REVIEW OF CHAPTER TWO & THREE: Oatley, Thomas. 2012. International Political Economy. Pearson Education, Inc. PP 1-68
REVIEW OF CHAPTER TWO & THREE: Oatley, Thomas. 2012. International Political Economy. Pearson Education, Inc. PP 1-68
REVIEW OF CHAPTER TWO & THREE: Oatley, Thomas. 2012. International Political Economy. Pearson Education, Inc. PP 1-68
net/publication/327861640
CITATIONS READS
0 1,134
1 author:
SEE PROFILE
Some of the authors of this publication are also working on these related projects:
All content following this page was uploaded by Julius Adavize Adinoyi on 25 September 2018.
REVIEW
OF
BY
JULIUS ADAVIZE ADINOYI
FEBRUARY, 2015.
TABLE OF CONTENT
TABLE OF CONTENT....................................................................................................................................... 0
CHAPER TWO AND THREE: ............................................................................................................................ 1
The World Trade Organization and The World Trade System ...................................................................... 1
Introduction .............................................................................................................................................. 1
What is World Trade Organization (WTO) ................................................................................................ 1
Power and interest in world trading system ............................................................................................. 2
Evolving WTO new directions and new challenges ................................................................................... 3
Regional Trade arrangement (RTA) and WTO ........................................................................................... 4
Economic case for new trade cooperation ............................................................................................... 5
Politics of Trade Cooperation .................................................................................................................... 6
WTO and trade Cooperation ..................................................................................................................... 7
Conclusion ................................................................................................................................................. 8
CHAPER TWO AND THREE:
The World Trade Organization and The World Trade System
Introduction
There are rising interconnectedness of national economies, this have created a high networking
of producers fusing their contribution –through manufacturing and designs at various product
production stage which are usually not bounded to a certain geolocation but cross border or inter-
boundary production thus also increasing potentials of international consumption; and also
creating globalization consequences –concentration of production specialization of some
products in certain countries and likewise increased concentration of consumption of specific
goods in certain countries. This rapid growth of international trade would not have been realized
without the international political foundation –General Agreement on Trade and Tariffs (GATT)
created after the WW2 for economic resuscitation and subsequently transformed to WTO in
1995.
Cooperation is needed in order to achieve the goals of the World Trade Organization (WTO) but
more often those efforts are undermined by interest to take advantage of the other and the fear of
been exploited unless there are stronger assurance of reciprocated cooperation and this can only
be achieved when WTO members bind on the principles and rule that have been put in place.
The principle is based on market liberalism –open international trading system that raises world
welfare, and on Nondiscrimination –equality and unbiased international trading system stressing
prohibition of two mechanisms i.e. firstly, prohibition of Most Favoured Nation (MFN) trading
mechanism e.g. Nigeria cannot apply higher tariff to goods imported from China and lower that
same product imported from other WTO members unless (1) if the latter (the exporting
nation)for instance is in a regional trade arrangement with the importing nation, (2) if
Generalized System of Preference (GSP) is applied –highly advanced countries applies higher
tariff for imports from industrialized nations and lower for developing countries. Secondly,
1
prohibition of National treatment –i.e. using tax, regulations, and other domestic policies to
providing an advantage for domestic firms at the expense of foreign firms. The two principles
along with other accompanying rules ensure free market opportunities and equalities of barriers
in the global economy. Those rules emerge from intergovernmental bargaining –rounds of
negotiations by governments‘ representatives in WTO Ministerial Conference, eight of such
rounds (Geneva 1947, Annecy 1949, Torquat 1951, Geneva1956, Dillon1961, Kennedy1967,
Tokyo 1979, and Uruguay 1993) have been concluded as at 2010. The current round Doha 2001
aimed to lower trade barriers around the world, and thus facilitate increased global trade. The
non-conclusion are rooted in the domestic politics of key WTO members on the core mercantilist
items of the Doha agenda—agriculture and manufacturing. While some members—notably the
U.S—are not able to live with a low-ambition deal, others—notably China, India, and Brazil—
cannot commit to elements of a high-ambition deal.1
The WTO‘s dispute settlement mechanism is to ensure compliance as most governments will
always seek to evade rules if there are no authorizing punishments in case of noncompliance.
Also rules emanating from negotiation rounds are binding to member states and generally
obliged to acceptance under the international law.
