Similarly, the imposition of tariffs on rice imports by the private sector may discourage importation thereby potentially affecting trade between the Philippines an[r]
Trang 1On the Application of European Union (EU) State Aid Rules in the
Philippine Rice Sector
Vincent Jerald R Ramos 1
The National Food Authority (NFA) is a state-owned enterprise with the mandate of ensuring national food security and stable supply and prices of rice NFA’s financial viability has been consistently questioned given its main market function of buying unhusked rice (paddy) and sells milled rice at set prices regardless of costs incurred A sizable chunk of NFA’s operational expenses (25 percent on average from 2013-2017) are shouldered by two kinds of subsidies from the national government—income and tax subsidies This paper attempts to look into the value and nature of the subsidy granted to the NFA with respect to the State Aid rules adopted
by the European Commission Using the EU Guidelines for State Aid Evaluation, the paper preliminary finds that the NFA has benefited from market-distorting Aid which is not available
to other players in the sector and that alternative policy instruments which have less impact on market competition can be adopted On top of the elimination of this Aid, reforms and effective law enforcement are necessary to effectively minimize market distortions in the rice sector Further, the Association of Southeast Asian Nations (ASEAN) region, in light of its further integration, can look into how State Aid regulations can be integrated in the mandate of the national competition authorities and how Member States can advocate for and promote competitive neutrality in their Aid instruments
1 Introduction
The European Union (EU) implemented the State Aid Law to prevent member states from providing intervention which distorts competition This “intervention” can come in the form of subsidies, incentives, tax breaks, preferential treatment, among others The goal of the policy is to ensure a level playing field among entities within the EU
The National Food Authority (NFA) is the only state-trading enterprise notified by the Philippines to the World Trade Organization (WTO) and its mandate is to ensure national food security and stable supply and prices of staple cereals, including rice NFA’s financial
1 Mr Ramos is a former junior economist of the Philippine Competition Commission where he specialized in competition issues in the agricultural sector He obtained his BSc in Economics from the University of the Philippines and is currently taking his Master’s in Public Policy at the Hertie School of Governance, Berlin, Germany His views do not reflect those of his current and former affiliations He can be reached through e-mail
at vjrr07@gmail.com All errors are his alone
Trang 2performance has been consistently questioned given its main market function of buying unhusked rice (paddy) and sells milled rice at set prices regardless of costs incurred
This paper attempts to look at the value and nature of the subsidy granted to the NFA with respect to the State Aid rules adopted by the European Commission The first screen is whether this aid qualifies as “State Aid” under the formal definition adopted by the EC The second screen is the notifiability of such aid The third screen is the compatibility test of the said Aid
Using the EU Guidelines for State Aid, the paper preliminary finds that the NFA has benefited from market-distorting Aid, composed of income and tax subsidies, which are not available to other players in the sector and that alternative policy instruments which have less impact on market competition can be adopted Further, policy reforms and effective law enforcement are necessary to effectively minimize market distortions in the rice sector
The paper concludes by recommending that the removal of Aid given to the NFA should not
be a singular decision It should be part of a package of policy reforms including a change in policy and more effective law enforcement Further, in light of heightened integration within the Association of Southeast Asian Nations (ASEAN) region, the ASEAN Experts Group on Competition can look into how State Aid regulation can be integrated in the mandate of the national competition authorities and how they can advocate for competitive neutrality within their respective countries
2 Philippine Rice Sector
The surge in rice prices in the first half of 2018 revived the discussions on rice policy
in the Philippines, with past studies pointing to different reasons on why rice production remains inefficient, why rice farmers remain among the poorest and most vulnerable workers, and why rice prices are among the highest in Southeast Asia
Rice is the primary staple food and the most widely grown crop in the Philippines and its price and stability of supply have been important considerations in the formulation of agricultural and economic policies in the country In 2016, the Philippines ranked eighth (8th) among the world’s top rice-producing countries with 17.6 million tons of rice produced from 4.56 million
