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Date sent:              Fri, 08 Oct 1999 15:36:49 -0600
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From:                   Progressive Response <[EMAIL PROTECTED]>
Subject:                Environment and Trade, Mexico, WTO

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-- -------- The Progressive Response   8 October 1999   Vol. 3, No. 36
Editor: Tom Barry
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-- -------- The Progressive Response (PR) is a weekly service of Foreign
Policy in Focus (FPIF), a joint project of the Interhemispheric Resource
Center and the Institute for Policy Studies. We encourage responses to the
opinions expressed in PR.
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-- -------- Table of Contents

*** TRADE AND ENVIRONMENT ***

*** NAFTA & ENVIRONMENT ***
By Stephen P. Mumme, Colorado State University

*** FREE TRADE AND ENVIRONMENTAL POLICYMAKING IN MEXICO ***
By David Barkin, Universidad Aut�noma Metropolitana, Unidad Xochimilco
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*** TRADE AND ENVIRONMENT ***

(Editor's Note: The linkage between trade and environment is among the
most important and contentious issues facing policymakers. This issue of
the Progressive Response focuses on this issue, mainly through the prism
of U.S.-Mexico relations following NAFTA. Stephen Mumme, one of the
leading authorities on U.S.-Mexico borderlands environmental issues, has
written a new FPIF policy brief titled NAFTA and the Environment, parts of
which are excerpted below. David Barkin of Universidad Aut�noma
Metropolitana provides an overview of the post-NATA environmental trends
in Mexico, an analysis excerpted from borderlines, a publication of the
Interhemispheric Resource Center's Border Information and Outreach Service
(BIOS) program. Preceding these two articles is a brief FPIF overview of
WTO trade and environment issues.)


*** ENVIRONMENT IN FOCUS: ON THE ROAD TO SEATTLE ***

The impact of international trade on the environment was not a topic of
negotiation during the Uruguay Round, and it is not scheduled to be one
for discussion at the Seattle Ministerial (November 30-December 3).  After
having successfully used the Uruguay Round to advance its economic
liberalization agenda (not only in the trade of goods but also in services
and intellectual property rights), Washington is hoping that a new round
of trade talks--called the Millennium Round--will maintain the free market
momentum by going forward with the "built-in agenda" of liberalization
negotiations on services and agriculture, as well as by addressing a new
schedule of industrial liberalization in eight sectors, including
environmental goods and services.

Washington has not opposed addressing environmental issues as part of the
Seattle Declaration but neither has it expressed strong leadership. Its
proposal for Trade and Sustainable Development does not suggest that the
environment should be "mainstreamed" within the WTO. Rather the U.S.
suggests the Committee on Trade and the Environment (CTE) continue to be
the main forum for discussion of environmental issues. And in keeping with
its fixation on liberalization schemes, its approach to environmental
concerns centers on eliminating governmental subsidies in the fisheries
sectors, elimination of agricultural export subsidies, and on advancing a
"transition from domestic subsidy programs that encourage the degradation
of natural resources and distort trade." At a September 1999 meeting, the
G-77 group of developing countries opposed proposals that environment and
labor concerns be addressed in Seattle.

The following is a brief summary of some of the leading trade and
environment issues that have surfaced as part of the WTO's "Road to
Seattle":

Aid Not Protectionism:

A common concern expressed by Southern nations is that Northern countries,
having higher standards of living and a relatively high level of
environmental regulations already in place, use environmental and consumer
protection as a cover for economic protectionism that limits Southern
export markets. Rather than resorting to trade sanctions against poorer
nations with limited regulatory infrastructures, the industrialized
nations should aim to increase sustainable development in the South by
providing easy access to environmental technology, funding for
environmental protection, and technical support. In particular, Southern
nations and NGOs have objected that the Trade-Related Intellectual
Property Rights (TRIPS) agreement has been used to enable technology
owners to reap profits from monopoly pricing while hindering the transfer
of technology and that nontariff barriers are commonly in place in
sectors, such as agriculture and textiles, that are not competitive with
Southern exports.

