Is investment facilitation a substitute or supplement? A comparative analysis of China and Brazil practices

Q4 Social Sciences
D. Wei, Ning Hongling
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Abstract

Investment facilitation, which tackles ground-level obstacles to FDI and has no substantial challenges to regulatory space, is emerging as a new trend of global governance. Meanwhile, the content and method to implement investment facilitation are still evolving. Both as top FDI destinations and largest emerging countries in South America and Asia respectively, Brazil and China have adopted somewhat different approaches towards investment facilitation. Due to traditional resistance to BITs network, Brazilian developed a new model of investment treaty, i.e., Cooperation and Investment Facilitation Agreement (CIFA). CFIAs primarily focus on investment facilitation through institutional cooperation, but the scope and degree of investment protection are quite insufficient. China’s approaches towards investment regime are inclusive, i.e., it is a practitioner of investment facilitation as well as a proponent of IIAs with a balanced ISDS mechanism. On the one hand, while investment protection and liberalization system are essential part of good business environment, IIAs don’t necessarily lead to friendly regulatory environment to attract FDI inflows. In this regard, the policy of investment facilitation is complementary to existing international investment regime. It is suggest that China draws some experiences from Brazil in terms of institutional governance and establishing a similar and effective dispute prevention system. On the other hand, access to justice is still important to foreign investors, the policy of investment facilitation can’t act as a total substitute of traditional BITs worldwide. Considering the Brazilian investors’ increasing outbound investment and the growing needs of investment protection, it is suggested that China’s open and liberal policies are worth learning for Brazil.
投资便利化是替代还是补充?中国与巴西实践的比较分析
投资便利化解决了外国直接投资的基层障碍,对监管空间没有实质性挑战,正成为全球治理的一种新趋势。与此同时,实施投资便利化的内容和方法仍在不断演变。巴西和中国分别是南美和亚洲最大的外国直接投资目的地和新兴国家,在投资便利化方面采取了不同的做法。由于对双边投资条约网络的传统抵制,巴西制定了一种新的投资条约模式,即《合作与投资便利化协定》。外资投资协定主要侧重于通过机构合作促进投资,但投资保护的范围和程度相当不足。中国对投资制度的态度是包容性的,即中国是投资便利化的实践者,也是具有平衡ISDS机制的国际投资协定的支持者。一方面,虽然投资保护和自由化制度是良好商业环境的重要组成部分,但国际投资协定不一定会带来友好的监管环境来吸引外国直接投资流入。在这方面,投资便利化政策是对现有国际投资制度的补充。建议中国在制度治理和建立类似有效的争端预防体系方面借鉴巴西的经验。另一方面,诉诸司法对外国投资者来说仍然很重要,投资便利化政策不能完全取代全球传统的双边投资条约。考虑到巴西投资者不断增加的对外投资和日益增长的投资保护需求,建议中国的开放和自由政策值得巴西学习。
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来源期刊
CiteScore
0.20
自引率
0.00%
发文量
45
审稿时长
4 weeks
期刊介绍: The Brazilian Journal of International Law (RDI) was created as a tool for select and publish academic papers related to issues addressed by public and private international law. The Journal has a good ranking according with the Brazilian system (Qualis A1). In the quest for development and construction of critical views about international law, the Brazilian Journal of International Law has two main focus: 1. International protection of the human person: covers issues related to international environmental law, humanitarian law, internationalization of law, in addition to research on the evolution of the law of treaties as a way of expanding the contemporary international law. 2. System of legal integration: regional integration (European Union, Mercorsur, NAFTA, ASEAN), sectoral integration (WTO, ICSID), and others. Thematic issues: We intend to publish thematic issues. It aims to increase interest in the journal and its impact on the area. We apologize to the authors, but articles on other subjects will not be accepted or should expect the numbers on topics related to being appreciated.
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