Trang 3hectares of paddy planted which translate to an average yield of 3.9 T/ha.2 In 2017, Philippine rice production increased by 9.6 percent, along with a corresponding increase in national yield
to 4.0 t/ha.3
The rice sector employs 2.1 million farmers, 42% of which are reported to live below the poverty line4 Rice also accounts for 25% of food expenditures of the poorest 30% of the national population5 Given these indicators, the economic importance of rice cannot be overstated and the literature points to two main causes for the sector’s sad state—the first is the alleged existence of a rice cartel and the second is the protectionist government policies
An Alleged Rice Cartel
The importance and widespread availability of rice makes it a political crop There have been numerous attempts to look into the existence of cartel, as portrayed in mainstream media However, the literature offers conflicting evidence A study by Tadem6 finds that rice farmer-cooperatives face difficulties in marketing paddy because of well-established rice cartels that control trade and dictate prices Intal and Garcia7, refer to a so-called “rice cartel” composed of seven Chinese families concentrated in Binondo amid a high concentration of large rice wholesalers in the area On the other hand, studies by Dela Peña8 and Briones9 find no direct evidence of cartel-like behavior considering the abundant number of players and insights from accredited entities themselves Hayami and Kikuchi10 also describe paddy trading at the
grassroots as being highly competitive
Food cartels directly impact consumers such that they bear the high price which they would not have paid in a competitive market This harm was evident in Italy when the average increase in
2 Source of raw data is the Food and Agriculture Organization of the United Nations, FAOSTAT Open Access Dataset
3 Philippine Statistics Authority Raw data on paddy production and area harvested (2011-2017)
4 Reyes, C.M., et.al 2012 Poverty and Agriculture in the Philippines: Trends in Income Poverty and
Distribution Discussion Paper Series No 2012-09 Quezon City: Philippine Institute of Development Studies
5 Balisacan, A.M & Sebastian, L.S 2006 Securing Rice, Reducing Poverty: Challenges and Policy Directions Published by: SEARCA, PhilRice, and DA-BAR
6 Tadem, T., 2002 NGOs Organizing Cooperatives: The Philippine Case In: Asian Review 2002, Vol 15: Popular Movements Institute of Asian Studies, Chulalongkorn University, Bangkok pp 62-77
7 Intal P & Garcia, M 2005 Rice and Philippine Politics Discussion Paper Series No 2005-13 Quezon City: PIDS
8 De la Peña, B 2014 Rapid Appraisal of the State of Competition in the Rice Value Chain Discussion Paper Series No 2014-25 Quezon City: PIDS
9 Briones, R., and de la Peña, B 2015 Competition reform in the Philippine rice sector Discussion Paper Series
No 2015-04 Quezon City: PIDS
10 Hayami and Kikuchi 2000 A Rice Village Saga: Three Decades of Green Revolution in the Philippines Lanham: Barnes and Noble
Trang 4the wholesale and retail prices of pasta reached 51.8 and 36 percent respectively.11 This occurred when large pasta manufacturers entered into a price coordination agreement with the industry association from 2006 to 2009 Similarly, bread prices increased by 70 percent in Romania because of a cartel between 49 bakeries.12
In this regard, competition policy is a tool used by governments to ensure the availability and affordability of food in the market and scrupulous practices are penalized In Europe, the food sector is one of those where national competition authorities have been most active From 2004
to 2011, European competition authorities have looked into over 180 antitrust cases across all levels of the food supply chain, with the highest number of cases in the processing level (28%), followed by retail (25%), manufacturing (16%), and primary production (12%) The
“transformative” part of the supply chain (processing and manufacturing) accounts for 44%, or almost half, of all cases13
It is the experience of Europe where competition policy has effected changes in the food sector that the Philippines can learn from Given that competition law is nascent in the Philippines, it
is inevitable that it will gain its fair share of successes and failures in enforcement in the coming years The Philippine Competition Commission (“PCC”) notes that the rice sector is among its priority sectors and the agency is expected to have an answer to the decades-long debate on whether rice cartels exist or have existed and whether its existence have adversely affected the rice sector
Protectionist Government Policies
While and potentially anticompetitive conduct in the rice sector cannot be ruled out, imported rice may serve as a source of competitive pressure Following the law of one price, domestic and border prices tend to equalize14 if foreign supply can freely enter the market This occurs since the entry of cheaper rice from more cost-efficient rice producing countries compels local players to produce at less cost and streamline distribution channels
11 Chauve, P., Parera, A., & Renckens, A 2014 Agriculture, Food and Competition Law: Moving the Borders