Committee on Trade and Environment (CTE):

Established at the conclusion of the Uruguay Round, the CTE is "to
identify the relationship between trade measures and environmental
measures in order to promote sustainable development" and "to make
appropriate recommendations on whether any modifications of the provisions
of the multilateral trading system are required, compatible with the open,
equitable, and nondiscriminatory nature of the system." According to the
WTO, the CTE has "brought environmental and sustainable development issues
into the mainstream of WTO work." Most observers disagree, with many in
the environmental community calling for the committee's termination on the
grounds that it keeps environment off the main negotiating agenda.

Eco-Labeling:

At issue within the WTO is the extent to which eco-labeling functions as a
barrier to imports and as protection for domestic production. U.S.
environmentalists widely support a broad right to eco-labeling--meaning
voluntary systems  that promote a consumer's right to know through
objective, transparent, and scientifically defensible labeling systems.

Environment as a WTO Concern:

The absence of the environment or other trade-related social
concerns--such as respect for core labor rights--from the WTO's
negotiating agenda reflects the traditional narrow view of international
trade prevalent  in the corporate world, opposing perspectives of North
and South governments, and the lack of a clear NGO agenda for
environmental global governance. Although hardly in the mainstream,
environment does have a place within the WTO not only in the form of the
CTE but also in the Marrakech Agreement that established the WTO. The
preamble notes the importance of "allowing for the optimal use of the
world's resources in accordance with the objective of sustainable
development, seeking both to protect and preserve the environment and to
enhance the means for doing so in a manner consistent with their [member
countries] respective needs and concerns at different levels of economic
development."  As evidence of this concern, WTO points to a provision in
the Agreement on Agriculture that exempts direct payments under
environmental programs from rules requiring members to reduce support for
agricultural production. Similarly, the Agreement on Subsidies and
Countervailing Measures treats as a nonactionable subsidy cases where
governments cover up to 20% of an industry's costs of adapting existing
facilities to new environmental legislation. Additionally, the new
Agreements on Technical Barriers to Trade on Sanitary and Phytosanitary
Measures take into account the use by governments of measures to protect
human, animal, and plant life and health and the environment.

Institutional Balance:

Swirling around the contentious issues of trade and environment within the
WTO is a larger debate of the proper institutional framework for global
governance with respect to international environmental protection and
preservation. Multilateral Environmental Agreements (MEAs), although
varying widely in effect, are the most effective form of global
environmental governance because they have steadily created a new set of
international norms that are slowly gaining acceptance. NAFTA's
environmental side agreements created an important layer of trade-related
regional environmental governance that environmentalists advocate should
be a minimum for future trade agreements. Some have proposed the creation
of a new multilateral environmental organization similar to the
International Labor Organization (ILO), but this proposal has been
criticized on several grounds: 1) that like the ILO a new environmental
organization would be sidelined by such organizations as the WTO and would
be without enforcement power, 2) that there already exist such
multilateral environmental organizations as the Commission on Sustainable
Development (CSD), UN Environmental Program (UNEP), and Global
Environmental Facility (GEF). It has been argued that rather than relying
on its internal advisory committee, the WTO should rely on these
multilateral environmental organizations in coordination with other UN
entities such as UNDP and UNCTAD to set trade and environment guidelines.

Impact Assessment, Not Further Liberalization:

Many NGOs have forcefully expressed the view that there should be no
further liberalization of global trade and investment without a serious
impact assessment of the liberalization advanced by the Uruguay Round, and
numerous governments have noted the same concern, especially with respect
to intellectual property rights.

Mainstreaming the Environment:

Some Northern trade representatives have advocated that the WTO
"mainstream" environmental issues within WTO trade rules rather than
having environmental concerns ignored, left to one powerless committee, or
worse yet seen as the source of actionable trade barriers. Such demands
are routinely opposed by Southern countries on the grounds that economic
development and poverty alleviation should be the top priorities of trade
rules and that Northern countries will use any new environmental language
as justification for nontariff barriers to Southern exports.

MEAs and WTO:

Within the CTE and among the international environmental community, the
relationship between the WTO and Multilateral Environmental Agreements
(MEAs) must be worked out. There have been proposals that the WTO rules
acknowledge that member countries can modify their trade practices as
deemed necessary to abide by MEAs. Northern countries have expressed some
support for modifying Article XX to ensure that measures taken by nations
to comply with international norms and standards as established by
international treaties will not be regarded as violations of free trade
rules. Within the environmental community, there is a strong conviction
that the environmental regimes created by Multilateral Environmental
Agreements (MEAs) should be extended and enforced--and that WTO rules
should not have priority over MEA-related measures even when one of the
disputing parties has not ratified the MEA in question.

