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Jim Hughes
Department of Government
London School of Economics
Houghton Street
LONDON WC2A
Gwendolyn SasseLondon School of Economics
Houghton Street
LONDON WC2A
Claire Gordon
Department of Government
London School of Economics
Houghton Street
LONDON WC2A
The Regional Deficit in Eastward
Enlargement of the European Union:
Top Down Policies and Bottom Up
Reactions
Jim Hughes, Gwendolyn Sasseand Claire Gordon
Working Paper 29/01
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ESRC One Europe or Several? Programme
Working Papers ISSN 1468-4144
The ESRC One Europe or Several? Programme publishes WorkingPapers to make research results, accounts of work in progress andbackground information available to those concerned withcontemporary European issues. The Programme also publishesPolicy Papers (ISSN 1468-4152) listed at the end of this publication.
The Programme does not express opinions of its own; the viewsexpressed in this publication are the responsibility of the author/s.
Working Paper 29/01First published in 2001
by the ESRC One Europe or Several? Programme
Sussex European Institute
University of Sussex
Arts A BuildingFalmer, Brighton, BN1 9SH
Phone: +44/0 1273 678 560
Fax: +44/0 1273 678 571
Email: [email protected] kWebsite:http://www.one-europe.ac.uk
Jim Hughes, Gwendolyn Sasse, Claire Gordon
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INTRODUCTION
In the decade since the fall of communism, the concept of Europe-building has been
stretched by the pull of two policy agendas: firstly, a process of deep integration
among an historical core-group of EU states driven by a distilled notion of European
exceptionalism; and, secondly, a process of eastward enlargement of EU
membership driven by the diluted notion of a wider Europe. Thus far, the inherent
tension between these alternativegrand projects has been analysed, on the whole, as
a macro-level problem between supranational, transnational and national institutions
and elites.1
Likewise existing studies of post-communist Europe-building tend to
focus on high-level governance issues and developments, and overlook the
fundamental sub-national arena of regional and local politics within and across states.
However, if the deep integration of a wider Europe is to become a reality it must
involve the expansion of the Europe-building project to low-level governance where in
particular it must become embedded among sub-national elites.
While there is an immense research literature on regional and local governance in
western Europe and the term Europe of the Regions has penetrated into EU
institutions and rhetoric, much less has been written about this dimension in the
Central and Eastern European Countries (CEECs). In the wake of the collapse of the
communist regimes, scholars have explored sub-national administrative changes and
the evolving mechanics of local government in the countries of Eastern Europe.2
However, we still know very little about the institutional capacity, practices and attitudes
of the elites at this level.3
The CEECs stand to benefit substantially from the EUs
structural funds and regional and cohesion policies upon accession to the union, and
the realignment of local and regional governance systems to make them compatible
with EU practice and regulatory norms has necessitated major adjustments to their
pre-existing institutional arrangements. Despite the crucial importance of this
dimension, the link between Europeanization and regionalization has remained under-
1 For Wallace, the functional, territorial and affiliational dimensions of deep integration are essentially cross-
country in nature, while the territorial dimension hinges solely on border and security issues. (Wallace, 1999:
4-5 and 11).2 See for example the work of Bennett (1993), Coulson (1995), Horvath, G. (1996), Horvath, T. (2000), Illner
(1997) and Kimball (1999).3 The authors research project under the One Europe or Several Programme? aims to focus precisely on
these areas of weakness by employing large-scale elite surveys and interviews (n=100) in important regional
cities in six states of central and eastern Europe; ESRC Project L213252030 Elites and Institutions in
Regional and Local Governance in Eastern Europe.
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explored in the context of EU enlargement.
EU enlargement is reconfiguring Europe at large, but one of the most hotly contested
zones of engagement over jurisdictions and boundaries is how the pressures for
Europeanization as a conditionality of enlargement from without, imposed by the
European Commission, are being operationalized in the candidate countries of
central and eastern Europe. Two divergent trends are evident: a Europeanized
regionalization is being pursued from above by national governments anxious to meet
the EU conditionalities, while on the other hand, the Europeanization of regionalization
has received a mixed reception from below by more pragmatic local elites within the
CEECs. It is this triadic engagement between the EU, the national and the sub-
national level that is forging a radical transformation in regional and local governance
in post-communist Europe.
Bifurcated Models of Regional Governance
Regional and local governance structures across Europe are characterised by top-
down and bottom-up pressures for democratising change. The historical institutional
legacies are sufficiently different, however, to constitute a significant West-East
cleavage. We can usefully employ a bifurcated model that divides Europe between
western-democratic and eastern post-communist domains. Post-communist reforms
of local and regional governance are often viewed as intrinsic to the wider process of
'returning to Europe' and 'catching up with the West'. EU member states are
asymmetric in their patterns of regional and local governance. There is no uniform EU
model in this respect. The diversity of regional and local governance has evolved
largely on the basis of country-specific historical path dependencies and the
interaction of national and regional and local politics. Nevertheless, there are
indications that during the early years of the enlargement process the Commission
actively promoted an implicit symmetric model for the CEE candidates as a way of
rationalising their preparations for structural funds. Moreover, there was a widespread
perception in candidate states that the Commission favoured a symmetric model that
would reconfigure and harmonise their regional and local governance by establishing
elected regional institutions with decentralised powers. The notion of a need to
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enhance 'regional capacity' became a fixture in the enlargement conditionalities for theadoption of theacquis starting with the Commissions Opinions of 1997. Over time,as the complexity of enlargement has become more apparent, this preferencefor institutional symmetry has dissolved as differences have emerged indifferent Directorates within the Commission over how best to manage the structuralfunds in the candidates. The existence of this strong push factor from theCommission for a symmetric model of regionalization in the CEE candidates isnoticeably absent from previous analyses of the impact of eastward enlargement on
regionalization.4
The distribution of power between central, regional and local authorities varies widely
in western Europe. As a general rule, this distribution of power should be viewed
organically, as it is subject to periodic negotiation between central and regional/local
elites whose interests and strategies may coalesce or diverge over time. Since the
1970s states in western Europe have undergone major rationalizing reforms of
regional and local governance that have reduced the number of territorial authorities, in
many cases endowing them with new responsibilities, and in some cases devolving
new powers. This process was partly driven by rationalizing strategies for
modernizing service provision, and partly by New Right ideology that favoured
shrinking the state through privatization and the use of private sector agencies.
Recent studies suggest that the responsiveness of local and regional governance
units to EU processes have been highly particularistic and can be categorized by a
fourfold matrix of proactive, reactive, passive, and counteractive responses. Why
one region in a particular country falls into one category or another is largely
determined by two main factors: first, the EU-shaped priorities for regional
development, and second, the attitudes of local or regional elites towards Europe.5
This is an interest-based explanation that views the upward redistribution of power
from central states to the EU through deep integration as having created opportunities
for regional and local elites to carve out new functional areas and responsibilities for
themselves. Consequently, integration has created a new incentive structure for local
and regional elites. The paradox of supranational integration, as with globalization, is
that it revitalizes territorial politics and the politics of the locale.6 Regionalization inwestern Europe, consequently, has been enhanced by processes at the national and
4 Mayhew, 1998; Nello and Smith; 1998; Tang, 2000.5 Goldsmith and Klausen, 1997: 239et seq.6 The revitalization of thelocale is a constant referent in the work of Anthony Giddens on globalization.
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supranational (EU) level. While the power of the nation-state is weakened orsubordinated in specific areas, both the sub-national and the supranational level aresteadily gaining in importance.
Despite the absence of uniformity in regional and local governance in western Europe
the emergence of regions as significant political and economic actors has been
contingent on domestic political traditions and developments .