Journal of European Competition Law & Practice, 2014, Vol 5, No 5 Pp 304-313
12 Id
13 ECN Subgroup Food 2012 ECN Activities in the Food Sector: Report on competition law enforcement and market monitoring activities by European competition authorities in the food sector
14 After taking into account shipping costs, custom duties, and other transaction costs associated with imported rice
Trang 5However, in the case of the Philippines, rice importation has been restricted The National Food Authority (NFA), a state-trading enterprise and the rice sector regulatory body, has jurisdiction over the volume of imports and accreditation of importers Based on data from the Philippine
Statistics Authority (PSA), imports account for an average of only 10 percent of the rice supply
in the country from 1990 to 2016
The limited quantity of imported rice that enters the Philippines is due to the Minimum Access Volume (MAV) commitment of the Philippines to the World Trade Organization (WTO) Under this commitment, the NFA allows the private sector to import a predetermined volume
of rice, effectively restricting the free entry of sizable imports In addition, the government has been pursuing a rice self-sufficiency policy, which aims to boost local production and limit reliance on importation
Private traders who want to import rice are subject to the import permit allocation guidelines of the NFA The annual volume cap of rice to be imported as well as the period when imports can arrive in the country are determined by the NFA Council In 2018, this volume cap was set at 805,200 MT15 Of the said volume, 50,000 MT is allotted for Omnibus Origin (any country) while the rest are country-specific quotas (CSQs) This policy has been crafted by the NFA, citing their mandate of ensuring food security and stabilizing the price and supply of rice
3 The Aid Under Question
NFA’s financial performance has been consistently questioned given its main market function of buying unhusked rice (paddy) and sells milled rice at set prices regardless of costs incurred A sizable chunk of NFA’s operational costs are shouldered by two kinds of subsidies from the national government—income and tax subsidies In 2017, income subsidy of NFA amounted to PHP 5.1 billion (approx USD 100 million) and constitutes 64 percent of all subsidies granted to State-Owned Enterprises in the agricultural sector Based on publicly available data, these are the subsidies received by the NFA from 2013 to 2017
Figure 1 Subsidies Received by NFA, 2013-2017, in million PHP (in million USD)16
15 National Food Authority (24 May 2018) General Guidelines in the Importation of 805,200 MT under the Minimum Access Volume (MAV) for CY 2017-2018 by the Private Sector
16 Subsidies Received by NFA, 2013-2017, in million PHP
Year Income Subsidy Tax Subsidy Total Subsidy
Trang 6Source: NFA Audited Financial Statements
The income subsidy is used to support the two main commercial functions of the NFA—buying palay from the farmers and selling milled rice to consumers From 2013 to 2017, as covered in the figure above, the procurement price for palay was set at PHP17.00/kg (plus a PHP0.30/kg cooperative development incentive fee, PHP0.20/kg delivery incentive, and a PHP0.20/kg drying incentive)17 The NFA procures from farmers at this fixed rate regardless of the prevailing market price of dry palay and the prices offered by private traders This procurement price is also fixed regardless of the geographic origin of the palay
Meanwhile, the subsidized wholesale and retail prices of commercial rice were set at PHP27/kg and PHP32/kg This is the fixed price of rice regardless of the prevailing market price of commercial rice sold by private traders and regardless of whether the costs exceed these set prices Further, under the buffer stock scheme, NFA keeps a year-round 15-day strategic rice reserve (SRR) in government depots to be deployed in times of emergency and a 30-day government rice buffer stock (GRBS), inclusive of the 15-day SRR18
The tax subsidy, on the other hand, is used to cover the payment of import duties levied on rice imports made by the NFA In effect, the NFA does not pay duties for any of its rice importation
17 WTO 2018 “Trade Policy Review - Report by the Secretariat - The Philippines.” WT/TPR/S/368 World Trade Organization <https://www.wto.org/english/tratop_e/tpr_e/s368_e.pdf>
18 Ibid
0 2.000 4.000 6.000 8.000 10.000 12.000 14.000 16.000 18.000
Income and Tax Subsidy of the NFA, 2013-2017
Income Subsidy Tax Subsidy
Trang 7activities Meanwhile, imports by private players under the Minimum Access Volume (MAV) import quota are levied a 35% tariff
This paper examines the income and tax subsidy as one form of “Aid” since both subsidies have the common aim of sustaining the financial viability of NFA by minimizing both deficits and liabilities The income subsidy is meant to defray operating expenses (e.g procurement, milling, personnel services, etc.) while the tax subsidy is solely the payment for its import
duties Thus, the state aid under question is the income and tax subsidy given to NFA from