1
David Kleimann, Joe Guinan , and Petros C. Mavroidis, 2011. The Doha Round: An Obituary. Global
GovernaceProgrammehttp://globalgovernanceprogramme.eui.eu/wp-
content/themes/NewEuitemplate/Documents/Publications/PolicyBriefs/PolicyBrief20111final.pdf
2
system. E.g. the fall of British hegemon lead to the collapse of liberal international trading
system as seen after WW1, and the rise of U.S to the hegemon by providing the cost of stability
of the new international trading system after WW2. Thus there must be a hegemon for ther to be
stability of international trade in the global economy, and the instability of international trade to
bring in hegemonic transition. Lately Chinas‘ economy has topped the world economy and
paradox of whether the world is silently experiencing hegemonic transition. The assertion is that
a nation with power dominates its interest in the processes and outcomes of the international
trading system.
The core principles of WTO have been stable for about 60 years, but thereafter experiencing
substantive change due to the: Firstly, emergence of powering bloc by the developing nations –
under the leadership of largest emerging economies of Brazil, China and India –within the WTO
as they continue to increase WTO membership tremendously and thus harder consensus among
larger number of governments. This new interests have contrasted to a greater extent the prior
interest of initial ‗rich country club’ GATT –of U.S, the EU and Japan –which neglected the
liberation of interest areas of developing countries. Secondly, is the emergence of powerful force
of the NGOs outside the WTO. This has complicated the decision making processes as evidently
seen in the current inconclusive Doha round 2001.
Changes from outside the WTO have greatly compounded the changes within the WTO. There
were fewer interest group paying attention to GATT than they are today with WTO. E.g. NGOs
have increased concern of WTO safeguarding the health and environmental safety of consumers
and so that tariffs/ trade barriers are not used in disguise of protecting consumer health
risk/environmental safety risk as it rather covertly serves the interest of protective trade, this
concern have pushed the emergence of WTO rule compliance deficit in terms on WTO
Agreement on Sanitary and Phytosanitary Standards and yet a gap still exist in meeting the
interest of the consumers. These have created increasing trends of consumer interest mobilization
by NGOs around the WTO. This new concerns have raised proposal for WTO to adopt a steering
committee –alike of the United Nations Security Council –an open system to NGOs –limiting
governments inclusiveness in decision making and thus rejected by many until a better decision
making alternative is produced and consensually agreed upon to be adopted.
3
Regional Trade arrangement (RTA) and WTO
RTA is trade arrangement between two or more countries –usually located in same region –in
which each country offers preferential market trading system to the other. The RTA takes two
forms: free trade areas –elimination of tariff on members‘ goods/services but members retains
independent tariffs on non-members‘ goods; and custom union –elimination of tariffs on
members‘ goods but imposition of common tariffs on non-members‘ goods. This thus clearly
allows regional trade discrimination –an exception to WTO principles while WTO still
contradictorily encourages nondiscriminatory trade. There are about 190 to 250 RTAs, more than
half of the RTAs are bilateral agreements, Europe and Mediterranean regions accounts for about
70% of current RTAs in operation while North/South America account for 12% while sub-sahara
Africa and Asia-pacific shares the 18%. The region with higher RTAa above can be argued to be
as a result of the collapse of the Soviet bloc. In general, the proliferation of RTAs can be
attributed to one or more of the following: (1) country‘s desire to gain more secureaccess to the
market of a particularly important trading partner (2) need to signal a strong commitmentto
economic reform offered by foreign investors (3) need to increase their –as an RTA group
bargainingpower in multilateral trade negotiations –and also increase consensus boycott of
granting market access to WTO members unwilling to make WTO concessions in the interest of
the RTA group. Thus RTAs can be said to be paradoxical, in the sense that it compliments WTO
through trade liberalization leaving a resultant economic competing consequence termed trade
creation and conversely as a challenger through regional institutionalization of discrimination
within world trade and leaving a resultant economic competing consequences termed trade
diversion. Those two competing consequences are determinant on RTA‘s net trade impact.i.e.
trade liberation is when more trades are created than diverted, and trade protectionism if more
trade is diverted than created. However it is important to note that the RTA‘s net trade position
changes overtime and not constant.
Relatively the effect of RTA exerts some kind of gravitational pressure on non-RTA members
which drives them to join RTA overtime e.g. over the last 40 years EU has expanded from 6 to
25 member countries. By contrast the creation of large RTA in one region could encourage the
formation of protectionist RTA in other region e.g. RTA formations in Southern America in
response of the growing global north RTAs.
4
Economic case for new trade cooperation
PPF also denotes measure for consumer utility, the higher the indifference curve the more utility
consumers are said to be able to benefit from a product as indicated in xyz and opq at P. The
indifference curve can be characterized by (1) downward slope –called marginal rate of
substitution indicating how much consumer is willing to give up goods A to acquire goods B (2)
inwards bend to the origin –diminishing marginal utility consumption indicating how consumer
will be less willing to give up product B for more of product A.
The PPF and indifference curve allow an indication of equilibrium production and consumption
–an occurrence where marginal rate of transformation (slope of PPF) equates marginal rate of
substitution (slope of indifference curve) at point P.