7
These historic pathdependencies make for a high degree of evolutionary diversity and are, arguably, an
obstacle to uniform Europeanization of sub-national governance in the EU. There is,
at the same time, a post-Maastricht trend for increased regionalization through the
development of meso-governance in the EU member states.8
The gradual
entrenchment of diversity is most evident in the strengthening of the EUs institutional
arrangements for regional and local governance, beginning with the Consultative
Council of Regional and Local Authorities set up by the Commission in 1988 and
reinforced in the Single European Act at Maastricht and by the concept of subsidiarity
and the Committee of the Regions (CoR). At the moment the regional and municipal
governments represented on the CoR enjoy limited consultative rights within the EU
hierarchy of institutions; however, the expectation in the 1990s that the role of the CoR
would be strengthened in line with the growing importance of regional government in
Europe now looks more uncertain.9
Though EU regional policy is closely tied to the dispersion of structural funds, the
implementation procedures for structural funds are not universalized; rather they vary
according to the institutional arrangements for regional and local governance in each
member state. Thus, the dispersion of regional funds may not necessarily connect
regional elites with the EU, in particular where it is overseen by the national
government.10
Regional authorities that are most deeply embedded in EU regional
policy-making are those from states that are federal or have strong regional
governments, such as Germany, Spain and Italy. The obstacles to a uniform EU
model for regional and local governance in the historic core-member states are also
evident from the fact that the funding criteria for EU regional funds in themselves are
7 Bennett, 1993.8 Keating, 1993: 302-307.9 Loughlin, 1996: 147-148.10 In some states structural funds are controlled by central finance ministries (as in UK, Ireland and France).
For a criticism of the fairy-tale character of the structural funds which are often treated as a reimbursement
for national spending rather than a genuine instrument of regional development policy, see Keating, 1993: 299-
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an obstacle to deep regionalization, since they are determined by measures ofeconomic deprivation that tend to cross-cut regional administrative boundaries. Onthe other hand, EU policy aspirations in key activities such as transport and economicdevelopment (in particular via the Initiatives) are creating a dynamic toward a functionalspecialization in policy implementation that requires coordination by or with regionallevel authorities. Moreover the forthcoming enlargement of the European Union andthe prospective loss of structural funds allocations in favour of the poorer countries ofcentral and eastern Europe have prompted some existing member states to rethink
their existing sub-national administrative arrangements.11
At the time of its accessionto the Union, Ireland maintained a centralised approach to the management ofregional and cohesion funds. Recently, however, Ireland has introduced a newregional structure to enable it to qualify for region-based programmes in the 2000-
2006 round of structural funds allocations. The NUTS classification system has
provided the template for this restructuring (see below).
A similar pattern of evolutionary diversity in regional and local governance was
apparent in the CEECs in the immediate aftermath of the breakdown of communist
regimes. While regional and local governance under communism was relatively
uniformly structured, it was heavily de-politicized and strictly functionalist, with sub-
national units acting as an organizational pillar of the one-party state and central
planning. Two main contradictory trends were evident in the post-communist era:
decentralization versus re-centralization. The first trend was characterized by a
decentralizing impetus in those states which experienced a fragmentation of state
authority leading to a proliferation of local governance units (Hungary, Czech Republic,
Slovenia). This trend was driven by a combination of four main factors: firstly, new
local government self-financing regulations provided an incentive for fragmentation in
local government that led to the proliferation of municipalities and communes;
secondly, it was partly an opportunistic reaction by sub -national eli tes to the
weakness of central states in the early phase of transition; thirdly, the competition
between central and local elites over distributive issues, in particular the
rush into
nomenclatura privatization was reflected in institutional struggles between central
300.11 To qualify for EU structural funds, GDP in a particular region must be no more than 75% of the average
GDP in the Union. At the present time there is no region in central and eastern Europe where GDP
exceeds the 75% average though Budapest (Hungary) and Llubljana (Slovenia) are fast approaching this
level. For a map showing GDP per head by region, seeUnity, Solidarity and Diversity for Europe, 2001, vol.
2, 7.
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and regional/local authorities; and fourthly, this trend was partly driven by ademocratizing counter-reaction to the overly-centralized and functionalist command-administrative communist system. This counter-reaction resulted in the abolition ordiminution in the role of regional government, a level which had represented the directlink to the centre in the communist era. Significantly, in many states post-communismled to a revival of local identities with historically bounded sub-national government, asin the counties of Hungary. Elsewhere, functionalist criteria were abandoned in theorganization and orientation of regional and local governance, as in the new regions ofPoland, or diluted as in Slovenia.
The second trend involved a re-concentration of power to the centre, though the
reasons for this varied. The re-imposition of strong central governance was driven by
authoritarian reactions by central elites to democratic transition (Slovakia), or was
impelled by the need for strong central government in states where sovereignty was
perceived to be threatened by territorialized internal minorities or an external power (as
in the Baltic states). In some states it was motivated by a combination of authoritarian
reaction and fear of territorialized internal minorities (as in Romania). Consequently, by
1993 when the Copenhagen European Council meeting accepted eastward
enlargement as a major priority on the EUs agenda, regional and local governance in
the CEECs was not uniform but mirrored the asymmetric model of the EU, with a wide
diversity of institutional forms and practices. Nonetheless, the CEECs shared a
common starting-point: the two trends of decentralization and fragmentation of local
government on the one hand and the re-concentration of central power on the other
hand had temporarily deflated the importance of regional policy and regional
governance.
EUROPEANIZATION AS CONDITIONALITY
Despite the fact that enlargement has been a recurrent phenomenon in the history of
the EU, it is a poorly conceptualized process and remains so four years after
Schmitter noted that the discussion about deepening and widening is taking place in
a theoretical vacuum.12
The current wave of enlargement to the CEECs involves an
12 Schmitter, 1996b: 14.
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even more complex set of issues compared with previous enlargements, primarilybecause of the simultaneity with post-communist political and economic transitionand state-building. The literature on post-communist transition and democratizationgenerally analyses these as national-level phenomena, as embodied by national
institutional engineering and national elite pacts.13
Recently, while more attention hasbeen paid to analysing the international dimension of transition, transition processes
at the sub-national level continue to be thoroughly unexplored territory.14
The evolution
of Europeanization and regionalization as intrinsically linked processes during EUenlargement to the CEECs forms a convenient bridge allowing us a three dimensionalanalysis of the roles of the European Commission, state-level governments and thesub-national level.
Conditionality as an international pressure exerted on regime change has been
analysed as a factor related to the institutional preferences of international institutional
lenders (IMF, World Bank, EBRD) in the pursuit of neo-liberal fiscal policy.15
In the case
of EU enlargement a qualitatively different kind of conditionality is being applied. When
we examine how the EU has addressed the issue of regional and local governance
during the enlargement process we find a steady consolidation of a preference for a
particular kind of administrative uniformity in territorial organization in the post-Agenda
2000 period. In effect, a new functionalist Brussels model for the reconfiguration of the
territorial dimension of governance in post-communist states emerged. The EU
institutional preference was shaped not by fiscal ideology, but by a technocratic
approach to the management of structural funds instruments. Thus in the mid to late
1990s through its annual progress reports on the candidate countries and Phare-
sponsored regional programmes as well as numerous interactions between the
candidates representatives and Commission officials in Brussels and the delegations
in the candidate countries themselves, the Commission sought directly or indirectly to
shape the process of regionalization in the candidate countries. Recently, however,
faced with the diverse domestic conditions in the candidate countries and the
difficulties of establishing imported (rather than home-grown) structures on the
ground, the EU preference for a particular configuration of sub-national administrative
arrangements has had to be modified.
13 ODonnell, Schmitter and Whitehead, 1986.14 For analyses of the international dimension of transition see Whitehead, 1996; Grugel, 1999.15 Schmitter, 1996.
