of consumption More, smaller production locations, rather than
Distributed few, large locations
production Factory replication (digital twins) under
centralized control Sophisticated centralized coordination
and quality control
Product servitization (power-by-the-hour models) Types of investment:
Accelerated More investment in services
Increased use of contract manufacturing and
servicification outsourcing of ancillary operations across more More non-equity modes of production
industries
Direct delivery of products and services Investment impact:
Extended to end users Increased value capture by MNEs
disintermediation Branded manufacturers reaching out Fewer local distribution partnerships, new
to end users; Intel inside model service partnership opportunities
Automation to support Investor behaviour:
Flexible Customization (increased product variety) More fluctuations in output and use of labour
production Production to order (volume flexibility)
More footloose production
Source: UNCTAD.
182 World Investment Report 2017 Investment and the Digital Economy
added of MNEs distribution partners in overseas markets is under pressure. At the same
time, e-commerce delivery requires sophisticated distribution models, which challenges
manufacturers and retailers alike by allowing the emergence of new entrants managing the
last-mile delivery. Also, the disintermediation of distribution is resulting in the emergence of
new services partnerships.
But disintermediation in the supply chain can extend to branded goods manufacturers. The
digitalization of product design and equipment specifications enables component suppliers
to engage directly with end users to ensure that they require the inclusion of their product
into final goods. Here, the disintermediation is in the specification of products, rather than
in the distribution: an original equipment manufacturer no longer selects a component;
instead, this choice becomes an end-user requirement fostered by component suppliers.
Often, this shift involves component providers from developed countries supplying branded
high-end parts into final assemblies, lowering the final assembly value added. Although
this phenomenon is not new, as illustrated by the Intel inside example in computers and
automotive firms specifying componentry to module manufacturers, it is now increasingly
prevalent in more sectors, enabled by digital technologies.
For example, in consumer home appliances, Strix heating-control elements are required
componentry in most kettles manufactured globally, with production largely undertaken
by CMOs on behalf of brand owners. Digitalization facilitates communication with users,
specification control, production quality control and final-product quality and safety.
Local suppliers to CMOs, often in developing countries and offering inferior quality, are
sidelined. Similarly, in shipping, vessel designers engage with fleet operators who require
the use of specialized equipment and components, for example, Brunvoll thrusters. Again,
disintermediation is enabled by digitalization, which allows specification control and fleet
operator engagement.
(iv) Flexible production: implications for international production
Digitalization continues to promote further automation in production, driven by expectations
of significant productivity gains. Investment in automation and robotics pushes fixed capital
costs for production higher. The business case for investment therefore requires scale,
which, unlike the scenarios just described, could result in more centralization and high-
volume manufacturing.
At the same time, highly automated and digitally enabled production can also support greater
product variety and customization. Furthermore, production lines that are more flexible in
terms of product allocations and manufacturing of multiple products allow more volume
flexibility to meet seasonal or demand fluctuations. This could result in less stable output
levels. Several emerging manufacturing production technologies, enabled by digitalization,
affect the optimum scale of production and hence investment requirements and location
decisions.
With 3D printing, for example, the dominant scenario is the small-scale production of
components or spares close to the point of need. Continuous processing, another digitally
enabled technology that is most evident in industries where traditional batch operations are
being replaced by continuous flow (e.g. pharmaceuticals), may also transform production
scale, and hence investment characteristics.
High-tech industries
0 20 40 60 80
Average
Share of firms using internet to communicate with customers or suppliers
Source: UNCTAD, based on data from the World Bank Enterprise Surveys.
Note: Analysis based on manufacturing firms from developing countries only. Data are from 2016 or the latest available data point. Industry grouping by technology intensity is
adapted from the OECD ISIC rev.3 Technology Intensity Definition (based on R&D expenditure). Use of the internet by firms reflects the World Bank survey results on use
of email and company websites. Running the analysis using sampling weights provided by the World Bank to reflect the population composition produces similar results.
For data on OECD countries, see also OECD (2016).
184 World Investment Report 2017 Investment and the Digital Economy
4. Implications for investment policy: from analogue to digital
New actors on the international production scene and the evolving nature of MNE
international operations have implications for strategic investment targeting, for policies
and institutions promoting and facilitating investment, and for regulations governing investor
behaviour. Investment rules designed for the physical economy may need to be reviewed in
light of new digital business models. Many of the industries most affected by digitalization
such as retail, media and (consumer) finance are also those in which numerous countries
maintain investment restrictions. Some have taken steps to update policies, whereas others
are facing the risk of letting rules become obsolete or of creating an uneven playing field for
digital and non-digital firms.
The growing importance of ICT and digital firms in the MNE universe, and the gradual
adoption of digital technologies by MNEs across all sectors, have important implications
for investment policy. First, they affect traditional investment drivers and determinants.
The investment decisions of ICT and digital MNEs are influenced by their soft and hard
infrastructure needs (e.g. internet infrastructure, electricity supply and costs, ICT skills
availability) and sector-specific policy preferences. Policies for the promotion and facilitation
of investment in the digital economy need to take these factors into account. This is of
immediate strategic relevance for policymakers aiming to attract investment in digital
development.
Some of these factors increasingly affect the investment decisions of non-ICT and non-
digital MNEs as well. In the longer term, as digital supply chains spread across all sectors,
policymakers need to assess the challenges and opportunities that may arise for their
participation in GVCs and international production networks, and consequently their priorities
for strategic investment promotion.
In addition, the economic contribution of MNEs is becoming less tangible in the digital
economy. This has further implications for investment authorities and investment promotion
agencies (IPAs). Not only must they take into account an evolving new set of investment
drivers and determinants in their targeting, policy advocacy and facilitation activities, but
they also should consider how they assess their performance in carrying out these activities,
which currently tends to be measured in terms of physical investment and jobs created.
E-government policies can foster digital development by setting the standard and driving
the demand for digital services. They also provide a facilitation tool for discerning MNEs
operating at higher levels of digitalization. Key digital tools for investment facilitation are
online information portals and online single windows, which provide investor information,
transparency on rules and regulations, and efficient administrative procedures for investors.
Many governments could greatly improve their online investment facilitation (box IV.4).
Investment rules and regulations designed for the physical economy may need to be
reviewed in light of new digital business models. This is most relevant in sectors such
as retail, media and consumer finance, which are highly affected by digitalization and
digital competitors. At the same time, they are among the sectors in which investment is
often more highly regulated and in which many countries maintain ownership restrictions
(figureIV.15).5 Global digital firms are also crossing industry boundaries, disrupting other
highly regulated services industries, such as transportation (e.g. Uber).
The need for digital economy investment policies, modernizing or complementing analogue-
era rules, is illustrated by Indias investment policy, which has long restricted foreign
investment in the retail sector, allowing FDI in wholesale but not consumer retailing. To
maintain this policy, the Indian Government has had to adopt certain restrictions on direct
internet sales to consumers by companies such as Amazon, as well as investment measures
To promote transparency in the formulation of investment policies, regulations and procedures relevant to investors, UNCTADs Global
Action Menu for Investment Facilitation promotes the establishment of online investor information portals and single windows. UNCTAD
has developed a series of e-government tools for business and investment facilitation over the past decade (businessfacilitation.org):
The eRegulations system an information portal that sets out clear administrative procedures seeks to boost transparency.
The eSimplification tool sets out 10 key principles for governments to use in simplifying and streamlining procedures, reducing steps
by up to 50 per cent without changing laws.
The eRegistrations system enables governments to develop online single windows to facilitate procedures such as obtaining
company registrations, construction permits and export licenses.
These tools are now used in 29 countries. They demonstrate that legal reform is not always necessary to improve business and
investment facilitation, which greatly benefits from improving the application of existing rules and procedures.
UNCTAD has selected one procedure business registration and analysed it on a global scale. The Global Business Registration
Portal, GER.co, links to all business and investor registration websites worldwide and rates each site. The ratings are based on 10
objective criteria, related to the quality and completeness of information on rules and procedures, as well as to user friendliness.
In 104 economies not supported by UNCTADs own eRegulations system, more than a third of portals contain only the minimum
information required to qualify as business registration portals, and only about 10 per cent contain all (or almost all) information needed
to register a business or investment (box figure IV.4.1). GER.co also rates online single windows. Only 30 online single windows are
currently listed on the global portal.
Box figure IV.4.1. Distribution of information portals by share of quality criteria met
(Per cent)
76-100 11
51-75 25
26-50 32
0-25 36
Source: UNCTAD, based on data from GER.co. See also UNCTAD (2017a).
Note: Statistics based on 104 economies not supported by UNCTADs eRegulations system. Criteria and ratings for individual countries portals can be found on GER.co.
Source: UNCTAD.
186 World Investment Report 2017 Investment and the Digital Economy
Digitalization can challenge domestic regulators in areas as diverse as consumer
protection, financial stability, and health and safety. For example, the Icelandic banking
crisis was exacerbated by a run on large deposits in overseas e-savings accounts. And
online purchases of pharmaceutical products enable consumers to bypass domestic health
and safety regulations, such as the requirement to obtain a doctors prescription. Although
beyond the direct remit of investment policymakers, sector regulations adopted in response
to digital adoption may nonetheless affect investors.
Other policy areas in which the fast pace of digital development sometimes outstrips
regulatory capacity include innovative financing structures of digital firms at various stages
of growth, from start-up to maturity. Policymakers are playing catch-up: some countries
have taken steps to update policies, whereas others are facing the risk of letting rules
become obsolete or creating an uneven playing field for digital and non-digital firms.
At the international investment policy level, most IIAs, which typically were concluded before
the emergence of digitalization, do not address the specificities of the digital economy.
However, the dynamics of digitalization can have important implications for IIAs. For example,
sectors where an open investment environment may be important for harnessing the benefits
of digitalization might also be those where governments stop short of locking in openness
in IIAs (e.g. by means of maintaining reservations or only making limited commitments in
pre-establishment IIAs). Similarly, provisions setting out the scope and definition of an IIA
may leave open questions about the IIAs coverage of types of (mostly intangible) assets that
are of particular relevance for digital MNEs (this may also apply to IIAs with so-called open
ended, asset based definitions). All of this suggests that policymakers, when modernizing
their countrys IIAs, are well advised to factor in digital economy-related considerations.
Ensuring the best possible interaction between IIAs and other international agreements that
deal with the digital economy (e.g. free trade agreement chapters on intellectual property,
on e-commerce or on standards and technical barriers) is an important part of doing so.
Figure IV.15. Top 10 industries affected by digitalization and by FDI restrictions (Per cent)
Retail 55 Media 50
Source: UNCTAD, based on McKinsey & Company (2017) and the World Banks Investing Across Borders database (http://iab.worldbank.org).
188 World Investment Report 2017 Investment and the Digital Economy
C. INVESTMENT IN
DIGITAL DEVELOPMENT
Share of the population using the internet Share of firms using the internet
Developed economies 83 81
Developing economies 39 58
Africa 20 45
Asia 49 60
Transition economies 55 71
Total 49 61
Memorandum Item:
14 40
LDCs
Source: UNCTAD, based on ITU World Telecommunication/ICT Indicators database (internet adoption) and data from the World Bank Enterprise Surveys (internet adoption by
firms).
Note: Data on the adoption of the internet by firms reflects the World Bank survey results on use of email and company websites. Data are from 2016 or the latest available
data point. Running the analysis using sampling weights provided by the World Bank to reflect the population composition produces similar results. For data on internet
adoption by firms in OECD countries, see OECD (2016).
This UNCTAD-led initiative, launched in 2016, aims to improve the ability of developing countries, and
particularly LDCs, to use and benefit from e-commerce.
The initiative responds to demand from numerous development partners, foundations and private sector
actors who seek to harness the power of the internet to foster economic development. Its objective is to
create synergies and bring together current efforts, which are often fragmented and lack sufficient scale.
The initiatives main tool is an online platform to help developing countries and donors navigate the supply
of and demand for e-commerce development support, learn about trends and best practices, and raise
the visibility of various partners initiatives and resources.
The initiative focuses on seven key policy areas of e-commerce development:
E-commerce readiness assessment and strategy formulation
ICT infrastructure and services
Trade logistics
Payment solutions
Legal and regulatory frameworks
E-commerce skills development
Access to financing
Source: UNCTAD.
190 World Investment Report 2017 Investment and the Digital Economy
Box IV.6. Mapping the investment dimension in digital development strategies
Drawing on an ITU database of digital strategies and on additional research, UNCTAD identified 102 digital strategies from countries
in all regions. The strategies include 30 plans that exclusively address broadband infrastructure, 6 that only focus on digital business
development and 61 that cover both areas (box table IV.6.1). About 60 per cent of these strategies were adopted in 2012 or later.
Assessment of the role of investment in digital strategies was based on three main questions: (i) Does the strategy include a dedicated
section addressing financing needs, and, specifically, does it identify assets required or quantify investment needed? (ii) Does it identify
potential sources of finance, such as public or private investment, public-private partnerships, foreign investment or others? and (iii)
Does it refer to any relevant policy measures to promote or facilitate the financing of the plans? Special attention was given to the
potential roles of foreign investment and of IPAs.
Source: UNCTAD.
55 Public finance 81
Financing needs 69
43
Public-private 54
partnership 33
Foreign 29
investment 43
13
Other 19
192 World Investment Report 2017 Investment and the Digital Economy
Hardly any strategy contains a specific investment Investment promotion agencies
chapter; most discuss investment needs only in Figure IV.19. involved in digital development
general terms. strategies (Percentage of responses)
Policy measures to promote private investment
that are proposed in digital development
strategies tend to focus on improving the 33 33
(sectoral) regulatory framework. Other measures
include incentives and general facilitation, digital 25 25
investors and domestic firms in the digital sector, Source: UNCTAD, IPA survey.
among their priority objectives.
Although incentives and facilitation measures are frequently proposed in digital
development strategies, only a minority of IPAs have investment promotion instruments
for the digital economy.
The discrepancies between the two surveys results suggest that policy coordination between
investment authorities, on the one hand, and ministries and public institutions charged with
digital development, on the other, could be improved. Ideally, IPAs should be engaged in the
formulation of digital development strategies, as part of an inclusive consultation process.
The growth and advancement of a digital economy rests on three pillars: digital infrastructure,
digital firms (the digital sector) and digital adoption in the broader economy (figure IV.20).
Investment policies are relevant at each level. As countries progress in digital development,
government priorities shift from supporting infrastructure to promoting the development
of content and services by digital firms, as well as digitalizing the rest of the economy. To
adapt to evolving needs and technology, digital development strategies must be flexible and
reviewed regularly. There is, of course, no single digital development blueprint; each country
needs to develop along the three dimensions, setting out its own path.
Digital firms
Digital infrastructure
ICT adoption/devices
Local platforms
(e.g. social networks, e-commerce) Training
Local enterprise development
Typical International, national, last-mile Data centres
investment connectivity
needs Training and capacity-building
Internet exchange points (IXPs)
The first level of digital development involves the deployment of the internet infrastructure
required to provide connectivity. Investment in infrastructure takes many forms. In most
developing countries, significant gaps remain in basic broadband coverage, which need to
be addressed to meet the SDG target of universal availability and adoption of the internet
(box IV.7). But significant infrastructure investment is still required in developed countries
and emerging market economies as well, even when effectively all citizens may be able
to access the internet through mobile and fixed broadband access. Where coverage is
available, growing adoption, which requires updates of technology and increases in capacity,
drives investment. For instance, in the European Union, the Digital Agenda sets a target for
all citizens to have access to broadband speeds of at least 30 Mbps by 2020 and for at
least 50 per cent of households to adopt broadband with speeds greater than 100 Mbps.7
As shown in the preceding section, the digital development strategies of many developing
countries lack detail on the infrastructure investments required to achieve the objectives
of the strategy (box IV.8). A high-level assessment of investment needs, based on existing
coverage and simple parameters influencing investment costs such as population density
and urbanization can provide useful insights for policymaking, helping to set priorities
and point the way towards cost-effective measures. This section looks at the potential
infrastructure investment costs associated with achieving the SDG target of universal
access, indicating how policymakers could estimate high-level investment costs for their
own countries. The needs assessment is followed by a discussion of what policies would be
conducive to investment in internet infrastructure.
