Your research paper for the “economic policy brief” considers the historical and policy contexts for a specific country. You consider the economic development history and important economic and politi
ReinvigoratingTr a d e
a n d
I n c l u s i v e G r o w t h
PREPARED BY STAFF OF
INTERNATIONAL
MONETARY FUND
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2 INTERNATIONAL MONETA RY FUND , WORLD BANK, AND WO RLD TRADE ORGANIZATI ON I. INTRODUCTION ________________________________ ________________________________ _______________ 7
II. TRADE AREAS WITH HIGH GROWTH POTENTI AL ________________________________ __________ 8
A. Services Trade ________________________________ ________________________________ _________________ 9
B. Regulatory Cooperation ________________________________ ________________________________ _______ 14
C. Electronic Commerce (“e - commerce”) ________________________________ ________________________ 16
D. Investment ________________________________ ________________________________ ____________________ 20
E. Market Access for Merchandise Trade ________________________________ _________________________ 22
III. TRADE - RELATED POLICI ES FOR INCLUSIVENESS ________________________________ __________ 25
A. Trade and the Empowerment of Poor People ________________________________ _________________ 25
B. Rural Economy ________________________________ ________________________________ ________________ 27
C. Micro, Small, and Medium - Sized Enterprises ________________________________ __________________ 28
D. Gender ________________________________ ________________________________ ________________________ 29
E. Complementary Policies to Support Inclusiveness ________________________________ _____________ 31
IV. ROLE OF THE INTERNAT IONAL TRADING SYSTEM ________________________________ _______ 32
Glossary ________________________________ ________________________________ __________________________ 3
References ________________________________ ________________________________ _______________________ 37
BOXES
1. Structure of the GATS ________________________________ ________________________________ __________ 9
2. The CPTPP Chapter on Electronic Commerce ________________________________ _________________ 19
3. Monitoring Investment Policies ________________________________ _______________________________ 21
4. The WTO and Investment ________________________________ ________________________________ _____ 22
5. Benefits from Market Access Reforms: Examples ________________________________ ______________ 24
6. Fisheries Subsidies N egotiations at the WTO ________________________________ __________________ 28
7. GATT/WTO: Selected Experience with Alte rnative Negotiating Approaches ___________________ 36
FIGURES
1. Sector Shares in Total World Value - Added and Gross Exports ________________________________ 10
2. Ratio of Value - Added to Gross Exports for the World, by Sector ______________________________ 11
3. Changes in Regulatory Heterogeneity by Sector 2014 – 17 ________________________________ _____ 15
4. Tariffs Have Come Down but Reform Stalled Since the Early 2000s ___________________________ 23
5. RTAs in F orce , 1948 – 2018 ________________________________ ________________________________ _____ 34CONTENTS INTERNATIONAL MONETA RY FUND , WO RLD BANK, AND WORLD TRADE ORGANIZATION 3 Glossary
AE Advanced economy
AGP Agreement on Government Procurement (WTO)
APEC Asia Pacific Economic Cooperation Forum
ASCM Agreement on Subsidies and Countervailing Measures (WTO)
BIT Bilateral invest ment treaty
BoP Balance of payments
CETA Comprehensive Economic and Trade Agreement (Canada, EU)
CPTPP Comprehensive and Progressive Agreement for Trans - Pacific Partnership
DDA Doha Development Agenda (Doha Round) (WTO)
EMD C Emerging market and develo ping country
EU European Union
FDI Foreign direct investment
FTA Free trade agreement
G - 20 Group of 20
GATS General Agreement on Trade in Services (WTO)
GTA Global Trade Alert
GVC Global value chain
IIA International investment agreement
ISDS Inve stor - state dispute settlement
IT Information technology
ITA Information Technology Agreement (WTO)
MAI Multilateral Agreement on Investment
MC - 11 WTO 11 th
Ministerial Conference (2017)
MFN Most favored nation
MSME Micro, small, and medium - sized enter prise
NAFTA North American Free Trade Agreement
NTB Non - tariff barrier
NTM Non - tariff measure
OECD Organization for Economic Cooperation and Development
PTA Preferential trade agreement
RTA Regional trade agreement
SME Small and medium - sized enterpr ise
SPS Sanitary and Phyto - sanitary
STRI Services Trade Restrictiveness Index
TAA Trade Adjustment Assistance
TBT Technical barriers to trade
TFA Trade Facilitation Agreement (WTO)
TiSA Trade in Services Agreement
TPP Trans - Pacific Partnership
TR IMS Agreement on Trade - Related Investment Measures (WTO)
UNCITRAL United Nations Commission on International Trade Law
UNCTAD United Nations Conference on Trade and Development
WEO World Economic Outlook (IMF)
WTO World Trade Organization 4 INTERNATIONAL MONETA RY FUND , WORLD BANK, AND WO RLD TRADE ORGANIZATI ON EXECUTIVE SUMMARY
Trade integration can play a much larger role in boosting shared prosperity. The c urrent focus
on trade tensions threaten s to obscure the great untapped benefits possible from further trade reform.
The opportunities provided by information technolo gy and other fundamental changes in the global
economy are yet to be reflected in modern areas of trade policy , such as services and electronic
commerce. Greater open ness in these areas would promot e competition, lift productivity, and raise
living standar ds. In many other areas , such as the rural economy, smaller enterprises, and women ’s
economic empowerment, trade - related reforms are important particularly to foster more inclusive
growth.
Harnessing flexible approaches to WTO negotiations may be the key to reinvigorating global
trade reform. D espite the benefits at stake — and with important exceptions such as the WTO Trade
Facilitation Agreement — trade reform has lagged since the early 2000s. For much of this period ,
governments focused their efforts in the WTO on a single negotiating approach. Now, as groups of
WTO members pursue joint initiatives in several areas, a ttention is turning to how other negotiating
approaches — including some used effective ly in the past — can be leveraged so that trade once again
p lays its full role in driving increased global economic prosperity.
Building greater, more durable openness — this paper’s focus — should be part of a broader
effort to strengthen and reinvest in the global trading system. The system of global trade rules
tha t has nurtured unprecedented economic growth across multiple generations faces tensions. Though
only recently brought to the fore, those tensions are rooted in issues that have been left unresolved for
too long. Governments need to promptly address outstan ding questions involving, for example, the
WTO dispute system and the reach of subsidy disciplines. Cooperative action to secure greater
openness — an imperative in its own right — could also help to resolve these issues.
*** *** ***
The opening of trade afte r World War II through the early 2000s lifted living standards and
reduced poverty, but remains incomplete . Tariffs fell sharply, starting with advanced economies,
but then also emerging market and developing economies. For example, developing (advanced)
e conomies cut their average tariffs from 31 percent (10 percent) in 1980 to 9 percent (4 percent) in
2015. An ever - deepening rules - based system — notably under the GATT and WTO — brought more
openness, transparency, and stability. Much of this reflects reform u p to the early 2000s. However,
tariffs, regulatory differences, and other policy barriers still impede trade in goods. And even as
trade agreements increasingly extend behind the border, domestic policies still often distort trade.
Fundamental changes in newer areas of the global economy are not being reflected in global
trade policy , stifling future prosperity . Services comprise two - thirds of global GDP and
employment, and (on a value - added basis) nearly half of global trade, yet barriers to services trad e
today are roughly as high as those to trade in goods a half century ago. Digital technologies make
more services tradable across borders. Trade and investment decisions are increasingly INTERNATIONAL MONETA RY FUND , WO RLD BANK, AND WORLD TRADE ORGANIZATION 5 complements, rather than substitutes, yet policy barriers still obst ruct much FDI and the lack of a
common template for thousands of international investment agreements creates a spaghetti bowl of
provisions for investors and governments. The rise of global value chains and trade in inputs lends
added importance to regulat ory co - operation, trade and investment facilitation, and enabling policy
environments for private sector innovation.
Trade can also be a powerful force f o r more inclusive growth, including by lowering poverty
and by opening opportunities to small firms, f armers , and fishermen , as well as women. Better
trade policies, notably in the area of e - commerce, could help small firms to export. But traditional
areas of tra de policy are also important . Distortions to agricultural trade impact market access and
food p rice volatility , affect ing both poor farmers and poor consumers. Limiting fisheries subsidies
could help to secure the livelihoods of coastal communities and the sustainability of fish stocks. In
all of these areas trade helps to drive female employment an d economic empowerment. However,
given the potential for trade and other structural change to create adjustment pressures for certain
sectors, groups or regions , triggering discontent among some segments of society, it is also
important to have in place ap propriate complementary policies.
The path forward needs to heed the hard lessons of nearly two decades of WTO negotiations
and to recognize a more complex trade policy landscape. The slow pace of reforms since the
early 2000s, fundamental changes in a mor e interconnected modern economy, and the risk of trade
policy reversals call for urgency to reinvigorate trade policy reforms. The WTO institutional and legal
framework, and its near - global membership, have unique advantages. Yet reliance on an approach
in which all members must agree on all issues risks driving negotiating activity outside the WTO.
Agreeing among so many members, each with unique challenges and priorities, has proven difficult.
More flexible negotiating approaches have been effective in t he past. The multilateral trading
system has not always relied on large - scale ‘single undertakings’ like the Uruguay Round. When the
WTO was created in 1995 many expected it would foster a flow of new agreements on various
topics. The history of the GATT a nd WTO shows that many approaches have been deployed over the
years — some fully multilateral, and others not. Key parts of the current WTO rule book were initially
agreed by and applied (in the 1970s and 1980s) only to those countries adopting the Tokyo Rou nd
“Codes.” The 1996 Information Technology Agreement (ITA) and its 2016 expansion are examples in
which a “critical mass” of WTO members agreed tariff cuts they then apply to imports from all WTO
members. Disciplines on government procurement — otherwise ou tside WTO rules — apply only
among participants in that agreement, but the agreement is open to non - participants as well —
which would not necessarily be true if the agreement were done outside the WTO.
Flexible approaches could help to advance reforms in the areas discussed in this paper. On top
of actions to open economies unilaterally, r eforms are ideally advanced through fully multilateral
agreements among all WTO members. But where that is not initially possible, advancing within the
WTO system through ot her approaches, including plurilaterals, has often been seen as preferable by
many WTO members compared to advancing outside the system. What is important is that
initiatives using flexible negotiating approaches attract a diverse and representative set of members,
are open to all, and serve to strengthen the global trading system. 6 INTERNATIONAL MONETA RY FUND , WORLD BANK, AND WO RLD TRADE ORGANIZATI ON At their July 2017 meeting in Hamburg G20 leaders emphasized how open investment and
trade promote growth, productivity, jobs, and development. They called for advancing strong,
sustainable, balanced and inclusive growth and expressed their determination to shape globalization
to better enable people to seize the opportunities it provides. This paper supports that ambition. It
begins by exploring the potential for reforms in certa in areas to significantly impact aggregate
economic outcomes like productivity and income levels. It then discuss es other areas of reform that
bear primarily on inclusiveness. This sets up a discussion in the latter part of the paper on how
cooperative ref orms can be achieved. The role of domestic policies in a healthy adjustment to trade
and technology — a focus in a recent joint paper (IMF, WB, WTO 2017) — remains important; this
paper updates the earlier coverage, including with new evidence at the national level. INTERNATIONAL MONETA RY FUND , WO RLD BANK, AND WORLD TRADE ORGANIZATION 7 I. INTRODUCTION
1. Despite a recent rebound in trade , a prolonged slowdown in the pace of trade reform
is leaving in place widespread trade distortions and put ting at risk the strength and durability
of the global economic recovery. A global economi c upswing that began around mid - 2016 grew
into a synchronized expansion underpinned by trade - intensive investment growth. But this largely
cyclical development , and a more recent period of unusually high trade tensions — which itself poses
serious concerns — r isk masking the need for substant ial and durable trade opening on a global
basis. Remaining trade distortions are a key factor behind the trade tensions, making the need to
reinvigorate trade reform all the more urgent. 1
2. As new trade reform initiatives lag ged and the benefits of past reforms levelled off,
trade growth slowed. Global t rade volumes grew at some 7 percent annually during the 1990s —
double the rate of global GDP growth — but decelerated markedly as the ratio of trade growth to
GDP growth fell to 1 .5 during 2001 – 07 and to unity in the period after 2008. 2
While several factors
lie behind the slowdown, a substantial part represents a slower pace of trade reform following the
remarkable progress made from the 1980s to the early 2000s .