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Enlargement and Catching Up with the Regional Dimension
Enlargement eastwards to include the current candidates entails a territorial increase
of 34 per cent, a population increase of 105 million, and the incorporation of new
member states with diverse histories and cultures. It is also the first significant
enlargement of the EUen bloc and,not surprisingly, requires a more elaborate set ofguidelines and criteria. To some extent this diversity of political traditions and state
capacity has been recognised by the fact that from the outset the process of
enlargement has been essentially one of bilateral negotiation between the European
Commission and the central governments of aspiring members from the CEECs. The
conditionalities imposed by the EU, however, are essentially uniform. While the
process of eastward enlargement has been underway for eight years, it was only in
1997 that the EU began systematically to address the dimension of regional and local
governance. When the EU first acknowledged that associated CEECs that so desire
could become members, at the Copenhagen European Council meeting in June
1993, it expressed the political and economic conditions for membership in vaguely
worded and normative statements of intent. The so-called Copenhagen criteria laid
down three conditions for applicant states (the stability of democracy, thefunctioning
of a market economy, and the capacity to integrate) and a fourth condition related to
the EUs capacity to absorb new members. Although the details of how these
conditions were to be met were not elaborated at the time, by implication it was
understood that some objective criteria would be devised by which to evaluate
applicants. The fourth condition gave the EU a pocket veto on the accession of new
members, since it would take the decision on whether it was ready to enlarge.
Following Copenhagen, the EU pursued a pre-accession strategy for enlargement
which focused on bilateral arrangements with the national governments of applicant
states.16 The strategy had four key elements; the Europe Agreements on the
liberalization of trade; the Phare programme of aid and technical assistance; the
Single Market Commission White Paper of June 1995 which suggested a pre-
accession sequence for enlargement; and the Structured Dialogue which was to
provide a multilateral framework of ministerial meetings by which applicant state
16Grabbe and Hughes, 1997; Henderson, 1999; see alsohttp://europa.eu.int/comm/enlargement
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national elites could be acculturated into EU norms. The bilateral strategy forenlargement, however, was steadily reinforced both at the Essen European Council inDecember 1994 and the Madrid European Council in December 1995. What isstriking about this cumulative bilateral strategy is that the process of enlargement isinherently viewed as one for negotiation between the EU and thenationalelites of theapplicant states.
The paradox is that while the EU marginalized the participation of sub-national elites inthe pre-accession strategy, among its main concerns over integration was the issue
of how to best organise and involve regional and local governments. After all, the
administrative capacity of these levels is seen as critical for the success of the whole
enlargement project. At Essen, for example, issues of regional cooperation and
infrastructural integration via trans-European networks were introduced into the pre-
accession strategy, and regional development became one of the priorities of Phare.
The regional dimension of enlargement also loomed over the Madrid European
Council, as existing EU member states grappled with their own self-interests as to the
implications of enlargement for the allocation of structural funds. It was only at this
stage, two and half years after the Copenhagen criteria were formulated, that the
Commission was charged to prepare a detailed analysis of the impact of enlargement
on the EU and draft opinions evaluating each applicant country individually.
The resulting Commission report Agenda 2000 For a Stronger and Wider Europe,
published in July 1997, adopted a reinforced pre-accession strategy, which side-lined
the Structured Dialogue and concentrated on bilateral accession negotiations andthe applicant country-specific needs identified in the Commissions Opinions
published contemporaneously. Hereafter, enlargement was viewed as a
monogamous affair based on the Accession Partnerships between the EU and
applicant states. While emphasising that the processes of deepening and
enlargement were complimentary and feasible within the EUs resource ceiling,
deepening in this sense referred to the nebulous expectation that candidate states
must have the capacity to integrate and that Phare aid would be targeted to this end.
Not surprisingly, the vision of enlargement that was promoted by the EU and the
governments of applicant states was of a national one, symbolized by the National
Programme for the Adoption of theAcquis (NPAA) to be implemented in each country.At this stage, there was virtually no reference to regional or local dimensions in the
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evaluation of fulfilment of the Copenhagen criteria. The shift in focus from the nationallevel as the unit of analysis was evident only in the Commissions Opinions on thereadiness of each applicant state, as only here, for the first time, was regionalcapacity stated as a condition.
The Agenda 2000 and the Commissions Opinions provided the basis for the
decisions at the Luxembourg European Council in December 1997 to proceed with
enlargement by commencing accession negotiations with five of the CEECs (Czech
Republic, Estonia, Hungary, Poland, Slovenia) and Cyprus. The basis for the
negotiations with these in states, which opened on 31 March 1998, is the condition
that they must adopt theacquis communautaire. Their progress in this regard was to
be monitored by the Commission in Regular Reports on each country. This condition
is also the basis for the extension of the accession negotiations to a further five CEE
states (Bulgaria, Latvia, Lithuania, Romania, Slovakia) and Malta agreed at the Helsinki
European Council in December 1999. Essentially then, by making the adoption of the
acquis the touchstone for enlargement to proceed, the EU has set the membershiphurdle for the CEECs and other applicants at a height that existing EU member states
have achieved mostly only after a long period of life within the EU. Only Austria, Finland
and Sweden, all advanced industrial countries, adopted most of the acquis inadvance of accession to the EU. Moreover in all previous enlargements prior to the
commitment to establish the single market, the scale of the acquis and necessary
adaptation was much smaller. This has made the challenge of the transposition of
domestic legislation even greater for the CEECs particularly given the simultaneity of
the EU alignment process with the massive political and economic transformations
which have been underway since the collapse of communist regimes across the
region.
With the exception of Poland, where regional reform was discussed as a fundamental
part of the transition process, regionalization became a salient issue in most CEECs,
only with the conditionalities imposed by the EU for accession, specifically the
requirement to adopt chapter 21 (regional policy and coordination of structural
instruments) of the acquis. While in Hungary reforms began in 1996 (see below),
elsewhere the debates about regional reforms that had been dragging on for years
were galvanized by the Commissions Opinions on accession, as the Commission
identified regional administrative capacity as a core requirement. An efficient system
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of public administration at regional and local levels is seen by the Commission asessential for both the implementation of the acquis and the dispersion of structuralfunds. The Commissions drive for Europeanization is, thus, awakening andempowering regional and local identities in the CEECs, some of which have beenlong dormant, while others are being newly imagined.
REGIONALIZATION AND EUROPEANIZATION IN CENTRAL AND EASTERN
EUROPE
In order to address the hypothesis of whether institutional choices for managing
regionalization pressures have been shaped by historical path-dependencies or EU
conditionality, i tis necessary to review the emergence of patterns of local and regional
government in central and eastern Europe. By focusing on the first wave of applicant
states, our analysis highlights both the similarities, as well as evident differences, in
the administrative reforms embarked upon by different states in response to the twin
pressures of Europeanization and regionalization from without and from within. Our
discussion centres on the reforms and reorganizations that have been introduced in
response to the demands emanating from the Commission and broadly outlined in
the Commissions 1997 Opinions, the 1998 Accession Partnerships, and the 1998
and 1999 Regular Reports.
Communist Local Government
The system of local government was relatively homogenous across eastern Europe
under communism. While there was an extensive system of nominally elected
soviets (councils) and attendant executive apparatuses at the local, district and
regional levels, these organizational structures did not mask the reality of a highly
centralized, Communist-Party dominated monism that undermined all semblance of
local autonomy. While local councils were supposedly democratically elected, the
elections were a sham as candidates tended to be vetted by Communist Party
officials and in most cases electorates were offered no choice of candidates. Local
councils and their executive apparatuses were subject to the dual oversight of
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superior bodies in the state administrative hierarchy and the Communist Partyapparatus, which were organized in parallel vertical hierarchies. Local soviets hadextremely limited resources at their disposal, and these were overwhelmingly centrallyallocated and controlled. Given the lack of real autonomy, the absence of horizontalinteraction across different levels of government, and the functional dominance ofeconomic enterprises and their managers (usually subordinate to branches of centralministries) which often performed important service-provision roles locally, the
structures of local government were in essence hollowed out and ritualistic.