A clear investment policy perspective in digital infrastructure development strategies is
also important, given that a large share of investments in developing countries are driven
by MNEs. Greenfield projects in ICT infrastructure have been undertaken in a wide range
of developing and transition economies. Over the period 20122016, some 730 ICT
infrastructure projects were announced in developing and transition economies (table IV.3).
194 World Investment Report 2017 Investment and the Digital Economy
Box IV.7. Investing in the digital economy and the SDGs
Investing in the digital economy can significantly contribute to the SDGs, adopted by the United Nations on 25 September 2015.
It directly supports achieving target 9.c (under Goal 9; industry, innovation and infrastructure), which aims for increased access to ICTs
and universal and affordable access to the internet in LDCs by 2020. ICTs are also specifically mentioned in three other targets, namely
those concerned with ICT enrolment in higher education (target 4.b), womens empowerment (target 5.b), and science, technology and
innovation capacity-building (target 17.8). Indirectly, ICTs can also be catalysts for many other SDGs for which investments in digital
applications lead to innovation and new opportunities, for instance in agriculture, health, education, gender equality, economic growth
and climate change.
No hunger (Goal 2). In the case of agriculture, digitalization of production may enhance worldwide food security and improve nutrition.
So-called smart agriculture enables farmers to make informed management decisions based on quantitative data at a much higher
level of precision than was previously possible.
Good health and well-being (Goal 3). Telemedicine, e-health and m-health applications have the potential to make high-quality health
care more accessible and affordable. In 2016, investment in digital health reached an estimated $7.9 billion,a and it is expected to grow
to $233 billion by 2020.
Quality education (Goal 4). Investment in e-learning offers great potential to ensure inclusive and equitable quality education and
promote lifelong learning opportunities for all. Investments reached $3.6 billion in 2015,b mostly targeting projects based on online
tutoring.
Gender equality (Goal 5). Providing access to the internet and improving digital fluency can contribute to gender equality. Economic
participation by 600,000 women in developing countries resulting from better internet access is estimated to boost annual GDP in those
countries by $1318 billion, while achievement of digital fluency is estimated to reduce the pay gap by 21 per cent worldwide by 2030
(Accenture, 2016 and 2017).
Decent work and economic growth (Goal 8). ICT technologies and digital applications can play an important role in expanding access to
finance and economic growth. Mobile banking and fintech already are catalysts for local businesses and social enterprises, which are
particularly important in developing markets, where SMEs contribute up to 45 per cent of employment and 33 per cent of GDP.c Global
fintech investment grew 75 per cent in 2015, exceeding $22 billion.d
Climate action (Goal 13). Digital technologies can help with climate change mitigation and adaptation. Global CO2 savings resulting from
efficient use of ICTs is estimated to amount to 15 per cent of global emissions. ICT technologies may also be used to monitor climate
change impacts. For instance, a joint task force of the ITU, the World Meteorological Organization and the United Nations Educational,
Scientific and Cultural Organization is investigating the use of submarine telecommunication cables for ocean and climate monitoring
and for disaster warning.
Source: UNCTAD, based on United Nations (2015), Accenture (2016 and 2017) and Deloitte (2016).
a
Baum, S., Start Up Health: Digital health investment reaches $7.9B across 585 companies in 2016, MedCity News, 30 December, http://medcitynews.com.
b
Lafuente Lpez, L., Investments in The Education Sector, eLearning Industry, 19 June 2016, https://elearningindustry.com.
c
Small and Medium Enterprises (SMEs) Finance, World Bank, 2015, http://worldbank.org.
d
Delventhal, S., Global Fintech Investment Hits Record High in 2016, Investopedia, 13 June 2016, www.investopedia.com.
Table IV.3. Announced greenfield FDI projects in ICT infrastructure, by destination region, 20122016
Jobs Capital investment
Total Average
Destination region Number of projects Total Average
(Millions of dollars) (Millions of dollars)
Africa 145 11,337 78 24,877 171.6
Source: UNCTAD, based on information from Financial Times Ltd, fDi Markets (www.fDimarkets.com).
The infrastructure investments that are the foundation for digital development are generally carried out by telecommunication operators,
whether local firms or telecom MNEs. They include major long-term investments in four kinds of connectivity:
International connectivity. Fibre-optic cables used to connect a country or region to the global internet. These include submarine
cables to connect continents and coastal countries within a region and terrestrial cables to connect landlocked countries.
National connectivity (backbone). Typically fibre-optic cables, used to connect points within a country and by internet service
providers (ISPs) to access international capacity; also used to connect among operators.
Metro connectivity. Used within a city to connect operators to each other and to connect larger customers directly.
Last-mile connectivity. Used by ISPs to reach end users, more and more often, through wireless connections provided by mobile
operators; also through fixed connections using copper, fibre or coaxial cables.
A final important part of internet infrastructure concerns internet exchange points (IXPs). These connection points enable local providers
to exchange internet traffic directly with one another in an efficient manner. Without IXPs, traffic must be exchanged outside the country,
which is much slower and uses expensive international capacity. IXPs underpin the rest of the infrastructure, as they may be used by
any of the providers and help create an efficient internet. The importance of IXPs far outweighs their investment cost, as they can be
deployed relatively inexpensively, and often by a non-profit association of the members who will use the IXP (Internet Society, 2015).
The number of countries that have an IXP, as well as the number of IXPs within countries, has been rising steadily. Yet more than 70
countries still lack an IXP (mostly developing countries in Africa, Latin America and Central Asia), and others have IXPs that are not
functioning well.a This key piece of infrastructure investment is necessary to promote digital growth in these countries and should be
considered a priority.
Source: UNCTAD.
a
See Packet Clearing House, Packet Clearing House Report on Internet Exchange Point Locations, www.pch.net/ixp/summary.
Although the top 10 destinations accounted for over half of the projects, 114 developing and
transition economies hosted at least one project. The data also confirm the relatively low
direct employment impact of ICT infrastructure investments, as discussed in section IV.B;
however, these projects can make important capital contributions to digital development,
the real objective in promoting ICT infrastructure investments.
Infrastructure investments are no longer solely the domain of telecommunication operators;
several digital firms are beginning to invest in almost every type of infrastructure. Forexample:
Submarine cable: Google and Facebook are investing in a cable to connect Los Angeles
and Hong Kong.
Backbone: Google and Facebook have separate projects to provide backhaul in remote
regions using aerial platforms (balloons and drones, respectively).
Metro: Googles Project Link is to provide metro fibre in cities in Africa, starting in
Kampala, Uganda.
Last mile: Microsofts 4Africa Initiative is investing in broadband service providers.
Digital MNEs engage in wholesale investments to provide additional capacity and new
networks, and to help ISPs get access to the internet. MNEs in the software and IT services
sector, most notably Amazon, were responsible for a sizeable number (11 per cent) of
projects. Three of the top five investing MNEs were based in developing countries.
196 World Investment Report 2017 Investment and the Digital Economy
No coverage. Regions with a complete lack of cellular coverage tend to be characterized
by high deployment costs and low demand. Deployment costs can be high because of
difficult topography, such as in mountainous areas, or because of low population density.
Demand can be low because of very low income levels in a region. In such regions,
commercial investment may not occur, and a variety of models such as community
deployment of networks are being used to create access. Where new mobile networks
are deployed, it is typically more cost-effective to leapfrog directly to a generation of
technology that supports mobile broadband e.g. 3G or beyond.
Cellular coverage. In these regions, mobile networks offer voice services (2G) but have
not been upgraded to offer internet broadband access. That is typically because there
is not enough demand for services. As demand increases, the network will need to be
upgraded to 3G or beyond. This is an investment made by the mobile operators.
Broadband coverage. These regions already enjoy at least 3G coverage, meaning that
users have access to the internet. Here investment is typically an incremental response
to increased usage and numbers of users.
Even in regions with broadband coverage, internet adoption often lags. The reason is that
investment in infrastructure alone is not sufficient to stimulate adoption. Affordability is a
key barrier (World Bank, 2016): the cost of devices to access the internet, or the cost of
the internet subscription, may be too high for users in low-income countries. Improving
affordability should be a policy priority for sector regulators and competition authorities.
The interplay between these policy areas and investment policy is clear: infrastructure
investment will not be economic if the uptake by users remains low. The same is true for
other barriers to adoption relating to availability of locally relevant content and training in
digital skills (covered in the next section).
Figure IV.21 shows the adoption gap (the difference between internet adoption and
availability), and the broadband gap divided into two parts: the upgrading gap (where only
2G coverage is available), and the coverage gap (where there is no cellular coverage at all).
Developed economies 82 17 2
Developing economies 40 30 24 6
Africa 21 35 33 11
Asia 50 32 15 3
Transition economies 60 24 14 1
Memorandum Item:
13 36 38 14
LDCs
Current adoption Adoption gap 3G upgrading gap 2G coverage gap
Investment required for universal internet access
198 World Investment Report 2017 Investment and the Digital Economy
Box IV.9. Estimating infrastructure investment costs: a tool for policymakers
UNCTADs survey of the investment dimension in digital development strategies shows that many countries do not include estimates of
infrastructure investment requirements. Such estimates can be useful to ensure high-level political support, set priorities within digital
development plans and facilitate discussions with private sector investors and development banks.
Proper estimates of investment costs would be based on a detailed assessment of assets required across a national territory. However,
policymakers can calculate a high-level estimate for their country following the simple methodology employed by UNCTAD for its overall
projection for developing and transition economies. This methodology is based on cost estimates provided by the World Economic Forum
for four East African countries (Kenya, Uganda, Rwanda and South Sudan), which, according to the WEF, are reasonably representative.
The method projects the basic WEF cost estimates (see box table IV.9.1) on coverage and upgrading gaps, after clustering economies
on the basis of population densities and levels of urbanization.
High 150170
High Medium 160200
Low 190220
High 160200
Medium Medium 190220
Low 210250
High 190220
Low Medium 210250
Low 240280
Source: UNCTAD, based on ITU World Telecommunication/ICT Indicators database and WEF investment cost estimates (WEF, 2017).
UNCTAD defined the high, medium and low clusters in the table using quartiles, after ranking all developing and transition economies
by population density and urbanization. The high cluster is the quartile with the highest density and urbanization, the low cluster is the
quartile with the lowest density and urbanization.
The resulting cost bracket for a given economy can then be applied to the connectivity gaps. The full cost indicated in the table is
applied to the cellular coverage gap (the share of the population not covered by any cellular network). A further 10 per cent of the
full cost assumed to be the cost of upgrading networks from 2G to at least 3G is applied to the upgrading gap (the share of the
population covered only by 2G). Data on coverage gaps for individual countries are available from the ITU World Telecommunication/
ICT Indicators database.
The same caveats noted for UNCTADs overall estimate apply: the resulting investment costs consider only basic 3G cellular coverage
for currently unserved populations. Broad ranges are necessary to take into account populations in remote or hard-to-serve areas. Cost
estimates do not assume that a business case for investment exists: in most cases, investments are likely to be uneconomic and will
not be made by private investors alone.
Source: UNCTAD.
200 World Investment Report 2017 Investment and the Digital Economy
market. A broader licence lowers the cost of providing more than one type of service
such as voice, internet or international services and allows for a more flexible business
plan, as new services can be added later without going through another licensingprocess.
According to an ITU survey, licensing conditions vary significantly among countries.
Some countries limit the number of licences available for certain services. Some impose
minimum capital requirements to obtain a licence. In addition, the scope of licences is
broader in some countries than in others: general authorizations (allowed in 53 countries)
cover all services and require a simple notification or registration that a service is being
provided, rather than an extensive licensing procedure; unified licences (18 countries)
allow all types of services to be provided; multiple-services licences (42countries) allow
several services to be provided; and service-specific licences (78 countries) are the
most restrictive.12
Some countries are not fully transparent about the conditions for obtaining a licence,
which increases uncertainty for investors. Many countries (43) do not make licence
agreements public, which may feed the perception that different operators may be
subject to different conditions.13 Transparent and streamlined administrative procedures
to obtain relevant licences for the provision of telecommunication and value added
services could facilitate investment in the digital economy.
Spectrum for mobile operators. Investment in mobile operators is subject to its own set
of policies and regulations that can act to promote, or hinder, investment. Access to
radio-frequency spectrum is the foundation of a mobile service, which in turn depends
on the allocation of spectrum to mobile services in general and on the assignment of
spectrum among operators. Factors that help promote investment are the availability of
sufficient spectrum to efficiently offer service particularly low-frequency spectrum,
which propagates farther (thus minimizing investment in tower sites) and flexibility in
terms of technology used.
Auctions are often used to assign spectrum to operators and ensure that spectrum is
assigned to those who can use it most efficiently. The design and implementation of
the auction can have a significant impact on the outcome for instance, in a recent 3G
auction in Bangladesh, the reserve price was set so high that it left over one third of the
spectrum unsold, thus reducing subsequent investment and market benefits. In such
cases, an additional risk is that although operators might pay the high reserve price to
enter the market, that high price may negatively influence subsequent investments in
improved services (GSMA, 2014). A balanced approach is needed to ensure optimal
roll-out and quality of services.
Taxes on devices and services. In some countries, relatively high taxes on mobile hand-
sets and services have led to depressed demand and lower infrastructure investment.
For instance, Niger has one of the lowest mobile internet adoption rates in Africa, in
part because taxes on mobile broadband represent 23 per cent of average per capita
income. Tanzania, with significantly lower internet penetration than its neighbours, also
imposes taxes that have reduced uptake (GSMA, 2016).
Import procedures and use of foreign personnel. Because the build-up of infrastructure
requires equipment and skilled engineers, procedures for capital goods import and rules
governing the use of foreign personnel influence the cost and time needed to deploy.
Skills training. The training of engineers is required in order to develop a local labour
pool to deploy and maintain equipment. Such training can be provided at universities
or through vocational training courses, developed or supported by governments in
cooperation with the private sector. Such policies are typically beyond the remit of the
ICT ministry or regulator and require cross-government actions.
Privatization of the incumbent opens the market to investment and creates a level playing field for
entrants.
Liberalization enables investment in competing operators providing the affected telecommunication
Basic sector reforms services.
and openness
An independent regulator acts as a referee for the level playing field and can improve regulatory certainty
for investors.
FDI openness typically accompanies the other reforms, allowing MNEs to invest in the market.
Licensing conditions can reduce the cost of investment and allow for flexibility in the face of future
market changes.
Spectrum rules determine the cost of access to critical radio-frequency spectrum, as well as non the
spectrum can be used as technology and business models evolve.
Sector-specific taxes on devices and services can reduce demand, potentially significantly in LDCs,
affecting investment returns.
Sector regulations
Universal service funds or the possibility of entering PPPs to serve otherwise uneconomical areas can
help support investment.
