Symmetric vs. Asymmetric Punishment Regimes for Bribery

C. Engel, Sebastian J. Goerg, Gaoneng Yu
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引用次数: 37

Abstract

In major legal orders such as UK, the U.S., Germany, and France, bribers and recipients face equally severe criminal sanctions. In contrast, countries like China, Russia, and Japan treat the briber more mildly. Given these differences between symmetric and asymmetric punishment regimes for bribery, one may wonder which punishment strategy is more effective in curbing corruption. For this purpose, we designed and ran a lab experiment in Bonn (Germany) and Shanghai (China) with exactly the same design. The results show that, in both countries, with symmetric punishment recipients are less likely to grant the socially undesirable favor, while bribers are more likely to report to the authorities with asymmetric punishment. In addition, when punishment was asymmetric, corrupt offers were significantly more likely in Shanghai, but not in Bonn. Our results suggest a tradeoff between deterrence and law enforcement. In a forward-looking perspective, lawmakers must decide which aim carries more weight.
对称与非对称贿赂惩罚机制
在英国、美国、德国和法国等主要法制国家,行贿者和受贿者面临同样严厉的刑事制裁。相比之下,中国、俄罗斯和日本等国家对行贿者的态度更为温和。鉴于对称和非对称贿赂惩罚机制之间的这些差异,人们可能想知道哪种惩罚策略在遏制腐败方面更有效。为此,我们在德国波恩和中国上海设计并运行了一个完全相同的实验室实验。结果表明,在这两个国家,对称惩罚的受贿者不太可能给予不受社会欢迎的帮助,而不对称惩罚的受贿者更有可能向当局举报。此外,当惩罚不对称时,上海更有可能出现腐败出价,而波恩则没有。我们的研究结果表明,在威慑和执法之间需要权衡。从前瞻性的角度来看,立法者必须决定哪个目标更重要。
本文章由计算机程序翻译,如有差异,请以英文原文为准。
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