17
Thesedifferent functional roles made the dilemma of territorial versus sectoral control one ofthe perennial problems for the reform of local government under the communists.Though most CEE states attempted local government reform during the Communistera, none of these reforms fundamentally altered the highly centralized system of
governance and the largely impotent structures of local government.18
On coming to power the first generation of post-communist leaderships were faced
with the legacy of extreme centralization, vertical top-down administrative hierarchies,
weak horizontal networks, and a lack of capacity in terms of resources, efficiency and
qualified personnel at the sub-national level. Such weaknesses were majorconstraints on local government reform. At the same time, in most countries there
was an upswell of pressures in counteraction to years of central domination of the
local level. In the heady momentum of democratization following the collapse of the
communist regimes, the trend was for the extreme fragmentation of local government
structures and ever smaller communities staking their claims to local self-
government. This bottom-up decentralization occurred at the expense of the regional
level, which was either abolished (as in Czech Republic and Slovakia), became an
appendage of the central government (as in Poland, Bulgaria, and Romania), or had
marginal powers (as in Hungary).19
Post-communist Local Government
Newly installed democratic governments moved quickly to reform their systems of
17 See Illner, 1992. For a discussion of the influence of economic structures in local and regional governancein eastern Europe, see Illner, 1999.18 Horvath, 1996: 27-28.19 Horvath, 1996: 22.
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local government, the majority passing legislation in the early 1990s.20
Laws on local
self-government usually granted broad rights of autonomy to the local level. In contrast,
the new national governments opted to delay decisions over the organization and
functions of intermediary or meso-levels of government. The reasons varied but
generally included: (i) a reluctance to decentralize further given the exigencies of
political and economic transition including the limited resources at the disposal of
central government; (ii) hostility towards the regional tier of government which had
been influential and unpopular during the communist period due to the pivotal role ofregional party secretaries in the communist system of rule and economic planning; (iii)
a lack of consensus about how to organize the meso-tiers; and (iv) an unwillingness
among newly elected national ruling elites to decentralize and relinquish newly
acquired powers to what were often seen as regional and local governments
controlled by old communist elites.
Electoral sequencing also had a damaging effect on centre-regional-local relations
and the potential for institutional reform. In many cases the different sequencing of
national and local elections, combined with a natural political cycle, led to situations
where there was almost permanent confrontation between ideologically opposed
central and local governments. Such territorialized political conflicts have been an
obstacle to decentralization, and indeed, in some cases resulted in re
-centralization.21
The ebb and flow of transition politics has generally contributed to a democratic
deficit at the intermediary meso-level of governance.22
Nonetheless, the early reforms resulted in a firm legal basis for the jurisdictional
separation of central and local governments, with a system of self-governing units at
the lowest level enjoying considerable autonomy, and central governments exercising a
strategic role of supervising the legality of local government activities and controlling
the funding arrangements.23
In the absence of provisions for the intermediary tier,
central governments ran the administration at the county level and above often through
de-concentrated state offices.24
Contrary to the processes of rationalization and reduction in the number of local
20 For details on the administrative reforms, see Galligan and Smirnov, 1999.21 Regulska, 1997.22 Bennett, 1997.23 Hesse, 1998.
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authority units that have characterized the development of local government inwestern Europe in recent decades, the trend in most of the CEECs has been forgreater fragmentation. In Hungary the number of municipalities virtually doubled
between 1991 and 1998 from 1,607 to 3,154.25
In the Czech Republic the number ofmunicipalities soared by over 50 per cent after 1989 reaching a total of 6,196 by
1993.26
The extremely small size of many of these local self-government units makes
for a high degree of dysfunctionality as they lack a sufficient tax base to fund service-
provision and that greatly complicated resource allocation by the central governments.
The problems arising from the dysfunctional fragmentary nature of local government
has been a disincentive for further decentralization, if not offering a rationale for re-
centralization tendencies at the national level. Attempts to amalgamate or promote
cooperation among local government units such as in Hungary and Estonia have
had minimal success.27
COUNTRY CASES
Czech Republic
For much of its post-Communist history the Czech Republic remained a highly
centralized state. Following the collapse of the Communist regime, the seven
Regional National Committees which served as a conveyor belt to and from the
Communist Party at the centre were abolished and the question of regional level
governance was left unresolved for a number of years. The delay in establishing a
regional tier was largely dueto the opposition to decentralisation of the main governing
party, Vaclav Klauss Civic Democratic Party (1992-1997) as well as to political
conflicts over the number of regions to be established and what boundaries they
should have. The main variants included the retention from the communist era of the
nine districts of the Czech part of former Czechoslovakia plus one new one for
Moravia, or alternatively, 17 new regions based on urban centres. Another proposalwas that the country be regionalized or federalized into 13 districts based on the
24 An exception to this was Hungary where self-governing assemblieswere established at the county level.25 Kovcs, 1999: 55.26 See Bennett, 1993: 10 for a table on the number and size of local government units in post-
socialist countries in 1993.
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historic districts of Bohemia and Moravia. Some opponents of regionalization arguedthat the Czech Republic should be considered one region comparable in size to
Bavaria and therefore did not need to be further sub-divided.28
Meanwhile the provisions contained in the legislation on local self-government
contributed to the mushrooming of local municipalities (independently administered by
an elected assembly) creating serious problems of fragmentation and deterring further
decentralisation.29
In effect the de-concentrated offices of state administration,
established at the district level (77 District Offices) to carry out functions delegated by
central government, were the most powerful institutions in local governance.30
The
District Offices were headed by nominees of the central government and were
supposed to act as a check on the indirectly elected district assemblies (composed
of the delegates of local self-governments). These assemblies enjoyed the critical
function of distributing budgetary transfers from the centre. This system was, in
essence, a return to the bipartite administrative model of the Austro-Hungarian
Empire.31
Though the municipalities supposedly had a wide remit, the degree of
fragmentation at the local level meant that the District Offices ended up taking control
of many of the tasks of the 6200 local units.
Though the 1993 Czech constitution contains provisions for the establishment of
regional self-government (a tier of higher territorial self-governing bodies), it was not
until 1997 that the Chamber of Deputies finally passed a law establishing 14 regions
(kraje) and only in 2000 that the legislation outlining the specific powers of the regional
assemblies and electoral rules was passed. The first regional elections, in which only
candidates from political parties were allowed to stand (independents being prohibited
from taking part), were held in November 2000. Thus it is too early to comment on the
functioning of this new regional tier of self-governing and how far the central
government has/or will step back from its activities at the district and local level in
accordance with the new Municipalities Act.
27 Davey, 1995: 69-70.28 Cited in Novotny, 1998.29 On fragmentation, see Illner (1999).30 See table of State Administrative Organs Operating at the District and Regional Levels in the Czech
Republic in Lacina and Vjadova, 2000: 263.31 Galligan and Smilov, 1999: 50.
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Estonia
The revitalization of socialist self-government at the local level was one of the central
elements of Gorbachevs perestroika. The democratization of local government
proceeded slowly at first, but accelerated as Estonia moved towards independence in
1989-1991. By 1993 Estonia had a two tier system of local self-government
comprising local self-government units at both the municipal and county level.
