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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:
https://ccsi.columbia.edu/content/columbia-fdi-perspectives
<https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=b0173827b0&e=763bcf158c>
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*Columbia FDI Perspectives*
Perspectives on topical foreign direct investment issues
Editor-in-Chief: Karl P. Sauvant ([log in to unmask])
Managing Editor: Matthew Conte ([log in to unmask])

*The Columbia FDI Perspectives are a forum for public debate. The views
expressed by the authors do not reflect the opinions of CCSI or our
partners and supporters.*

No. 367   October 2, 2023
*CFIUS part II? The US moves to restrict outbound FDI to China*
<https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=a9e9226f9b&e=763bcf158c>
by
Brian Egan and Katie Clarke* <#m_5641491786616334260__edn1>

Amidst continued tensions with China, the Biden Administration released, on
August 9, 2023, an executive order (the Order
<https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=26ee3d83aa&e=763bcf158c>)
and, an advance notice of proposed rulemaking (ANPRM
<https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=f38cf546fe&e=763bcf158c>)
for regulating outbound US FDI to China (including Hong Kong and Macau).
The Order directs the Department of the Treasury to establish a program
(the Program) to prohibit certain outbound FDI in Chinese technology
companies and require advance notice for other investments. Treasury
Secretary Janet Yellen and others emphasized that the restrictions
will be “highly
targeted and clearly directed at a few sectors
<https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=6baef3175c&e=763bcf158c>
.”

The Order and ANPRM come nearly one year after the Administration’s 2022
National Security Strategy announced
<https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=3b7c0a799b&e=763bcf158c>
(p. 33) that it was “pursuing targeted new approaches, such as screening of
outbound investment, to prevent strategic competitors from exploiting
investments.” The Program is unlikely to come into effect for several
months.

A new mechanism to review *outbound* US FDI complements existing authority
to review *inbound* US FDI. In 1988, Congress authorized the President to
conduct national security reviews of foreign investment in US businesses.
The Committee on Foreign Investment in the United States
<https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=2059d2e76e&e=763bcf158c>
(CFIUS), an interagency committee chaired by the US Department of the
Treasury, conducts these reviews on the President’s behalf.

While Congress has considered regulating outbound US investment for several
years, legislation has proven to be elusive. In September 2022, several
members of Congress who have been key proponents for legislation, led by
Senators Robert Casey (D-Pa.) and John Cornyn (R-Tx.), wrote to President
Biden
<https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=8da4f161c2&e=763bcf158c>
to “urge your Administration to move forward with executive action—which
can then be bolstered by statutory provisions—to safeguard our national
security and supply chain resiliency on outbound investments to foreign
adversaries.” Senator Casey recently introduced another legislative proposal
<https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=a126a12ee1&e=763bcf158c>
that would require notification of certain outbound investment, but would
not prohibit any transactions. Thus, while the Order represents the first
step toward regulating outbound US investment, legislative action is likely
to follow.

The scope and contours of the Program are not settled. The ANPRM solicits
public feedback on dozens of questions, including the definition of “U.S.
persons” subject to the Program and their compliance obligations under the
Program, the  technologies and products covered by the Program from within
the three broad industry sectors identified in the Order (semiconductors
and microelectronics, quantum information technologies, artificial
intelligence systems) and the types of transactions (e.g., investments in
public securities) that may be carved out from the Program. This *Perspective
*identifies three key issues the Administration must address in finalizing
the Program:

   - *Defining the problem*. The ANPRM states (p. 54962) that US investment
   can result in “enhanced standing and prominence” and other “intangible
   benefits” that create national security risks when Chinese investment
   targets are developing sensitive technologies and products. To address this
   problem in a targeted fashion, the Program must focus on (1) transactions
   that can yield such “intangible benefits” and (2) technology companies that
   are truly sensitive.  Many of the questions in the ANPRM seek input on how
   these concepts should be defined.
   - *Are these sanctions or something else?* Although some
   <https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=ace80b4133&e=763bcf158c>have
   called the concept of outbound FDI review a “reverse CFIUS,” the Program
   proposed by the Administration is more akin to a targeted economic
   sanctions program (indeed, some members of Congress
   <https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=d631b8768a&e=763bcf158c>
   have advocated that the Administration should use sanctions-like
   authorities to administer the Program). Unlike CFIUS, in which the
   government reviews and approves transactions on a case-by-case basis, the
   Program will categorically prohibit certain investments and require
   reporting for others. The US government already uses economic sanctions to
   prohibit new capital investments by US persons in Russia
   <https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=93a2b04afc&e=763bcf158c>
   and in securities of “Chinese Military-Industrial Companies
   <https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=013b2c0023&e=763bcf158c>.”
   For the Program to succeed, however, it must be more investor-friendly than
   a typical sanctions program. Sanctions restrictions are notoriously
   ambiguous and can lead to “over compliance,” given the significant
   penalties associated with sanctions violations. Ambiguity and “over
   compliance,” however, would not serve the Program’s objectives, which
   expressly do not change longtime US policy supporting open investment and
   free markets, including in China.
   - *International cooperation*. Without international action by partners
   and allies, the US cannot cut off investment in Chinese industries of
   potential concern.  Some US allies have signaled
   <https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=a5137f6ca8&e=763bcf158c>
   a willingness to consider outbound FDI restrictions, and the Treasury’s fact
   sheet
   <https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=c505d734d7&e=763bcf158c>
   clarifies that the Order and ANPRM take into account discussions with
   partners and allies.  These initiatives, however, are months, if not years,
   from fruition.

The US. government must navigate these issues for the Program to have its
intended impact on investment in a narrow category of technology companies
in China. Success will require the Administration to straddle the line
between creating a toothless new regime and one that would broadly stifle
US firms’ investments in China.

------------------------------
* <#m_5641491786616334260__ednref1> Brian Egan ([log in to unmask]) is
a Partner at Skadden, Arps, Slate, Meagher & Flom LLP; Katie Clarke (
[log in to unmask]) is an Associate at Skadden, Arps, Slate,
Meagher & Flom LLP. The authors wish to thank Daniel Gerkin, Stephen
Heifetz and Joachim Pohl for their helpful peer reviews.
*The material in this Perspective may be reprinted if accompanied by the
following acknowledgment: “Brian Egan and Katie Clarke,** ‘**CFIUS part II?
The US moves to restrict outbound FDI to China,**’ Columbia FDI
Perspectives, No. 367, October 2, 2023. Reprinted with permission from the
Columbia Center on Sustainable **Investment (*http://ccsi.columbia.edu
<https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=98311e8e8a&e=763bcf158c>*).”
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,
Matthew Conte, [log in to unmask]

*Most recent Columbia FDI Perspectives*
<https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=319b785a10&e=763bcf158c>


   - No. 366, Gary Gereffi, ‘Navigating 21st century industrial policy
   <https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=8655ae6c97&e=763bcf158c>,’
   *Columbia FDI Perspectives*, September 18, 2023
   - No. 365, Gaurav Pundir, ‘How can governments help small enterprises
   integrate into global value chains?
   <https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=fa77fa3f25&e=763bcf158c>’
   *Columbia FDI Perspectives*, September 4, 2023
   - No. 364, Gary Clyde Hufbauer, ‘Learning from Brexit: what parallels
   for decoupling from China
   <https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=9f068f6483&e=763bcf158c>?’
   *Columbia FDI Perspectives*, August 21, 2023

*All previous FDI Perspectives are available at
https://ccsi.columbia.edu/content/columbia-fdi-perspectives
<https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=c6b0a4c9db&e=763bcf158c>*
.

*Other relevant CCSI news and announcements*

   - *October 17, 2023:* CCSI will host a webinar entitled, "Europe's
   Decarbonization Transition Plan: Addressing Gas Supply Turbulence and
   Implementing a Robust Permitting Framework." *For more details, and to
   register, visit our website
   <https://columbia.us6.list-manage.com/track/click?u=ab15cc1d53&id=82b69ca916&e=763bcf158c>.*

Karl P. Sauvant, Ph.D.
Senior Fellow
Columbia Center on Sustainable Investment
Columbia Law School - Columbia Climate School
*Copyright © 2023 Columbia Center on Sustainable Investment (CCSI), All
rights reserved.*
[log in to unmask]

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*Karl P. Sauvant, PhD*


*Senior Fellow*
*Columbia Center on Sustainable Investment*
Columbia Law School, Columbia University
435 West 116th St., Rm. JGH 825, New York, NY 10027
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