3. It is time to re invest in open, rules - based global trade. Since World War II a system of
global trade rules has brought more openness, stability, and transparency to trade, nurturing
unprecedented world economic growth. It is time to reinvest in that system to serve the m odern
economy. To think that the work of trade reform i s essentially complete is a fallacy that neglect s
both the significant remaining obstacles to traditional trade and the opportunities presented by the
rise in services and technology for greater trade - driven prosperity. This is the focus of the sections
that discuss areas with high potential for growth ( Section II ) and inclusiveness (Section III ) .
4. Extending rules - based trade openness poses new challenges and could require fresh
thinking and exploring a ll available approaches . At the domestic level, trade policy and trade
negotiations increasingly reach “behind the border” and interact with domestic regulatory agencies,
sectoral ministries, and sub - national entities. Unlike a classical tariff - cutting exe rcise, for example,
successfully opening to services trade brings additional complexities: policy coherence becomes
critical in designing and implementing reform . For any particular trade policy areas it follows that
some countries may be prepared to move more quickly than others. So internationally, it’s important
to channel that desire in ways that are most constructive for the countries concerned, while also
contributing to a healthy global system. This is the focus of Section IV .
1
The uptick in trade restrictions after the global financial crisis and recent tensions recall an adage coined by Jagdish
Bhagwati as the “bicycle theory” and explained b y U.S. Trade Representative Zoellick as: “If the trade liberalization
process does not move forward, it will, like a bicycle, be pulled down by the political gravity of special interests.”
2
Examining the period after the global financial crisis, IMF (201 6a) concludes that non - cyclical factors dragged down
global merchandise trade growth by 1¾ percentage points a year during 2012 – 15. 8 INTERNATIONAL MONETA RY FUND , WORLD BANK, AND WO RLD TRADE ORGANIZATI ON 5. This paper complements earlier joint work. Along with the broad benefits of trade, IMF -
WB - WTO (2017) emphasized policy tools that can be use d to help workers and communities to
adjust to adjustment pressures associated with trade and technological change. T he current paper
dig s more deeply into the benefits that trade and trade reform can provide for economic growth
and inclusiveness and how such reform could be achieved at the global level .
II. TRADE AREAS WITH HIG H GROWTH POTENTIAL
6. Reinvigorating trade integration should be a k ey component of the global policy
agenda to boost economic growth. Despite the upswing that began in 2016, a longer - term trade
slowdown has coincided with weaker productivity growth. This has occurred because the benefits of
past major trade policy reforms have played out and new initiatives have lagged. 3
The pace of new
trade policy reforms at the global level has slowed since 2001 ; this has not only left an unfinished
agenda in traditional areas, but has also meant that the trading system has not kept pac e with
modern economic developments . At the same time, new trade restrictions imposed since the global
financial crisis have begun to weigh on global trade; this trend has only grown recently.
7. C ertain “frontier” areas of trade policy have high potential to lift global productivity
and durably increase medium - term growth. The digital economy revolution is opening new
opportunities for cross - border trade and investment (Meltzer , 2016 ). This is changing the nature of
trade , elevating the roles of policies rela ting to electronic commerce (“e - commerce ”) , 4
investment,
and services trade. This reflects the international nature of supply chains and complementarity of
foreign direct investment (FDI) with trade in goods and services — the ‘trade - investment - service s ’
nex us (Richard Baldwin). The effectiveness of this nexus, and of international supply chains, is also
grounded in secure property rights, including for intellectual property. The growing overlap between
trade regime s and domestic policy puts extra emphasis on effective regulatory cooperation.
8. While the benefits are high in these areas, so too are the risks . International rules in
these areas are less developed than those in the more traditional areas of trade. Moreover, broadly
speaking the existing internati onal obligations — whether in the WTO or in other trade and
investment agreements — provide limited protection against backsliding from existing policies. This
is also an important consideration, particularly in an environment of rising trade tensions.
9. Policym aking and international rules in these areas are already linked. The WTO
General Agreement on Trade in Services (GATS) , for example, addresses many aspects of investment
in service sectors. Countries’ GATS commitments also apply to the digital delivery of services, and
the GATS provides a built - in mechanism for the pursuit of regulatory cooperation on services.
3
Developing countries’ unilateral reforms in the 1980s/90s and such initiatives as EU expansions, the conclusion of
the Ur uguay Round (1994) and creation of the WTO, and China’s WTO accession (2001) strengthened the global
trade policy landscape and promoted the growth of global value chains.
4
Electronic commerce includes goods and services produced, distributed, marketed, s old, or delivered through
electronic means. INTERNATIONAL MONETA RY FUND , WO RLD BANK, AND WORLD TRADE ORGANIZATION 9 10. A trade policy agenda to promote global growth should also encompass market access
issues and other conventional areas of trade policy. M uch remain s to be done to promote open
and secure market access in the goods sector. T he work of reducing tariffs is incomplete, while
greater transparency and openness in government procurement markets can promote competition
and increase expenditure quality and ef ficiency, particularly important when budgets are tight.
A. Services Trade
11. Trade p olicy lags far behind the evolution of the services sector in the global economy.
Services comprise some two - thirds of global GDP and employment. Yet the limited opening of
ser vice sectors to foreign competition impedes trade and productivity growth throughout the sector
and the broader economy. As innovation further shapes which services can be traded across borders
( Box 1, GATS Mode 1) it is becoming even more important to add ress obstacles to that trade. I t is
also important that countries open up to international competition in services provided in other
ways , in clud ing through foreign direct investment and the operation of foreign affiliates (relating to
GATS Mode 3), and th e temporary movement of workers (“ natural persons ”) across borders for the
purpose of supplying services (GATS Mode 4).
Box 1 . Structure of the GATS
The GATS applies to the international provision of services through f our modes of supply. These are:
- Cross - border supply (Mode 1), similar to the concept of merchandise trade;
- Consumption abroad (Mode 2), the supply of a service in the territory of one WTO member to a consumer of
another member (often associated with touri sm) — policies in this area are generally open;
- Commercial presence (Model 3), the supply of a service to consumers in another (host) member by
establishing a commercial presence, a concept closely linked to FDI and the operation of foreign affiliates;
and
- Presence of natural persons (Mode 4), involving the supply of a service by an individual of one member
temporarily present in the territory of another member.
Certain GATS obligations apply automatically across the service sector and to all modes of suppl y; these include
the obligation to treat services and service suppliers from any WTO member no less favorably compared to those
from any other WTO member (“MFN”). “Market access” (the absence of six, mostly ‘quota - type’ limitations) and
“national treatment ” (treating foreign services and service suppliers no less favorably than domestic services and
service suppliers) are commitments specific to the member, to the service sector, and to the mode of supply (and
subject to any limitations contained in the mem ber’s schedule). The GATS schedules now in force are, largely,
those agreed in the Uruguay Round or, for newer WTO members, those agreed in the accession negotiations.
12. Improved access to services from trade reform promotes economy - wide productivity
and in come growth. Given the sector’s size, the role of services productivity in overall economic
performance is evident. Less appreciated, though , is the interplay between services reform and
manufacturing performance. Services comprise significant shares of th e value added of all sectors in
the economy, and this is reflected also in trade figures : w hile only a quarter of global trade is traded
as services, on a value - added basis half of the value of global trade originates in service sectors 10 INTERNATIONAL MONETA RY FUND , WORLD BANK, AND WO RLD TRADE ORGANIZATI ON (Figure s 1 and 2 ) . 5
In an illustrative scenario, Beverelli and others (2017) find that full services trade
liberalization could raise manufacturing productivity by an average of 22 percent across a sample of
57 countries, with larger benefits for countries with stronger inst itutional environments.
13. Country studies provide compelling evidence that openness in services contributes to
long run growth performance (Hoekman and Mattoo , 2008). India’s r eforms in the 1990s brought
more openness, better regulation , and greater investment , allowing India n manufacturing firms to
source services from a range of domestic and foreign providers operating in a more competitive
environment. Manufacturers’ access to better, more reliable, and more diverse business services
enhanced firms’ ability to invest in new opportunities and technolog ies , to concentrat e production
in fewer locations, to efficiently manage inventories, and to coordinate decisions with suppliers and
customers. Arnold and others (2016) studied the experience of 4,000 manufacturing firms during the
period of services reforms and concluded that procompetitive reforms in banking, insurance, tele -
communications , and transport boosted the productivity of both foreign and locally - owned
manufacturing firms. 6
Other empirical studies reinforce these find ings, but also stress the
importance of well - designed reforms accompanied by sound domestic regulation.
5
The fact that the value of direct trade in services is smaller than the value of services embodied in traded goods
might reflect, in part, that the costs of trading services is generally much higher than the c ost of trading goods
(Fiorini and Hoekman, 2017). IMF (2018b) documents the rising role of service inputs in manufacturing.
6
Specifically, a one - standard - deviation increase in the aggregate index of services liberalization was associated with
a productivi ty increase of 12 percent for domestic firms and 13 percent for foreign firms. The largest additional effect
was for transport reforms, followed by telecommunications and banking reforms. Figure 1. Sector Shares in Total World Value - Added and Gross Exports
Source: Johnson (2014), using the World Input - Output Database (WIOD). Data are for 20 08. 00.10.20.30.40.50.60.70.8
Agriculture Non-Manufact ur ing
Industrial Production Manufacturing Se rvices
Gross exports Value-added exports INTERNATIONAL MONETA RY FUND , WO RLD BANK, AND WORLD TRADE ORGANIZATION 11 14. Despite the economic importance of competitive service sectors, indicators point to
policy barriers to services trade much higher than those affecting t rade in goods. While
estimates of ad valorem equivalents for services trade are more uncertain than those for goods
trade, 7
OECD (2017) concludes that “[e]mpirical analysis reveals that the costs of services trade and
investment barriers are high, largely exceeding the average tariff on traded goods, and that these
costs apply to all modes of supplying services abroad.” 8
Within the wide divergences, estimates of
20 to 40 percent are common, with some much higher. The trade costs of concern include both
thos e policies that explicitly target foreign suppliers, but also costs arising from domestic regulatory
practices that fall short of best practice in competition and rule - making and may thus de facto
discriminate against foreign suppliers.
Figure 2 . Ratio of Value - Added to Gross Exports for the World, by Sector
Source : Based on Johnson and Noguera (2017).
7
Analysis of services trade continues to face difficulty in separat ing the policy - based costs from other costs of trading
services. Nonetheless, the cross - country variation in services trade costs suggests that the policy component is a
major factor. Miroudot, Sauvage and Shepherd (2013) and Koske and others (2015) provid e evidence that barriers to
trade and investment, and behind - the - border barriers to entry, are higher for service than for goods sectors.