Contrary to the majority of CEECs where the trend has been towards more
decentralization, in 1993 Estonia rationalised its local self-government into a one tier
vertical, centralised structure. The elected intermediary tier of local self-government
at the county level was replaced by an appointed stratum of state administrative
officials. The single tier system of local self-government includes 254 municipalities
(45 urban and 2009 rural). Local authorities enjoy considerable autonomy, are
responsible for administering public services and have their own budget, although
they remain fiscally dependent on the centre since 65 percent of local government
resources come from a share of state income taxes and grants. Locally raised fund s
represent around 10 per cent of the budget, mainly from land tax which local
authorities fix and receive directly.
County level governance is an appendage of central government. The fifteen county
governments are responsible for organizing and coordinating the work of national
institutions at the local level and for implementing national policies in accordance with
the law and instructions of the government and its ministers. The county governor is
appointed for a five-year term by the prime minister in consultation with local
government representatives. The country governor is the executor of regional policy at
the county level. He/she is also charged with supervising the legality of legislation
adopted by local government units within their respective jurisdictions. Certain
ministries also have single representatives or separate institutions at the local level.
Consequently, there is no regional self-government in Estonia and little evidence of theexistence of regional identities or strong elite support for meso government.
Nonetheless there has been an ongoing discussion about a further rationalization and
reduction in the number of counties and local governments. In addition to some
domestic pressure for restructuring, further reform of administrative arrangements is
seen as essential to create the more powerful regional and local administrative
capacity demanded by the European Union. Moreover, given the small size of the
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country the large number of self-governing units precludes efficient governance andprivileges the continuation of the highly centralised governing arrangements. Though anumber of different proposals have been put forward, no consensus has beenreached about the best approach to streamlininglocal governance institutions. As theEstonian Ambassador to the EU acknowledged: Estonia has been struggling withhow to restructure the sub-national level weighing up both political necessity andfinancial reasonability. There have been some ten proposals. It is a highly political
issue.
32
Perhaps the most controversial aspect of this debate is that strong localgovernment may result in political power shifting to ethnic Russians in a few areas,including possibly the capital Tallinn. This ethnification of the issue of regional andlocal governance reform is a strong disincentive for change.
A study completed in March 1998 proposed the gradual reduction of the number of
local government units from 254 to about 150. This was largely to be achieved by a
process of voluntary and later compulsory mergers of some rural municipalities and
towns.33
But the uptake on the voluntary merger scheme has been extremely slow.34
Shortly after the current government to came power in the spring of 1999, the Minister
for Regional Administrative Reform Toivo Asmer put forward the so-called 15+5 plan
to concentrate local governments into the current 15 counties plus five cities. In the
end the government stepped back from such a radical restructuring plan. Meanwhile
in January of this year, the government mooted a plan to reduce the number of local
self-governing units to 82 though the exact number is still to be decided.35
Whatever
the final outcome it is unlikely that the political determinants of the single tier local self-
government system will be fundamentally altered. Meanwhile some resolution to this
question is widely expected before the next local elections which are scheduled totake place in autumn 2002.
36
Hungary
Hungary was one of the first post-communist countries to implement a democratizing
reform of local government. The 1990 Local Government Act established a two-tier,
32 Interview in Brussels, December 2000.33 Janikson, 1999.34 For details of recent changes in administrative divisions, seehttp://www.stat.vil.ee/pks/seelgitusi/htm35 Huang, 2001.
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non-hierarchical system of self-government at both the county and local levels, with
each level of government enjoying its own separate mandate and jurisdiction.37
Thestipulation in the constitution that any enfranchised citizen of a village, town or countyis entitled to local self-government resulted in the mushrooming of local governmentunits (to some 3,200 local self-governments). At the county level 19 self-governmentunits with councils-- initially elected by representatives of local governments but post-
1994 by direct voting -- were formed with a four-year mandate. Local authorities have
extensive powers over local affairs and these are protected by the Constitutional
Court. In addition, provision was made for a network of state administrative offices,
independent of the county and municipal governments and responsible directly to
central administrative authorities, ministries or the central government. These de-
concentrated state administrative offices operating at the county level manage
administrative matters that fall outside the authority of local self-governments in several
areas, including land registration, tax administration, and public health.38
A third feature of the Hungarian system was that Commissioners of the Republic were
appointed by the President for seven regions and the capital. In effect, these regions
were created on the basis of the communist era planning regions.39
Their main
responsibilities involved prefect-like supervision of the legality of operations of local
governments and the coordination of the activities of the local state administrative
authorities. Given the fragmentation and lack of capacity of local self-government units,
the number of state administrative offices proliferated and the Commissioners of the
Republics assumed ever more active roles.
40
In 1994 the Commissioners of the
Republic were abolished and replaced by a system of public administration offices
(PAOs) in the counties and the capital but with essentially the same functions, though
heads of PAOs were henceforth to be appointed by the Minister of the Interior. At the
same time greater responsibility was handed over to county level self-governments.
Thus under the two-tier system there was a high degree of jurisdictional autonomy
between central and local affairs and also between the two tiers of local government.
36 National elections are held every four years in Estonia, whereas local elections take place every three years.37 After the 1994 amendments both local and county level self-governments had independent tax-raising
powers.38 For more details, seehttp://www.oecd.org/puma/sigmawe b; Bende-Szabo, 1999.39 Horvath, 1996: 34.
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Poland
The accession to power of the Mazowiecki government in August 1989 and the
subsequent implementation of Balcerowiczs radical neo-liberal variant of shock
therapy led to a re-concentration of power to the centre. The 1990 Local Government
Act transformed Poland from a three-tier system (regional, district and local) into a
two-tier system with strong central government and local self-government limited to
about 2,500 local authorities responsible for all public activities that were not assigned
by law to other public institutions.41
The 49 provinces remained as institutional
appendages of the central government, as did the 287 district offices of state
administration that retained responsibility for the most important services. A Task
Force for Regional Policy was established by the Mazowiecki government in 1989
(including politicians and experts) to draw up plans for the territorial re-division of
Poland. However, interminable political wrangling over the shape of a meso level of
governance, compounded by the instability of governments in the mid-1990s, meant
that reform was continually postponed.
Thus, paradoxically, in the first decade of Polands post-communist rule, a process of
centralisation of governing functions occurred.42
While some new responsibilities
were decentralized to the local level following the 1990 reform, the capacity of
municipal governments to act was constrained by their weak fiscal position resulting in
a return to some of the operational practices of the communist era. In particular, there
was a resurgence in the power of sectoral hierarchies at the meso-level as regional
administrative branches of particular economic ministries were established in some
areas. Finally, in 1998 a year after the accession to power of the Solidarity Electoral
Alliance-Freedom Union government, a series of laws paving the way for a three tier
self-governing system finally made their way to the statute books (see below).
Slovenia
As part of the former Yugoslavia, Slovenia was divided into 65 relatively large
municipalities which performed the functions both of central state administration and