Access to rights of way can be streamlined to facilitate investment, and the ability to share infrastructure
can lower costs.
Local standards for equipment, and the extent to which they can be satisfied through type approvals, can
influence investment costs.
Streamlining import procedures and the rules for employing foreign personnel can reduce the time and
cost of investment.
Other support policies Support for skills training of local engineers efficiently supports the deployment and operation of
infrastructure investments.
Regional coordination can foster economies of scale for infrastructure investments in multiple countries.
Source: UNCTAD.
Note: Policy determinants listed in the table are those specifically relevant for digital infrastructure investments. General policy determinants (e.g. CSR policies) also apply see
UNCTADs Investment Policy Framework for Sustainable Development (UNCTAD, 2015b).
202 World Investment Report 2017 Investment and the Digital Economy
Box IV.10. Stimulating internet infrastructure investment in uneconomic areas: FITEL, Peru
When the telecommunication operator in Peru was privatized in the 1990s, a universal service fund was created to fund the expansion
of telecommunications to the many unserved rural areas. This fund, known as the Fondo de Inversin en Telecomunicaciones
(FITEL), was administered first by the new independent regulator, OSIPTEL, and is now administered by the Ministry of Transport and
Communications.
Companies providing telecommunication services contribute 1 per cent of their gross revenue to the fund, which is disbursed through
an innovative lowest-subsidy auction. A project for expanding telephone coverage is designed and put up for tender, and the company
that requests the lowest subsidy is awarded the project.
FITEL plays a key role in the financing of Perus national broadband plan. Initially, projects focused on public telephone services
for unserved villages. As the internet emerged, projects focused on expanding access, including new telecentres for public access,
backbone infrastructure that can be shared by mobile operators, training and the creation of local content.
Recent projects include the provision of high-speed internet access to 1,019 locations, serving 3,883 rural communities, along with
content development and capacity-building. An ongoing project, begun in 2015, is delivering backbone and internet access throughout
different regions, serving hundreds of thousands of users along with schools, health centres and other government institutions.
Source: UNCTAD, based on Ministry of Transport and Communications, Peru, Fondo de Inversin en Telecomunicaciones, www.fitel.gob.pe, and Government of Peru,
Plan Nacional Para El Desarrollo De La Banda Ancha En El Per, 2011.
deployment costs and makes investment more attractive. The same is true of allowing
operators to share infrastructure among themselves, such as towers for mobile operators.
Policy determinants and underlying investor concerns need to be balanced against legitimate
public policy concerns (table IV.5). When it comes to digital infrastructure, the State has an
important public service responsibility, which is to provide affordable internet access to
all. In that context, sector-specific regulations, including licensing requirements, may be
required in order to promote competition and guarantee operating standards to protect
broader digital business and consumer interests. In the case of a State-owned incumbent,
governments also need to carefully consider the potential costs and benefits of a privatization
or market liberalization in relation to its digital development objectives. Governments also
need to secure public revenue and returns on public infrastructure investment, for instance
through taxation or licensing. Finally, governments may need to safeguard broader national
interests for instance, related to industrial and sustainable development objectives or
address security concerns related to sensitive infrastructure.
Table IV.5. Development of digital infrastructure: balancing public policy and investor concerns
Selected
determinants Public policy concerns Investor concerns
204 World Investment Report 2017 Investment and the Digital Economy
increases uptake by users who may not wait for slow or unresponsive downloads, while also
lowering the cost of accessing content by avoiding expensive international links.16
Investment in a data centre can foster a healthy local content ecosystem. Therefore,
promoting or facilitating investments in data centres by global digital firms can be relevant
as part of efforts to build a local digital sector. However, a data centre is a large investment,
which requires access to complementary inputs, such as reliable and inexpensive power
supplies, domestic telecommunications capacity, significant amounts of local content and
trained personnel. The decision to invest in local data centres by global digital firms is
complex, and inevitably not all locations that aim to develop a local digital economy will
attract one. However, data centres can be non-proprietary and carrier-neutral, open to all
content providers. Given the size of most data centres, access to a large regional market
would create economies of scale for investors.
Whereas international content can be available inside a country without any investment,
creating a local digital sector that produces content and offers local services requires
investing in local start-ups and in enterprise development, and building up digital arms
of existing companies such as newspapers and retailers. To develop digital content and
services, both entrepreneurs and existing firms need access to training and ICT technology.
In terms of access to finance, new companies will have greater difficulty in finding funding
than established ones, which may be able to self-finance digital content development
through cost savings or revenue increases.
International investors can be crucial sources of funds to help create and develop local
digital firms. A growing number of specialized venture capital funds, private equity funds
and global digital firms have been investing in the development of local digital firms in
developing countries (for examples, see box IV.11).
In addition, the digital economy has enabled new forms of financing, supporting the
development of digital firms. Crowdfunding mechanisms are now supporting numerous
ventures. To date, most of these are in developed countries, but the phenomenon is
spreading (box IV.12).
A key requirement for investment in the digital sector is the development of adequate
payment platforms. To promote investment, developers must be able to monetize their
innovations. This can include direct payment for content (e.g. buying mobile apps) or indirect
payments from advertisers. Either way, there must be a financial platform through which
buyers or advertisers can make payments and developers can receive those payments.
As the largest economy in Africa, with an estimated population of 180 million and GDP of more than $500 billion, Nigeria offers a large
and growing potential market for digital firms. Not surprisingly, local e-commerce companies have emerged, notably Jumia and Konga,
both founded in the country.
Jumias parent company, Africa Internet Group, recently raised 300 million and now counts among its international investors AXA
(France), Rocket Internet (Germany), Goldman Sachs (United States), MTN (South Africa) and Millicom (Luxembourg). Konga is backed
by Naspers (South Africa) and Kinnevik (Sweden). Both companies have been extending into a wide range of new online businesses
within Nigeria, and Jumia is now also present in more than 20 countries in Africa.
A lack of trust in online services, however, has resulted in most orders being paid with cash on delivery. This creates risks and raises
operational costs. More to the point, this highlights the importance of creating trust in online services and developing secure online
payment systems to increase the size of e-commerce markets and make them more efficient.
Source: Ringier Africa, background note prepared for UNCTAD, 2016.
The internet not only provides a global market for innovators goods and services, but also provides access to many resources for
innovators, including online training, avenues of research, open source software and investment funds. Crowdfunding is an innovative
source of finance that has emerged in recent years, through which an innovator can raise money directly from a pool of millions of
potential investors around the world.
The earliest form of crowdfunding focused on charitable donations for good causes. Over time, three models have emerged that provide
funds for innovators and returns for investors: rewards, debt and equity.
Rewards. In this model, investors are provided early and discounted access to the new products and services they are financing,
enabling innovators to presell their outputs and use the money raised to scale up production. One large platform, Kickstarter, has
raised almost $3 billion for projects, and one of its most successful fundraisers, $10.3 million for the Pebble startup, effectively
created the smartwatch segment. A subsequent campaign by Pebble for a newer watch raised $20.3 million.
Debt. This is by far the largest segment in funds raised. Typically, this involves peer-to-peer loans. One early platform, Kiva, has
raised almost $1 billion in loans to 2.3 million borrowers in 82 countries, with a 97 per cent repayment rate, enabling entrepreneurs
to fund their projects with loans as small as $25.
Equity. In this model, investors can invest directly in a particular startup or create a fund that invests in a portfolio of startups,
effectively democratizing venture capital markets. The model, however, depends on regulations regarding equity investments
for instance, it has become feasible in the United States only recently and so far largely focuses on developed countries. One
example, AngelList, has raised $540 million for 1,370 companies in the United States, generating a further $4.8 billion in follow-on
investments.
The total size of the crowdfunding market in 2015 was $34 billion, the bulk of which ($25.1 billion) was debt. Of the total amount, only
$24 million was funded for Africa and $85 million for South America.
One issue revolves around payments to be successful, the funds must be delivered to the innovator, and this is sometimes challenging.
Kickstarter, for instance, is available only to creators in fewer than 20 member countries of the Organization for Economic Co-operation
and Development. IndieGogo, another large crowdfunding platform, is available in most countries, but the innovator must be able to
receive payments through a bank or credit card.
That said, there are fewer geographic limits on the sources of funding. One innovation on IndieGogo called FlowHive (for harvesting
honey) received $12 million from 37,000 backers in 150 countries. Highlighting the broad nature of the campaigns, Kickstarter notes
that the average distance between backers and creators is more than 3,000 km.
Over time, equity crowdfunding would appear to have the greatest potential, because backers may be more interested in financial
returns than in product or services rewards. For instance, Oculus VR raised $2.5 million on Kickstarter to fund its pioneering virtual
reality headset. Backers bought a development version of the headset worth about $300; two years later, Facebook bought Oculus for
$2 billion, a return that would have vastly outweighed the value of the headset.
Addressing regulatory issues to enable global equity crowdfunding, along with digital means of payment, would facilitate foreign
investment and fund local entrepreneurs who are developing digital firms.
Source: UNCTAD, based on data from CrowdExpert.com and specific platform websites.
Some international content platforms, such as an app store or YouTube, offer a means for
publishing local content but still require a payment system to receive fees from users or
advertisers.
Mobile app stores, notably the Google Play store for Android devices and the App Store for
Apple devices, provide a potential platform for the development of local content. A software
development kit helps developers build apps, and once uploaded, the online store takes
care of marketing, sales and distribution in every country where the store is accessible.
Payments issues, however, limit where the store is accessible: Nigeria, for instance, is the
only country in Sub-Saharan Africa where a developer can upload an app for sale to Google
Play (Kende, 2015).
206 World Investment Report 2017 Investment and the Digital Economy
b. Elements of a conducive policy framework
for investment in digital firms
Government policies can actively support investment in local content and services and in the
development of the digital sector through the following interventions:
Establish innovation hubs, where entrepreneurs gather to work and collaborate. In many
countries, an innovation hub is available, such as the iHub in Kenya, where developers
work, learn from each other and network, including with venture capitalists. Another
example is Tech Park in Cabo Verde, built with support from the Government and the
African Development Bank, which includes a data centre and a business continuity or
disaster recovery site, a common facilities centre, office spaces, an incubation centre,
and a training and qualification centre.
Create government online services to support local developers and local data centres,
while also increasing demand for online services. A number of national broadband
plans include support for the provision or adoption of online government services or
applications.
Support venture capital funding, as was done in Israel to help launch the countrys
startups. More recently, other governments have tried to emulate the success of the
Israeli program and kick-start their own venture capital funds. India, for instance, has
created the India Aspiration Fund, a so-called fund of funds with $306 million to
invest in private venture capital funds in order to expand the pool of, and boost, Indian
entrepreneurs.17
Create an enabling framework to foster other innovative sources of funding for digital
firms, thereby overcoming domestic capital market constraints to growth. For example,
online crowdfunding platforms have the potential to channel more funds to developing
countries, particularly if international equity crowdfunding is enabled. According to the
World Bank, businesses in developing countries could use crowdfunding to mobilize up
to $96 billion by 2025.18
Government policy also indirectly affects investment in online services through content
regulations and through rules designed for offline purposes that are applied online.
Key areas of regulation that affect the digital investment environment include the following:19
Privacy and data protection laws. Many digital firms collect and store data on their users
either data provided directly by users of online services, such as health information
that may be gathered by an online health service, or data gathered indirectly through
the use of the service, such as search texts input on a website or links clicked. Data
protection and privacy laws have been put in place in numerous countries to protect
users; their substance can influence investment decisions in online services.
E-transaction and consumer protection laws. Some content regulations may influence
investment and enterprise development in specific areas of online services. For example,
in addition to data protection and privacy laws, e-transaction, cybercrime and consumer
protection laws all influence the development of the e-commerce sector. UNCTADs
Global Cyberlaw Tracker monitors these five sets of laws, as they are particularly
important for supporting online commerce. Additional elements that support online
services include digital identification laws that enable identification for sensitive services
such as financial transactions and digital payments, which in turn promote e-commerce.
208 World Investment Report 2017 Investment and the Digital Economy
A study by the European Centre for International Political Economy showed that a
proposed (but subsequently abandoned) data localization strategy in Brazil would have
caused a 4.2 per cent drop in investment; the results showed similar numbers for other
countries (Bauer et al., 2014).
Competition policy. Regulatory frameworks for competition are crucial. Although the
entrance of digital firms across all sectors encourages innovation, provides consumers
with more options and creates demand for a more developed digital ecosystem, it can
inherently create competition concerns due to network and winner-take-all effects
(boxIV.13).
A summary of key policy determinants for investment in the digital sector can be found in
table IV.6.
As in the case of determinants of investment in digital infrastructure, policy determinants
and underlying investor concerns need to be balanced against legitimate public policy
concerns (table IV.7). Digitalization has given rise to new concerns related to national
security, cybercrime and politically sensitive (dis-)information. These concerns may lead to
the introduction of content restrictions, data localization requirements or mandatory source
Indonesias e-commerce market is the biggest and fastest growing in South-East Asia. In 2015, it was estimated at $1.7 billion (a
third of the regions $5.5 billion e-commerce market), according to a report by Google and Temasek (2016). The report forecasted that
between 2015 and 2020, the number of internet users would expand by some 19 per cent annually faster than Indias estimated 14
per cent and the e-commerce market would grow to $46 billion.
This massive and growing market has attracted international tech companies, and local startups have flourished. Go-jek is the firm with
the most visibility and growth. It started in 2011 as a motorcycle ride-hailing app but has since expanded into providing various courier
services, an e-wallet and a car-hailing service. The latter has turned Uber (the international ride-hailing app) and Grab Taxi (South-East
Asias biggest ride-hailing app) into Go-jeks toughest competitors.
In Indonesia, Grab and Uber have also tapped into Go-jeks market by expanding their service to motorcycle-hailing (GrabBike and
UberMotor). In their fight for customer acquisition, the three have sustained months of charging promotional prices that seem far
below a reasonable operating cost in traffic-ridden Jakarta. During 2015, Go-jek offered months of Rp 10,000 anywhere, less than a
dollar at the prevailing exchange rate. GrabBike followed suit to offer half that fare for several months. On the car front, Uber was able
to charge substantially below traditional taxis as part of its marketing. This kind of competition bears some benefits in that it encourages
innovation, provides consumers with more options and creates demand for a more developed digital ecosystem, but it also raises the
question of whether a price war could enable a company to become dominant and raise prices due to winner-take-all effects. Another
concern is the appropriateness of the existing regulatory framework for the new business models in particular regarding consumer
protection.
In other parts of e-commerce, these price wars are also a common occurrence. Mataharimall, Tokopedia and Bukalapak (local
marketplace platforms) are competing with Lazada (the regional e-commerce service rolled out by Germanys Rocket Internet and
backed by Chinas Alibaba), Elevania (Republic of Korea) and Rakuten (Japans biggest e-commerce site). Massive discounts and large
marketing campaigns seem to be the norm, and to survive it, local players are relying on financing from backers such as Sequoia Capital
(an investor in Apple, LinkedIn and Dropbox (all United States)) and SoftBank (Japan).a Go-jek partnered with Sequoia in 2015, and in
August 2016, it reportedly obtained a $550 million investment from KKR & Co. and Warburg Pincus (both United States).b Indonesia is
seeing funding deals like never before: TechinAsiac reported that, from two to three funding deals announced each month in 2014, the
number had doubled in 2015.