8
Compared to the rich information on policies affecting trade in goods, information on trade policy for services
rem ains limited. Two mutually supportive initiatives are helping to address this gap. The OECD Services Trade
Restrictiveness Index (STRI) covers 44 countries and 22 sectors; its database of laws and regulations is updated
annually and now covers 2014 – 2017. S TRI indices quantify restrictions on foreign entry and the movement of people,
barriers to competition, regulatory transparency , and other discriminatory measures that impact the ease of doing
business. D etails are at: http://www.oecd.org/tad/services - trade/services - trade - restrictiveness - index.htm . The World
Bank Services Trade Restrictions Database ( http ://iresearch.worldbank.org/servicetrade ) covers 103 countries and 18
sectors in basic telecommunications, distribution , financial services, selected professional services , and transport; it
covers the relevant modes of service delivery for covered sectors . Th e information was collected in 2008 – 10 and has
been updated for some countries , with 2016 update s forthcoming. Cerdeiro and Nam (2018) discuss the complexities
of measuring services trade restrictions and the development of tariff - equivalent measures f or such restrictions. 00.20.40.60.8 11.21.41.61.8
1970 1975 1980 1985 1990 1995 2000 2005 2009Agriculture, Fore stry, and Fishing
Non-Manufact ur ing Indust rial Production
Manufacturing
Se rvices 12 INTERNATIONAL MONETA RY FUND , WORLD BANK, AND WO RLD TRADE ORGANIZATI ON 15. Sound domestic regulation has a particular role in the service sector. R ang ing from
prudential regulation in financial and professional services to pro - competitive regulation in a variety
of network - based services , sound domestic regulation is critical to realizing the benefits of services
liberalization. Devising and implementin g such regulation is not easy and there are acute regulatory
problems especially but not just in developing countries (Mattoo and Sauv é , 2003). Regulatory
institutions can be costly and may require sophisticated skills. To some extent such costs can be
re duced by regional cooperation and recovered through fees — but external assistance could help
ensure that adequate regulation is in place.
16. Services trade liberalization has been negotiated multilaterally as well as in regional,
plurilateral , and bilateral contexts. The first multilateral services trade negotiations took place in
the context of the Uruguay Round , resulting in the General Agreement on Trade in Services (GATS)
in 1995 (Box 1 ) . The GATS brings a critical framework for provisions on services tra de but (with some
exceptions) by and large the Uruguay Round outcome did not lead to significant liberalization. In
the Doha Round, services negotiations aimed to improve the GATS and to deepen country - specific
GATS commitments, but were made dependent on negotiations in other areas; 9
offers were
exchanged but little negotiating progress was made. 10
17. R egional agreement s ha ve delivered only limited liberalization. T he negotiations toward
the Trans - Pacific Partnership (later, the CPTPP) were , however, more am bitious than most. Gootiiz
and Mattoo (2014) find that the CP TPP commitments would enhance transparency and policy
certainty compared to current GATS commitments. W hile explicit liberalization would be limited to
selected sectors and countries, they also f ind that the TPP negotiating process may have induced
changes in applied policies over the course of the negotiations . 11
Moreover, some commitments
would require liberalization several years after the completion of the agreement, for example by
Vietnam in t elecommunications and retail services , and by Ma laysia in financial services.
18. A high - ambition agenda to open services trade could promote greater competition
and productivity throughout the sector. Commentators such as Low (2016) and Hufbauer and
others (2 012) suggest several areas where progress could be made.
• Addressing gaps between GATS commitments and actual policy , possibly with standstill and “roll
back” provisions (as in many regional agreements) to discourage policy reversals.
• Deepening and expand ing specific commitments under the GATS to promote greater openness
across a broad range of service industries and across multiple modes of supply.
9
Hufbauer and others (2012) point to a “stunning neglect of services” in the Doha Round.
10
Borchert and others (2011) conclude that Doha Round offers in the areas of distribution , financial , professional,
telecommunications, and tra nsport services would not generally have protected against backsliding, let alone
prompted further significant opening of service sectors.
11
F or example Mexico’s telecommunications policy was reformed in 2013, and Malaysia carried out several reforms
betwe en 2009 and 2013 in financial services, professional services , and telecommunications. • Where needed, identifying vehicles to promote capacity building to assist governments in
helping to develop vigorous service sectors, as well as advice and support for service sector
reforms more generally.
19. One reason for limited negotiated liberalization thus far has been the inability to
address concerns about international market failure. These concerns ran ge from matters of
financial regulation and data privacy, to monopolistic practices and irregular immigration. A form of
“negotiating tunnel vision” in trade negotiations has led to a focus solely on reciprocal market -
opening, rather than on creating or pr omoting the (regulatory and other) preconditions for
liberalization. Greater international cooperation involving regulators is needed to deliver both
liberalization and enforceable agreements , and to improve the framework for services trade in such
areas a s government procurement in services, trade - distorting subsidies in the service sector, cross -
border data flows, and mutual recognition of credentials in the area of professional services.
20. Progress on services trade reform has been slow — despite the risk o f backsliding on
current levels of openness and the potential for large benefits from greater openness — but
some efforts have been made. International commitments on services trade remain limited . 12
GATS
(Article XIX) also requires WTO members to “enter into successive negotiations, beginning [in 2000]
and periodically thereafter, with a view to achieving a progressively higher level of liberalization.”
T h is negotiating mandate was integrated into the broader Doha Round in 2001 but fe ll victim to
disagreement s over agriculture and other issues (Adlung, 2015). Services provisions in regional
agreements that go beyond the GATS have helped to narrow the gap between commitments and
applied policies, but — with some important exceptions and innovations — have not gener ally led to
new liberalization. 13
Though currently stalled, n egotiations among over 20 economies (including the
EU) toward a Trade in Services Agreement (TiSA) have been undertaken outside the WTO
framework, but many of the participants have indicated a des ire to eventually bring any results
inside the WTO in order to build on the existing GATS commitments. There are also specific recent
efforts on services within the WTO. 14
12
According to Adlung and Mamdouh (2018), existing commitments under the GATS were mostly established during
the Uruguay Round, remain “generally very shallow” and have not kept up with new trading opportunities made
possible by technical innovations. Negotiations among a critical mass of WTO members on telecommunications and
financial services soon after the establishment of the WTO delivered “commercially relevant” outc omes and were
implemented in 1998 by participants on an MFN basis (that is, with respect to trade with all WTO members). Two
decades on, negotiations on services trade rules mandated in the GATS itself have delivered no concrete results.
13
See, for example , Gootiiz and Mattoo (2017) on CPTPP services commitments.
14
At the 2017 WTO Ministerial Conference a group of 32 advanced and developing WTO Members called upon all
Members to intensify work to conclude the negotiation of disciplines on domestic regulatio n of services in advance
of the next Ministerial Conference. In addition, 71 WTO Members agreed to initiate exploratory work towards a
future WTO negotiations on trade - related aspects of electronic commerce, including services trade aspects of the
e - comme rce agenda.
INTERNATIONAL MONETARY FUND, WORLD BANK, AND WORLD TRADE ORGANIZATIO N 13 14 INTERNATIONAL MONETA RY FUND , WORLD BANK, AND WO RLD TRADE ORGANIZATI ON B. Regulatory Cooperation
21. Regulatory cooperation takes on increased importance in a world of global value
chains and complex production relationships. 15
Unnecessary divergences in product regulations
segment markets and impose a heavy burden on trade, and trade agreements increasingly seek to
limit those costs while respecting differences in regulatory objectives. Regulatory diversity is a
common source of trade tensions, suggesting also the importance of transparency and dialogue.
Like some of the other areas highlighted in this paper, regulatory cooperation requires strong
coordination wi thin national governments and internationally — in this case, joining the trade and the
regulatory communities. Also like some of the other areas, the ideal of regulatory cooperation at the
fully global level can be challenging; progress among countries with similar objectives and capacities
is valuable, however, especially if done under the WTO umbrella , such as through equivalence
agreements .
22. Regulatory cooperation operates through several channels to lowers costs and
increase competition . Cooperation mech anisms may range from harmonization (through the
development and adoption of international standards and their use as a common basis for domestic
regulations ), mutual recognition, consultation and information exchange, and conformity
assessment procedures. Provisions for transparency and process, such as consultation periods and
the ability of foreign entities to comment on proposed regulatory changes, minimize trade tensions
and build trust and confidence between trading partners and their regulators . At t he WTO,
governments have stressed that regulatory cooperation between Members is an effective means of
disseminating g ood r egulatory p ractices (WTO, 2011 a,b ).
23. Regulatory cooperation has increased the volume and variety of products traded. An
empirical anal ysis of EU goods trade found that a 1 percent increase in the use of internationally
harmonized standards increased product variety by 0.3 percent ( Shepherd, 2007); harmonization
also increased the number of U.S. firms entering the EU market and their trad e volumes (Reyes,
2011). However, improved cooperation is needed to further reduce trade cost. In services, the trade
costs associated with regulatory differences are estimated as equivalent to tariffs of 20 to 75 percent
( Nordås , 2016). Moreover, substant ial variations remain across service sectors in terms of
cooperation convergence (Figure 3 ). 16
15
International regulatory cooperation is usually interpreted broadly. An OECD working definition refers to
“cooperation in the design, monitoring, enforcement, or ex - post management of regulation” (OECD, 2013). While
useful to consider regulat ory cooperation in a trade context, it can be pursued in trade agreements, or separately.
16
The f igure shows changes in regulatory heterogeneity in service sectors across 35 OECD and 9 non - OECD
countries, covering regulatory barriers ranging from restrict ion on foreign entry, lack of regulatory transparency,
barriers to competition, to restriction on movement of people (based on the OECD Services Trade Restrictiveness
Index ) . From 2014 to 2017, across 20 sectors 42 percent of country pairs saw their servic es regulations converge,
41 percent diverged, and 17 percent stayed the same. Convergence was greatest for logistics, and least for
architecture. INTERNATIONAL MONETA RY FUND , WO RLD BANK, AND WORLD TRADE ORGANIZATION 15 24. Governments can pursue regulatory cooperation through various approaches.
Autonomous actions include the application of good regulatory practices relating to tra nsparency,
consultation with domestic and foreign stakeholders, tools to assess regulatory alternatives
(e.g., regulatory impact assessment), and domestic coordination and oversight of regulatory
quality. 17
Where international standards exist, the applicat ion of those standards at national level is
an important step. In r egional trade agreements (RTAs), regulatory co - operation provisions tend to
be strongest when undertaken among countries with similar regulatory objectives and capacities;
examples include NAFTA and the Australia - New Zealand Closer Economic Relations Trade
Agreement. The EU - China Regulatory Cooperation Framework and the mutual recognition
agreement between China and New Zealand, facilitating conformity assessment procedures for
electronics, are examples of mechanisms adopted among more heterogenous players.
Figure 3 . Changes in R egulatory H eterogeneity by S ector 2014 – 17
Source: OECD STRI Database
25. WTO Agreements contain very substantive disciplines on product regulations that
collectively promote regulatory cooperation. The GATT national treatment and most - favored -
nation (MFN) obligation s prohibit domestic tax and regulatory discrimination against imported
goods, subject to exceptions for certain regulatory purposes (Sykes, 2017). The Agreements on
Technical Barriers to Trade (TBT) and Sanitary and Phyto - s anitary Measures (SPS) were adopted by
all WTO members at the conclusion of the Uruguay Round. 18
They contain various a dditional
provisions (beyond simply ‘non - discrimination’) for product regulations and standards, and
conformity assessment procedures , including provisions that strongly encourage that such measures
be the least trade - restrictive means possible to fulfil a particular legitimate objective or to address a
17
Autonomous approaches reduce regulatory costs and serve to facilitate the application of regulatory cooperat ion
mechanisms. As they tend to focus on national objectives they are not necessarily intended to promote regulatory
convergence.
18
The SPS Agreement applies to measures aimed to protect human, animal, and plant life or health from certain risks
associated with trade in foods and beverages, feedstuffs, or the spreading of pests, among others. The TBT
Agreement applies to product regulations and standards addressing a broad variety of legitimate objectives (except
those expressly listed by the SPS Agreement) , including consumer information, human and animal health, the
protection of the environment, and national security. Before the advent of the WTO, domestic regulations were
specifically disciplined by a GATT agreement, the so - called 1979 “Standards Code.” However, as a “plurilateral
agreement” the Standards Code was only acceded to by a subset of GATT “contracting parties” (members). 0 100 200 300 400 500 600 700 800 900 1000Account ingLegal se rvicesTe le com munications Air transpor t InsuranceConstr uctionLogistics carg o handling Converg ence Diver gence No change 16 INTERNATIONAL MONETA RY FUND , WORLD BANK, AND WO RLD TRADE ORGANIZATI ON particular risk. Transparency provisions require the notification of draft regulations and the
opportunity for stakeholders to comment on the drafts. The WTO bodies that administer these
agreements also serv e as fora where concerns about draft and adopted regulations can be raised,
discussed, and potentially resolved — providing a meaningful element of regulatory cooperation.