of local authorities and enjoyed considerable political power.43
Despite the institutional
40 Fowler, 2001.41 Regulski, 1999.
42 Gorzelak, 1998: 16-17.
43 Vintar, 1999.
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legacy of Yugoslav federalism, and its close geographical proximity to the EU andwest European states with highly decentralized systems of local governance (Austria,Italy and Switzerland), Slovenia exhibited no contagion effects to engage in post-communist reform of its local government system. After independence, theadministrative system was centralised though the basic structure of a state-directedfused system in which municipalities typically performed both state administrative andlocal government functions was retained. The new constitution of Slovenia waspassed in 1992 making provision for self-government at both the local and regionallevel. But it was not until the 1993 Law on Local Self-Government and the 1994 Act onthe Establishment of the Municipalities that the path was cleared for the establishmentof local self-governments at the municipal level. At present there are 192 municipalities
(11 of which are urban municipalities) which vary considerably in terms of population
and economic power. No further steps were taken to establish a meso tier of self-
government.44
Instead state administration was organised into 58 de-concentrated
administrative units largely based on the former municipalities and inheriting many of
the weaknesses of the former system.45
Nonetheless the debate over the possible territorial breakdown of a regional self-
governing tier has surfaced on a number of occasions, with proposals mooted to
carve up Slovenia into anywhere from 4 (based on the historical territories of Kranjska,
Upper and Lower Stajerska and Primorksa regions) to 12 (based on the functional
planning and administrative units created in the 1970s which form the basis for NUTS
III statistical regions) to 58 (based on the current de-concentrated state administrative
units) regions. In the most recent round of regionalisation fever, spurred by the
prospect of receiving structural funds for regional development, the government putforward proposals in March of last year for a bipartite division of the country into the city
of Ljubljana and the rest of the country.46
Though welcomed by the city of Ljubljana,
representatives from other towns have responded less favourably to the governments
plan and have been demanding regional status for themselves. Thus in October 2000
the mayors of 12 towns in the Koroska region expressed their support for the
establishment of a formal Koroska region. Meanwhile the Mayor of Maribor, Boris
44 Article 143 of the Constitution gives the obcine (municipalities) the right to create regions on avoluntary basis but no attempt was made to dothis until 1998.
45 On the relationship between state administrative bodies and local self-governments, see Setnikar-Canka
et al., 2000: 390-391.46 Pozun, 2001.
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Sovic, has proposed a tripartite division of the country into the city of Ljubljana region,an urban Maribo r-Stajerksa region and the rest of the country. No final decision has yetbeen taken. For the time being, the government is sticking to its plan and attempting tosecure the passage of a law formalising Ljubljanas status in the current parliamentary
session.47
PROTO-REGIONAL GOVERNMENT IN CENTRAL AND EASTER EUROPE
Despite the shared characteristics of local government arrangements combined with
a diversity of institutional forms across central and eastern Europe in the immediate
post-communist period, the conditionalities of accession as defined by Agenda 2000
and the Opinions have induced the CEECs to introduce changes with the aim of
strengthening their regional and local administrative capacity. The imperative offinding appropriate organizational forms to meet the requirements for EU regional and
cohesion policies has been a catalyst for the reform of local and regional government
in the CEECs. The Commission views regional governance units as the foundation of
the European Unions structural policy and thus to a certain extent is imposing this
model on the accession states. As one official in the enlargement Directorate put it:
regional government was the golden key to the structural funds. Given their overriding
goal to achieve membership in the European Union, national elites in the candidate
CEECs have seen it in their interests to make the necessary adjustments in line with
the EUs implicit model of regionalization.48
The institutional design of new meso-
levels of governance in the CEECs can, therefore, be understood as a
development influenced by the interaction of three key factors, including: historical
and spatial determinants; conditionalities from Brussels; and the specific trajectory
and political context of transition in each country.
In designing a viable structure of meso-level governance some governments have
chosen to build on pre-existing regional identities. Where such identities are weak or
non-existent, this option is much more problematic. In terms of local and meso-level
governmental arrangements, policy-makers have looked both to their pre-1945 past
as
47 ibid.48 See Illner in Kimball, 1999: 16; Horvath , 1999.
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well as to the systems of local government in western Europe and the modelpromoted by the EU. States that were formerly part of the Austro-Hungarian Empire,such as the Czech and Slovak Republics, Hungary, and Slovenia, had the experienceof a system of state administrative and self-governing territorial administration datingfrom the mid-nineteenth century and enduring in most cases until 1945. Conversely,Poland, which was divided until 1918 between the three neighbouring powers
(Germany, Austro-Hungary and Russia) and then had an authoritarian regime under
Pilsudski, lacks a tradition of pre-communist local self-government. Consequently,
Poland opted to follow the Austrian and German systems of territorial administration
as the model for its 1999 reform, though without adopting full-blown federalism.49
Moreover, inresponse to the functional logic underlying the pressures emanating from
the European Commission to establish administrative capacity at the spatial level
above the county and local level, policy-makers in the CEECs have also revived
communist era planning regions as potential models for the regional structuration.
Inadequate administrative capacity, particularly at the regional level, has been
repeatedly highlighted in the annual progress reports as one of the key shortcomings
of the candidate countries in the area of Regional Policy and the Structural Funds
(chapter 21). The sparseness of the acquis communautair e in this area - largely
confined to the principle of partnership in the management of structural funds and the
stipulation that these are to distributed at the NUTS II level50
-- has meant that the
rather elusive notion of regional administrative capacity has been open to broad and
varied interpretation. In effect the Brussels model aims to institutionalize administrative
capacity at the regional or meso-level in preparation for the implementation of
structural and cohesion policy in the future via the application for and use of pre-
accession instruments (Phare, Sapard and ISPA) in the present as well as through
projects directed specifically to this end. At the present time 30 per cent of the Phare
budget- the EUs pivotal technical assistance programme for the acceding CEECs-
is allocated to institution-building, with the Twinning programme currently forming the
mainstay of the Commissions assistance model.51
However, there appears to be no
clear yardsticks for measuring progress by candidate countries towards achieving the
state of having acceptable regional administrative capacity beyond the annual
49 Illner, 1992: 15.50 See StructuralFunds Regulation, Council Regulations (EC) 1260/99.51 See Appendix I on twinning.
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evaluations in the Regular Reports which themselves are couched in rather generalterms. The 1997 Opinion on Estonia, for example, merely stated that the mainadministrative requirements in this area are the existence of appropriate and effectiveadministrative bodies, and in particular a high degree of competence and integrity in
the administration of Community funds.52
Similarly, the Commissions Regular Reporton Hungary published in November 1998 stated: Hungary has not adequatelyaddressed the short-term Accession Partnership priority relating to reinforcement of
institutional and administrative capacity in regional development. [] Concreteimplementation of regional policy objectives and the accompanying structures and
institutions is still weak.53
In general, the candidate countries have been encouraged:
(i) to make further reforms to develop administrative capacity at all governmental levels;
(ii) to make greater financial and human resources available at both the regional and
local level to facilitate political and budgetary decentralization; (iii) to improve financial
control systems at both the local and regional government level; and (iv) to increase
coordination between administrative bodies at every level of government.
Joining the NUTS statistical classification system is also a condition of the pre-
accession stages, as it represents the EUs established channel for the CEECs to
become part of the EUs regional and cohesion funds. The NUTS system consists of
five different levels; NUTS II categories are the main instrument for the formulation and
implementation of regional policy in the EU. They provide not only the statistical
information and analysis for regional development planning and programmes, but are
also theadministrative level at which structural funds and other regional and cohesion
funds are managed.54
The existing NUTS II regions in the EU were drawn up largely
on the basis of designations arrived at by individual member states and subsequently
approvedpro forma by Brussels.55
The reverse appears to be the case for CEECs,
as Brussels has deeply involved itself in the designation process. Although
the Commission has not overtly recommended that the candidates should structure
their regions according to the average size of NUTS-II regions, the Regular Reports
have commended those states which have made reforms in this direction. This
sends a strong signal as to what template is desirable. The newly
recreated Polish voivodships, for example, correspond to NUTS-II level regions, andHungarys seven
52 Com, 1997: 102.53 Regular Report on Hungary, 1998: 33.54 Horvth, 1998: 56.
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planning and administrative regions created under the 1996 Law on RegionalDevelopment and Physical Planning are similar to NUTS-II regions (see below).Furthermore, some observers have noted how Eurostat has positively advocated thesystematic use of NUTS-II regionalized categoriesin its interactions with the statisticaloffices of the candidate countriesan example of the standardization of plannerspromoting integration and conformity by stealth, irrespective of political
developments.56
Though candidate countries have also sought to manipulate this
system in order to secure the best deal for themselves at the time of accession to theunion.
