| On the eve of President Biden’s inauguration, the Commission
  published a Communication aiming at strengthening the role of the Union on
  the world stage by developing a policy of “open strategic autonomy” outlined
  in its Communication of May 2020. This new Communication centres on the
  development of the international role of the €, strengthening the EU’s
  financial market infrastructures, improving the implementation and
  enforcement of the EU’s sanctions’ regime as well of the unlawful
  extra-territorial application of unilateral sanctions and other measures by
  third countries.
 As was provocatively suggested in a commentary in the Financial Times of
  January 21st, the American President will have lost no sleep when
  informed of these proposals, even if most were aimed at the United States
  (without ever naming them) and at the exorbitant privileges of the U.S.D.
 
 
 
 
 The
       international role of the €
  
 The aim to develop the international role of the € is not only laudable but
  also essential to fulfil the EU’s ambition of an autonomous strategy within a
  multilateral world order. The Communication identifies four dimensions of the
  €’s role: the financing of trade, its attraction for investors, the
  infrastructure of € denominated financial markets and instruments as well as
  its role as a Reserve Currency.
 
 If considerable efforts must be undertaken to develop the use of the € in
  denominating a maximum of cross border transactions outside the Eurozone
  (ensuring thereby that they settle automatically within the Union),
  attracting investors and increasing the €’s share in Central Bank reserves is
  first and foremost a question of the “trust”
  operators have in the liquidity and resilience of the market as well as that
  of citizens and monetary Authorities in the sustainability of the Single
  currency.
 
 In order to justify such trust, it is of paramount importance to eliminate
  any lingering doubt concerning the risk of “redenomination” resulting from the
  reintroduction of national currencies. Great progress has been made since the
  2008 financial crisis and a number of proposals contained in the
  Communication aim at reinforcing it: the completion of the Banking Union, the
  repatriation of some systemically key financial infrastructures, the creation
  of commodity markets in € together with their corresponding derivatives,
  &c.; specifically, the Recovery Plan envisaging the issuance of € 750
  billion of debt securities by the EU is conducive to add significantly to the
  supply and liquidity of € denominated instruments, both in quantitative and
  qualitative terms. However, as long as a redenomination risk exists, it will
  act as a drawback to the use of the €.
 
 In addition, developing € denominated instruments involves accepting the
  responsibility for their regulation and reinforcing their corresponding
  infrastructure, responsibility for their smooth functioning, in particular in
  times of crisis or tensions. It is, indeed, both the size of the $ market,
  its robust regulatory framework and the trust foreign operators have in the
  capacity as well as the political will of American authorities to take their
  own needs into account, which explains their acceptance of the USD’s
  exorbitant privileges. In this regard, the Biden-Yellen tandem taking over
  from Trump-Mnuchin will provide a welcome reassurance for operators. If the
  EU wishes to compete with the USA, it must aim at matching the latter’s very
  high standards and dedicate the necessary considerable resources to this
  endeavour.
 
 However, though the pandemic has unquestionably contributed to demonstrate
  the added value of the EU, not only in terms of health policy, but also in
  relation to the coordination of mobility or raising joint financing
  (strengthening the argument in favour of a deeper Union), it has
  simultaneously revealed tensions among the 27 which increase its fragility.
  For instance, the compromises reached over the 2021-27 plurennial budget and
  the €750 billion Recovery Plan have, once again, underlined the weaknesses
  stemming from the “unanimity” rule as have, elsewhere, the squabbling
  regarding border controls and lately, the controversy concerning the
  Commission’s role in the supply of vaccines. Sovereigntists and Eurosceptics
  of every shade are blaming, with unabashed bad faith, each incident which
  should be laid at the door of a decision making process requiring approval of
  all MS (in a new and unknown area), pushing their criticisms to the point of
  glorifying the UK and their Brexit choice. By obfuscating the truth that a
  free for all would inevitably have led to an unfair distribution of available
  doses, they create, in these troubled times, the perfect conditions for their
  noxious nationalistic creed to prevail.
 
 Furthermore, diverging interpretations concerning the governance of the
  Recovery Plan put into jeopardy its capacity to act as the foundation of a
  stable financing mechanism for the Union, leading, in case of conflict to a
  confidence crisis in the currency. For example, within the general
  (inevitable) trend of rising government borrowings, significant divergences
  have appeared between the path of Germany’s and France’s sovereign debt; over
  time the gap will become unsustainable and unacceptable (to the Germans et
  al.) paralysing the mechanisms of solidarity between the 27 and shaking the
  trust of both European citizens and foreign investors in the €.
 
 Two priority conditions seem necessary in order to ensure an enduring trust
  in the Single Currency.: the extension of the Eurozone to the EU 27 on the
  one hand and a significant increase of the Union’s “own resources” on
  the other.
 
 The extension of the Eurozone, as foreseen in the Treaty, is necessary in
  order to put the economic and financial management of the Union on an equal
  footing with the other currency issuing countries with which the € wishes to
  be compared and compete. This entails creating a powerful executive authority, speaking
  with one voice in the name of the EU27, because it is only then that, in
  coordination with the ECB, the Union could assume the heavy responsibilities
  (and benefit from the corresponding advantages) that are part and parcel of
  the management of a universally accepted reserve currency (comparable to the
  paring of the US Government with the FRB).
 