Sustainable Development:

Most WTO members favor a conservative interpretation of sustainable
development that sees no contradiction between environmental protection
and increased trade and economic growth. They argue, in fact, that trade
and growth facilitate environmental protection by advancing more efficient
technology and decreasing poverty (regarded a major cause of environmental
destruction because of associated land- and fuel-use practices, for
example). Although there are many environmental NGOs who are comfortable
with this conservative spin on sustainable development, many others assert
that there are ecological limits to trade, growth, and consumption that
must be acknowledged if sustainable development is to be meaningful.

U.S. Leadership:

The United States has been a leading although not forceful supporter of
integrating environmental concerns into WTO rules. President Clinton has
expressed the need to ensure that trade rules support national policies
providing for high levels of environmental protection, support for the
demand of environmental NGOs that there be greater inclusiveness and
transparency in WTO proceedings, and opposition to environmentally
damaging subsidies. But this rhetorical commitment by Washington has not
been backed up by effective leadership either in vigorous intervention in
disputes that challenge the country's right to implement higher standards
of environmental protection or in facilitating an increased voice of
environmental NGOs in trade negotiations. The U.S. government has not used
its influence to forge a consensus position within the CTE and the WTO
membership at large that advocates stronger trade and environment
protection linkages. Moreover, the U.S. government tends to support
elements of the business community that warn against the use of the
precautionary principle (Lack of full scientific certainty should not be
used as a reason for postponing cost-effective measures to prevent
environmental degradation, where there are threats of irreversible or
serious damage) or that work to ensure that international treaties (such
as climate change and biodiversity) do not adversely impact important
elements of the U.S. business community.

Win-Win-Win Scenario:

Increasingly, proponents of new WTO commitments to environmental
protection argue there is no inherent contradiction between sustainable
development and increased international trade. They advocate identifying
measures that will lead to trade liberalization, better environmental
protection, and improved economic and social development of developing
countries. Ending environmentally destructive subsidies by governments
would be one such measure.

For More Information:

Trade and Environment, FPIF
By David Hunter and Brennan Van Dyke, Center for International
Environmental Law (CIEL)
Website: http://www.foreignpolicy-infocus.org/briefs/vol1/tradenv.html

World Trade Organization (WTO)
Website: http://www.wto.org/wto/environ/environm.htm

International Center for Trade and Sustainable Development (ICTSD)
Website: http://www.ictsd.org/
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***NAFTA & ENVIRONMENT***
By Stephen P. Mumme, Colorado State University

Five years and counting since the NAFTA accords took effect, there is much
to be done to realize its promise of supporting sustainable development.
It is now plain that NAFTA's rules protecting trade and investment in the
trinational region are an invitation to the private sector to challenge
environmental regulations. These rules and their implementation procedures
must be shored up if a gradual erosion of state and provincial standards
is to be avoided. At minimum, NAFTA's trade officials should be required
to consult with the CEC and national environmental ministries in dealing
with environment-related trade disputes. In the matter of NAFTA Chapter 11
challenges to environmental rules, the CEC has already proffered its
advisory services to the Free Trade Commission, an offer the FTC should
accept.

NAFTA's most constructive policy contribution has been the development of
new international institutions and initiatives for environmental
protection in the trinational region. Operating with very limited
resources, these institutions have performed judiciously and shown their
value. Thus far, however, the three governments have not allowed these
auxiliary bodies to function to their potential. Neither the CEC, BECC,
nor NADBank have been adequately funded, resulting in staff shortages,
fewer programs, and less efficient performance of mandated functions. The
federal governments should augment budgetary support for these
institutions and allow them to respond more effectively to public
concerns.

Additional refinement at the level of operating procedures and
organizational practices is also necessary. The CEC should strengthen its
ties to NAFTA's economic institutions and deepen its consultative
relationship with other NAFTA environmental bodies and programs. CEC's
council should move quickly to develop the necessary procedures to
implement its Chapter V dispute resolution process. The CEC secretariat
must continue to monitor and assess its citizen submission process, taking
care, on the one hand, to support and improve citizen access to these
procedures and, on the other, to preserve and strengthen its reputation as
an independent and fair-handed body. At the program level, if the CEC is
to emerge as the leading independent body for assessing NAFTA's impact on
the North American environment, then it must move quickly to refine its
evaluation framework and to apply it broadly to the analysis of sectoral
trade and environmental issues. The CEC should also hasten to conclude a
trinational agreement on transboundary environmental impact assessment.