The fierce competition between digital companies is not inherently bad. Younger local digital companies with organic growth such as
Go-jek, Tokopedia, Mataharimall and Bukalapak can be resilient, with innovation and a better understanding of their local market, but to
survive price wars against more mature international digital giants, securing large investments is undeniably crucial.
Source: UNCTAD.
a
Tokopedia reportedly received some $100 million financing from SoftBank Internet and Media Inc in 2014. This deal marks the first record-breaking financing round
by a startup in Indonesia. Cosseboom, L., Indonesian Online Marketplace Tokopedia Raises $100M from SoftBank and Sequoia, TechinAsia, 22 October 2014, www.
techinasia.com.
b
Millward, S., Go-Jek Ramps Up War on Uber and Grab with $550m Funding, TechinAsia, 5 August 2016, www.techinasia.com.
c
Wijaya, K.K., Indonesias Startup Funding Exploded in 2015, TechinAsia, www.techinasia.com.
Privacy and data protection can bolster users trust and make investments in online services more
attractive.
E-transactions and consumer protection laws help develop the e-commerce sector and support online
commerce.
Content restrictions, ranging from filtering to internet shutdowns, can undermine opportunities in a
country and fuel uncertainty for investors.
Content rules and Copyright laws should provide clarity and balance the interests of copyright holders with those of
regulations innovators and content distributors to reduce risks for investors.
Intermediary liability rules impose requirements on platforms to monitor third-party content for banned
or pirated content, which can increase costs and legal risks.
Applying traditional telecommunication or media regulations to online services can impose conditions
that increase the cost of providing services.
Data localization laws, requiring domestic storage and processing of content, reduce economies of scale
for data centres or cloud services, reducing investment.
Mandatory source code disclosure policies, e.g. in procurement contracts, can influence the interest of
investors in participating.
Other regulatory areas Regulations in other sectors of the economy (often professions or non-tradable services such as taxis
or real estate), and their relative openness to competition, may discourage or block investment by new
digital entrants.
Supporting the development of innovation hubs can assist local entrepreneurs in developing new online
services.
Development of e-government services can create demand for local developers and data centres,
promoting the development of the sector.
Facilitating crowdfunding particularly for equity investments can increase international investments
Support policies
in the local industry.
Government support of venture capital investments can help build the domestic venture capital industry
while promoting investment in the local content industry.
Entrepreneurship programmes, such as UNCTADs Empretec programme, can help to put ICTs skills into
practice and develop successful business projects.
Source: UNCTAD.
Note: Policy determinants listed in the table are those specifically relevant for investments in the digital sector. General policy determinants (e.g. CSR policies) also apply see
UNCTADs Investment Policy Framework for Sustainable Development (UNCTAD, 2015b).
code disclosure measures. Governments also take more and more responsibility regarding
user protection for instance, with respect to privacy, cybersecurity and consumer
protection concerns. In terms of business protection, intermediary liability rules aim to curb
illegal content distribution, while regulation in other sectors may aim to prevent or mitigate
potential disruptive impacts from digital platforms and technologies.
210 World Investment Report 2017 Investment and the Digital Economy
Table IV.7. Development of the digital sector: balancing public policy and investor concerns
Selected determinants Public policy concerns Investor concerns
Privacy
Data protection, Scale economies
National security
localization laws Free flow of data
Industrial development
Legal certainty
Intermediary liability rules Illegal content distribution
Operating costs
National security
Mandatory source code
Technology dissemination Intellectual property protection
disclosure policies
Industrial development
Source: UNCTAD.
part of digital development. Policymakers should not focus exclusively on facilitating the
development of digital firms, but also aim to stimulate the use of digital services (Atkinson
and Miller, 2015).
Digital adoption in firms across an economy is also ultimately what is necessary for realizing
the benefits of digital access to global markets for SME exporters an important goal of
the eTrade for All initiative. As a measure of the potential opportunity, the amount of goods
traded through Alibaba and Amazon has grown by more than 30 per cent annually since
2012, and sales in 2016 were worth over $700 billion, with large and rapidly growing
shares of these activities taking place on a global level. Some 50 million small and medium-
size enterprises worldwide now conduct business on Facebook, a number that has doubled
from 2014 (McKinsey Global Institute, 2016).
The digitalization process in global supply chains, described in section IV.B, will have a
profound impact on the overseas operations of MNEs, with important implications for
host-country firms, especially in developing countries (Foster and Graham, 2016). New
opportunities may arise for domestic firms connected to the international production
networks of MNEs or operating in non-equity relationships. Such businesses connected to
GVCs tend to show higher levels of digital adoption (figure IV.25). Likewise, businesses with
higher levels of digital adoption have better chances of participating in GVCs and connecting
with MNEs. Foreign affiliates and local small and medium-sized suppliers linking to digital
supply chains can make an important contribution to digital development in host countries.
Digital adoption by businesses in social sectors can make an especially important
contribution to development. In health care, for instance, telemedicine has the potential
to make high-quality health care more accessible and affordable, and can enable access
to expertise for local hospitals and health centres in developing countries. In Africa, some
All 56 36
Only import 58 39
Only export 75 53
No GVCs 43 19
Source: UNCTAD, based on data from the World Bank Enterprise Surveys.
Note: Analysis based on domestic firms only. Use of the internet by firms reflects the World Bank survey results on use of email and company websites. Data are from 2016 or
the latest available data point. Running the analysis using sampling weights provided by the World Bank to reflect the population composition produces similar results.
countries are implementing their own e-health programs. One of the leading countries in
this area is Kenya, which in 2015 announced a collaborative partnership with the Merck
Group (Germany), a global pharmaceutical company. Together they are rolling out a new
e-health platform that links patients and health care providers in remote areas by using
knowledge transfer and video conferencing to interact with specialists at Kenyatta Hospital
to extend accessibility, improving the quality and reducing the cost of health care in remote
areas.24
ICT technologies and digital applications can also play an important role in expanding
access to finance (see also box IV.12). Mobile banking can be a catalyst for local
businesses and social enterprises, which are particularly important in developing markets.
Apart from innovations in banking, digital technologies can support online peer-to-peer
lending platforms. In Indonesia, for example, Amartha has transformed from a traditional
microfinance institution into a fintech company. The company uses machine learning for
its credit scoring, based on behavioural and transaction data, and can provide access
to finance for clients who have no formal credit history. Amarthas move into fintech has
extended its outreach considerably, with the number of disbursed loans growing by nearly
600 per cent.25 In a country where three quarters of the population does not have a bank
account,26 the company has disbursed $5.1 million in loans to 30,000 microentrepreneurs
and has raised the maximum loan value from $225 to $750.27 It has also reached more than
23,000 women in villages, with loans totaling $4 million (box IV.14).
As digital development progresses and initial infrastructure investments get off the ground,
it is important to adjust digital development strategies, shifting the focus gradually to
initiatives to promote digital adoption in all firms not just digital firms and especially in
social sector firms (box IV.15).
Bringing traditional local companies online requires investment in internet access, in
devices and computers, and in relevant training. Several policy factors will affect investment
decisions in this area:
The policy environment for digital services is to some degree relevant for firms across
all sectors, as all firms are affected by cybersecurity and data protection regulations,
among other laws that affect the digital sector.
212 World Investment Report 2017 Investment and the Digital Economy
Box IV.14. Strengthening womens participation in the digital economy
The digital economy can contribute towards generating opportunities for womens participation in the economy, an important SDG
target. Online marketplaces are reporting good numbers on women participating as producers. For example, more than half of the
sellers on Taobao, Alibabas marketplace, are women.a Etsy, one of the biggest marketplaces in the United States, in its latest diversity
report stated that 9 out of 10 of its sellers are women (higher than the female participation in retail trade, which was more than 40 per
cent, according to the United States Census Bureau).b
Employment flexibility is another factor. The flexibility that internet platforms offer enables more women to join the workforce. The World
Bank Digital Dividend report (2016) pointed out that the ability to work flexible hours from home is considered the greatest advantage of
online work for women. On Upwork, a freelancing platform, 44 per cent of freelancers are women, compared with a 25 per cent average
in the global non-agricultural economy. In addition, the flexibility of location that internet platforms offer in places where women may
find it difficult to travel (whether because of lack of infrastructure or social norms) can also help women enter the job market. On the
downside, flexibility often comes with less protection for employees (e.g. absence of insurance or precarious terms), which can dilute
some of the merits of greater employment of women.
Some significant gaps between genders in the digital economy remain, however gaps that can prevent women from capitalizing on
the gains that the digital economy offers. For example, in LDCs, women are less likely to own cellphones and use the internet (UNCTAD,
2015a and World Bank, 2016). In terms of employment in the tech sector, even in a high-income country with the most mature digital
economy (the United States), a wide gender gap exists. There, in the core business of the digital economy (developers, coders and
technical staff), women are notably underrepresented (making up only some 20 per cent of the occupational group far below their
overall representation across all occupational groups, at close to 50 per cent).
Some current initiatives aim to close this gap and increase womens participation in the digital economy. An example in education
is Girls Who Code, a United States domestic nonprofit that teaches girls in grades 612 how to code. Since its start in 2012, it
has graduated 10,000 students through after-school and summer programs, project-based learning and internships. The initiative
introduces young women to the technology world, and by doing so encourages them to study computer science formally, an area that
seems to be largely male-dominated. Alternatively, informal academic paths with more vocational features (i.e. shorter, less expensive
and more job-ready) can be an option to support women involvement in the digital economy quickly, particularly given the fast rate of
obsolescence in the field.
To support women entrepreneurs in the digital economy, initiatives may include gender-specific loan programs, which can help women
get access to capital that is otherwise difficult to obtain. An example is one rolled out by the International Finance Corporation and
Goldman Sachs called 10,000 Women, which financed a lending program of RMB 500 million, intended for women entrepreneurs who
mostly run their businesses on Alibaba Groups online marketplaces.
Source: UNCTAD.
a
Erickson, J., Factsheet: Alibabas Conference on Women and Entrepreneurship, Alizila, 19 May 2015, www.alizila.com.
b
Gorman, J., Diversity and Equality at Etsy, Etsy News, 28 April 2016, https://blog.etsy.com.
The affordability considerations that apply to consumers are also relevant for firms.
High import tariffs and taxes on devices, or high taxes on internet usage, have a
negative impact, which can be significant: when Kenya exempted mobile handsets
from a 16 per cent value added tax in 2009, the uptake of new handsets tripled.
Tanzania imposes significant taxes on mobile services, with a 17 per cent excise tax on
top of the value added tax, making the total the second highest in Africa and resulting
in 3G adoption rates that lag those in much of the region. A GSMA study has estimated
that removing the excise tax would boost 3G adoption by 800,000 subscriptions,
resulting in $115 million more in mobile investment.28
Tax measures to lower the effective cost of ICT adoption can stimulate investment.
Access to cloud services can significantly lower capital and operating expenses for
companies operating online. Cloud services can provide access to a number of online
services important to businesses, ranging from e-mail and web hosting to customer
relationship management software. Using the cloud enables a firm to avoid buying
expensive servers and software packages, and hiring dedicated IT staff to operate
systems and upgrade software. These cloud services rely on the general determinants
for digital services, including local data centres and digital service providers.
The Rwanda Governments National Information Communications Infrastructure (NICI) plan, part of its broader Vision 2020 programme,
is an example of a digital development strategy that extends beyond a targeted national broadband plan. The Vision represents a
comprehensive plan to turn Rwanda into a middle-income country by 2020 and an information-rich, knowledge-based economy.
The results have been impressive, with 3G network now covering over 90 per cent of the population, and 4G at almost 50 per cent; a
large and growing IXP with several leading content delivery networks in the country; a branch of Carnegie Mellon University and several
innovation labs; and internet adoption rising to over 20 per cent in 2016 from under 1 per cent in 2000.
Several elements have been key to this success:
First, the vision starts at the top, with the full backing of the President and the Ministry of Youth and ICT, but also extends to the public
and private sectors, including health, education, agriculture and financial services.
Second, the vision is adaptive, with the new Smart Rwanda Master Plan, which evolved from the NICI policy and plan, updated every
five years to adapt to changes in the industry.
Third, the vision has been adjusted throughout all the phases of digital development, starting with the liberalization of the sector
and the establishment of the regulator (NICI I), through the focus on infrastructure building with projects such as the national fibre
backbone, the National Data Centre, the Rwanda Internet Exchange (NICI II), and online services and skills development (NICI III), to
the development of the private sector and creative industries (the current NICI IV).
Source: UNCTAD, based on Rwanda Utilities Regulatory Authority, www.rura.rw.
Competition, tax and Competition policies in the telecommunication sector influence the cost of data packages and devices,
trade policies affecting which affects digital adoption by firms, especially micro, small and medium-sized enterprises.
the cost of digital
adoption Taxes and tariffs similarly affect on device costs, influencing digital adoption.
214 World Investment Report 2017 Investment and the Digital Economy
D. TOWARDS AN
INVESTMENT POLICY
FRAMEWORK FOR
THE DIGITAL AGE
Policy checklist
Review competitive advantages for the attraction of investment from digital MNEs, assess potential
challenges and risks, and identify strategic opportunities (e.g. niche industries, digital content or
services industries, app development).
Strategic investment Review and prepare for changing investment determinants and investor profiles in other industries
policy considerations as they adopt digital technologies in global supply chains.
Formulate a strategic response to ensure investment policy remains geared towards sustainable
development and inclusive growth.
Assess the extent to which existing investment regulations are affected by digital operating
National models.
Modernize investment regulations where needed, balancing investment promotion and facilitation
Embedding with measures to mitigate risks associated with digital operating models.
digital development
in investment
Review the coverage and treatment of new digital industries in IIAs.
policies
International
Take into account the digital investment dimension of evolving international rules, such as those
on e-commerce and services trade.
Promote investments by firms across all sectors in ICTs and in related skills, and access to low cost
digital services (e.g. cloud services).
Invest in
digitalization Build and improve e-government services to lead the way, to create demand for local developers,
and to lower the cost of doing business.
Manage interactions with related policy areas to address public concerns, through up-to-date
regulations (e.g. data security, privacy, competition, consumer protection, national security,
safeguarding of cultural values).
Policy interactions and
Manage interactions with sectoral and social policies to mitigate potential negative social and
institutional synergies economic impacts of digital transformation (e.g. job losses in traditional sectors).
Source: UNCTAD.
And they must undertake other measures to improve inclusive internet access, through
education, skill building, R&D and other policies to facilitate digital adoption among local
firms, especially micro, small and medium-sized enterprises, where the adoption of digital
technologies can significantly boost productivity.
As they encourage investment in the digital economy to harness its benefits, policymakers
must also mitigate its potential negative impact and protect legitimate public interests. This
requires up-to-date regulations and the ability to implement them in such areas as data
security, privacy, intellectual property protection, consumer protection and the safeguarding
216 World Investment Report 2017 Investment and the Digital Economy
of cultural values. Moreover, where digital transformation causes disruption or generates a
negative social or economic impact, especially job losses, they need to put in place policies
to mitigate these effects.
Most countries are actively encouraging the digitalization of their economy, as it offers
significant development opportunities. Digital development can help local firms access
global markets or integrate into global e-value chains. The digital economy can yield new
opportunities for local enterprise development, including through international investment or
links with global digital firms, across broad digital sectors (e-commerce and digital media),
in social sectors (e-health, e-education), in new niche industries (e.g. the creation of a
digital creative or app-development industry), creating new jobs (including jobs conducive
to women participation).