2013 to 2017 amounting to PHP 50.054 billion
3.1 Is it “State Aid”
Article 107 of the Treaty of the Functioning of the European Union (TFEU) listed four features of what constitutes State Aid The table below summarizes each feature and a description of whether the aid under question satisfies the same
Table 2 Features of State Aid
(1) An intervention by the State or
through State resources
The Aid is provided by the State, through its National Expenditure Program approved by the Philippine Congress and signed by the Philippine President This Aid uses State Resources and is considered a government expenditure
(2) Gives the recipient an advantage
on a selective bias
The Aid given to the NFA is meant to support its legal mandate of ensuring food security and stabilizing price and supply of rice Among players in the rice sector, only the NFA has legal basis to receive such Aid
(3) Distorts or threatens to distort
competition
Private players in the rice sector have not received such Aid—either in income subsidy or tax exemption This implies that, for instance, for the same commercial activity such as importation, private players are levied a 35 percent tariff while the NFA receives a tax subsidy This creates an unequal playing field between private sector and the state-trading enterprise thereby potentially distorting competition
(4) Affects or potentially affects trade
among Member States
This feature applies to Member States in the European Union To make a similar comparison,
we evaluate this feature vis-à-vis the Philippines
as a member of the Association of Southeast Asian Nations (ASEAN) The ASEAN Economic Community Council has committed
Trang 8to the Blueprint 2025, which aims to institute measures that further integrate policies and priorities across member states
In this context, the Aid under question prioritizes and incentivizes the purchase and sale of local rice, regardless of its price relative
to the price of foreign rice In effect, if the NFA can purchase its milled rice from Thailand or Vietnam, it will have to continue procuring palay from farmers even if they operate at a loss Similarly, the imposition of tariffs on rice imports by the private sector may discourage importation thereby potentially affecting trade between the Philippines and other rice producing countries in ASEAN
Based on the discussion above, the subsidy in question qualifies as State Aid under the definition of the same in EU Law
3.2 Is it Notifiable?
The general rule is that States must notify Aid before the European Commission Therefore, the follow-up question is: will it be evaluated by the European Commission? First, there is a need to ascertain whether the Aid falls under the following: general and agricultural block exemption regulations (GBER/ABER) as stipulated in Commission Regulations 651/2014 and 702/2014 as well as the general and agricultural de minimis regulations as stipulated in Commission Regulations 1407/2013 and 1408/2013
GBER/ABER are the legal bases for an Aid’s exemption from notification and approval of the Commission prior to the consummation or provision of the Aid Instead, the Member State can implement the Aid, provided that it is in accordance with the regulation, and notify the EC within a maximum of six months.19 The list of categories of aid (in the general and agricultural sectors) that may be compatible with the internal market is an exhaustive one The Aid does not fall into any specific category or subcategory in Regulations 651/2014 and 702/2014
However, Art 107(3)(a) of the TFEU notes that “aid to promote the economic development of
areas where the standard of living is abnormally low or where there is serious underemployment…” may be considered compatible with the internal market This is a potential
19 EC Staff 2014 “Common Methodology for State Aid Evaluation” European Commission Staff Working Document No, 179
Trang 9justification for the provision of the said Aid considering the high poverty and underemployment levels among rice farming households in the Philippines and the high cost of rice sold in the market These policy objectives are the bases for the provision of the said Aid and will be weighed against its potential effect on competition in the latter part of this paper
Meanwhile, de minimis aid are “small” amounts of aid granted to a specific entity Given its small absolute amount, it is not expected to distort competition Thus, de minimis aid is not state aid based on EU guidelines The de minimis ceiling for the agriculture sector is EUR
20,000 for a single undertaking over a period of three fiscal years20 Meanwhile, the ceiling for all other general sectors is EUR 200,000 for a single undertaking over a period of three fiscal years.21 One can argue that the Aid is used to support the primary production of an agricultural product (rice) and on the other hand, it is also used as a subsidy for the wholesaling and retailing
of a commodity (rice) However, we do not aim to distinguish in this paper whether this aid falls under the agriculture or general de minimis rule because based on either threshold, the NFA subsidy far exceeds the ceiling