57
Notwithstanding the assurances of members of the Directorate-General for
Enlargement that there is no single EU template for regional organisation for the
candidate countries, there clearly have been different and shifting interpretations both
within the Commission and in the candidate countries of concepts of conditionality in
the area of regional policy, and regional governance arrangements in particular. More
importantly, policy-makers in eastern Europe have detected and responded to
perceived preferences in Brussels for the decentralisation of governance
arrangements to the regional-level. Since the commencement of the negotiations
process,not only has there been an evolution in the European Commissions strategy
on regionalisation in eastern Europe as part of the learning process in this
unprecedented enlargement but approaches to regional policy have also been
affected by the tension between conflicting aims. This tension can be summarised as
a conflict between the currently incompatible goals of decentralisation versus control
and efficiency, between (i) support for decentralisation as the Commissions preferred
mechanism for administering structural funds in the Member States, and its
preference for decentralisation as a means of facilitating democratisation58
and (ii) a
technocratic emphasis on improving existing administrative capacity at the centre
thus enabling the Commission to bette r evaluate the implementation of the acquis
and monitor the use of programme funds. Though somewhat of a generalisation, it
might
55 Horvth, 1998: 63-64.56 Hoich and Larisova, 1999.57 The NUTS classification system is due to become a formalised part of the acquis communautaire before
the end of the year in an attempt to prevent further manipulation of NUTS II categories in the pursuit of
munificence from the Structural Funds.58 As Brusis, 1999, commented: The Commissions remarks on regional administration indicate that its
preference appears to be democratically elected regional self-governments which possess substantial
financial and legal autonomy.
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be suggested that the tension between these conflicting goals is in part a reflection ofdifferences in the remits and opinions of the various departments of the Commission
in particular, differences between DG-Enlargement and DG-Regio. Most recently
this has been reflected in a debate about the management of pre-accession
instruments in the candidate countries.59
The process of adapting domestic institutions in accordance with the acquis hasserved as a catalyst for the reform of regional public administration in the candidate
CEECs.60
The response of the CEECs in terms of the institutional design of systems
of local and meso-level governance can be broadly categorized into two main types:
(i) democratizing reforms specifically designed to promote an efficient regional
development policy, and improve administrative efficiency, service delivery and the
implementation of policy at the meso level; and (ii)administrative reforms aimed more
generally at preparing for EU membership, including developing the necessaryadministrative capacity to access, process and administer structural and other
regional development and cohesion funds. Some candidate states are pursuing
purely administrative reforms, for example, by creating systems of regional
development agencies. Though these new structures are still in their nascence, they
clearly have no political institutional component and their interactions with existing
county and local government structures have yet to be developed. However, it is not
inconceivable that such institutional structures could in the future form the foundation
for an elected regional government. Moreover, while the accession states, with the
exception of Poland and the Czech Republic, have generally opted for centrally
controlled administrative Regional Development Agencies, the possibility of further
decentralising reforms to create a regional governance tier continues to be discussed
in some of the candidate countries.
Meanwhile the Commissions initial zeal for regionalisation has been tempered
somewhat since 1998. This has to a considerable extent given way to a more
pragmatic approach to the candidate countries and a recognition that except in the
case of Poland and Romania there is no need for extensive decentralisation of
administrative capacities, especially given the continued lack of administrative
59 Interview with senior officials in the Regional European Funds Directorate, Department of Trade and
Industry, UK, February 2001.60 Regional reforms and adjustments are also under consideration in the pre-in candidate countries but they
are at the preliminary stage of negotiations over the acquis.
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capacity at the centre and the need for improvements at the national level first. TheEuropean Commissions recent experience in Romania with the collapse of thenetwork of regional development agencies established with the support of the Phareprogramme and the current recentralization of regional policy management hashighlighted the difficulty of attempting to impose templates without adequately takinginto account the domestic political context and historical traditions. The recentlypublished Phare 2000 Review reflects this more sober assessment:
Regional programmes need not be implemented by regional structures. They can b e
implemented by national ministries/agencies, if more appropriateThe need for [a]
differentiated and tailored approach for each particular country is critical if the
structures developed, strategies designed and programmes financed through Phare
are to be sustainable after accession. However, in the context of bridging to Structural
Funds, such differentiation must respect the conditions and requirements of the
single acquis on Structural Funds and its supporting regulations.61
COUNTRY CASES
Czech Republic
The impetus of preparing for EU membership, and in particular setting up the
necessary structures for the receipt and management of structural funds, appears to
have played a limited role in the actual designation of the 14 regions in the Czech
Republic and in the design of the regional assemblies though apparently the real or
imagined preferences of the European Commission were cited by some in the
debate over regionalisation.62
However, in response to the exigencies of the
accession process and to regional development priorities in particular, the Social
Democratic government has moved ahead with establishing the necessary structures
for regional policy design, management and implementation as part of its preparations
for membership. The Regional Policy Principles of the Government of the Czech
Republic which were adopted in 1998 specifically tie the definitions and principles of
regional policy to the regional policy of the EU embracing the pillars of partnership,
61 Phare 2000 Review.62 Nowotny, 2000.
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concentration, programming and additionality. In 1998 eight NUTS II so-called
cohesion regions were designated and provision was made for eight accompanying
Regional Management and Monitoring Committees responsible for the preparation of
regional operational programmes. The members of these Committees are appointed
by the Ministry for Regional Development, itself established in 1996, and include
representatives from the Regional Coordination Groups, representatives of central
ministries, parliamentary deputies, universities and NGOs.63
In June 1998 prior to the establishment of the regional self-governing bodies, Regional
Coordination Groups (RCGs) were set up at the level of the fourteen kraj (whichcorrespond to NUTS-III units) and charged with managing the preparation of regional
development policies in cooperation with Regional Development Agencies. Once the
regional parliaments were in place, the RCGs were to be integrated with the Regional
Management and Monitoring Committees.64
In contrast to the regional assemblies
whose membership is restricted to members of political parties, the RCGs embraced
members of the local and regional administrations as well as business
representatives, and in some cases people from NGOs and environmental
organisations. Though, as Novotny has pointed out it remains to be seen how far
these sub-national structures will become dominated by local political and
administrative elites, once the regional assemblies and accompanying organs of self -
government are up and running.65
Estonia
The question of regional administrative reform has not been absent from the policy
agenda in Estonia but rather the lack of consensus has impeded any concrete steps.
Various proposals for restructuring the county system into new regional units which
would correspond to NUTS-II regions and thus create an appropriate institutionalinstrument for the management of structural funds have been discussed in Estonia in
recent years, but no political consensus has been reached on the issue. Under the
influence of the Finnish experience, which has been closely followed in Estonia, the
63 Novotny, 2000: 2-3.64 See The Regional Policy of the Czech Republic onhttp://www.mmr.c z, August 199965 Novotny, 2000: 14.
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formation of four or five macro-regions for the planning and implementation of regional
policy has been considered66
. However, Estonia, as a small country, has no history ofregional-level government or regional identities and our elite-level survey suggests thatthere was considerable ambivalence towards the idea of adjusting administrativeboundaries in Estonia in order to comply with EU-funding criteria (see below). At thecurrent time thinking seems to be moving in the direction of classifying the entireterritory of the country as one NUTS-II area and defining statistical regions
corresponding to the NUTS-III level based on the existing county system though thishas not been agreed upon yet.