The policy actions to realize the opportunities and deal with the challenges cut across many
areas. Core investment policies related to the establishment, protection, facilitation and
promotion of international investment are important, especially where foreign investment is
crucial for rapid digital development and where investment costs in physical assets are high,
such as for the development of digital infrastructure. Public-private partnerships, including
with foreign investors, are also an important tool for infrastructure development. For the
development of the digital sector, other investment-related policy areas tend to be more
important (e.g. taxation, trade, technology, skill-building).
Table IV.9. summarizes the key investment policy dimensions of the transition to a digital
economy, starting from strategic investment policy considerations, covering the two policy
perspectives (how investment policies are affected by digital development, and how to
strengthen the role of investment policy in digital development strategies), and concluding
with policy interactions and institutional synergies to consider.
To date, in most countries, investment policymakers have taken a back seat in the formu-
lation of digital development strategies. It is time they take a more proactive approach. Not
only should they prepare for critical changes in their own policy arena, but they also can
make an important contribution to the design and implementation of what are effectively
digital industrial policies. Digital development should be embedded in investment policies,
and investment policy should be embedded in digital development strategies.
218 World Investment Report 2017 Investment and the Digital Economy
REFERENCES
A4AI (2016). Affordability Report 201516. Alliance for Affordable Internet, Washington, D.C.
Accenture (2016). How Digital Solutions Will Drive Progress Towards the Sustainable Development Goals. http://systemtransformation-sdg.gesi.org.
Accenture (2017). Getting to Equal 2017: Closing the Gender Pay Gap. https://www.accenture.com.
ASEAN Secretariat and UNCTAD (2016). ASEAN Investment Report 2016: Foreign Direct Investment and MSME Linkages. Jakarta: ASEAN Secretariat
and Geneva: UNCTAD.
Atkinson, R., and B. Miller (2015). A Policymakers Guide to Spurring ICT Adoption. ITIF paper, Information Technology Innovation Foundation,
Washington, D.C.
Atkinson, R., and L.A. Stewart (2013). The Economic Benefits of Information and Communication Technology. ITIF paper, Information Technology
Innovation Foundation, Washington, D.C.
Bauer, M., H.L. Makiyama, E. Van der Marel and B. Verschelde (2014). The Costs of Data Localisation: Friendly Fire on Economic Recovery. ECIPE
Occasional Paper No. 3/2014, European Centre for International Political Economy, Brussels.
Belussi, F., G. Rudello and M. Savarese (2016). The Internationalization of MNEs from and to BRICS countries: the case of the industrial machinery
industry, Marco Fanno Working Papers 205, Universit degli studi di Padova, Padova.
Blundell-Wignall, A., and G. Wehinger (2011). Open Capital Markets and Sovereign Wealth Funds, Pension Funds, and State-Owned Enterprises, in
R.A. Fry, W.J. McKibbon and J. OBrien (eds.), Sovereign Wealth: The Role of State Capital in the New Financial Order. London: Imperial College Press.
Brand Finance (2016). Global Intangible Financial Tracker 2016 An Annual Review of the Worlds Intangible Value. London: Brand Finance.
Brogan, P. (2016). Broadband Investment Ticked Down in 2015: Research Brief. US Telecom Association, http://www.ustelecom.org.
Broude T., Y. Haftel, and A. Thompson (2016). Legitimation Through Renegotiation: Do States Seek More Regulatory Space in Their BITs? Hebrew
University of Jerusalem Legal Research Paper, 17-1, Hebrew University of Jerusalem.
Chen, W., and F. Kamal (2016). The Impact of Information and Communication Technology Adoption on Multinational Firm Boundary Decisions,
Journal of International Business Studies, 47(5): 563576.
Deloitte (2016). 2016 Global Life Sciences Outlook: Moving Forward with Cautious Optimism. Deloitte Touche Tohmatsu. https://www2.deloitte.com.
Economist (2016). The Rise of the Superstars. Special Report: Companies, The Economist, 17 September. http://www.economist.com/.
Eden, L. (2016). Multinationals and Foreign Investment Policies in a Digital World. E15Initiative, International Centre for Trade and Sustainable
Development and World Economic Forum, Geneva. www.e15initiative.org.
Fifth Era (2016). The Impact of Internet Regulation on Investment. Fifth Era, San Francisco. www.fifthera.com.
Foster, C.G., and M. Graham (2016). Reconsidering the Role of the Digital in Global Production Networks. Global Networks, 17(1): 6888.
Fu, X., C. Pietrobelli and L. Soete (2010). The Role of Foreign Technology and Indigenous Innovation in Emerging Economies: Technological Change
and Catch-up, World Development, 39(7): 12031212.
Google and Temasek (2016). E-conomy SEA: Unlocking the $200b Digital Opportunity.http://apac.thinkwithgoogle.com.
Gordon, K., and J. Pohl (2015). Investment Treaties over Time Treaty Practice and Interpretation in a Changing World. OECD Working Papers on
International Investment, 2015/02, Organization for Economic Cooperation and Development, Paris.
GSMA (2014). The Cost of Spectrum Auction Distortions. GSMA, London. www.gsma.com.
GSMA (2016). Digital Inclusion and Mobile Sector Taxation 2016. GSMA, London. www.gsma.com.
IBRD, World Bank, InfoDev and ITU (2011). Telecommunications Regulation Handbook, Tenth Anniversary Edition. Washington, D.C.: World Bank.
IMF (2017). World Economic Outlook (April 2017). Washington, D.C.: International Monetary Fund.
Internet Society (2015). Internet Exchange Points: An Internet Society Public Policy Briefing. The Internet Society, Reston, VA, United States.
www.internetsociety.org.
ITU (2016). Working Together to Connect the World by 2020. Reinforcing Connectivity Initiatives for Universal and Affordable Access. Discussion
paper for the Broadband Commission Special Session at the World Economic Forum, Davos, Switzerland, 21 January. www.broadbandcommission.org.
Kedia, Ben, Nolan Gaffney and Jack Clampit (2012).EMNEs and Knowledge-Seeking FDI, Management International Review, 52(2): 155173.
References 219
Kende, M. (2015). The Mobile App Divide. Discussion Paper No. 1, The Internet Society, Reston VA, United States. https://www.internetsociety.org.
Koske, I., R. Bitetti, I. Wanner and E. Sutherland (2014). The Internet Economy Regulatory Challenges and Practices, OECD Economics Department
Working Papers, No. 1171, Organization for Economic Cooperation and Development, Paris.
Malik, O. M. and R. Agarwal (2012). The Rise of Emerging Market Multinational Companies (EMNC): A Capabilities-Based Perspective. Paper
presented at the Third Copenhagen Conference on Emerging Multinationals: Outward Investment from Emerging Economies, Copenhagen, Denmark,
2526 October.
McKinsey & Company (2017). McKinsey Special Collection: Digital Strategy. New York: McKinsey.
McKinsey Global Institute (2016). Digital Globalization: The New Era of Global Flows. New York: MGI.
OECD (2016). Stimulating Digital Innovation for Growth and Inclusiveness The Role of Policies for the Successful Diffusion of ICT, OECD Digital
Economy Papers, No. 256, Organization for Economic Cooperation and Development, Paris.
PwC (2016). Navigating Growth in Uncertain Times. PwCs 2016 APEC CEO Survey: ASEAN Report. New York.
Rangan, S., and M. Sengul (2009). Information Technology and Transnational Integration: Theory and Evidence on the Evolution of the Modern
Multinational Enterprise, Journal of International Business Studies, 40(9): 14961514.
Srai, J.S., M. Kumar, G. Graham, W. Phillips, J. Tooze, M.K. Tiwari, S. Ford, P. Beecher, B. Raj, M.J. Gregor, M.K. Tiwari, B. Ravi, A. Neely, R. Shankar,
F. Charnley and A. Tiwari (2016). Distributed Manufacturing: Scope, Challenges and Opportunities, International Journal of Production Research,
54(23): 69176935.
Srai, J.S., T.S. Harrington and M.K. Tiwari (2016). Characteristics of Redistributed Manufacturing Systems: A Comparative Study of Emerging
Industry Supply Networks, International Journal of Production Research, 54(23): 69366955.
UNCTAD (2011). Interpretation of IIAs: What States Can Do. IIA Issues Note No. 3. United Nations, New York and Geneva.
UNCTAD (2012). Information Economy Report 2012: The Software Industry and Developing Countries. New York and Geneva: United Nations.
UNCTAD (2013). Information Economy Report 2013: The Cloud Economy and Developing Countries. New York and Geneva: United Nations.
UNCTAD (2015a). Information Economy Report 2015: Unlocking the Potential of E-commerce for Developing Countries. New York and Geneva: United
Nations.
UNCTAD (2015b). Investment Policy Framework for Sustainable Development. New York and Geneva: United Nations.
UNCTAD (2016). Data Protection Regulations and International Data Flows: Implications for Trade and Development. New York and Geneva: United
Nations.
UNCTAD (2017a). Investment Facilitation: A Review of Policy Practices. New York and Geneva: United Nations.
UNCTAD (2017b). Investment Policy Monitor: Promoting Investment in the Digital Economy. Special Issue. April. New York and Geneva: United
Nation.
UNCTAD (forthcoming). Investment and Trade in Services: The Out-Sized Role of Holdings and Intra-Firm Services.
UNCTAD, UN Global Compact, UNEP FI and PRI (2016). Sustainable Stock Exchanges Initiative 2016 Report on Progress. Paper prepared for
the Sustainable Stock Exchanges 2016 Global Dialogue by UNCTAD, UN Global Compact, UN Environment Financial Initiative and Principles for
Responsible Investment, Geneva.
United Nations (2015). Transforming our World: The 2030 Agenda for Sustainable Development. New York: United Nations.
United Nations (2017). World Economic Situation and Prospects 2017. New York: United Nations.
WEF (2016). The Future of Jobs: Employment, Skills and Workforce Strategy for the Fourth Industrial Revolution. Global Challenge Insight Report.
Geneva: World Economic Forum.
WEF (2017). Internet for All: An Investment Framework for Digital Adoption. Geneva: World Economic Forum.
WIR11. World Investment Report 2011: Non-Equity Modes of International Production and Development. New York and Geneva: United Nations.
WIR13. World Investment Report 2013: Global Value Chains: Investment and Trade for Development. New York and Geneva: United Nations.
WIR14. World Investment Report 2014: Investing in the SDGs: An Action Plan. New York and Geneva: United Nations.
WIR15. World Investment Report 2015: Reforming International Investment Governance. New York and Geneva: United Nations.
WIR16. World Investment Report 2016. Investor Nationality: Policy Challenges. New York and Geneva: United Nations.
World Bank (2016). World Development Report 2016: Digital Dividends. Washington, D.C.: World Bank.
220 World Investment Report 2017 Investment and the Digital Economy
ANNEX
TABLES
Worlda 1 591 146 1 592 598 1 443 230 1 323 863 1 774 001 1 746 423 1 576 041 1 388 455 1 399 483 1 253 159 1 594 317 1 452 463
Developed economies 824 293 856 979 684 260 563 330 984 105 1 032 373 1 129 936 974 079 890 920 707 635 1 172 867 1 043 884
Europe 484 932 541 375 340 466 272 463 565 934 532 994 560 386 466 516 386 834 221 284 665 781 514 677
European Union 435 139 491 644 336 811 256 613 483 839 566 234 493 461 406 575 340 011 204 344 535 957 470 351
Austria 10 616 3 989 5 720 4 580 3 785 -6 089 21 913 13 109 15 568 -726 10 107 -2 208
Belgium 78 258 6 516 25 125 -8 958 21 244 33 103 46 371 33 821 29 484 -2 701 30 356 18 269
Bulgaria 2 945 1 697 1 837 1 540 2 822 776 399 325 187 370 163 190
Croatia 1 692 1 504 958 2 870 270 1 745 142 -86 -168 1 952 -4 -422
Cyprus -11 725 47 199 -6 495 736 7 385 4 138 -15 904 49 761 -6 898 -1 117 16 843 5 376
Czech Republic 2 318 7 984 3 639 5 492 465 6 752 -327 1 790 4 019 1 620 2 487 984
Denmark 11 437 414 1 051 3 207 4 102 951 11 250 7 355 7 176 6 735 11 177 14 543
Estonia 1 005 1 565 750 604 130 870 -1 454 1 054 505 -159 323 479
Finland 2 550 4 154 -169 18 304 1 568 42b 5 011 7 543 -2 402 1 182 -16 029 22 760b
France 31 642 16 062 34 270 2 669 46 991 28 352 51 415 35 440 20 369 49 783 44 373 57 328
Germany 67 514c 28 181c 15 573c 3 954c 33 312c 9 528c 77 929c 62 164c 42 271c 99 519c 93 283c 34 558c
Greece 1 143 1 740 2 817 2 683 1 140 3 126 1 772 677 -785 3 015 2 127 -638
Hungary 6 300 14 409 3 402 7 752 -14 804 -5 314 4 702 11 703 1 886 3 780 -15 972 -8 823
Ireland 23 545 46 922 46 625 37 415 188 327 22 304 -1 165 22 566 29 366 41 438 166 291 44 548
Italy 34 324 93 24 273 23 223 19 331 28 955 53 667 8 007 25 134 26 316 20 279 22 794
Latvia 1 453 1 109 903 782 668 126 61 192 411 289 32 178
Lithuania 1 446 700 469 -23 874 -208 55 392 192 -29 85 -136
Luxembourg 8 843 143 003 10 481 -10 534 16 001 26 857 10 716 89 806 20 229 7 633 50 449 31 643
Malta 21 876 14 190 12 066 11 508 4 687 3 575 9 699 2 600 2 646 2 332 -5 253 -5 362
Netherlands 24 156 25 013 51 105 53 307 68 751 91 956b 34 794 17 935 69 704 63 606 138 016 173 658b
Poland 15 925 12 424 3 625 14 269 13 472 11 358 1 026 2 901 -451 2 898 3 216 6 436
Portugal 7 428 8 858 2 702 2 976 6 933 6 065 13 435 -8 206 -1 205 -519 5 685 1 583
Romania 2 363 3 199 3 601 3 211 3 839 4 573 -28 -114 -281 -373 562 241
Slovakia 3 491 2 982 -604 -512 -196 -295 713 8 -313 43 -183 248
Slovenia 1 087 339 -151 1 050 1 625 919 198 -259 -214 275 252 98
Spain 28 379 25 696 37 436 25 655 11 910 18 659 41 164 -3 982 12 823 36 325 44 489 41 789
Sweden 12 929 16 257 4 125 4 031 6 202 19 584 30 318 29 371 30 274 9 161 14 937 22 851
United Kingdom 42 200 55 446 51 676 44 821 33 003 253 826 95 587 20 700 40 484 -148 303 -82 138 -12 614
Other developed Europe 49 793 49 731 3 655 15 850 82 094 -33 240 66 926 59 941 46 824 16 940 129 824 44 325
Gibraltar 7 554b 952b -1 336b -644b -669b -883b - - - - - -
Iceland 1 107 1 025 397 447 709 -484 18 -3 206 460 -257 -31 -1 199
Norway 15 250 18 774 3 949 7 987 11 654 -5 533 18 763 19 561 7 792 18 254 25 848 14 876
Switzerland 25 882 28 979 646 8 060 70 400 -26 340b 48 145 43 586 38 572 -1 057 104 007 30 648b
North America 269 531 242 145 270 784 230 663 389 914 424 825 448 717 374 060 360 813 352 749 370 214 365 406
Canada 39 669 43 111 69 391 59 062 41 512 33 721 52 148 55 864 57 381 60 466 67 037 66 403
United States 229 862 199 034 201 393 171 601 348 402 391 104 396 569 318 196 303 432 292 283 303 177 299 003
Other developed economies 69 829 73 459 73 010 60 204 28 257 74 554 120 832 133 503 143 273 133 602 136 872 163 802
Australia 58 908 59 552 56 303 40 328 19 477 48 190 1 716 7 891 1 441 306 -1 672 6 012
Bermuda -287 48 93 -3 -143d 360b -337 240 51 120 -84d 91b
Israel 8 728 8 468 12 448 6 738 11 510 12 324 9 166 3 256 5 502 3 667 9 884 12 501
Japan -1 758 1 732 2 304 10 612 -2 250 11 388 107 599 122 549 135 749 129 038 128 654 145 242
New Zealand 4 238 3 659 1 862 2 529 -337 2 292 2 688 -433 530 471 90 -44
Developing economiesa 687 511 670 998 674 658 703 780 752 329 646 030 390 443 381 409 432 766 472 745 389 267 383 429
Africa 66 018 77 501 74 551 71 254 61 495 59 373 23 201 34 480 37 901 28 277 18 045 18 173
North Africa 7 548 15 759 11 952 12 089 12 981 14 472 2 172 3 130 1 119 625 1 352 1 276
Algeria 2 580 1 499 1 684 1 507 -584 1 546 534 -41 -268 -18 103 55
Egypt -483 6 031 4 256 4 612 6 925 8 107 626 211 301 253 182 207
Libya - 1 425 702 50b 726b 493b 131 2 509 707 -77b 395b 341b
Morocco 2 568d 2 728d 3 298d 3 561d 3 255d 2 322d 179d 406d 332d 436d 653d 639d
South Sudan - 161b -793b 44b -71b -17b - - - - - -
Sudan 1 734 2 311 1 688 1 251 1 728 1 064 - - - - - -
Tunisia 1 148 1 603 1 117 1 064 1 002 958 703 45 47 32 19 34
Other Africa 58 470 61 742 62 599 59 165 48 514 44 901 21 029 31 350 36 782 27 652 16 693 16 897
West Africa 18 926 16 822 14 479 12 176 10 189 11 433 1 840 3 427 1 759 2 138 2 217 1 955
Benin 161 230 360 405 150 161 60 19 59 17 26 17
Burkina Faso 144 329 490 356 232 309 102 73 58 69 14 6
Cabo Verde 155 126 70 180 116 119 -1 -8 -14 -8 -4 -9
Cte d'Ivoire 302 330 407 439 494 481 15 14 -6 16 14 9
Gambia 36 41 25 35 11 -2b 58 10 48 0.2 19 9b
Ghana 3 237 3 293 3 226 3 357 3 192 3 485 25 1 9 12 221 15
/...