3.3 Is it Allowable?
The benchmark of allowability in the European Commission’s (EC) evaluation of Aid
is whether or not it is compatible with the internal market In doing so, the EC tries to balance the negative effects of the aid on trade and competition in the common market against the positive effects in achieving its policy objectives For the conduct of Aid evaluation, the EC has established a “balancing test” composed of various questions If the answers to all these questions, especially number (3), then this becomes the economic justification for the Aid’s compatibility with the internal market An answer of NO to any question, especially number (3) becomes a justification in finding that the Aid is not compatible with the internal market The table below outlines the evaluation questions, a discussion, and an answer to the question
Table 3 Aid Evaluation Framework
(1) Is the Aid measure aimed
at a well-defined
objective of common
interest?
The NFA charter is clear on its functions: ensuring food security, stability of supply and price of rice YES
(2) Is the Aid measure
well-designed to deliver the
Buying palay and selling rice at a fixed price is not fiscally sound policy And Aid that supports this
NO
20 EC Regulation No 1407/2013
21 EC Regulation No 1408/2013
Trang 10objective of the common
interest (does it address
the market failure)?
policy approach is likely not a well-designed one
Having fixed prices does not incentivize farmers to sell to NFA if the NFA price is lower than the private market price For commercial purposes, having a stable price of rice gives consumers an option, especially for those who cannot afford rice sold by private traders
(2.1.) Is the aid an
instrument to address the
concerned?
The budget can be better allocated to Research and Development and direct farm intervention, crop insurance, agricultural credit, seed development, farm schools, etc
Other policy instruments: rice trade liberalization, rice sector competitiveness enhancement fund
NO
(2.2.) Is there an incentive
effect, i.e does the aid
change the behavior of the
aid recipient?
The main recipient of Aid is NFA and this Aid changed the behavior of the recipient for the worse
The Aid augmented financial losses of the NFA instead of making their operations financially viable while performing their mandate Thus, we find that the Aid even has a disincentivizing effect
to NFA
NO
(2.3.) Is the aid measure
proportionate to the
problem tackled, i.e could
the same change in
behavior not be obtained
with less aid?
The same, and even better conditions can be obtained with less or even no aid However, the removal of aid should be complemented by a change in policy and more effective law enforcement
NO
(3) Are the distortions of
competition and effect on
trade limited, so that the
overall balance is
positive?
Rice is a highly tradable good and is a stable commodity in the region where the Philippines belongs On the part of NFA, its functions set forth
in the NFA chapter and the Aid given to augment the costs affect the level and state of competition in the sector as well as the trade of rice with other countries
On the other hand, its perceived benefits are non-existent In fact, the Aid given to NFA which it used to support its commercial function of selling milled rice at fixed prices in the market has resulted
in Filipino consumers spending more on rice
Briones22 finds that the price of milled rice in Thailand plus freight and ancillary costs and tariffs will be the within the PHP 25-27 per kilogram price range, lower than the NFA-set price of PHP 27-32/kg Thus, it is not only the said Aid that is problematic but also the import monopoly policy of the NFA
NO
22 Briones, Roehlano 2019 Competition in the Rice Industry: An Issues Paper Philippine Competition Commission Issues Paper 2019-01