Along the U.S.-Mexico border, after a slow start, both BECC and NADBank
have made headway in certifying and funding projects for needy
communities. BECC is unquestionably an institutional model of transparency
and public participation in developing water and wastewater projects that
serve both environmental and social aims of sustainable development. BECC
should, however, show that it is willing to consider meritorious projects
not specifically tied to urban water provision and wastewater treatment.
It should also be encouraged to make better use of its advisory board and
to take every opportunity to ensure that the Mexican public is
participating in decisions that affect Mexican communities.
Notwithstanding its recent efforts to better utilize BECC as a platform
for soliciting public input in funding decisions, NADBank is still too
insular and should open its doors to greater public scrutiny. Together,
these linked institutions must strive to improve public access and input
opportunities and must insure that interested parties and stakeholders are
better informed.

The Border XXI Program also needs attention. Its current menu of federal,
nation-to-nation projects is not enough. The two governments should give
greater attention to the practical matter of bolstering the capacity of
state and local regulatory bodies, NGOs, and the social sector. In this
regard, the governments should lend their support to such innovative
grassroots initiatives as the El Paso-Ciudad Ju�rez binational air shed
task force, an outstanding model for involving local actors in long-term
cross-national efforts to mitigate pollution and improve public health. At
the program level, leading initiatives should be clearly prioritized,
consistently funded, and better coordinated amongst participating
agencies. For instance, Border XXI's national coordinators should hasten
to apply and refine its new environmental indicators so that accurate
appraisals of environmental conditions can guide public policy
improvements.

In sum, NAFTA is a first step in the direction of bridging the policy gap
between trade and environment. NAFTA's various environmental initiatives
should be supported and strengthened, and, at minimum, incorporated into
future trade agreements. At the global level, NAFTA's shortcomings
indicate what should be done to strengthen the prospects for sustainable
development in future accords. First and foremost, environmental
machinery, now largely relegated to secondary or sideline status, should
be built into trade agreements along with action-forcing compliance
mechanisms. Environmental ministers should be able to vet and veto
environment-degrading trade initiatives. Environment secretariats should
be strengthened and made more autonomous, with independent investigative
abilities. Trade and investment panels should coordinate their work with
the environmental secretariats to insure consideration of environmental
values. Second, participating governments must pay greater attention to
implementing details. They must follow through with procedural rules and
practices that give substance to formal mandates. Third, governments must
invest additional resources in the institutions charged with monitoring
and enforcing these agreements. Sustainable development requires no less.

(Visit the FPIF website to read entire policy brief:
http://www.foreignpolicy-infocus.org/briefs/vol4/v4n26nafta.html)

For more information:

Commission for Environmental Cooperation
Email: [EMAIL PROTECTED]
Website: http://www.cec.org

International Institute for Sustainable Development
Email: [EMAIL PROTECTED]
Website: http://iisd.ca

Southwest Center for Environmental
Email: [EMAIL PROTECTED]
Website: http://www.scerp.org/

Texas Center for Policy Studies
Email: [EMAIL PROTECTED]
Website: http://www.texascenter.org

Udall Center for Studies in Public Policy
Email: [EMAIL PROTECTED]
Website: http://udallcenter.arizona.edu/programs/border/border.html

Border Ecoweb
Website: http://www.borderecoweb.sdsu.edu/

Border Information and Outreach Service (BIOS) Action Kit
Interhemispheric Resource Center
Website: http://www.irc-online.org/bordline/1999/bl60/bl60ak.html

Canadian Global Change Program
Website: http://www.cgcp.rsc.ca

North American Institute
Website: http://www.northamericaninstitute.org/

Trade and Environment Database
Website: http://www.american.edu/projects/mandala/TED/ted.htm

U.S.-Mexico Border XXI Home Page
Website: http://www.epa.gov/usmexicoborder/
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*** FREE TRADE AND ENVIRONMENTAL POLICYMAKING IN MEXICO ***
By David Barkin, Universidad Aut�noma Metropolitana, Unidad Xochimilco