What a country trades matters in relation to the country‘s cooperation 2 in bilateral of multilateral
agreements e.g. is in the Doha 2001, where tariffs removal on agriculture and manufacture goods
cannot be reached because of the interest of Global North and Japan3.
The politics of trade cooperation revolves around the fact that governments –even if they realise
that they would benefit from completely complying –will be reluctant to enter into trade
agreements in bilateral or multilateral situations because of the political gap in rule enforcements
–government cannot be certain that other government will comply with the trade agreement that
they conclude thus the ‗prisoners dilemma’ explains why a country and/or group of governments
A (assuming they are G20 –developing nation‘s‘ producing agricultural goods)will make choice
of compliance with ‘othercountry and/or group of countries’ B (assuming they are EU –
developed nation ‗s‘ producing manufactured goods) as shown in table 1.
Each can open its market to other‘s export called Liberalization ‘area a’;
They decide to close each other‘s domestic product into their country using tariff called
Protection ‘area c’;
2
Peterson, Timothy M. and Cameron G. Thies. 2011. ―Intra-industry trade, veto players and the formation of preferential trade agreements.‖
Unpublished manuscript.
3
Hanrahan, Charles; Randy Schnepf (2007). "WTO Doha Round: The Agricultural Negotiations" .Congressional Research
Service.http://www.nationalaglawcenter.org/wp-content/uploads/assets/crs/RL33144.pdf
6
B liberates –decrease import tariffs on A but A protects –unchanged import tariffs on B shown in
‗area b‘. This is a situation where A –developed country(s) gains most because open exports and
tight imports.
B protects –unchanged import tariffs from A but A liberates –decreased import tariffs from B
shown in ‗area d‘. This is a situation where B –developing country(s) gains most because of open
exports and tight imports.
Thus A and B payoff order are identical but in reversal positions of their most and least preferred
outcomes. And therefore this explains why government(s) will always want to play
protectionstrategy i.e. developed nation protects their industrial advancement while developing
industry protects their new expanding industry.
If both government(s) decides to play protect game: then Pareto suboptimality is observed i.e. no
one benefits at the expense of the other; also Nash equilibrium is observed i.e. neither of the
government(s) will have a change incentive of their strategy ‗from protection to liberalization‘ in
order not to take the position of the least ‗Preference Order‘.
Therefore the WTO steps in in the first two strategies above and provides enabling information
that government(s) needs for them to make a reciprocal strategy/ tit-for-tat strategy effectively
7
whether partnering parties are complying or cheating in trade agreements. This is achieved
through WTO rule compliance evaluations and subsequent collection and dissemination of high
quality information on members‘ trade policies. This approach also works out conflict resolution
mechanism –where the WTO‘s Dispute Settlement Mechanism (DSM) initiates Dispute
Settlement Body (DSB) for conflicting-partners-consultations when a government(s) files an
alleged trade rule violation by another government(s), and subsequently an expert panel is
formed –if the DSB cannot resolve the conflict –to investigate the complaint.
For example, the case of U.S subsidizing American cotton farmers which provided them trade
advantage in global markets that harmed the Brazil‘s cotton growers and violated the WTO rules.
The expert panel came up with findings approved by DSB –after DSB was unable to solve the
conflict – that the U.S indeed violated trade rule, the U.S appealed the case but the appellate
panel upheld the findings –findings which was also upheld the second time after U.S modified its
cotton policy to find favour, and consequently the WTO authorized Brazil to retaliate by
adopting increased tariffs on U.S-Brazil imports in cost commensuration ($823 million per year)
to what Brazil had earlier lost but the U.S was able to win its way out by privately returning to a
negotiation table with Brazil, –by offering to pay $147 million per year to develop Brazilian
agribusiness, in exchange that Brazil agrees with the modified U.S cotton policy and not impose
retaliatory tariff even though it still violates the WTO rules.
Thus WTO helps government(s) gain assurance to conclude trade agreements with/without less
fear/fear of been cheated and enables a liberal trade that open up the globe to welfare gains.
Conclusion
Multilateral trade systems are an international political system that regulates governments‘
political/economic influence on cross-border trade. WTO alike of such system reflects to a
greater extent the interest of powerful states. Although the institution seek to promote world
welfare which continually draws the interest of an increasing memberships but saw the
emergence of challenging groups –like G20 which consequently have made decision making
resolutions a greater achieving task.
Despite those challenges, the WTO exists to facilitate international cooperation and enable
solution to welfare consequences, but politics through bargaining power in negotiations make the
8
realization of these gains difficult, also in compliance to trade there is a problem of enforcement
which in entire WTO and an intergovernmental organization aims to solve.