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哥伦比亚大学国际直接投资展望中文版都可以在我们的网站查看:
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*Columbia FDI Perspectives*
Perspectives on topical foreign direct investment issues
No. 256  July 15, 2019
Editor-in-Chief: Karl P. Sauvant ([log in to unmask])
Managing Editor: Alexa Busser ([log in to unmask])
*Incentivizing sustainable FDI: The Authorized Sustainable Investor*
<https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=24f716ee50&e=40ff3e1607>
* <#m_6061571785173817040__edn1>
by
Evan Gabor and Karl P. Sauvant** <#m_6061571785173817040__edn2>

If there ever should be a Multilateral Framework on Investment Facilitation
for Development it would, presumably, contain a list of measures meant to
facilitate *all* FDI inflows by *all* investors.

While, on balance, virtually all FDI can contribute to development,
maximizing its development impact requires special efforts. To ensure that
a Multilateral Framework directly and maximally contributes at the project
level to host countries’ development requires motivating foreign investors
to undertake *sustainable* FDI, i.e., “commercially viable investment that
makes a maximum contribution to the economic, social and environmental
development of host countries and takes place in the context of fair
governance mechanisms.”[1] <#m_6061571785173817040__edn3>

The Authorized Operators provision of the Trade Facilitation Agreement (TFA)
[2] <#m_6061571785173817040__edn4> offers an analogy, precedent and model
for motivating best-practice use in trade. Under the TFA, members may
provide additional facilitation benefits to operators who meet certain
criteria, including a record of customs compliance, financial solvency or
supply-chain security. The benefits include reduced documentation
requirements, deferred taxes and a single customs declaration.[3]
<#m_6061571785173817040__edn5>

Creating a category of “Authorized Sustainable Investors” (ASIs) would
similarly entitle qualifying international investors to
investment-facilitation benefits that go beyond those available to all
investors. Constructing such an analog presents challenges, including: what
could be qualifying criteria that can be reasonably monitored, and what
could be additional benefits that would make it worthwhile for investors to
seek ASI status?

The ASI approach could contain three main parts:

*Basic criteria. *Investors would have to meet certain basic criteria to
qualify, no matter in which host countries they are established.
Importantly, they would have to commit to observe certain internationally
recognized guidelines, especially the ILO MNE Declaration
<https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=d7e8674dc8&e=40ff3e1607>,
the UN Guiding Principles on Business and Human Rights
<https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=9cb7e24937&e=40ff3e1607>
and the OECD Guidelines for Multinational Enterprises
<https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=5858105b8f&e=40ff3e1607>.
Additional requirements could include making their CSR statements and
progress reports widely available and having a record of compliance with
local laws. The purpose of these basic requirements is to ensure that
investors accept internationally recognized norms and show a history of
responsible behavior in their operations.

*Country-specific criteria.* Furthermore, investors would commit to use
reasonable best efforts to ensure their investments fulfill certain FDI
sustainability characteristics established by host countries. Such a
standard focuses on investors’ efforts to fulfill commitments rather than
requiring countries to monitor whether investors meet certain metrics for
each characteristic. Though each country could develop its own list of
sustainability characteristics, that list could be guided by a general
indicative list of FDI sustainability characteristics.[4]
<#m_6061571785173817040__edn6> The list could include commitments to, for
example, create backward linkages, engage in community development, reduce
the carbon footprint, follow proper resource-management practices, use
non-discriminatory hiring practices, observe human rights, maintain
supply-chain standards, and engage with stakeholders—all contributions to
host country development that many governments seek and many investors say
they make. Allowing countries to indicate the sustainability
characteristics that qualify investors as “sustainable” ensures that the
additional benefits target those investors whose investments likely support
specific countries’ development goals. Simultaneously, investors have the
flexibility to choose those characteristics most appropriate to their
projects.

*Additional benefits.* Once investors meet the basic and country-specific
requirements, they would qualify for additional ASI benefits beyond those
generally available to all investors. Countries could choose additional
benefits (as done in the TFA). Benefits could include access to a dedicated
sustainable investor focal point within countries’ investment promotion
agencies who works exclusively with ASIs throughout the life-cycle of their
investments; priority assistance to ASIs (and perhaps at reduced fees
and/or charges) in meeting establishment requirements; providing exclusive
employee training programs; helping ASIs in creating local backward
linkages through linkage programs that upgrade local suppliers; and
offering targeted fiscal and/or financial incentives.[5]
<#m_6061571785173817040__edn7> Positive publicity and “soft” recognition
benefits could also be considered, for example, awards and easy access to
high-ranking officials.

Host countries could be responsible for designating ASIs, perhaps together
with the investors’ home countries. The list of ASIs could be made public,
accessible to competitors and NGOs. Such transparency would help mitigate
the risk of unwarranted designations, help in monitoring and entice
investors to use reasonable efforts for fear of naming-and-shaming if found
derelict in their commitments.

As the WTO continues the Structured Discussion on Investment Facilitation
for Development, the goal of increasing FDI through enhanced facilitation
measures should be coupled with the goal of increasing sustainable FDI
flows. An ASI category constitutes one mechanism through which such a goal
could be achieved. It would especially help those host countries that
urgently need more investment but have weak bargaining power (especially
least developed countries) to pursue an approach that increases the
likelihood of receiving sustainable FDI.