222 World Investment Report 2017 Investment and the Digital Economy
Annex table 1. FDI flows, by region and economy, 20112016 (continued)
FDI inflows FDI outflows
Region/economy 2011 2012 2013 2014 2015 2016 2011 2012 2013 2014 2015 2016
Singapore 49 156d 56 236d 64 685d 73 987d 70 579d 61 597d 31 371d 19 443d 43 597d 52 217d 31 405d 23 888d
Thailand 1 370 9 135 15 493 4 809 5 700 1 554 6 072 10 497 11 679 5 575 1 687 13 229
Timor-Leste 47 39 50 49 43 5 -33 13 13 13 13 13
Viet Nam 7 519 8 368 8 900 9 200 11 800 12 600 950 1 200 1 956 1 150 1 100 1 388
South Asia 44 327 32 317 35 629 41 417 50 848 53 735 12 823 10 022 2 179 12 020 7 817 5 553
Afghanistan 58 27 47 37 163 100 1 -9 1 - 1 -1
Bangladesh 1 136 1 293 1 599 1 551 2 235 2 333 13 43 34 44 46 41
Bhutan 29 20 36 17 7 -12 - - - - - -
India 36 190 24 196 28 199 34 582 44 064 44 486 12 456 8 486 1 679 11 783 7 572 5 120
Iran, Islamic Republic of 4 277 4 662 3 050 2 105 2 050 3 372 258b 1 356b 189b 3b 120b 104b
Maldives 424 d
228 d
361 d
333d
308 d
448 d
- - - - - -
Nepal 95 92 71 30 52 106 - - - - - -
Pakistan 1 162 859 1 333 1 867 1 289 2 006 35 82 212 122 25 52
Sri Lanka 956 941 933 894 680 898 60 64 65 67 54 237
West Asia 52 667 48 408 38 447 30 984 28 359 27 797 30 384 22 583 45 616 22 819 38 000 30 844
Bahrain 98 1 545 3 729 1 519 -797 282 -920 516 532 -394 497 170
Iraq 1 882 3 400 -3 263 -10 340 -7 752 -5 911 366 490 227 242 148 304
Jordan 1 486 1 548 1 947 2 178 1 600 1 539 31 5 16 83 1 3
Kuwait 3 259 2 873 1 434 953 293 275 10 773 6 741 16 648 -10 468 5 407 -6 258
Lebanon 3 137 3 111 2 661 2 907 2 353 2 564b 937 1 026 1 981 1 255 662 773b
Oman 1 628d 1 365d 1 612d 1 506d -2 692d 142b 1 222d 884d 934d 1 358d 294d 862b
Qatar 939 396 -840 1 040 1 071 774 10 109 1 840 8 021 6 748 4 023 7 902
Saudi Arabia 16 308 12 182 8 865 8 012 8 141 7 453 3 430 4 402 4 943 5 396 5 390 8 359
State of Palestine 349 58 176 160 103 269 -128 29 -48 188 73 114
Syrian Arab Republic 804 - - - - - - - - - - -
Turkey 16 142 13 631 12 771 12 458 17 259 11 987 2 330 4 106 3 528 6 664 4 807 2 869
United Arab Emirates 7 152 8 828 9 491 10 823 8 795 8 986 2 178 2 536 8 828 11 736 16 692 15 711
Yemen -518 -531 -134 -233 -15 -561b 58b 8b 5b 12b 6b 35b
Latin America and the
193 644 188 730 175 915 169 919 165 399 142 072 47 596 40 720 30 006 30 734 31 499 751
Caribbeana
South America 157 365 156 597 117 063 127 277 117 303 100 579 34 390 16 693 16 616 22 856 19 550 1 039
Argentina 10 840 15 324 9 822 5 065 11 759 5 745 1 488 1 055 890 1 921 875 887
Bolivia, Plurinational
859 1 060 1 750 657 555 410 - - - -33 -2 15
State of
Brazil 96 152 76 098 53 060 73 086 64 267 58 680 11 062 -5 301 -1 180 2 230 3 092 -12 434
Chile 17 739 27 046 19 331 23 784 15 866 11 266 13 617 17 041 8 127 12 573 12 139 6 165
Colombia 14 648 15 039 16 209 16 163 11 732 13 593 8 420 -606 7 652 3 899 4 218 4 516
Ecuador 644 568 727 772 1 322 744 64b 81b 99b 302b 204b 201b
Guyana 247 294 214 255 122 58 - - - - - 26
Paraguay 581 697 252 382 260 274 -33b 56b 134b 101b 29b -
Peru 7 341 11 788 9 800 4 441 8 272 6 863 147 78 137 801 127 303
Suriname 70 174 188 164 278 222 3 -1 - - - -
Uruguay 2 504 2 536 3 032 2 188 1 279 953 -7 -3 5 39 -13 -4
Venezuela, Bolivarian
5 740 5 973 2 680 320 1 591 1 772b -370 4 294 752 1 024 -1 119 1 363b
Republic of
Central America 33 611 30 271 57 290 39 081 44 454 38 187 13 143 23 561 13 804 7 721 11 769 -218
Belize 95d 189d 95d 153d 65d 33d 1d 1d 1d 3d 0.5d 2d
Costa Rica 2 461 2 258 2 741 2 960 2 941 2 762 133 455 340 109 255 78
El Salvador 219 482 179 311 399 373 0.1 -2 3 0.1 -0.1 -0.4
Guatemala 1 026 1 245 1 296 1 389 1 221 1 181 17 39 34 106 117 111
Honduras 1 014 1 059 1 060 1 417 1 204 1 002 2 208 68 103 91 201
Mexico 24 706 21 061 47 537 27 508 33 181 26 739 12 806 23 071 12 877 6 977 10 733 -787
Nicaragua 936 768 816 884 950 888 8 63 150 94 45 28
Panama 3 153 3 211 3 567 4 459 4 494 5 209 176 -274 331 329 528 149
Caribbeana 2 668 1 862 1 561 3 561 3 642 3 307 63 466 -414 157 179 -70
Anguilla 39 44 42 79 85 48 - - - - - -
Antigua and Barbuda 65 133 95 149 148 140 - - - - - -
Aruba 489 -316 226 251 -29 21 3 3 4 9 10 0.5
Bahamas 1 533 1 073 1 133 1 599 408 522 524 132 277 397 158 359
Barbados 458 548 56 559 69 228 558 41 39 -213 141 -11
British Virgin Islands 57 423b 75 235b 110 022b 38 414b 28 855b 59 097b 59 786b 50 419b 105 082b 82 878b 96 499b 94 820b
Cayman Islands 16 107b 7 939b 51 453b 20 002b 63 448b 44 968b 7 630b 1 929b 13 293b 6 169b 57 747b 25 736b
Curaao 69 70 17 69 146 130b -30 12 -16 44 19 38b
Dominica 35 59 23 33 34 31 - - - - - -
Dominican Republic 2 277 3 142 1 991 2 209 2 205 2 407 -79 274 -391 177 22 116
/...
224 World Investment Report 2017 Investment and the Digital Economy
Annex table 1. FDI flows, by region and economy, 20112016 (concluded)
FDI inflows FDI outflows
Region/economy 2011 2012 2013 2014 2015 2016 2011 2012 2013 2014 2015 2016
Grenada 43 31 113 38 60 63 - - - - - -
Haiti 119 156 160 99 106 104b - - - - - -
Jamaica 218d 413d 545d 582d 925d 856b 75d 3d -86d -2d 4d 286b
Montserrat 2 3 4 6 4 4 - - - - - -
Saint Kitts and Nevis 110 108 136 118 76 66 - - - - - -
Saint Lucia 96 74 92 91 93 95 - - - - - -
Saint Vincent and the
86 115 160 109 120 104 - - - - - -
Grenadines
Sint Maarten -48 14 47 47 28 63 b
1 -3 3 1 0.1 3b
Trinidad and Tobago 55d -1 849d -1 134d 672d 406d -60b 67d 189d 63d -18d 153d -472b
Oceania 2 192 3 590 2 693 2 292 1 794 1 921 901 1 572 2 179 1 401 1 040 1 448
Cook Islands - 1 -8b 6b 49b 16b 810b 1 307b 2 037b 1 247b 797b 1 360b
Fiji 402d 376d 264d 350d 307d 270b 1d 2d 4d 38d -33d -23b
French Polynesia 131 155 99 61 26 53b 27 43 65 30 23 34b
Kiribati 1d -3d 1d 8d 2b 3b 1d 0.1d 0.1d 8d 2b 3b
Marshall Islands -4b 21b 33b 9b 21b 21b - - - - - -
Micronesia, Federated
- - - 20 b
- - - - - -1b
- -
States of
New Caledonia 1 715 2 831 2 169 1 745 1 226 1 498b 40 109 61 61 62 55b
Palau 8 22 18 40 35 31b - - - - - -
Papua New Guinea -310 25 18 -30 28 -40 1 89 - - 174 -
Samoa 15 26 14 23 27 2 1 11 0,1 4 4 15
Solomon Islands 120 24 53 22 32 25 4 3 3 1 5 1
Tonga 44b 31b 51b 56b 12b 9b 16b 7b 7b 11b 5b 1b
Tuvalu -0.1b 2b -1b 0.3b 0.2b 0.2b - - - - - -
Vanuatu 70d 78d -19d -18d 29d 32b 1d 1d 0.5d 1d 2d 1b
Transition economies 79 342 64 621 84 311 56 753 37 567 68 020 55 662 32 967 75 797 72 778 32 183 25 149
South-East Europe 7 890 3 606 4 733 4 605 4 844 4 579 403 438 485 479 477 190
Albania 876 855 1 266 1 110 945 1 124 30 23 40 33 38 64
Bosnia and Herzegovina 497 395 276 529 270 285 18 62 44 17 25 12
Serbia 4 932 1 299 2 053 1 996 2 347 2 299 318 331 329 356 346 240
Montenegro 558 620 447 497 699 226 17 27 17 27 12 -185
The former Yugoslav
479 143 335 272 240 397 -0.3 -26 30 10 15 5
Republic of Macedonia
CIS 70 403 60 104 78 629 50 385 31 146 61 779 55 112 32 232 75 193 71 893 31 397 24 727
Armenia 653 497 346 404 178 338 216 16 27 16 17 57
Azerbaijan 1 465 2 005 2 632 4 430 4 048 4 500 533 1 192 1 490 3 230 3 260 2 574
Belarus 4 002 1 429 2 230 1 828 1 668 1 235 126 121 246 39 122 28
Kazakhstan 13 973 13 337 10 321 8 406 4 012 9 069 5 390 1 481 2 287 3 815 889 -5 367
Kyrgyzstan 694 293 626 248 1 142 467 0.1 -0.3 - - -1 -
Moldova, Republic of 288 227 243 201 182 143 21 20 29 42 -18 -9
Russian Federation 36 868 30 188 53 397 29 152 11 858 37 668 48 635 28 423 70 685 64 203 27 090 27 272
Tajikistan 227 262 168 408 545 434 - - - - - -
Turkmenistan 3 391b 3 130b 3 528b 3 830b 4 398b 4 522b - - - - - -
Ukraine 7 207 8 175 4 509 847 3 050 3 336 192 980 430 548 38 173
Uzbekistan 1 635b 563b 629b 632b 65b 67b - - - - - -
Georgia 1 048 911 950 1 763 1 576 1 661 147 297 120 407 309 232
Memorandum
Least developed countries
39 008 44 536 43 167 40 742 43 505 37 944 20 421 26 507 28 925 18 258 9 252 11 851
(LDCs)e
Landlocked developing countries
36 264 34 013 30 918 28 461 24 879 24 326 6 399 2 330 4 685 5 950 4 647 -2 009
(LLDCs)f
Small island developing States
4 366 2 583 2 610 5 672 3 736 3 506 1 379 679 492 341 690 179
(SIDS)g
Worlda 7 489 631 20 244 875 26 728 256 7 460 522 20 939 211 26 159 708
Developed economies 5 767 578 13 443 731 16 917 253 6 699 246 17 556 164 19 961 557
Europe 2 442 522 8 171 849 8 621 457 3 173 966 10 380 680 10 435 273
European Union 2 322 122 7 357 649 7 663 571 2 907 116 9 138 905 9 110 741
Austria 31 165 160 615 156 190 24 821 181 638 200 212
Belgium - 873 315 474 885 - 950 885 453 202
Belgium and Luxembourg 195 219 - - 179 773 - -
Bulgaria 2 704 44 970 42 165 67 2 583 2 114
Croatia 2 664 31 517 27 645 760 4 443 4 963
Cyprus 2 846 198 097 171 213 557 197 454 169 668
Czech Republic 21 644 128 504 115 204 738 14 923 18 644
Denmark 73 574 96 984 97 876b 73 100 165 375 178 766b
Estonia 2 645 15 551 19 193 259 5 545 6 449
Finland 24 273 86 698 81 656 52 109 137 663 120 791
France 184 215 630 710 697 579 365 871 1 172 994 1 259 385
Germany 470 938 955 881 771 010b 483 946 1 364 565 1 365 375b
Greece 14 113 35 026 27 360 6 094 42 623 25 555
Hungary 22 870 90 845 77 721 1 280 22 314 25 029
Ireland 127 089 285 575 839 563 27 925 340 114 832 742
Italy 122 533 328 058 346 431 169 957 491 208 460 393
Latvia 1 691 10 935 14 253 19 895 1 374
Lithuania 2 334 13 403 13 773 29 2 107 2 386
Luxembourg - 172 257 245 450b - 187 027 230 037b
Malta 2 263 129 770 170 221 193 60 596 65 521
Netherlands 243 733 588 077 801 136b 305 461 968 105 1 255 954b
Poland 33 477 187 602 185 903 268 16 407 24 790
Portugal 34 224 114 994 118 213 19 417 62 286 55 848
Romania 6 953 68 093 71 804 136 1 511 910
Slovakia 6 970 50 328 41 615 555 3 457 2 651
Slovenia 2 389 10 667 12 731 772 8 147 5 739
Spain 156 348 628 341 556 604 129 194 653 236 516 059
Sweden 93 791 352 646 289 659 123 618 394 547 382 248
United Kingdom 439 458 1 068 187 1 196 520 940 197 1 686 260 1 443 936
Other developed Europe 120 400 814 201 957 886 266 850 1 241 775 1 324 532
Gibraltar 2 834b 14 247b 19 222b - - -
Iceland 497 11 784 9 641 663 11 466 5 889
Norway 30 265 177 318 135 900b 34 026 188 996 187 734b
Switzerland 86 804 610 852 793 124b 232 161 1 041 313 1 130 909b
North America 3 108 255 4 406 182 7 347 358 3 136 637 5 808 053 7 603 743
Canada 325 020 983 889 956 065 442 623 998 466 1 219 992
United States 2 783 235 3 422 293 6 391 293 2 694 014 4 809 587 6 383 751
Other developed economies 216 801 865 699 948 438 388 643 1 367 431 1 922 542
Australia 121 686 527 064 576 037 92 508 449 740 401 506
Bermuda 265b 2 837 2 902b 108b 925 934b
Israel 20 426 61 180 112 701 9 091 68 972 102 054
Japan 50 323 214 880 186 714b 278 445 831 076 1 400 694b
New Zealand 24 101 59 738 70 084 8 491 16 717 17 354
Developing economiesa 1 669 073 6 102 988 9 077 653 741 665 3 014 000 5 808 568
Africa 153 484 626 912 836 553 38 885 130 890 268 786
North Africa 45 328 201 115 259 388 3 199 25 777 35 369
Algeria 3 379b 19 540b 27 778 205b 1 513b 1 877
Egypt 19 955 73 095 102 324 655 5 448 7 227
Libya 471b 16 334b 19 730b 1 903b 16 615b 20 620b
Morocco 8 842b 45 082c 54 784c 402b 1 914c 5 359c
Sudan 1 136b 15 690 25 467 - - -
Tunisia 11 545 31 374 29 305 33 287 286
Other Africa 108 156 425 796 577 165 35 687 105 112 233 417
West Africa 33 010 99 606 169 861 6 381 10 550 21 403
Benin 213 604 1 690 11 21 185
Burkina Faso 28 354 1 984 0.4 8 266
Cabo Verde 192 1 252 1 630 - 1 -37
Cte d'Ivoire 2 483 6 978 7 605 9 94 127
Gambia 216 323 318b - - -
/...