26. Further efforts to promote regulatory cooperation could bring substantial benefits.
Im portant areas include greater transparency in the formulation of regulations, greater involvement
of domestic and foreign stakeholders in formulating measures, and the establishment of more fora
in which discussions and further commitments can occur (Mavro idis, 2016). As in services and some
other ‘frontier’ areas of trade reform, a key challenge in high quality regulatory cooperation is the
sectoral diversity in regulatory approaches and issues (e.g., vehicles and pharmaceuticals) – a
complexity that is also faced by businesses operating in these industries.
C. E l ectronic Commerce (“e - commerce”)
27. Open e lectronic commerce that respects legitimate regulatory priorities is
fundamental to modern economies . Promoting greater openness by reducing unnecessary
impedi ments to e - commerce , and through cooperative efforts to facilitate it , can be expected to
bring substantial economic benefits. Yet e - commerce also raises other important policy issues. For
example, privacy , law enforcement, or national security considerati ons might lead a government to
restrict the outward transfer of some data. T o ensure prompt access to financial data, a regulator
might require that certain data be maintained within its legal jurisdiction. Governments may also
face pressure to restrict da ta flows or to require local data storage in order to favor domestic firms
or industries.
28. As economies go digital, the benefits of e - commerce are rising. 19
Digitization affects
how goods and services are produced, traded, delivered, and consumed. E - commerc e is used by
businesses to expand customer base s and supply networks : globally, business - to - business (“B - to - B”)
e - commerce reached $2 3.9 trillion in 201 6 (USITC, 2017) . 20
Digitalization allows development of new
markets (e.g., cloud computing) and business models, such as post - sale digital services that
complement the sale of equipment (e.g., digital monitoring of equipment usage and operating
environments to guide efficient repair and replacement). Digital technology makes cross - border
trade possible for so me services that previously required the service provider and consumer to be in
19
BEA (2018) estimates that in 2016 the digital economy accounted for 6.5 percent ($1.2 trillion) of U.S. GDP and
employed 5 .9 million people. By raising productivity and lowering trade costs, e - commerce is reckoned to have
increased annual U.S. GDP by some 3.4 to 4.8 percent as of 2011 (USITC, 2014). Falk and Hagsten (2015) credit
e - commerce for 17 percent of EU labor product ivity growth from 2003 to 2010. Such investigations into the impact
of e - commerce build on seminal work of Freund and Weinhold (2002, 2004) on the impact of the internet on trade in
services and on trade in goods.
20
This compares to an estimated $3.7 trill ion in business - to - consumer e - commerce (USITC 2017). B - to - B
e - commerce is important to global value chains (GVCs); t he networks that underpin GVCs depend on coordinated
supply and purchasing actions by different firms in the network, operating in real tim e, and with substantial costs for
delays and unpredictability. For instance, by adopting electronic data interchange technology and standards a
foreign supplier can automate communications and transactions with its clients to integrate into their value cha in. INTERNATIONAL MONETA RY FUND , WO RLD BANK, AND WORLD TRADE ORGANIZATION 17 the same proximity; depending on domestic regulatory frameworks, this has opened to cross - border
trade certain types of engineering, financial , and professional services , among other s .
29. A ppropriate standards and regulation can facilitate the emergence of new forms of
international trade. A strong regulatory framework c ould include tools that facilitate remote
transactions, such as electronic documents and e - signature; promote c onsumer protection,
including online dispute resolution; enhance transparency and predictability in the digital
environment , with clear rules on liability of digital platforms for traded goods and services; and
protect privacy and personal information (Wor ld Bank, 2018). International regulatory cooperation
can help to facilitate e - commerce . Regulators are cooperating to ensure appropriate levels of
privacy with limited impact on e - commerce ’s economic and trade potential.
30. E - commerce relies on cross - border i nformation flows and is especially affected by
rules on the handling, processing, storage , and transfer of data . As efficient production and
trade — and global value chains — increasingly rely on cross - border data flows, adequate data policies
must balance bus inesses’ need for access to global data with domestic goals such as those
regarding privacy and law enforcement . 21
D ivergent country - specific regulations on privacy
protection , for example, raise costs of e - commerce . For instance, even with the relatively
h armonized system of the EU, a common problem for traditional e - commerce remains the
fragmentation of national rules on data protection, whereby key concepts like “personal data” and
forms of consent differ across countr ies (Kommerskollegium, 2015). 22
A con certed international
effort to adopt a coherent framework that protects personal data while fostering global e - commerce
could help .
31. A key challenge is to address legitimate public policy concerns without unduly
restricting e - commerce . The potential for t ension between international data flows and divergent
national privacy standards has provoked two types of international responses: regulatory
cooperation and the negotiation of trade rules (Mattoo and Meltzer, 2018).
32. Strengthening e xisting WTO agreements could help to promot e e - commerce . The
GATS, for example, provides rules relevant to cross - border data transfers , but a clearer
understanding is needed. For instance, the cross - border delivery of services (or Mode 1), one mode
of services supply under the GATS, includes the international transmission of data that embodies the
delivery of a service. This suggests that measures requiring the domestic storage or processing of
data may already be covered by WTO obligations when WTO members have undertaken relev ant
specific commitments in their GATS schedules. T he GATS also allows WTO Members to deviate from
their WTO obligations for legitimate policy concerns, including the protection of privacy and
21
Data flows have important roles in managing disperse production processes, facilitating collaboration on research
and design, and managing supply chains and logistics networks, becoming “a means of production … and the means
through which some servi ces are traded and GVCs are organized” ( L ó pez - Gonz á lez and Jouanjean, 2017). Restrictions
on data flows may impede these activities.
22
Illustrating the complex issues involved, this study argued that as transactions in the internal EU market may be
enabled through data storage and processing outside the EU, barriers to the free movement of data to third
countries can impact the free movement of goods and services within the internal market. 18 INTERNATIONAL MONETA RY FUND , WORLD BANK, AND WO RLD TRADE ORGANIZATI ON personal data ; h owever, questions may exist about the scope and coverage of such exceptions . T he
WTO Work Program on Electronic Commerce and the Joint Statement on Electronic Commerce (an
initiative of now 72 WTO Members ) are other important avenues for advancing work in this context.
Clarifying the scope of current r ules , and adding new rules where necessary, would go far in
promoting a coherent and comprehensive multilateral framework for e - commerce.
33. Improved trade policies can enhance the spread of goods through e - commerce.
D e minimis threshold values for customs s hipments (below which packages are exempt from duty )
vary greatly across countries, with lower thresholds requiring the calculation and collection of
customs duties on low - value shipments, burdening disproportionately small e - commerce exporters.
One can im agine concerted action by a range of countries to raise such de minimis levels , which
some countries propose might also be done in the WTO .
34. Full implementation of the WTO Trade Facilitation Agreement (TFA) can help to
promote goods trade through e - commerce . At the multilateral level, impl ementa tion of the TFA
can reduce the paperwork burden on SME exporters of goods using e - commerce by making
necessary information more available. Actions to make necessary customs information more easily
available and to fac ilitate and expedit e procedures for small consignment s would reduce clearance
times and other customs costs for SME goods exporters using e - commerce. Additionally, efficient
transport and logistics services are needed to ensure the journey of e - commerce go ods to the
cons umer or firm.
35. Bilateral and regional trade agreements offer some insights on potential global rules ,
as well as their limit ation s . The Comprehensive and Progressive Agreement for Tran s - Pacific
Partnership (CPTPP) features the most advanced rules to date on e - commerce , providing binding
rules against the discriminatory treatment of digital products, on the cross - border transfer of data,
and against server localization requirements, while recognizing the countries’ ability to restrict data
flo ws for privacy protection or other legitimate policy goals ( Box 2 ). Other recent trade agreements
have focused more on dialogue than on strict disciplines, such as the Canada - EU Comprehensive
Economic and Trade Agreement (CETA), or have exclud ed the prov isions fr o m dispute settlement,
such as the Australia - China Free Trade Agreement.
36. I nternational agreements can ease the tradeoff between the f ree flow of data essential
for international business and issues such as privacy. The key is to strike a balanc e between
guaranteeing the protection of privacy (or other legitimate objectives) and ensuring that the flow of
data is not restricted in a manner that unduly restricts trade. Attempts to find this balance may be
found, for instance, in the EU - US Privacy S hield and the CPTPP.
37. International instruments such as guidelines and declarations allow for more fine -
tuned discussions on regulatory principles, fostering greater coherence on e - commerce rules .
Non - binding instruments offer like - minded countries a platf orm to agree on essential principles and
policy goals that can guide domestic rules, while deferring the implementation to domestic
considerations. International guidelines can hence promote best practices and reduce restrictions to INTERNATIONAL MONETA RY FUND , WO RLD BANK, AND WORLD TRADE ORGANIZATION 19 e - commerce by providing greater detail in regulatory objectives and standards than that typically
found in trade agreements. For instance, the APEC Privacy Framework of 2015 and OECD Guidelines
on Protection of Privacy of 2013 h elp harmoni ze national privacy legislation while fo stering
international flows of data. The OECD Recommendation on Consumer Protection in E - Commerce
provides similar guidance with regard to consumer protection rules. Other instruments offer greater
level of detail, providing a basic template for domestic r egulations, such as the UNCITRAL model
laws for electronic signature and documents. Greater progress on these and similar initiatives can
help policy makers in adopting regulatory frameworks that capture domestic policy concerns while
promoting e - commerce through open and coherent regulations.
Box 2 . The CPTPP Chapter on Electronic Commerce
The CPTPP Electronic Commerce chapter seeks to promote the free flow of data and prevent “localization
requirem ents” of technologies and servers, while allowing the pursuit of legitimate public policy objectives. It
includes disciplines ensuring that companies and consumers can access and move data freely (subject to
safeguards, such as for privacy). CPTPP countrie s retain the ability to maintain and amend regulations related
to data flows, including those oriented to protecting privacy, but have undertaken to do so in a way that does
not create barriers to trade.
Also innovative is the prohibition against forcing businesses to build data storage centers or use local
computing facilities in CPTPP markets. CPTPP countries have committed not to impose these kinds of
‘localization’ requirements on computing facilities, thus ensuring that information can travel across border s
and business and consumers can benefit from the advantages of the “cloud . ”
Restrictions on data flows and localization requirements may be imposed for a “legitimate public policy
objective,” including the protection of privacy, to the extent that t hat measure is not a disguised restriction to
trade, or that it imposed restrictions “greater than required” to achieve the desired policy objective.
Another new provision in the chapter is the prohibition of measures that force suppliers to share software
source code with governments or commercial rivals when entering a CPTPP market.
Continuing the trend found in previous trade agreements, the chapter prohibits the imposition of customs
duties on digital products, including products distributed electronica lly, such as software, music, video,
e - books, and games. A similar provision prevents CPTPP countries from favoring national producers or
suppliers of such products through measures such as discriminatory taxation or outright blocking or other
forms of co ntent discrimination.
To facilitate electronic commerce, the chapter includes provisions encouraging CPTPP Parties to promote
paperless trading between businesses and the government, such as electronic customs forms; and providing
for electronic authentic ation and signatures for commercial transactions. T he agreement also requires CPTPP
members to maintain a legal framework for electronic transactions consistent with the principles of the
UNCITRAL Model Law on Electronic Commerce 1996 or the United Nations Convention on the Use of
Electronic Communications in International Contracts.