Finally—and independently of the outcome of the Structured
Discussions—individual countries can of course create the category of
Authorized Sustainable Investors on their own, to attract sustainable FDI.

------------------------------
* <#m_6061571785173817040__ednref1> *The Columbia FDI Perspectives are a
forum for public debate. The views expressed by the author(s) do not
reflect the opinion of CCSI or Columbia University or our partners and
supporters. Columbia FDI Perspectives (ISSN 2158-3579) is a peer-reviewed
series.*
** <#m_6061571785173817040__ednref2>  Evan Gabor ([log in to unmask]
<https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=5b154a3dd9&e=40ff3e1607>)
is a J.D. Candidate at Columbia Law School; Karl P. Sauvant (
[log in to unmask]
<https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=bca46c24ec&e=40ff3e1607>)
is Resident Senior Fellow, Columbia Center on Sustainable Investment, a
joint center of Columbia Law School and the Earth Institute at Columbia
University. The authors wish to thank Persa Economou, John Kline and Lou
Wells for their helpful peer reviews.
[1] <#m_6061571785173817040__ednref3> Karl P. Sauvant and Howard Mann,
“Towards an indicative list of FDI sustainability characteristics" (Geneva:
ICTD/WEF, 2017), p. 2
<https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=97c9d2e385&e=40ff3e1607>
.
[2] <#m_6061571785173817040__ednref4> Agreement on Trade Facilitation, Art.
7, para. 7
<https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=57584c065a&e=40ff3e1607>
.
[3] <#m_6061571785173817040__ednref5> Ibid., Art. 7 paras. 7.2, 7.3.
[4] <#m_6061571785173817040__ednref6> Sauvant and Mann, op. cit., p. 8.
[5] <#m_6061571785173817040__ednref7> For incentives targeting sustainable
development, see, Christian Kollinsky and Nerys Coleman, “Incentives for
Sustainable Development”, Wavteq (May 2019)
<https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=e3f651b419&e=40ff3e1607>
.
*The material in this Perspective may be reprinted if accompanied by the
following acknowledgment: “Evan Gabor and Karl P. Sauvant, ‘Incentivizing
sustainable FDI: The Authorized Sustainable Investor,’ Columbia FDI
Perspectives, No. 256, July 15, 2019. Reprinted with permission from the
Columbia Center on Sustainable Investment (**www.ccsi.columbia.edu
<http://www.ccsi.columbia.edu>**).” A copy should kindly be sent to the
Columbia Center on Sustainable Investment at **[log in to unmask]*
<[log in to unmask]>*.*

For further information, including information regarding submission to the
*Perspectives*, please contact: Columbia Center on Sustainable Investment,
Alexa Busser, [log in to unmask]

*Most recent Columbia FDI Perspectives*
<https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=5c64bfa78a&e=40ff3e1607>


   - No. 255, Kinda Mohamadieh, “A legally binding instrument on business
   and human rights to advance accountability and access to justice,” July 1,
   2019
   - No. 254, Marion A. Creach, “Assessing the legality of
   data-localization requirements: Before the tribunals or at the negotiating
   table?,” June 15, 2019
   - No. 253, Frank J. Garcia and Kirrin Hough, “The case against third
   party funding in investment arbitration,” June 3, 2019

*All previous FDI Perspectives are available at
**http://ccsi.columbia.edu/publications/columbia-fdi-perspectives/
<http://ccsi.columbia.edu/publications/columbia-fdi-perspectives/>**. *

Karl P. Sauvant, Ph.D.
Resident Senior Fellow
Columbia Center on Sustainable Investment
Columbia Law School - Earth Institute
Ph: (212) 854-0689
Fax: (212) 854-7946
*Copyright © 2019 Columbia Center on Sustainable Investment (CCSI), All
rights reserved.*
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*Karl P. Sauvant, PhD*


*Resident Senior Fellow*
*Columbia Center on Sustainable Investment*
Columbia Law School - The Earth Institute, Columbia University
435 West 116th St., Rm. JGH 825, New York, NY 10027
| p: (212) 854 0689 | cell: (646) 724 5600 e: [log in to unmask]
| w: www.ccsi.columbia.edu | t: @CCSI_Columbia
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"The potential value-added of a multilateral framework on investment
facilitation for development", "Promoting sustainable FDI through
international investment agreements", "Determining Quality FDI", "The State
of the International Investment Law and Policy Regime", "Towards G20
Guiding Principles on Investment Facilitation for Sustainable Development",
"Five Key Considerations for the WTO Investment-facilitation Discussions,
Going Forward", "Arriving at Sustainable FDI Characteristics", "Putting FDI
on the G20 Agenda", "International Investment Facilitation: By Whom and for
What?", "Moving the G20's Investment Agenda Forward", "Sustainable FDI for
Sustainable Development", "Towards an Investment Facilitation Framework:
Why? What? When?", "Beware of FDI Statistics!", "Towards an Indicative List
of FDI Sustainability Characteristics", and "The Evolving International
Investment Law and Policy Regime: Ways Forward" *are* available at
https://ssrn.com/author=2461782 and
http://www.works.bepress.com/karl_sauvant/.

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