226 World Investment Report 2017 Investment and the Digital Economy
Annex table 2. FDI stock, by region and economy, 2000, 2010 and 2016 (continued)
FDI inward stock FDI outward stock
Region/economy 2000 2010 2016 2000 2010 2016
Singapore 110 570c 632 760c 1 096 320c 56 755c 466 129c 682 404c
Thailand 30 944 139 286 188 651 3 232 21 369 85 636
Timor-Leste - 155 346 - 94 112
Viet Nam 14 730b 57 004b 115 391b - 2 234b 9 978b
South Asia 30 743 268 959 435 673 2 761 100 441 151 284
Afghanistan 17b 930 1 361 - 16 6
Bangladesh 2 162 6 072 14 539 68 98 212
Bhutan 4b 52 171 - - -
India 16 339 205 580 318 502 1 733 96 901 144 134
Iran, Islamic Republic of 2 597b 28 953 48 469b 411b 1 713b 3 744b
Maldives 128b 1 114b 3 216b - - -
Nepal 72b 239b 653b - - -
Pakistan 6 919 19 828 39 017 489 1 362 2 052
Sri Lanka 2 505 6 190 9 745 60 351 1 136
West Asia 69 286 591 639 696 546 14 553 164 763 354 992
Bahrain 5 906 15 154 28 606 1 752 7 883 14 795
Iraq -d 7 965 9 498b - 632 2 408
Jordan 3 135 21 899 32 148 44 473 613
Kuwait 608 11 884 14 260 1 428 28 189 31 342
Lebanon 14 233 44 285 61 019b 352 6 831 13 464b
Oman 2 577b 14 987b 18 548b - 2 796b 8 350b
Qatar 1 912b 30 564b 33 943b 74b 12 545b 51 189b
Saudi Arabia 17 577 176 378 231 502 5 285b 26 528 80 424
State of Palestine 1 418b 2 175 2 588 - 241 445
Syrian Arab Republic 1 244 9 939b 10 743b - 5b 5b
Turkey 18 812 187 684 132 882 3 668 22 509 38 020
United Arab Emirates 1 069b 63 869 117 944b 1 938b 55 560 113 241b
Yemen 843 4 858 2 865b 13b 571b 696b
Latin America and the Caribbeana 461 082 1 584 473 1 960 061 105 476 413 287 569 417
South America 308 949 1 084 370 1 298 813 95 870 283 606 407 716
Argentina 67 601 88 455 88 222 21 141 30 328 38 814
Bolivia, Plurinational State of 5 188 6 890 11 504 29 8 613
Brazil 122 250 640 334 625 876 51 946 149 337 172 441
Chile 45 753 157 183 238 557 11 154 56 698 110 090
Colombia 11 157 82 977 164 249 2 989 23 717 51 816
Ecuador 6 337 11 857 16 371b 252b 557b 1 508b
Falkland Islands (Malvinas) 58b 75b 75b - - -
Guyana 756 1 784 2 973 1 2 28
Paraguay 1 219 3 254 4 685 38b 124b 498b
Peru 11 062 42 976 91 480 505 3 319 4 255
Suriname - - 1 897 - - -
Uruguay 2 088 12 479 22 781 138 345 68
Venezuela, Bolivarian Republic of 35 480 36 107 30 142b 7 676 19 171 27 586b
Central America 139 768 452 399 602 183 8 534 126 640 159 904
Belize 294c 1 461c 2 088c 42c 49c 69c
Costa Rica 2 809 15 961 34 336 22 1 135 2 910
El Salvador 1 973 7 284 9 197 104 1 2
Guatemala 3 420 6 518 14 575 93 382 806
Honduras 1 392 6 951 13 707 - 831 2 014
Mexico 121 691 388 802 473 520 8 273 120 688 148 643
Nicaragua 1 414 4 681 9 922 - 181 527
Panama 6 775 20 742 44 839 - 3 374 4 934
Caribbeana 12 365 47 704 59 065 1 072 3 041 1 796
Anguilla 16b 21b 24b - - -
Antigua and Barbuda 596b 2 261b 2 991b - - -
Aruba 1 161 4 567 4 071 675 682 646
Bahamas 3 278b 13 438b 19 706b 452b 2 538b 4 385b
Barbados 308 4 970 6 790 41 4 058 4 080
British Virgin Islands 30 313b 264 662b 633 706b 69 818b 377 280b 866 764b
Cayman Islands 25 585b 149 652b 353 568b 21 352b 92 488b 204 992b
Curaao - 527 1 053b - 32 159b
Dominica 272b 610b 825b - - -
Dominican Republic 1 673 18 793 32 953 68b 743 867
/...
228 World Investment Report 2017 Investment and the Digital Economy
Annex table 2. FDI stock, by region and economy, 2000, 2010 and 2016 (concluded)
FDI inward stock FDI outward stock
Region/economy 2000 2010 2016 2000 2010 2016
230 World Investment Report 2017 Investment and the Digital Economy
Annex table 3. Value of cross-border M&As, by region/economy of seller/purchaser, 20102016 (continued)
Net sales a Net purchases b
Region/economy 2010 2011 2012 2013 2014 2015 2016 2010 2011 2012 2013 2014 2015 2016
Mayotte - - - - - - 4 - - - - - - -
Mozambique 35 27 3 2 2 765 2 23 - - - - - - -
Namibia 104 40 15 6 - 18 - - - - - - - -
Niger - - - -1 - 25 - - - -185 - - - -
Nigeria 476 539 -159 537 998 1 027 994 - 1 40 240 2 109 -336 122
Reunion - - - - - - - - - - - - 9 4
Rwanda - - 69 2 1 - - - - - - - 0.2 -
Senegal -457 - - 29 - - -9 - - - - - - 9
Seychelles 19 - - - - 103 - 5 -78 189 1 1 220 24
Sierra Leone 13 52 - - - - -1 - - - - - - -
South Africa 3 653 6 673 -968 109 387 21 027 8 684 1 619 4 291 825 2 368 1 895 559 5 127
Swaziland - - - - -101 - - 6 - - - - - -
Togo - - - - 529 35 - - 353 -5 - 2 - 2
Uganda - - - 15 - 31 - 257 - - - - - -
United Republic of Tanzania 60 0.5 36 - 18 - - - - - - 1 13 -
Zambia 272 - 8 0.5 - 26 - 2 - - - - - -
Zimbabwe - 27 -296 5 22 24 -40 - - - - 1 - -
Asia 37 723 55 967 33 360 47 829 97 269 49 919 41 861 79 865 80 499 92 819 108 511 139 927 122 609 143 235
East and South-East Asia 27 128 31 714 22 320 40 772 85 854 43 307 28 307 67 218 67 641 78 440 99 183 125 577 105 612 115 070
East Asia 17 855 14 072 11 944 33 373 80 250 32 998 20 580 52 810 51 100 61 861 78 433 107 544 76 074 102 199
China 6 758 11 501 9 524 31 066 56 775 12 439 5 887 29 828 36 364 37 908 51 526 39 250 51 117 92 221
Hong Kong, China 12 684 2 125 2 912 2 247 17 477 24 244 7 568 13 318 9 916 16 009 22 804 62 982 19 598 89
Korea, Republic of -2 063 2 537 -1 528 -652 6 013 -3 770 -367 9 952 4 574 5 714 4 027 3 503 909 4 756
Macao, China 33 34 30 213 - - - 52 - 10 - 3 43 -325
Mongolia 57 88 82 -58 -80 15 - - - - - - - -
Taiwan Province of China 385 -2 212 925 558 66 70 7 492 -339 247 2 221 76 1 807 4 407 5 458
South-East Asia 9 273 17 642 10 376 7 399 5 604 10 309 7 727 14 407 16 541 16 579 20 750 18 032 29 538 12 871
Brunei Darussalam - - - - -24 -47 - - - - - -1 - -
Cambodia 5 50 -100 12 184 303 109 - - - - - - -
Indonesia 1 384 6 828 477 1 838 1 113 3 093 -1 239 186 165 315 2 217 1 170 2 404 174
Lao People's Democratic
110 6 - - - 28 7 - - - - - - -
Republic
Malaysia 2 837 4 429 721 -740 278 500 3 908 2 372 3 380 9 105 2 322 1 048 3 904 1 635
Myanmar - - - - 7 560 73 - - - - - - -
Philippines 329 2 586 411 832 1 017 449 786 19 479 682 71 3 239 1 485 361
Singapore 3 859 1 615 8 023 4 134 2 302 5 144 4 451 8 963 7 948 795 6 531 14 049 20 533 6 189
Thailand 461 954 -65 14 533 -892 -1 894 2 810 4 569 5 659 9 602 -1 498 1 214 4 463
Viet Nam 289 1 175 908 1 310 192 1 170 1 527 57 - 21 7 27 -2 49
South Asia 5 634 13 090 2 821 4 667 7 920 1 550 8 452 26 626 6 288 2 989 1 924 1 042 -582 8 651
Bangladesh 13 - - 13 - 19 61 1 - - - -4 - -
Iran, Islamic Republic of - - 16 - - - - - - - - - - -
India 5 613 12 795 2 805 4 644 7 857 1 323 7 841 26 642 6 282 2 988 1 922 1 021 -612 8 581
Maldives - - - - - - 54 -3 - - - - - -
Nepal - 4 - - - - - - - - - - - -
Pakistan - 247 -153 8 -8 158 400 -13 - - 2 - 12 9
Sri Lanka 9 44 153 2 70 49 96 - 6 1 - 25 19 62
West Asia 4 961 11 163 8 219 2 390 3 495 5 063 5 101 -13 979 6 571 11 390 7 405 13 308 17 579 19 513
Bahrain 452 30 - -111 120 - 23 -3 674 -2 723 527 317 -2 131 -649 -705
Iraq 11 717 1 727 324 - -25 - - - -14 8 - - -
Jordan -99 183 22 -5 35 175 -3 -29 37 -2 - - - 17
Kuwait 460 16 2 230 414 629 857 2 776 -10 793 2 078 376 258 1 403 729 365
Lebanon 642 46 317 - - 14 -310 26 836 80 - -63 22 49
Oman 388 - -774 - - 110 53 -530 222 354 -6 26 -1 044 -105
Qatar 12 28 169 - 538 - 140 626 -790 7 971 3 594 4 421 8 838 6 588
Saudi Arabia 297 657 1 429 305 239 753 478 2 165 107 294 520 -560 3 333 971
State of Palestine - - - - - 8 - - - - - - - -
Syrian Arab Republic 66 - - - - - - - - - 1 - - -
Turkey 1 958 8 930 2 690 1 121 2 120 2 982 1 856 -38 908 2 012 611 1 973 480 761
United Arab Emirates 755 556 366 342 -186 189 88 -1 732 5 896 -207 2 102 8 238 5 870 11 572
Yemen 20 - 44 - 1 0.4 - - - - - - - -
Latin America and the Caribbean c 29 013 18 927 22 586 35 587 26 368 10 952 17 762 16 725 16 385 30 735 16 021 7 957 4 953 686
South America 18 585 15 535 19 471 18 107 21 128 5 292 12 266 13 698 10 312 23 728 12 672 1 882 2 831 -3 361
Argentina 3 457 -295 343 -53 -5 302 -350 -677 514 102 2 754 99 46 509 138
Bolivia, Plurinational State of -16 - 1 74 312 - - - - 2 - - - -
Brazil 10 115 15 107 17 316 10 826 14 340 1 643 9 455 9 030 5 541 7 401 2 956 -2 973 -2 212 -6 056
Chile 826 514 -78 2 514 8 612 2 211 500 867 628 10 257 2 772 746 2 320 1 224
Colombia -1 370 -1 220 1 974 3 864 1 066 232 2 741 3 210 5 085 3 007 6 540 1 629 2 033 1 311
Ecuador 357 167 140 108 109 463 - - 40 - - - - -
Guyana - 3 - - - - - - 0.1 3 - - - -
Paraguay -1 - - - 6 1 - - - - - - - -
Peru 612 512 -67 617 1 879 1 092 247 71 171 319 225 1 058 178 -6
Suriname - - 3 - - - - - - - - - - -
Uruguay 448 747 89 156 108 0.1 0.1 7 13 0.4 22 3 - 6
Venezuela, Bolivarian Republic of 4 158 - -249 - - - - - -1 268 -16 58 1 372 3 21
Central America 8 853 1 157 1 747 16 846 4 061 5 309 5 326 2 949 4 736 6 887 3 611 5 890 2 088 4 061
Belize 1 - - - - 20 - - - - - - 10 17
Costa Rica 5 17 120 192 3 6 - - - 354 50 - - -
El Salvador 43 103 -1 - - - - - - 12 - - 5 -
Guatemala 650 100 -213 411 15 - - - - - - - - -
Honduras 1 23 - - - 1 - - - - 104 - - -
Mexico 7 989 1 143 1 116 15 896 4 001 4 792 5 256 2 896 4 274 6 504 3 847 5 372 2 040 4 039
Nicaragua - 6 0.2 130 - 5 - - - - - - - -
Panama 164 -235 725 216 41 485 70 53 462 18 -390 518 33 5
/
232 World Investment Report 2017 Investment and the Digital Economy
Annex table 4. Value of cross-border M&As, by sector/industry, 20102016 (Millions of dollars)
Total 347 094 553 442 328 224 262 517 428 126 735 126 868 647 347 094 553 442 328 224 262 517 428 126 735 126 868 647
Primary 79 751 156 033 46 226 -12 887 37 247 34 432 82 746 46 838 93 254 3 309 -52 580 13 319 7 700 8 141
Agriculture, hunting, forestry and fisheries 5 204 1 813 7 875 2 023 2 134 3 033 3 873 408 366 -1 423 307 -225 7 633 253
Mining, quarrying and petroleum 74 546 154 220 38 352 -14 910 35 113 31 399 78 873 46 430 92 888 4 732 -52 887 13 544 66 7 889
Manufacturing 127 775 204 203 134 770 135 454 188 352 394 208 402 801 127 792 222 833 137 818 108 351 186 855 367 676 395 805
Food, beverages and tobacco 38 110 45 335 32 382 54 836 34 847 26 037 137 554 33 620 31 541 31 671 40 207 30 121 28 055 120 601
Textiles, clothing and leather 856 2 740 3 802 5 071 3 013 630 2 037 2 963 2 449 2 508 1 883 1 037 -12 267 3 332
Wood and wood products -2 326 2 406 4 610 1 433 1 655 1 917 2 733 8 388 3 748 3 589 2 754 3 098 2 505 3 250
Publishing and printing 811 -25 177 25 369 556 596 906 -112 65 61 239 220 329
Coke, petroleum products and nuclear fuel 350 -752 -120 -2 227 -6 115 69 -119 -6 802 -2 673 -3 748 -2 049 -17 902 8 104 68 021
Chemicals and chemical products 34 238 78 487 30 801 27 936 83 089 162 096 130 271 46 874 89 702 41 485 35 584 76 102 170 646 145 714
Rubber and plastic products 5 881 2 241 2 766 489 -3 685 10 773 5 142 127 1 367 570 381 2 457 1 714 2 668
Non-metallic mineral products 3 877 1 520 2 323 8 884 5 955 31 293 6 408 5 198 1 663 755 3 622 2 098 25 537 5 479
Metals and metal products 2 648 7 072 10 788 3 485 5 205 12 072 8 483 5 075 18 375 9 705 234 47 567 11 210 158
Machinery and equipment 7 921 14 905 15 121 11 394 12 724 23 754 31 125 5 910 14 564 12 836 7 754 10 647 -1 045 15 501
Electrical and electronic equipment 21 026 29 198 23 334 13 210 25 818 26 705 74 047 11 758 39 440 26 821 13 682 16 288 39 897 31 025
Motor vehicles and other transport equipment 7 504 5 392 2 585 2 282 13 834 19 861 -1 692 6 737 10 899 4 902 1 449 8 193 22 899 -9 438
Other manufacturing 6 879 15 685 6 202 8 638 11 644 78 446 6 217 7 040 11 870 6 661 2 788 6 910 70 201 9 165