To protect consumers, CPTPP members agree to adopt and maintain consumer protection laws related to
fraudulent and deceptive commercial activities online and to ensure that pri vacy and other consumer
protections can be enforced in CPTPP markets. Parties also are required to have measures to stop unsolicited
commercial electronic messages (spam). The agreement recognizes that governments have different ways of
implementing priva cy protections, and CPTPP promotes interoperability between those diverse legal regimes. 20 INTERNATIONAL MONETA RY FUND , WORLD BANK, AND WO RLD TRADE ORGANIZATI ON D. Investment
38. Foreign direct investment (FDI) is now a major driver of economic growth. As a vehicle
of international commerce, estimated sales of FDI affiliates of $ 3 8 trillion in 201 6 exceed ed global
goods and services exports of $ 2 1 trillion. 23
Trade and FDI can be substitutes, particularly when
barriers to trade are high, but trade and investment are also complements when a commercial
presence is needed, and FDI barriers can then effectively serve as a barrier to trade. S tudies associate
the expansion of FDI since 1990 with a 20 percent increase in global GDP. 24
Increased foreign
investment is closely linked with the rise of regional and global value chains , which itself is facilitated
by factors such as information technology and reduced shipping costs. In fact, most types of FDI are
now seen as complements to trade, rather than as a substitute. Exports of foreign affiliates account
for about a third of global good s and services exports (Cadestin and others, 2018) . Accordingly,
many governments hav e become more welcoming of FDI.
39. P olicy obstacles continue to hinder the establishment and subsequent operation of
foreign enterprises. Despite its importance, the establis hment of foreign investments and the
action of established foreign companies face discrimination and restrictions. Explicit r estrictions can
include foreign equity limitations, joint venture requirements and constraints on foreigners serving
in senior mana gement . Other types of significant policy distortions include tax or regulatory
preferences for domestic investors, and conditioning the establishment or continued operation on
export performance or the substitution of domestic over imported inputs. Certai n types of
investment screening are common and reasonable if implemented appropriate ly (e.g., national
security); however, screening such as for ‘economic needs’ and any policies that reduce transparency
and predictability tend to discourage investment. Mo nitoring efforts are bringing greater
transparency to investment policies (Box 3 ).
40. Current international governance of FDI is fragmented and complex. There are some
3000 international investment agreements (IIAs), including bilateral investment treaties ( BITs) and
the investment provisions common in recent free trade agreements. While these agreements have
brought greater openness and predictability, the overlap and lack of a common template results in a
confusing landscape for governments as well as inves tors (Gonzalez, 2013). UNCTAD’s report on
23
UNCTAD WIR 2017 Table I.4. Sales include resale of purchased goo ds; using a somewhat different measurement
concept, Cadestin and others (2018) report global gross output of foreign affiliates at some $20 trillion. Relative to
global GDP, global sales of foreign affiliates rose from 22 percent in 1990 to 50 percent in 2 016. Global value added
of foreign affiliates rose from 4.6 percent of global GDP in 1990 to an estimated 11.1 percent in 2016.
24
Hufbauer and Draper (2016). They also cite econometric estimates by Bill Cline (2010) as evidence that the growth
of FDI in r ecent decades has contributed 1.1 percent a year in additional growth in advanced economies, and
1.4 percent a year in additional growth in developing countries. INTERNATIONAL MONETA RY FUND , WO RLD BANK, AND WORLD TRADE ORGANIZATION 21 Reforming the International Investment Regime 25
highlights “growing unease” with the functioning
of the system, which has trigge red efforts to improve the system to reflect the modern economy.
41. A universal approach to investment could go far in setting holistic rules critical in a
world of regional and global value chains. Although a global deal was elusive in the past, 26
greater experience with international investment agreements , a narrowin g in the earlier “north -
south” divide on investment issues , and a greater focus by governments on facilitating investment
flows suggests room for agreement in this area . A n agreement could establish rules for investment
facilitation that could further the transparency and predictability of investment measures ,
streamlin e and speed up investment processes , and foster international cooperation and best
practices . 27
The close relationship between investment and trade in the modern economy, the
experience with the GATS and other WTO agreements, along with the WTO’s near - universal
membership and its uniquely strong institutional provisions are reasons why many WTO members
are now call ing for work on investment facilitation in the WTO. That work is being pursued u nder a
joint initiative involving a group of WTO members (Box 4 and Section IV).
25
Strengthenin g system ic consistency is amon g the “reform challenge s” cite d in UNCTAD, 2015a, Chapte r 4,
“Reformin g the International Investment Regime: An Action Menu.” Othe rs include promotin g an d facilitating
investment, reformin g investment dispute settlement, while safeguardin g the right to regulate for pursuing
sustainable development policies.
26 Effort s in the 1990 s for a Multilatera l Agreement on Investment, facilitate d by the OECD, were eventually halted.
27 Outside the WTO, some have also calle d for agreement s that could provide f or non-discriminatory treatment of
establishe d foreign investment s, establish a framework under which government s can commit to opening to new
investments in the good s sector, and provide for appropriate exception s and flexibilitie s. There have also been calls
to bring greater consistency to core standards for investor protection that now often found in bilateral investment
treaties and some other international investment agreements.
Box 3. Monitoring Investment Policies
The OECD’s FDI Regulatory Restrictiveness Index has brought greater transparency to many aspects of investment
policy. It covers all G20 and OECD countries (and some others), examining four main types of FDI restrictions for
22 sectors: foreign equity limitations; screening or approval mechanisms; res trictions on the employment of
foreigners as key personnel; and operational restrictions, such as on branching, capital repatriation, or land
ownership. The OECD notes that additional policy factors not covered by the Index, such as state ownership in key
sectors, can in practice also give rise to FDI entry barriers.
UNCTAD and OECD collaborate to report, semi - annually, on new investment measures taken by G20 countries. In
addi tion to i t s tracking of trade policy measures, Global Trade Alert tracks liberalizing and restrictive FDI measures,
as well as related policies such as local - sourcing requirements and localization incentive s. 22 INTERNATIONAL MONETA RY FUND , WORLD BANK, AND WO RLD TRADE ORGANIZATI ON Box 4 . The WTO and Investment
Several WTO agreements affect investment policy. Most importantly, the WTO GATS has important
implic ations for investment in service sectors (see Box 1) . Among the others, the Agreement on Subsidies and
Countervailing Measures (ASCM) disciplines subsidies affecting trade in goods, including investment
incentives . T he Agreement on Trade - Related Investment Measures (TRIMS), also pertaining to measures that
affect trade in goods, limits the sorts of conditions that can be pl aced on investments; for example, it
precludes conditioning investment approvals on export performance or the use of domestically - produc ed over
imported inputs (local content requirements).
Current Initiatives . A group of 70 WTO members , including advanced economies, emerging market
economies, and low - income developing countries, has begun structured discussions ai med at developing a
multilateral framework on investment facilitation . These discussions seek to identify and develop the elements
of a framework for facilitating foreign direct investments that would improve the transparency and
predictability of investme nt measures; streamline and speed up administrative procedures and requirements;
and enhance international cooperation, information sharing, the exchange of best practices, and relations with
relevant stakeholders, including dispute prevention. This builds on recent international efforts such as the
formulation by the G20 during the 2016 Chinese Presidency of G20 Guiding Principles for Global Investment
Policymaking . Interest has also been spurred by the success in concluding and bringing into effect, in 20 17,
the WTO Agreement on Trade Facilitation (Section IV ).
E. Market Access for Merchandise Trade 28
42. Tariffs and other market access b arriers were reduced significantly in recent de cades,
but progress has slowed since the early 2000s. Advanced, and especially emerging economies
have come far in opening their markets through unilateral liberalization and WTO commitments. In
the early 1980s average tariffs stood at about 10 percent in advanced economies and 30 percent in
emerging market and developing economies. Great strides were made in reducing these barriers in
the last two decades of the twentieth century (Figure 4 ). With the slower pace of trade negotiations,
however, many of the reductions in applied tariff rates have not been locked in through WTO tariff
bindings, leaving the potential for backsliding .
28
We include here access to government procurement, as well as tariffs on merchandise trade. Government
procurement is an important part of most economies. It is not subject to WTO rules under the GATT and GATS, but
(as discussed further below) is covered under a WTO plurilateral agreement in which many WTO members
participate. Commitments under that agreement are enforceable through WTO dispute settlement. INTERNATIONAL MONETA RY FUND , WO RLD BANK, AND WORLD TRADE ORGANIZATION 23 43. Market access conditions in agriculture remain a pa rticular concern. O ver 40 percent of
WTO members apply agricultural tariffs that average d more than 15 percent. 29
In 2017, producer
support (including the effects of market distortions, such as tariffs, as well as certain producer
subsidies) is estimated to account on average for 18 percent of gross farm receipts in OECD
countries , compared to 12 percent in a sample of 10 emerging economies (OECD, 2018) .
44. Further reductions in tariffs and other barriers to market access stand to boost
productivity and income s. The economics is compelling (Box 5) . Regarding downstream industries,
Ahn and others (forthcoming) estimate that a 1 percentage point reduction in input tariffs in a
sector improves total factor productivity in that sector by 2 percent. 30
This operates i n part through
the impact of lower tariffs on the availability of new varieties of imported goods, including inputs. 31
The benefits of tariff reductions for consumers are also remarkable, with lower prices and more
choice disproportionately benefitting low - income consumers (Faijgelbaum and Khandelwal, 2016). 32
Lifting non - tariff trade barriers and government procurement restrictions would bring similar effects.
29
Calculations based on WTO “World Tariff Profiles, 2017.”
30
The authors define “input tariff” as the average tariff a sector faces on all inputs, including those sourced locally.
For a sector that imports one - fifth of its inputs, a 1 p.p. reduction in input tariffs requires an average 5 p.p. reduction
in tariffs on its imported inputs.
31
Examining India’s experience, Goldberg and others (2010) find that lower input tariffs account on average for
31 percent of the new products intr oduced by domestic firms.
32
They find that trade has reduced by one - quarter (two - thirds) the price of the household consumption basket of a
typical advanced economy high income (low income) household. Figure 4. Tariffs H ave C ome D own but R eform S tall ed S ince the E arly 2000s
Tariffs in advanced economies (left) and emerging market and developing economies (right)
(mean and interquartile range)
Sources: WTO Tariff Download Facility, IMF (2016 a ).02468101214
1980 1985 1990 1995 2000 2005 2010 2015 05101520253035404550
1980 1985 1990 1995 2000 2005 2010 2015 24 INTERNATIONAL MONETA RY FUND , WORLD BANK, AND WO RLD TRADE ORGANIZATI ON More open procurement markets f o r foreign suppliers raises the efficiency of public services (ADB,
2013) .
Box 5. Benefits from Market Access Reforms: Examples
This box discusses three channels through which market access reforms can increase trade, reduce policy
uncertainty, and bolster produ ctivity.
Tariffs and productivity . Productivity gains from greater trade integration can arise from resources being
reallocated to the most productive sectors, or through the adoption of more advanced technologies. In a study
of Mercosur’s impact, it has b een estimated that each percentage point reduction in Brazil’s tariffs increased
Argentine firms’ technology spending by between 1 and 1.5 percent (Bustos, 2011; see also WTO, 2017).
Tariff uncertainty and trade . Reducing the difference between applied and bound tariffs can have a very
large impact on trade. Combined with sunk costs involved in entering a new foreign market, the uncertainty
associated with these so - called ‘tariff overhangs’ can make firms delay entry decisions. Estimates using detailed
Aust ralian product - level data suggest that the impact of reducing both applied and bound rates to zero would
increase the variety of traded products more than four times as much as if only applied rates were set to zero
(Handley, 2014). In addition, increasing the number of bound duties (to cover tariff lines that currently remain
‘unbound’) would also be important.
Non - tariff barriers and trade . A wide range of NTBs remain, substantially affecting trade. For instance, a one -
day customs delay has been estimated to decrease imports as much as a 1 percent increase in the distance
between the importing and exporting countries (Djankov and others, 2010). For exporters, a 10 percent
increase in customs delays can reduce foreign sales by nearly 4 percent (Volpe Martin cus and others, 2015).
While actual achievements will depend on how ambitiously countries put it into practice, various studies have
shown that full implementation of the Trade Facilitation Agreement will reduce Members’ trade costs by an
average of 14 per cent — greater than the reduction that would flow from a hypothetical elimination of all
remaining tariffs worldwide (WTO, 2015).