 The need to increase the EU’s “own resources” aims at making the financing of
  the EU budget less dependent on the MS and simultaneously giving the
  underpinning of its currency the largest base possible to bolster its
  credibility. As an offset, in addition to direct financial support (as
  provided in the Recovery Plan), the European budget could take over from the
  national budgets of its members, the financing of a credible joint defence
  program (another indispensable attribute of trust in a reserve currency), as
  well as other matters such as the environment, foreign affairs, external
  border controls and immigration. Thus, the € would reduce its exposure to
  problems that plague from time to time individual MS, such difficulties
  avoiding to put into question the stability of the currency. The FX market could
  then fully play its part in the adjustment mechanism of the external value of
  the €, restoring to the collective benefit of the MS a tool of which they
  have been deprived individually and which has imposed a rigid national
  budgetary framework (Stability Pact, European Semester, &c.) leading to
  painful – often countercyclical – austerity policies.
 
 As long as the two conditions are not met, any attempt to develop
  significantly the role of the € in financial markets, as a reserve currency
  or as a tool to increase the geopolitical clout of the EU are destined to
  remain in the realm of wishful thinking.
 
 The
       Euro as a transaction currency 
  The increased use of the € as a transaction currency has been correctly
  identified as a proof of its acceptability and must therefore be a priority.
  It must aim simultaneously at increasing direct investments, developing €
  denominated financial instruments as well as its usage in international
  commercial flows. This leads to two specific remarks:
 
 Firstly, the widening of € denominated Capital Markets  has already been
  addressed by the Commission in the early 2000’ with the Financial Services
  Action Plan and its European Union of Capital Markets (2015), but,
  unfortunately with scant success, the City of London (outside the Eurozone)
  having largely dominated the sector in the European time zone.
 
 Secondly, in the commercial field, the European banking sector remains
  heavily dependent on its access to dollar funding to finance its considerable
  USD denominated assets and consequently to the “swap" agreements between
  the ECB  and the FED mentioned in the Communication. To encourage
  international operators to denominate their operations in €, the ECB  will
  have to offer their respective Central Banks access to swap lines to provide
  the necessary financing (a partial network is already in existence). One
  should remember, however, that these swap lines can be cancelled unilaterally
  (in the same manner as equivalences in financial services). Consequently, in
  order to reinforce the role of the €, it will be necessary to reduce in
  parallel the volume of dollar transactions financed in the Eurozone to ensure
  both the independence and stability of the €.
 
 The
       sanctions regime and its extraterritorial application
  Any sanctions regime introduced by a given jurisdiction is limited, in
  principle, in its application to its territory and the persons/entities which
  carry out activities within its borders. The question of extraterritoriality
  arises when a jurisdiction wishes to extend unilaterally the application of
  its legislation beyond these limits.
 
 Let us first note that the mere fact of making use of the currency of the
  sanction’s initiator is sufficient to consider that the transaction falls
  within his jurisdiction because it follows that the transaction will
  automatically settle in its territory; challenging the transgression of
  sanctions does not, therefore, constitute an abuse of an inexistent
  extraterritoriality.
 
 On the other hand, if a transaction is executed 100% outside of the said
  jurisdiction, the foundation for applying sanctions is no longer a matter of
  law but rather a question of relative power. For instance, if the USA
  threaten sanctions on entities trading with Iran, the latter must make a
  pragmatic judgement whether their operations with the USA – over which it has
  jurisdiction – are a priority or can be sacrificed.
 
 This line of reasoning applies mutatis mutandis to the EU and the USA. The EU
  must determine whether in order to escape extraterritorial sanctions it is
  prepared to escalate a trade war and, for instance, be exposed to the
  cancellation of its $ swap lines (see above) which could give a fatal blow to
  the €. In reality, neither party has any interest in such a confrontation
  (like nuclear mutual dissuasion) as it will always result in a lose-lose
  outcome.
 
 However, as long as the USA yield a considerably larger military and monetary
  might, the EU should significantly reinforce its relative independence before
  contemplating a challenge based on a moral (?) or “sovereigntist”
  (disputable) footing.
 
 Conclusion
  The Commission’s Communication identifies a series of useful measures to
  improve the use of the € with the aim of reinforcing the Union’s capacity to
  weigh on major geopolitical questions. After the pandemic, this stance should
  contribute to the emergence of a multilateral world governance rather than
  being under the rule of an American-Chinese duopoly.
 
 Unfortunately, implementing the proposed measures will fall short of its
  objective if, first, all doubts as to the sustainability of the € are not
  removed.
 
 Finally, in spite of the welcome declarations, it would be a serious mistake
  to rely on the goodwill of the new American administration which, from the
  first day has insisted on its “buy American” creed; there is no indication
  that it is ready to abandon the use of its currency as a tool of power in the
  new geopolitical landscape that is emerging. The promotion of the € is likely
  to face strong oppositions.
 
 It is high time that the EU 27 Member States come to rely first and foremost
  on their own efforts in order to provide their citizens the economic social
  and cultural benefits to which they aspire and ensure their peaceful
  enjoyment.
 
 Paul N. Goldschmidt
 
 Director, European
  Commission (ret.); Member of the Advisory Council of
 “Stand Up for
  Europe”.
 ___________________________________________________________________________
 Tel: +32 (02) 373 63 30
                                                                        Mob:
  +32 (0497) 549259
 E-mail: pn.goldschmidt@gmail.com
                                            Web:
  www.paulgoldschmidt.eu
 
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