Services 139 568 193 206 147 228 139 949 202 527 306 486 383 100 172 464 237 355 187 097 206 746 227 952 359 750 464 700
Electricity, gas and water -3 568 26 820 16 610 15 220 13 068 17 764 64 739 -14 841 6 758 3 128 8 860 16 516 -1 885 42 651
Construction 7 109 1 835 648 1 852 -131 2 236 4 824 -2 001 -1 575 2 774 4 878 -137 3 851 -680
Trade 12 774 19 477 14 711 3 173 37 595 15 504 51 226 6 104 6 412 23 188 5 989 29 234 2 260 21 277
Accommodation and food service activities 5 183 4 037 -129 7 405 17 318 8 879 11 035 867 684 -1 847 898 16 267 2 965 5 042
Transportation and storage 12 455 15 023 19 340 13 429 17 756 34 247 45 742 7 637 6 595 9 129 3 479 6 570 17 551 45 481
Information and communication 20 876 37 432 36 525 27 097 -71 511 19 130 24 386 19 306 22 954 17 417 23 641 -77 063 15 849 39 666
Finance 32 649 38 853 17 116 12 526 88 569 100 961 91 397 138 016 168 033 113 475 131 210 190 276 265 274 243 726
Business services 38 401 43 881 35 976 50 087 85 379 93 501 66 456 16 864 26 423 18 839 27 112 38 868 47 058 53 113
Public administration and defense 233 604 -97 40 908 134 625 -4 303 -288 -1 165 -1 984 -2 038 -878 -595
Education 2 176 597 524 637 1 267 1 470 746 310 112 317 -942 -9 1 091 -348
Health and social services 8 544 3 445 5 444 4 154 3 843 8 034 13 306 3 815 729 954 2 636 3 156 682 13 493
Arts, entertainment and recreation 1 537 1 061 460 2 103 7 684 4 330 7 408 635 526 275 647 6 042 5 978 1 738
Other service activities 1 198 141 99 2 226 782 295 1 210 55 -9 615 321 269 -46 137
Source: UNCTAD, cross-border M&A database (www.unctad.org/fdistatistics).
Note: Cross-border M&A sales and purchases are calculated on a net basis as follows: Net cross-border M&A sales by sector/industry = Sales of companies in the industry of the acquired company to foreign MNEs (-) Sales of foreign affiliates in the industry of the acquired company; net cross-
border M&A purchases by sector/industry = Purchases of companies abroad by home-based MNEs, in the industry of the ultimate acquiring company (-) Sales of foreign affiliates of home-based MNEs, in the industry of the ultimate acquiring company. The data cover only those deals that
involved an acquisition of an equity stake of more than 10 per cent.
a
Net sales in the industry of the acquired company.
b
Annex tables
Net purchases by the industry of the ultimate acquiring company.
233
234
Annex table 5. Cross-border M&A deals worth over $3 billion completed in 2016
Shares
Value
Rank Acquired company Host economya Industry of the acquired company Acquiring company Home economya Industry of the acquiring company acquired
($ billion)
(%)
1 101.5 SABMiller PLC United Kingdom Malt beverages Anheuser-Busch Inbev SA/NV Belgium Malt beverages 100
2 69.4 BG Group PLC United Kingdom Crude petroleum and natural gas Royal Dutch Shell PLC Netherlands Petroleum refining 100
3 38.8 Allergan PLC-Generic Drug Business United States Pharmaceutical preparations Teva Pharmaceutical Industries Ltd Israel Pharmaceutical preparations 100
4 31.9 ARM Holdings PLC United Kingdom Semiconductors and related devices SoftBank Group Corp Japan Radiotelephone communications 99
5 31.0 Baxalta Inc United States Pharmaceutical preparations Shire PLC Ireland Pharmaceutical preparations 100
6 28.5 Chubb Corp United States Fire, marine and casualty insurance ACE Ltd Switzerland Life insurance 100
7 22.7 Johnson Controls Inc United States Refrigeration and heating equipment Tyco International PLC Ireland Security systems services 100
8 21.4 Visa Europe Ltd United Kingdom Functions related to depository banking, nec Visa Inc United States Functions related to depository banking, nec 100
9 18.8 EE Ltd United Kingdom Radiotelephone communications BT Group PLC United Kingdom Telephone communications, except radiotelephone 100
Shares
Value
Rank Acquired company Host economya Industry of the acquired company Acquiring company Home economya Industry of the acquiring company acquired
($ billion)
(%)
38 5.5 Markit Ltd United Kingdom Information retrieval services IHS Inc United States Computer programming services 100
39 5.3 CITIC Real Estate Group Co Ltd China Land subdividers and developers, except cemeteries China Overseas Land & Investment Ltd Hong Kong, China Land subdividers and developers, except cemeteries 100
40 5.3 Amlin PLC United Kingdom Fire, marine and casualty insurance Mitsui Sumitomo Insurance Co Ltd Japan Fire, marine and casualty insurance 100
41 5.0 Reynolds American Inc United States Cigarettes Japan Tobacco Inc Japan Cigarettes 100
42 5.0 StanCorp Financial Group Inc United States Accidental and health insurance Meiji Yasuda Life Insurance Co Japan Life insurance 100
43 4.8 General Electric Co Japan Misc business credit Sumitomo Mitsui Finance & Leasing Co Ltd Japan Equipment rental and leasing, nec 100
44 4.7 TNT Express NV Netherlands Courier services, except by air Fedex Acquisition BV Netherlands Investment offices, nec 100
45 4.6 Cleco Corp United States Electric services Investor Group Australia Investors, nec 100
46 4.6 HSBC Bank Brasil SA Banco Multiplo Brazil Banks Banco Bradesco SA Brazil Banks 100
47 4.6 Petco Animal Supplies Inc United States Retail stores, nec Investor Group United Kingdom Investors, nec 100
48 4.4 Playtika Ltd Israel Prepackaged software Investor Group China Investors, nec 100
49 4.4 Betfair Group PLC United Kingdom Amusement and recreation services Paddy Power PLC Ireland Amusement and recreation services 100
50 4.3 Gas Natural SDG SA Spain Natural gas transmission GIP III Canary 1 SARL Luxembourg Management investment offices, open-end 20
51 4.1 LeasePlan Corp NV Netherlands Passenger car leasing LP Group BV Netherlands Investment offices, nec 100
52 4.0 Acerta Pharma BV Netherlands Pharmaceutical preparations AstraZeneca PLC United Kingdom Pharmaceutical preparations 55
Taiwan Province of Taiwan Province of
53 4.0 Inotera Memories Inc Semiconductors and related devices Micron Semiconductor Taiwan Co Ltd Semiconductors and related devices 67
China China
54 3.8 Symetra Financial Corp United States Life insurance Sumitomo Life Insurance Co Japan Life insurance 100
55 3.8 Telecity Group PLC United Kingdom Computer facilities management services Equinix Inc United States Computer facilities management services 100
56 3.7 Agencia Nacional de Energia Eletrica Brazil Electric services China Three Gorges Brasil Energia Ltda Brazil Electric services 100
57 3.6 Sun Products Corp United States Soap and other detergents, except specialty cleaners Henkel Consumer Goods Inc United States Perfumes, cosmetics and other toilet preparations 100
58 3.6 Thomson Reuters Corp United States Information retrieval services Investor Group Hong Kong, China Investors, nec 100
Taiwan Province of
59 3.5 Sharp Corp Japan Household audio and video equipment Investor Group Investors, nec 72
China
60 3.4 Big C Supercenter PCL Thailand Grocery stores Thai Charoen Corp Group Thailand Distilled and blended liquors 59
61 3.4 United Guaranty Corp United States Mortgage securities finance company Arch Capital Group Ltd Bermuda Fire, marine and casualty insurance 100
62 3.2 Chemetall GmbH Germany Industrial organic chemicals, nec BASF SE Germany Industrial organic chemicals, nec 100
63 3.2 Coca-Cola Erfrischungsgetraenke AG Germany Bottled and canned soft drinks, and carbonated waters Coca-Cola European Partners Ltd United Kingdom Bottled and canned soft drinks, and carbonated waters 100
64 3.1 Brake Bros Ltd United Kingdom Packaged frozen foods Sysco Corp United States Groceries, general line 100
Taiwan Province of Taiwan Province of
65 3.1 Hermes Microvision Inc Special industry machinery, nec Ai Pu Ssu Lung Co Ltd Investors, nec 100
China China
66 3.1 Finansbank AS Turkey Banks Qatar National Bank SAQ Qatar Banks 100
67 3.1 Dell Systems Corp United States Computer facilities management services NTT Data Corp Japan Computer integrated systems design 100
68 3.0 H3C Technologies Co Ltd China Telephone and telegraph apparatus Unisplendour International Technology Ltd Hong Kong, China Computer peripheral equipment, nec 51
Annex tables
235
EXPLANATORY
NOTES
The terms country and economy as used in this Report also refer, as appropriate, to
territories or areas; the designations employed and the presentation of the material do not
imply the expression of any opinion whatsoever on the part of the Secretariat of the United
Nations concerning the legal status of any country, territory, city or area or of its authorities,
or concerning the delimitation of its frontiers or boundaries. In addition, the designations
of country groups are intended solely for statistical or analytical convenience and do not
necessarily express a judgment about the stage of development reached by a particular
country or area in the development process. The major country groupings used in this Report
follow the classification of the United Nations Statistical Office:
Developed economies: the member countries of the OECD (other than Chile, Mexico, the
Republic of Korea and Turkey), plus the new European Union member countries which
are not OECD members (Bulgaria, Croatia, Cyprus, Lithuania, Malta and Romania), plus
Andorra, Bermuda, Liechtenstein, Monaco and San Marino, plus the territories of Faeroe
Islands, Gibraltar, Greenland, Guernsey and Jersey.
Transition economies: South-East Europe, the Commonwealth of Independent States and
Georgia.
Developing economies: in general, all economies not specified above. For statistical
purposes, the data for China do not include those for Hong Kong Special Administrative
Region (Hong Kong SAR), Macao Special Administrative Region (Macao SAR) and Taiwan
Province of China.
Methodological details on FDI and MNE statistics can be found on the Report website
(unctad/diae/wir).
Reference to companies and their activities should not be construed as an endorsement by
UNCTAD of those companies or their activities.
The boundaries and names shown and designations used on the maps presented in this
publication do not imply official endorsement or acceptance by the United Nations.
The following symbols have been used in the tables:
Two dots (..) indicate that data are not available or are not separately reported. Rows
in tables have been omitted in those cases where no data are available for any of the
elements in the row.
A dash () indicates that the item is equal to zero or its value is negligible.
A blank in a table indicates that the item is not applicable, unless otherwise indicated.
A slash (/) between dates representing years, e.g., 2010/11, indicates a financial year.
Use of a dash () between dates representing years, e.g., 20102011, signifies the full
period involved, including the beginning and end years.
Reference to dollars ($) means United States dollars, unless otherwise indicated.
Annual rates of growth or change, unless otherwise stated, refer to annual compound rates.
Details and percentages in tables do not necessarily add to totals because of rounding.
236 World Investment Report 2017 Investment and the Digital Economy
WORLD INVESTMENT REPORT
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FDI Statistics
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