45. Remaining market access barriers weigh on global trade. 33
Remaining tariffs vary greatly
across countries and sectors. In G20 ad vanced economies, applied MFN tariffs average 15 percent in
agriculture (see also Section III) — hurting not only poorer countries but also poorer domestic
households — and 4 percent for other goods. 34
For G20 emerging economies, applied tariffs average
16 perc ent in agriculture and 9 percent for other goods. Important issues remain with the sectoral
pattern of tariffs and with gaps between the applied and bound rates of tariffs. 35
For many members,
tariff rates for substantial numbers of non - agricultural product s remain unbound in the WTO. The
benefits of preferential tariff cuts under regional trade agreements are limited by their scope 36
and
33
Just the elimination of remaining tariff barriers i s estimated to permanently increase welfare levels by 0.6 percent in
EMDEs and 0.7 percent in AEs, on average (Spearot, 2016).
34
Besides agriculture, tariffs tend to be high in sectors such as textiles and clothing, and vehicles (UNCTAD, 2015b).
35
A patte rn of “tariff escalation” remains more prominent in advanced economies, where rates on finished goods
average 9 percentage points above those on raw products (World Bank, 2015) . Among emerging market and
developing countries, large gaps between applied tar iffs (averaging about 10 percent ) and WTO ceiling bindings
(about 30 percent) create uncertainty about future policy; these gaps reflect that many countries made beneficial
unilateral tariff reductions outside the context of WTO negotiations.
36
Between 200 1 and 2013, PTAs reduced average applied tariffs by 0.3 percentage points, whereas WTO scheduled
commitments and countries’ unilateral liberalization reduced them by 1.1 and 1.3 percentage points, respectively
(Bureau and others , 2016). INTERNATIONAL MONETA RY FUND , WO RLD BANK, AND WORLD TRADE ORGANIZATION 25 the requirement that exporters source inputs from suppliers within the region, which can fragment
regional and global valu e chains (Conconi and others, forthcoming); as a result, preference
utilization rates are often low (WTO, 2011 a ). Tariffs are compounded by large non - tariff barriers:
q uantity - and price - control NTMs affect over 40 percent of imports , including in high - inc ome
countries (IMF - WB - WTO, 2017).
46. Besides tariffs, discrimination in government procurement policies is widespread .
Participation in agreements that open procurement markets has the potential of not only promoting
competition (Evenett and Hoekman, 2004) , b ut also enhancing transparency, and thus reducing
corruption (Anderson and others, 2016). Given that in most cases government spending in services
outweighs goods purchases, allowing for foreign competition in procurement market s can be
particularly effect ive to promote services growth (Chen and Whalley, 2011).
47. A market access agenda should reduce tariff and nontariff barriers, promote
transparency, and enhance policy stability. Tariff reductions could usefully target higher tariff
rates more, bringing dow n averages and variation, which are especially high in agriculture;
addressing tariff escalation; and closing gaps between bound and applied rates. Longer transitional
periods may be appropriate for the smallest and poorest developing countries. Complement ary
reductions could be pursued by groups of WTO members comprising some critical mass of global
trade in particular sectors, as done for information technology (IT) products, with these tariff
reductions applied “MFN,” that is, on trade with all WTO membe rs. Increased participation of WTO
members in the Agreement on Government Procurement could lead to strengthened transparency
commitments and more ambitious commitments among both current and new signatories.
48. Flexible negotiation approaches have yielded re sults at the multilateral level . As
discussed further in Section IV, the area of market access exemplifies how progress has been
achieved not only through large - scale undertakings , such as the Uruguay Round, but also through
other varied approaches. These formats have delivered results in diverse areas, from tariff reductions
(e.g., the Information Technology Agreement, “ITA”), trade facilitation (the Trade Facilitation
Agreement) and government procurement (Agreement on Government Procurement). More
inform ation is provided in Section IV. As n o single approach necessarily works for all issues, forging
a way forward could usefully tap the WTO’s adaptable system (WTO, 2016 a ). WTO agreements are
also underpinned by a unique dispute settlement mechanism that has proven far more effective to
resolve disputes than any existing PTA mechanism (Davis, 2012 and Vidigal, 2017).
III. TRADE - RELATED POLICI ES FOR INCLUSIVENESS
A. Trade and the Empowerment of Poor People
49. Trade can be a powerful force for poverty reduction and incl usive growth . T rade can
lower poverty and promote inclusive growth by empower ing poor and marginalized groups — the
majority of whom , particularly in EMDCs, tend to reside in rural areas; work in the informal sector , 26 INTERNATIONAL MONETA RY FUND , WORLD BANK, AND WO RLD TRADE ORGANIZATI ON and are women ; this suggests the potent ial importance of policies in such sectors as farming and
light manufacturing (e.g., textiles , clothing). The channels through which t rade helps marginalized
groups in particular include increasing job opportunities , making goods and services consumed by
p oor households cheaper , lowering the pecuniary and non - pecuniary barriers to trade that fall most
heavily on poorer producers , and facilitating the access to information and technology that can
transform production processes or make them more efficient. To deliver these benefits also requires
complementary policies that improve infrastructure and networks , simplify trade requirements ,
improve institutions , and facilitate access to finance.
50. By increasing competition, lowering prices, and raising real income s, trade can
empower the poor and raise their living standards . P oor households spend relatively more on
tradeable goods (Cravino and Levchenko , 2017) and the reduction in prices from the competition
that trade brings raises their real incomes (Faijgelbaum and Khandelwal , 2016). Furthermore, by
increasing the variety of products available to the poor, and lowering the cost of living, poorer
segments of society could experience large income and welfare gains ( Hausman , 2003 ). I f these
gains are invested in he alth and education, trade will also improve long - run development outcomes.
51. Trade will be pro - poor if it promotes competition that undermines rents previously
earned by monopolies and cartels . For example, sheltered from international competition by trade
barriers, Kenya’s sugar market is highly concentrated and, in consequence, the largest players have
significant power over prices. Indeed, Kenyan sugar prices remain very high relative to international
prices. In this context, the removal of trade barriers would result in a more competitive market that
would enable 40,000 families to cross the poverty line, a decline in poverty of 1.5 percent in Kenya
(Argent and Begazo , 2015). Small sugar farmers are unlikely to face significant losses because most
of the rents that come from the trade barriers are accumulated by the concentrated milling sector.
52. Policies that lower the pecuniary and non - pecuniary trade barriers in domestic and
overseas markets will benefit the poor. The incidence of non - tariff barriers tend s to fall more
heavily on poor producers and consumers. For example, Nigeria bans imports of 27 groups of items ,
which raise domestic prices by as much as 92 percent to the benefit of interests that own domestic
production of those items. Eliminating these import bans and replacing them with tariffs at the
average level of Nigerian tariffs for comparable goods would raise the real income of Nigerians by
an average of 8.5 percent and enable 3.3 million Nigerians to exit poverty ( Cadot and others, 2018 ).
53. Trad e barriers in overseas markets that limit access for a country’s exports also tend to
be regressive, falling most heavily on the poor of that country. In India, for example, tariffs in
international markets are higher, and non - tariff measures more numerous , on goods produced by
poor workers than on goods produced by rich workers. Tariffs also tend to be higher (i) on goods
produced in rural and more remote areas (as compared to tariffs on goods produced in urban
centers ) , (ii) on goods produced by informal enterprises (rather than by formal enterprises) , and INTERNATIONAL MONETA RY FUND , WO RLD BANK, AND WORLD TRADE ORGANIZATION 27 (iii) on goods in which women are more heavily involved in production . The global reduction in
tariffs from 1996 to 2012 failed to reduce these differences ( Mendoza and others, 2018 ) .
B. Rural Economy
54. I n ma ny countries , e xtreme poverty and food insecurity is concentrated in rural areas .
For example, around 75 per cent of Africa’s extreme poor live in rural areas. The rural poor rely
largely on agriculture for their livelihoods , and poverty is linked to low a gricultural productivity —
making agricultural development critical to poverty reduction .
55. A gricultural and fisheries policies impact market access and food price developments ,
affect ing poor farmers and poor consumers. Distortions to agricultural trade can harm poor
producers by reducing their prices and eroding their competitiveness. Farm s ubsidies , particularly in
large economies , can depress global prices for farm products, harming farmers in poor countries
and hindering their entry into export markets. E xport restrictions can segment local markets and
make world market prices more volatile; poor producers and poor consumers often lack the tools or
resources needed to manage this volatility effectively. L imiting fisheries subsidies can improve
livelihoods of those in poor coastal communities and bring more sustainability to fishing (Box 6 ) .
56. Developing country farmers face many challenges in accessing foreign markets. Lower
trade barriers can lead to increased sales ; however, the benefits can be hampered by poor access to
markets and the costs of compliance with standards, particularly those in high - income destination
markets. Small holders face particular challenges, especially when located in remote areas in
complying with public and private standards for a gricultural and food products. Poor access to safe
water, reliable electricity, knowledge, and reliable testing services make meeting (and proving
compliance with) such standards particularly challenging. Remoteness and weak infrastructure
contribute to lo w producer prices for small farmers and reduce the incentive to produce for the
market. Small farmers dispersed across rural areas are unable to benefit from consolidation and
scale in selling their output, and often have no choice but to sell to middlemen /intermediaries and
as a result, small farmers tend to receive a relatively low price compared to the final price.
57. Even in rural areas where most households are net food consumers, higher food prices
can be associated with reduced poverty. Simple simulatio n models have suggested that since
most poor households are net consumers of food, higher food prices are likely to increase poverty
in the short run. There are a number of problems with this approach. 37
H ouseholds adjust to higher
food prices by increas ing productivity and output (e.g., through fertili z ers and higher - yielding
seeds ). They may also allocate more time to activities that generate higher wage income for the
household as demand for unskilled labour in rural areas increases. Headey (2016 ) examine s the
cross - country evidence from over 50 developing countries and finds that rising food prices are
associated with reduced national poverty rates. This is driven by (i) the large number of poor people
37
There are issues over the reliability of the data on the net food position of households from household surveys.
Large errors may result from recall biases that result in the underestimation of food production and from
annualization of short recall responses that overstate consumption ( Headey, 2016 ). 28 INTERNATIONAL MONETA RY FUND , WORLD BANK, AND WO RLD TRADE ORGANIZATI ON who still live in rural areas , with their welfare lar gely determined by farm and non - farm agricultural
incomes (ii) the rapid increase in agricultural supply in many countries in response to higher prices
and (iii) in some cases, the relatively faster increase in rural wages as compared to urban wages .
Howev er, domestic price support measures in developing countries can also contribute to
undernourishment within poorer households and have a negative impact on poverty; policies
targeted toward the most vulnerable segments of the population could avoid this.
Box 6 . Fisheries S ubsidies N egotiations at the WTO
Since 2001, WTO members have been engaged in negotiations to discipline subsidies to the fisheries sector that
contribute to overcapacity and overfi shing, including subsidies to illegal, unreported and unregulated (IUU)
fishing. These negotiations could bring about a “ triple win ” for trade, development and the environment by
reducing the trade - distortive effects of such subsidies in ways that promote economic development . T he
sustainability of fish stocks could be protected , inter alia by redirecting public funds away from payments that
encourage production and toward better fisheries management, allowing the sector to regain profitability.
While much of debate in the negotiations is focused on subsidies to industrial fisheries, including those on the
high seas, the role of subsidies in the artisanal and small - scale fisheries in developing country Members also
occupies an important role in the negotiat ions. N egotiators are seeking a balance between governments’
provision of support to poor and vulnerable communities where fisheries is a major source of jobs, nutrition and
income, against governments’ responsibility to husband the fisheries resources for future generations, including
by avoiding support of unsustainable levels of fishing.