67
The strong culture for centralization and local control in Estonia is evident from the
continued subordination of the Department of Local Government and Regional
Development to the Ministry of the Interior. Fundamentally regional development in
Estonia is viewed by its national level elites as a national level policy issue with
government appointees at the county level responsible for regional policy
implementation. A National Regional Policy Council wasestablished in 1995 to act as
a forum for representatives from all the ministries as well as county and local self-
governments with the goal of fostering inter-institutional cooperation. To date it has
been little more than a talking shop and effective inter-ministerial and central-local
coordination remains weak. With the assistance of Phare grants, the Estonian
Regional Development Agency was set up in May 1997 as a national level agency to
coordinate and provide technical support to regional development programmes and
local Business Support Networks. In addition to the key ministries involved in regional
development, it includes county governors and representatives of the municipalities
and business association. The recent tempering of the regionalisation zeal in
Brussels with the recognition of the significant problems involved in securing
adequate administrative capacity even at the national level has meant that the
Commission is now positively inclined to countenance a centralised approach to
structural funds management. However, in the view of the Commission Estonia is still
lagging behind in the adjustment of its regional policy arrangements. The
Commissions 1997 Opinion declared Estonias regional policy as weak and its
institutional basis for structural funds management limited. This evaluation has
changed little in subsequent progress reports. As the 2000 Regular Report concluded
66 Djildov and Marinov, 1999.
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Estonia still needs to clarify the division of responsibilities between different
departments and institutions for implementing structural funds support.68
Hungary
Among the first wave of candidate countries, the EU has been actively involved in the
regionalization process both in Hungary and Poland. However, unlike in Poland, the
EUs Hungarian model was largely administrative in character; while substantial
progress has been made in the creation of administrative structures, there has been
little or no progress in creating a democratized regional governance level. Inevitably,
the scale of Brussels involvement has given rise to local level claims of EU
colonization at worse and the feelings of a forced marriage at best. As early as 1992
Phare sponsored a programme to facilitate the preparation of government strategies
on regional development, an integral part of which was the development of institutional
structures enabling the government to decentralise the formulation and
implementation of regional policy.69
Since that time through various Phare Regional
Development Programmes, Brussels has continued to guide Hungarian regional
policy leading to the adoption of the 1996 Act on Regional Policy and Physical
Planning, the completion of the National Regional Development Concept (1998) and
the creation of seven planning-statistical regions corresponding to NUTS II regions.
The creation of the planning-statistical regions and the provision for so-called
developmental regions was in direct response to the perceived exigencies
emanating from the Commission as part of the accession process.70
According to the 1996 legislation Regional Development Councils were to be
established voluntarily at the initiative of groups of county regional development
councils under the auspices of the National Council for Regional Development. At the
end 1999 five regional development councils had been set-up covering virtually the
entire territory of Hungary. However, the administrative organization tended to be
skeletal, with few employees and limited financial resources and in one case, Zala
67 See Commission Regular Report 2000, Estonia, 68.68 Commission Regular Report 2000 on Estonia.69 See Heil, 2000: 43.70 Interview, Hungarian Mission to the European Union, December 2000.
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county had joined two RDCs.71
Though the Commissions Opinions clearly
welcomed the establishment of the seven administrative and planning regions and the
system of RDCs, Hungary was still criticized for the administration of its regional
policy via the Ministry of Agriculture and Regional Development in the central
government.72
Nevertheless, the Commission Opinion on Hungary of July 1997 acknowledged that it
was the first country in central and eastern Europe to adopt a legal framework
conforming to EU structural policy requirements and the acquis, although problems
remain in terms of institutionalization and implementation.73
In recognition of the progress on enhancing regional administrative capacity the EU, in
July 1999, simplified and devolved power over Phare and other programmes operating
in Hungary. Thereafter, evaluation of applications and decisions on funding were
supposed to be taken by the RDCs subject to the approval of a National Office and the
EU Delegation. Decentralization was needed to cope with the massive increase in
applications. For example, between 1988-96 there were 57 Phare projects for
Hungary, but in 1998 in the RDC of South Transdanubia alone 40 projects were
approved.74
However, apart from EU funding, the RDCs had a weak resource base
and, as unelected quango-like agencies, had difficulties in establishing themselves as
effective and credible organisations.75
Moreover, since the focal point for local territorial
political identity are the centuries-old counties, the meso-level is characterised by a
weak level of identification o n the part of Hungarian society. In the 1999 Regular Report
Hungary again attracted sharp criticism for its failure to address sufficiently the short-
term Accession Partnership priority for regional capacity. By not assigning adequate
human and financial resources to strengthening regional and local government
bodies and advancing the goal of political and budgetary decentralization, Hungary
was viewed as slipping in its progress toward accession.76
In October 1999 the Law on Regional Development and Physical Planning was
amended to confirm the establishment of seven Regional Development Councils at
the NUTS II level with (guaranteed state funding) and to define more clearly their role inprogramming and implementing regional development programmes. RDCs were now
71 Cziczovszki, 2000.72 At the beginning of 2000 the Ministry of Economic Affairs was charged with the overall coordination
of regional policy and a new Regional Development department within the ministry was set up.73 Horvath, 1998: 49.74 Interview with senior official at the South Transdanubian Regional Development Agency, July 1999.75 Kovacs, 1999.
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compulsory rather than voluntary bodies and the number of representatives of centralstate organs was increased at the expense of representatives of sub-national
government and the civil sphere.77
This strengthening of the RDCs and the increasedimportance of the regions corresponding to the NUTS-II level was welcomed in theNovember 2000 Regular Report. Nonetheless the Commission still indicated thatnational and regional capacity enabling the implementation of Structural Funds andthe Cohesion Fund would need further significant strengthening, including financial
control structures at the regional level.78
Meanwhile the debate continues in Hungaryabout whether to divide the central Pest region into a Budapest city region and the restof Pest. This is partly due to the recognition that by the time of Hungarys accession,Budapest may no longer qualify for Objective 1 Structural Funds.
Poland
Whereas the majority of candidate states have followed a Brussels model for
administrative regionalization,the first democratizing reform of both regional and local
governance in a CEEC was realized in Poland.79
To a certain degree a political
regionalization was easier for Poland on account of its spatial size and prior history of
regional government. Though this democratized regionalization predates EU
enlargement conditionalities for regionalization, the timing and nature of the
regionalization has to some extent dovetailed with the ongoing preparations for and
perceived prerequisites of EU membership.80
Nonetheless, the Polish reform that was
enacted, inter alia, by the 1998 laws on county and voivodship self-governmentshould be seen as an inherently endogenous development. Pursuant to the laws a
three-tier governance system was created, with about 2,500 self-government
authorities (gminas) operating at the local level, 308 rural and 65 urban districts(powiats), and 16 regional authorities (voivods).81
76 Commission Regular Report 1999 on Hungary.77 Fowler, 2001: 1978 Commission Regular Report 2000 on Hungary, 62-63.79 The Czech Republic has recently followed suite in establishing a regional self-governing tier.80 See Kowalczyk, 2000: 226, In respect of size they are the counterparts of regions in the countries of EU,
and the government and the Sejm has precisely this in mind when they demarcated and assigned tasks to
voivodships.81 The final number of regions was the result of considerable wrangling between the different political parties.
For details including debates in the Sejm, see Wyszogrodzka-Sipher, 2000.
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All three levels have an elected council to supervise administration in their
jurisdiction.82
At thevoivodship level, state administrative structures are also presentwhich mainly perform supervisory and inspection functions. The voivod who isappointed by the Prime Minister upon the nomination of the minister of internal affairsis the most important institution in the voivodship. It is the voivods responsibility toprotect the interests of the state and to coordinate the work of the governmentadministration with the regional self-government. As a result of the reform the fundingbase for the new institutions of local and regional governance was also considerablyimproved. For local authorities 70 per cent of revenues are derived from the centralbudget via tax-sharing and transfers, and 30 per cent are raised locally. Districts andvoivodships are funded overwhelmingly from the national budget. The mainresponsibilities of the meso-level governments include: (i) promotion of economic
development;83
(ii) public servic