As leaders of the first Latin American nation to join in the U.S. project
to forge a "Free Trade Area of the Americas," Mexico's authorities have,
for over a decade, been largely successful in shaping a new policy
setting, one in which unprecedented institutional changes are occurring.
At the same time, and as part of the same process, pressures from
international environmental groups with influence in the political
processes in their own countries or in international organizations are
also increasing their effectiveness in placing their concerns on the
policy agenda in Mexico. Additionally, NAFTA's environmental side
agreement, with its new consultative bodies--institutions the Mexican
government was "forced" to accept in exchange for approval of the expanded
free trade agreement--provides an international oversight mechanism,
something previously unimaginable in Mexican politics. This puts a whole
new set of tools in the hands of Mexican environmentalists demanding
compliance with domestic legislation.

As positive as these developments may be, however, it is clear that, in
spite of a new awareness of and sensitivity to environmental issues in
Mexico, the tremendous increase in speculative international financial
flows, the surge in direct foreign investment, and the volume of trade
sparked by NAFTA are having a significant deleterious impact on the
environment. The prevailing opinion in official circles that economic
growth is the best remedy for environmental problems is not only
unwarranted but also probably wrong, at least in the short run in Mexico.

The combined result of the far-reaching changes implemented following
Mexico's accession to GATT and the signing of NAFTA has been a new period
of free market activity. This has substantially polarized Mexican society
and reorganized the geographic distribution of economic activity, placing
mounting pressures on fragile ecosystems and unsustainable demands on land
and water resources throughout the country. In addition to the rapid but
troublesome growth of maquiladora plants along the border and other
investments in the semi-arid North, Mexican policymakers intensified their
assault against peasants, transferring official corn supports from
rain-fed regions to wealthier irrigated regions.

Indeed, one of the most significant changes resulting from Mexico's
reckless entrance into the global economy has been a marked deterioration
in the material conditions of workers and peasants throughout the country.
When the complex support system that had for so long shaped their way of
life and patterns of economic activity was suddenly dismantled, workers
and peasants found themselves both without a means of income and,
frequently, uprooted. Many people were forced to migrate, further reducing
the quality of life as families were separated, and large portions of the
national population began to engage in more marginal activities, with
pronounced impacts on the environment.

In other sectors, the side effect of these "adjustment aftershocks" was a
lack of human, material, and financial resources; businesses and
government were obliged to take shortcuts in environmental management
chores or simply to postpone maintenance and investment in capital
improvements, such as environmental infrastructure for toxic waste
reduction and emission controls.

Additionally, though Mexico's entry into the global marketplace has helped
foster a sophisticated discourse about protecting the environment, there
are still many problems within Mexico's institutional structure that
prevent implementation of the advanced regulatory package. Even more
serious, however, is the considerable bureaucratic resistance to the
efforts of grassroots groups and intermediate nongovernmental
organizations (NGOs) advocating more socially and environmentally
responsible policies.

Mexico's present model of economic development, based on export-oriented
production, low wages, and a rapid rate of urbanization, cannot help it
address the underlying problems of a deteriorating quality of life. Nor is
it consistent with the accepted precepts of sustainability. That being
said, there have been some positive developments in recent years, as the
global discourse on environmental issues has become sharper. For example,
the CEC has become effective in channeling discussion about the respective
responsibilities of private industry and government into more productive
directions.

Though it is premature to offer a final judgement about its efficacy, the
CEC is part of a widening process of incorporating environmental
considerations into the Mexican policymaking process. Similarly, the
environmental NGO community has become increasingly effective in making
its voice heard, sometimes by ignoring local authorities and appealing
directly to international organizations where an NGO can, ironically,
oftentimes find a more sympathetic hearing. In Mexico, these changes have
become especially important in intensifying the pressures for a fuller
consideration of the environmental consequences of economic and trade
policies. In the ultimate analysis, however, Mexico's political leadership
is still convinced that economic growth is primary and that the unfettered
market should be the primary tool for imposing environmental
responsibility-a dismal prospect in a highly polarized society, where
people and resources are still significantly devalued.

(Visit the IRC's borderlines Website for the entire September borderlines
article: http://www.irc-online.org/bordline/1999/bl60/bl60free.html)
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