The 2017 WTO Ministerial Decision on Fisheries Subsidies mirrors the language of SDG Target 14.6 and reflects
these different priorities. It targets completion of negot iations by the 12th WTO Ministerial Conference in 2019 ,
and calls for comprehensive disciplines to prohibit subsidies to IUU fishing and other subsidies that contribut e to
overcapacity and overfishing, with special provisions for developing country and LDC Members.
C. Micro, Small, and Medium - Sized Enterprises
58. M icro, small, and medium - sized enterprises (M SMEs ) play an essential role in
promoting inclusiveness, but participation in trade remains limited. 38
MSMEs represent more
than 90 percent of registered comp anies and account for around two - thirds of total employment in
both developed and developing countries. C alculations based on the World Bank Enterprise Survey
indicate that direct exports by MSMEs amount to only 7.6 percent of total MSME sales in the
manuf acturing sector, compared to 14.1 percent for large manufacturing enterprises. T he relatively
low level of MSME trade has been ascribed to various barriers, such as access to information, access
to trade finance, non - tariff barriers (NTBs), cumbersome regu lations and border procedures, and
poor physical and ICT infrastructure . 39
Increasing de minimis thresholds so that tariffs are not
assessed on small - value shipments (Section II.C) can promote MSMEs’ participation in e - commerce.
38
Although no single MSME definition exists, they are generally considered to be firms of less than 250 employees.
39
According to a 2015 ITC Monitoring Survey, the largest problems faced by MSMEs when exporting were "access to
information about export opportunities , " "access to information on procedures and regulations in order to export or
import ," and "access to trade finance" . Over half of SMEs’ trade finance requests are rejected, compared to 7 percent
of requests by large firms (WTO, 2016b). Tax and regulatory compliance costs may also disproportionately affect
MSMEs (OECD, 2017), hindering their participation in trade. INTERNATIONAL MONETA RY FUND , WO RLD BANK, AND WORLD TRADE ORGANIZATION 29 59. E - commerce is increasing the ability of M SMEs to grow by exporting , underlining the
importance of building a stronger global framework around e - commerce . By lowering trade
cost s , e - commerce can promote inclusion for small firms, which are least able to overcome the initial
costs of p articipating in trade. Export survival rates appear to be much higher for firms involved in
e - commerce ( Meltzer, 201 6 ) and e - commerce has been shown to facilitat e the participation of small
firms in trade, in part because it allows M SMEs to reach customer s at lower costs. According to
AliResearch (2017), m ore than 95 percent of companies using the Alibaba platform have fewer than
5 employees . On average, 97 per cent of internet - enabled small businesses export (WTO, 2016b).
Further, e - commerce provides a sp ace for sales by those discriminated against in traditional
distribution networks, such as women. In fact, certain platforms, such as Etsy, have been shown to be
predominantly women - owned MSMEs .
60. Improved trade policies could help to enhance MSME participat ion in trade. The special
situation of MSMEs is addressed in a number of regional trade agreements (Monteiro, 2016), as well
as in some WTO agreements and work program s . Most recently, 88 WTO Members have establish ed
an Informal Working Group to look into how trade challenges faced by MSME s could be addressed
at the WTO. Issues under discussion include how access to information and access to trade finance
could be enhanced, and how border procedures could be further facilitated.
D. Gender
61. Trade helps to drive female employment . Trade generates jobs for women, including
through employment in the formal sector among those previously employed in the informal sector.
MSMEs account for 52 percent of employment in developing economies ( ILO, 2017) and employ
women di sproportionately (WTO , 2017). E xports now represent just 8 percent of total sales of
developing country MSME manufacturers, but raising MSME participation in trade seems likely to
promote female employment (WTO, 2016 b ) . In a recent study of Indonesia, Kis - Katos and others
(2018) find that reduced import tariffs on locally - relevant inputs led to greater work participation,
more work hours, and reduced domestic duties by women, especially those less - educated, with no
similar effects for men.
62. Export ers in dev eloping countries employ more women than non - exporters and jobs
in export sectors tend to have better pay and conditions than those in the informal sector.
In many developing economies women comprise up to 90 percent of the workforce in export
processing zones, bringing jobs that provide higher income and greater job stability (World Bank
and WTO, 2015). The growth of global and regional supply chain trade, such as in apparel and
assembled goods, has been a strong source of employment for women in developi ng countries.
63. Many governments are now acting to support the participation of women in trade.
The Buenos Aires Declaration on Trade and Women’s Economic Empowerment, signed by 12 1 WTO
Members and Observers representing three - quarters of global trade , seek s to ensure that the WTO
works to make trade more inclusive and increases the participation of women in trade. 30 INTERNATIONAL MONETA RY FUND , WORLD BANK, AND WO RLD TRADE ORGANIZATI ON 64. The impact of trade and trade policy on women is complex . Women can be affected by
trade as consumers, as producers of traded goods and services , and as entrepreneurs with dominant
ownership of exporting companies. The trade impact on female producers or exporters also
depends on the role in the economy of the sector or industry where they are specializing and on
whether they are employed in large or small firms. While the export sector is an important source of
employment for women, the services sector is the largest employer of women. F urther services trade
reform , coupled with domestic regulatory reform , could thus help to drive further job crea tion for
women in service sectors such as health , finance, and tourism, and in areas such as communications,
distribution, and logistics that are becoming increasingly tradable .
65. In many countries, women are constrain ed from fully participating in or benef iting
from trade. Specific c onstraints include access to credit, land and other resources, asymmetric
household responsibilities, gendered social norms, labor market segregation and lower skills and
lack of training. Women are often heavily involved in cro ss - border trade — in the Great Lakes region
of Africa, about three - quarters of small - scale cross - border traders are women — but are less likely
than men to be aware of their rights and of legal conditions governing trade at the border. In a 2010
survey of thos e traders, more than 80 percent reported having to pay bribes to cross the border
( Brenton and others, 2012 ), while more than half had suffered physical harassment and abuse.
66. Farming often presents specific issues. In many poor countries, seeds, fertilize rs and
pesticides are predominantly imported; however, women often find it more difficult to interact with
markets as they are bypassed by traditional male - dominated distribution networks, are less likely to
receive technical information, and farm support programs may exclude crops grown primarily by
women. 40
Improved access to markets for women farmers would increase use of modern inputs and
enable them to sell more of what they produce — helping to close the gender productivity gap in
agriculture, raising ag ricultural output , and improving the welfare of households of female farmers.
67. Through its impact on job creation, trade can enhance the status of women in society
and empower women within the household . Employment of women has been shown to have
positive l ong - term development outcomes through the greater influence of women on household
decisions on education , food, and health expenditures , and on the status of girls. 41
Decisions that
improve the caloric intake of children and reduce stunting improve educatio nal attainment and
adult productivity. By creating jobs for women, trade can also increase incentives for girls to attend
school and training (Jensen, 2012; Heath and Mobarak, 2015) , and greater job opportunities through
trade bring an increased focus and expenditure on education for all children in the household ( Oster
and Steinberg, 2013) . Finally, job creation through trade can empower women in social and political
40
Larson and others (2015 ) find that in Uganda, after controlling for these factors, observed productivit y differences
between female and male farmers disappear.
41
Hyder (2016 ) notes that “ as garments workers, women are now earning salaries, participating in formal sector
work, managing personal finances, encouraging their children to pursue higher education, and defying traditional
marriage standards by marrying later. The garments industry has created the rise of financially independent and
successful women in Bangladesh and is responsible for a dramatic shift in paradigm for Bangladeshi society .” INTERNATIONAL MONETA RY FUND , WO RLD BANK, AND WORLD TRADE ORGANIZATION 31 spheres, making institutions more representative and changing policies that lead to increa ses in the
provision of public goods ( education, health, s anitation, water ) which contribute to long - term
development ( Beaman and others, 2011 ).
E. Complementary Policies to Support Inclusiveness
68. Policies can help to ease adjustment and ensure inclusiveness. While trade enlarges the
economic pie, it sometimes , along with technological progress and other structural changes,
imposes adjustment costs on groups of workers and some communities , triggering discontent
among some segments of society . Policies to faci litate that adjustment will help to share the gains
from trade more widely. Building on the comprehensive typology of alternative adjustment policies
developed in Section V of IMF - WB - WTO (2017), this section updates the evidence on the design and
effective ness of adjustment policies . Since technological progress is also associated with gains and
losses that are unevenly distributed, these policies are equally relevant when coping with adjustment
due to technological improvements.
69. Better understanding the fu ll response to “trade shocks” can provide greater insights
on the focus of adjustment policies. While import competition can displace workers from certain
sectors or locations, the aggregate employment effects of increased import competition tend to be
neu tral to positive, leading to better jobs overall. The work of Autor and others (2013, 2016)
concluded that U.S. localities more exposed to Chinese manufacturing import competition
experienced larger declines in employment and earnings . However, that work d id not consider the
offsetting roles of exports and supply chains. Feenstra and others ( 2017 ) conclude that job gains
related to increased exports largely offset the job losses due to China’s import penetration . 42
Similarly, evidence from Germany associates increased import competition from China and Central
and Eastern Europe with greater export growth and net job creation ( Dauth and others, 2015 ).
Policies should aim to enhance the ability of workers to move to expanding sectors.
70. Drawing also on the more recent evidence suggests a few broad principles for the
design of complementary policies.
• Improving the ability of workers to move across industries , regions, and skills is key.
Important social safety nets such as unemployment insurance c an provide worke rs with the
chance to retool and policymakers with the time to deploy more targeted policies . Policies
toward h ousing , credit, and education can promote mobility.
• Well - designed adjustment programs can help . E vidence on the overall effectiveness of
trade ad justment assistance programs remains mixed (IMF/WB/WTO, 2017) . 43
Assistance for
displaced workers should be economy - wide, and not necessarily focused on trade - related
displacement (Kletzer and Litan, 2001). Wage insurance, subsidies for health insurance fo r
42
Similar ly, they are also found to fully offset the job losses due to imports from all countries, when the services
sector is included (Feenstra and Sasahara, 2017).
43
However, the vocational skills acquired from TAA training bec a me obsolete over time, with return s fully
depreciating in ten years. 32 INTERNATIONAL MONETA RY FUND , WORLD BANK, AND WO RLD TRADE ORGANIZATI ON displaced workers, and support for vocational training and formal education may all play a
role.
• In severe instances, p olicy responses should be prompt and targeted, and place - based
policies should be considered. Abrupt increases in import competition c an have
concentrated effects on certain industries and communities and lead to long - term non -
employment , with social and economic hardships. In some cases, prompt action with
targeted place - based policies can help . Austin and others (2018) suggest that emp loyment -
focused programs tailored to local circumstances improve outcomes . 44
71. In developing and emerging economies, factors such as the extent of labor market
informality need to be considered . Workers displaced after Brazil’s trade liberalization in the ea rly
1990s spent considerable time in non - employment before eventually switch ing to the informal
sector , typically with lower - quality jobs ; this highlight s the role of th e informal sector in absorbing
trade - related displacements (Dix - Carneiro and Kovak, 201 7a). Informal sector earnings were not
affected by trade liberalization, in contrast with the formal sector earnings that declined
(Dix - Carneiro and Kovak, 2017b). A finding that workers in tradeable and nontradable sectors
incurred similar losses suggest s putting in place broad - based policies . T rade - specific adjustment
programs on their own may be insufficient , as they compensate only import - competing sectors and
do n o t address those who may be equally impacted through indirect effects .
IV. ROLE OF THE INTER NATIONAL TRADING SYS TEM
72. M ultilateral trade cooperation is increasingly important i n today's hyper - integrated ,
multipolar global economy. Many key trade issues , such as e - commerce , are largely global in
nature and can only be tackled globally in the WTO . Ye t one of the WTO’s core strengths — its global
scope and membership — also make s it more challenging to advance and 'upgrade. ’ The last major
reform of the system, the Uruguay Round, was concluded almost a quarter century ago and
addressed the agenda of the 19 80s. T he WTO Agreement does not tie negotiators to pre -
determined negotiating approaches, but allows for a variety of approaches. The urgent challenge
today is to harness the unique strength of the WTO — an institutional, legal, and enforcement
character tha t cannot be matched in bilateral and regional trade agreements — to tackle the key
trade issues of today , using the most effective approaches available .
73. In these times of fast - moving change in the global economy there is a need now more
than ever to ensure that the rules, policies, and practices governing global trade evolve and
are modernized. Since its creation immediately after the Second World War, the system has
evolved and adapted in response to new economic activities, new trade participants, and new
'integrating' technologies. Although this evolution has not always been smooth — often advancing in
fits and starts — two long - term trends are striking .
44
Research such as Case and Deaton ( 2017 ) and Krueger ( 2017 ) associate social and health problems more with
employment rather than income. INTERNATIONAL MONETA RY FUND , WO RLD BANK, AND WORLD TRADE ORGANIZATION 33 • First, multilateral trade cooperation has grown wider and deeper with more countries ,
more issues, and mor e rules being consolidated in the increasingly global architecture.
Launched as a limited tariff agreement among 23 members , the 1947 GATT gr e w into the
modern WTO , with multi - issue economic agreement s among 16 4 members. International
trad e relations ha ve in turn become increasingly open , integrated , and interdependent —
further reinforcing the logic of global cooperation and rules.
• Second, WTO negotiations have included all members, but members have had varied
ambitions and undertaken varied commitments, esp ecially as the system has grown
more diverse. Every negotiation has been multi - speed , w ith some members going further
and faster than others . The resulting agreements have been ‘ variable geometry , ’ with
outcomes that accommodated different obligations on i ssues such as tariff schedules and
services commitments , anchored in common principles and general rules.
74. The practice of bundling negotiating issues together in giant, all - or - nothing trade
rounds has become extremely difficult to manage. T his “ single und ertaking ” approach — where
every country has a stake and say in the outcome and "nothing is agreed until everything is
agreed" — delivered , in the Uruguay Round, a large , far - reaching package across a wide range of
issues and sectors. Yet it became increasingl y vulnerable to delays and deadlocks as progress on
more feasible issues was held back by a lack of progress on more controversial and intractable ones.
As long as everyone needed to reach agreement, anyone could delay an overall package. The
Kennedy Round (1964 – 67) took almost four years to complete; the Tokyo Round (1973 – 79) s ix years;
and the Uruguay Round (1986 – 94) over eight years. Meanwhile, the Doha Round, launched in 2001,
has already lasted seventeen years with no conclusion in sight. 45
75. The slower p ace of multilateral negotiations has encouraged c ountries to turn to
bilateral and regional strategies. This has had positive aspects, but also presents a risk of
complicating or fragmenting the trading system. These efforts have been motivated, in part, b y a
sense that smaller like - minded groups could address the complex challenges of deeper integration
easier and more quickly than the broader WTO. T he number of RTAs in force and notified to the
WTO increased from about 54 in 1995 to over 250 today , yet le ss than half of global merchandise
trade takes place between countries that share an RTA ( Figure 5 ) . The most ambitious RTAs go
beyond liberalizing trade in goods and services to address deeper integration by devising common
regulations and standards gover ning goods, services, investment , and public procurement markets . 46
76. Regional trade agreements can help to advance trade integration, but are not enough
on their own. The more ambitious regional agreements have helped to demonstrate the potential
of further integration in new areas . While t he growth of more , broader and deeper RTAs clearly
demonstrates countries ' desire to expand and strengthen international trade cooperation, even the
45
Early GATT rounds focused on tariff cutting and proceeded more rapidly. These we re the Geneva Round (1947),
Annecy Round (1949), Torquay Round (1950 – 51); Geneva Round (1956); and Dillon Round (1960 – 61).
46
Some 66 percent of notified RTAs have provisions on trade in services; 51 percent have provisions on investment
liberalization; 74 percent on intellectual property rights; and 71 percent on competition policy. They have taken on
average 2.5 years to complete. 34 INTERNATIONAL MONETA RY FUND , WORLD BANK, AND WO RLD TRADE ORGANIZATI ON most far - reaching mega - regional deals cannot address all modern trade cha llenges. Because RTAs
by definition have limited membership and coverage, their ability to address the policy coordination
challenges posed by increasingly 'borderless' global issues like services , investment, or e - commerce
is also limited. In addition, pr oliferating RTAs can creat e overlapping , inconsistent and fragmented
trade regimes — 'spaghetti bowl' effects — raising transac tion costs and complicating sourcing for
businesses that operat e in global markets . By design, RTAs are also preferential and exclusi onary ,
with tariff and some other discriminatory provisions potentially trade - diverting .
Figure 5. RTAs in F orce, 1948 – 2018
Source : WTO.
77. These shortcomings are amplified by the fact RTAs tend to define or 'lock - i n' trade
partnerships by region , wh ile key trade relationships today often transcend geography and
are specific to issue s or industries, rather than regions. The complex China - EU - US relationship,
to take an obvious example, cannot helpfully or even feasibl y be addressed by multiple RTAs,
regardless of how comprehensive or well - designed. As the only global trade system, the WTO
provides the only forum where all countries, including the most powerful, can cooperate on the
growing number of global trade issues that impact them collectively. In today's increasingly open,
integrated , and multipolar global economy, there is no obvious alternative to the global system of
trade rules , policy coordination, and institutional support — especially regarding transparency a nd
dispute settlement — that the WTO now provides.
A more flexible multilateral trading system
78. As multilateralism becomes more relevant to global trade relations there are signs of it
becom ing increasingly flexible and multispeed. Several traditional approa ches are already be ing
revisited in the context of recent WTO negotiations. 36 43 43 48
34 40 41 46
050100150200250300350
0102030405060
1995 1997 1999 2001 2003 2005 2007 2009 2011 2013 2015 2017% of Export to RTA par ties
% of Im port from RTA pa rties
Cum ulative Num ber of Physica l RTAs in force (RHS) INTERNATIONAL MONETA RY FUND , WO RLD BANK, AND WORLD TRADE ORGANIZATION 35 79. The first is the idea that trade opening and rule - making can only be organized and
advanced in ever - bigger multi - issue, multi - year rounds. R ecent breakthroughs at the WTO's Bali
M inisterial Conference in 2013 and again at the Nairobi Ministerial Conference in 2015 involved
smaller negotiated "packages" of issues — where the trade - offs being sought were narrower, where a
convergence of interests was possible, and where members had a s hared stake in reaching
agreement. Bali delivered the Trade Facilitation Agreement — which had eluded negotiators over the
course of the Doha Round — while Nairobi produced an agreement to ban agricultural export
subsidies and provide new disciplines with resp ect to international food aid, export finance and
agricultural exporting state - trading enterprises aimed at addressing the potential risk to circumvent
the ban (Box 7) . Interestingly, the notion that multilateral negotiations should move towards
continuous , technical level dialogues — and away from giant, make - or - break events — was a key
justification for creating a more permanent global trade institution in 1995, the WTO.
80. A second traditional approach being revisited is the idea that all WTO Members can —
or sho uld — be required to take part in all WTO negotiations. When achievable, multilateral
agreements are the optimal way to liberalize world trade and secure global rules. But in certain
areas — especially those emerging issues where policy innovation is needed an d where not all 164
WTO members are equipped or ready to engage — some countries wish to move further and faster
than others, and are doing so. As former WTO Appellate Body Chair James Bacchus (2018) noted,
“WTO members have chosen to pursue new trade obliga tions multilaterally, but they are not
required to do so.” 47
81. Several initiatives that are underway could lead to plurilateral agreements. An
important development at the 2017 WTO Ministerial Conference in Buenos Aires was the decision
by some WTO members to launch 'open - plurilateral' discussions on e - commerce, investment
facilitation, services domestic regulation, and micro, small, and medium - sized enterprises (MSMEs). 48
In e - commerce and services domestic regulation, this represents a n innovation following m any years
of WTO discussions. Since their objective is seemingly not to exchange market access 'concessions'
but to improve regulatory coordination — in order to minimize policy frictions and advance shared
goals in a "least trade restrictive" way — they could lead to a more cooperative, less mercantilist,
approach to WTO negotiations in the future. Indeed, new rules in these a reas would likely be
inherently non - discriminatory — because they involve domestic regulations that cannot easily be
tailored to benefit s pecific trade partners — making concerns about "discrimination," like calculations
of "reciprocity," less relevant . 49
47
He continues: “An option provided by the WTO treaty is to pursue new trade obligations plurilaterally through
negotiations a mong a self - selected subset of WTO members seeking the perceived economic advantages of
agreements within the WTO rules framework….”
48
Bertelsmann Stiftung (2018) summarizes some of these discussions.
49
Hoekman and Mavroidis (2015) discuss the WTO institu tional framework as it relates to alternative negotiating
approaches such as plurilateral agreements. 36 INTERNATIONAL MONETA RY FUND , WORLD BANK, AND WO RLD TRADE ORGANIZATI ON Box 7. GATT/WTO: Selected Experience with Alternative N egotiating Approaches
Although GATT/WTO negotiations have come to be associate d with large - scale “single undertakings” such as the
Uruguay Round outcome and the Doha Round agenda, the WTO Agreement allows for various approaches .
I ndeed, great progress has been made through other approaches , before the Uruguay Round and since.
Several plurilateral “codes” from the Tokyo Round later became full multilateral agreements. A subset of
GATT members agreed on additional rules in several areas, including customs val uation, subsidies, and technical
barriers to trade. These “codes” were binding among the signatories and subject to GATT dispute settlement. With
the conclusion of the Uruguay Round, these agreements became multilateral — binding on and enforceable by all
WT O members.
The Agreement on Government Procurement (AGP) began as, and remains, a plurilateral agreement. The
AGP was also introduced in the Uruguay Round. The obligations of p articipants extend only to other participants
(and not to non - participating WTO members). It is open to new participants and to further negotiation to improve
existing commitments.
“Critical mass” agreements are negotiated by a subset of WTO members, with benefits extended to all
members. T he expanded Information Technology Agreement ( ITA; 2015) commits its 53 participants (accounting
for 90 percent of world trade in the covered products) to eliminate all tariffs (on an MFN basis) on a further 201
products. Similarly, commitments made in 1997 by around 70 WTO members as a result of ex tended negotiations
on Basic Telecommunications and Financial Services are applied on an MFN basis to all WTO members.
The WTO Trade Facilitation Agreement (2013) is a fully m ultilateral agreement that was unbundled from a
broader initiative. The topic of trade facilitation is part of the Doha Development Agenda agreed in 2001.
Recognizing the benefits of a cooperative approach to strengthening customs practices, however, WTO members
decided to conclude the TFA separately rather than to wait for conclusion of an overall Doha Round . The TFA is
binding on and enforceable by all WTO members ; it uses innovative approaches to allow for multi - speed
implementation by developing countries and LDCs, and provides for implementation assistance.
Ministerial decisions c an also be used. For example, WTO members agreed in 2013 to eliminate farm export
subsidies.
82. The WTO can adapt and deliver results when its members work together. In 2013, WTO
Members negotiated the Trade Facilitation Agreement ; in 2015 , they concluded the Information
Technology Agreement expansion deal and the agreement to ban all forms of agricultural export
subsidies ; and in 2017, many joined in launching discussions on key 21 st
century trade issues like
e - commerce and investment facilitation. Althou gh some are not currently in a position to support
them, these initiatives remain open for any WTO member to join. In each case, negotiating success
resulted from combining continuity and reform. Today's fast - changing global trade landscape
clearly require s a parallel change in global trade governance if multilateral trade liberalization is to
remain an engine of inclusive global growth. In the end, t he WTO represents no more or le ss than
the willingness of its m embers to cooperate — and to recognize that the ir national economic
interests are increasingly bound up with their collective economic interests. The system is a result —
as much as a cause — of their commitment to deepening their economic integration and
interdependence. Whether the system continues to ev olve, adapt and succeed is up to them. INTERNATIONAL MONETA RY FUND , WO RLD BANK, AND WORLD TRADE ORGANIZATION 37 References
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