How Transparent and Inclusive is the Design Process of the National CAP Strategic Plans?

Article

After the first steps made towards designing the National CAP Strategic Plans, this article analyses transparency and stakeholder inclusivity in six selected Member States: France, Ireland, Italy, Germany, Spain, and Poland. The results show interesting practices in terms of establishing written revision procedures or online platforms but identify numerous limitations and gaps to be urgently addressed by the Member States and the Commission. It also raises some concerns on the implications of the new delivery model for building decentralised governance capacity and better stakeholder involvement at regional level.

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To tackle these limitations for the next preparatory steps, the article calls on the Commission and the Member States to work on the following areas: better communication channels; publication of updated and dynamic roadmaps; more transparent consultations and negotiation meetings; clearer written procedures, and better stakeholder consultations. Some recommendations are also provided for NGOs and civil society organisations.

Introduction

Transparency and stakeholder inclusiveness can be argued to be two sides of the same coin. Both are important to trigger systemic changes in the current CAP. After the first steps made towards designing the National CAP Strategic Plans, ARC2020’s #CAPStrategicPlans project has animated a network of national coalitions to answer the question:

How transparent and inclusive is the design process of the National CAP Strategic Plans?

In this analysis, transparency is understood as the proactive disclosure of public information, such as SWOT analysis, roadmaps and timelines, minutes of meetings, workshop reports, list of consulted stakeholders. Stakeholder inclusion refers to the engagement of individuals (or a group thereof) with specific roles and responsibilities.

Good practices and limitations on the level of transparency and inclusion have been analysed via online focus groups and qualitative data collection supported by active national coalitions in six Member States: France (FR), Ireland (IE), Italy (IT), Germany (DE), Spain (ES) and Poland (PL). As background, Table 1 provides an overview of the main milestones achieved by these Member States when this analysis was conducted.

Table 1: State of play in the analysed Member States up to end April 2020

CAP SP Table1

* Documents published as draft. ES covered both assessment and prioritisation of needs

** Needs assessed, but not prioritised yet

To this picture, it should be added that:

  • Some Member States, such as IE and DE, are starting to work on the CAP interventions
  • FR is running a nation-wide public debate accompanying the design of the CAP SPs
  • In some Member States, consultations and documents are still internal and therefore cannot complete this table (e.g. IT is working on assessment of needs, but still internally)
  • The timeline across almost all EU countries has been, and will continue to be, affected by the COVID-19 and political decisions at EU level (e.g. MFF)

The results presented in the following sections show good practices, but also important gaps and areas to be urgently addressed at EU and Member State level. Therefore, this study calls on the Commission, the Member States, and also NGOs and civil society organisations (CSO) to implement specific actions to increase the level of transparency and inclusion in the remaining steps before the final approval of the CAP SPs by the Commission.

Setting up and updating official communication channels

We call for…

  1. The Commission should make the CAPReform Wiki established in its management plan (Pag. 67) publicly available within upcoming weeks to facilitate the overview and follow up of the CAP reform process across the Member States. This includes also giving access to the email address of the Commission’s ‘geographical hubs’ and publish a schedule’ to inform the submission of documents from the Member States to the Commission (e.g. SWOT analysis, assessment of needs, etc.).
  2. The Member States should build and improve existing communication channels, including websites and platforms, to continuously and openly interact with the CSOs, NGOs, scientists. This should include simple tools adapted to the COVID-19 circumstances (e.g. sections with short videos, monthly webinars).
  3. NGOs and any active actors should continue to regularly follow the CAP SPs design process throughout its steps, informing the wider society about the directions taken and defend common positions through communication campaigns and meetings.

Publishing and updating roadmaps

We call for…

  1. The Commission should foster the exchange among the Member States and increase the overall level of information of the public. To do this, it needs to update and publish progress made by each Member State in preparing the CAP SPs, while also making available the contact reference of the responsible unit in each Member States.
  2. The Member States should envisage more dynamic tools for informing citizens about the progress made and to be made along their roadmaps. Generic timelines should be complemented with specific dates of important meetings, workshops, milestones.
  3. NGOs and CSOs should continue to be active at every step of the process to carefully keep track of the consistency between different elements of the CAP SPs (e.g. interventions, SWOT, assessment of needs, SEA, ex-ante evaluations, other EU and national policies).

More transparent and effective consultation meetings

We call for…

  1. The Commission should publish clear criteria to be used for the negotiation and approval of the CAP SPs, including also criteria related to the transparency and inclusivity of their design process. Good practices should be collected and shared across the Member States and the application of tools should be better supported (e.g. Stakeholder Mapping Checklist. Tool 1.4).
  2. The Member States should increase the transparency of their consultation meetings and working progress. Effective facilitation methods must be deployed for gathering and discussing multiple contributions, utilising the most updated online tools during the COVID-19 restriction measures. Workshop reports should include NGOs input.
  3. NGOs and CSOs should organise their efforts with allies from other countries, sharing good practices and limitations, and bring them to suggest improvements to their national ministries.

Setting up clearer written working procedures

We call for…

  1. The Commission should require the Member States to state the criteria for prioritising the assessed needs and examine their implications on the final CAP SPs.
  2. The Member States should set up clearer procedures and timeline for written consultations. Justifications for rejecting proposals should be provided to the NGOs. Enough time should be allocated to receive contributions. Last minute consultation should be avoided. Templates can be provided for collecting contributions. Each stakeholder contribution should be made publicly available.
  3. NGOs and CSOs should ask their Member States to set up clear written consultation procedures, suggesting good practices from other EU countries.

Better and larger involvement of scientists, civil society and NGOs

We call for…

  1. The Commission should:
  • Make sure that Monitoring committees are set up soon (Article 111 of CSP Regulation) and that their competency on draft strategic plans is not deleted during the negotiation in trilogues (interinstitutional negotiation);
  • Set up arrangements for checking the level and diversity of stakeholder consultation in the Member States during the design of the CAP SPs (e.g. list of organisations, meetings)
  • Examine how national SWOT analysis and assessment of needs reflect the regional dimensions in countries like IT, DE, FR, ES, PT, BE. Regional imbalance should be avoided.
  1. The Member States should:
  • Consult a wide range of stakeholders apart from the official authorities, statistical offices, and farmers unions. Stakeholders from the social, environmental, and economic domain should be consulted in a balanced manner. Do not restrict the civil society consultation to one or two environmental NGOs. Small-farmers or organic farming unions, animal welfare, beekeeper unions, consumers NGOs should also be consulted;
  • Encourage a public debate instead of limiting the consultations between stakeholders and ministries;
  • Respect and promote gender equality in every step!
  • Encourage contributions and proposals, not only comments and revisions.
  1. NGOs and CSOs should continue to
  • Network with other ally NGOs and CSOs at EU, national or regional level and build collective knowledge and capacity;
  • Reach out to the citizens, progressive policy makers, and scientists to collect evidence and opinions for their campaign strategies;
  • Bridge the information gaps on the future directions of the CAP SPs in your country and mobilise collective actions for more sustainable agriculture, forestry, and rural development.

Conclusions

This analysis has highlighted the urgent need for better exchanges of good practices across the Member States in terms of ensuring transparency and inclusivity while designing the CAP Strategic Plans (CAP SPs. More importantly, it calls on the Commission and the Member States to be more responsible and proactive in this area.

The study focuses on six Member States, but good and bad practices exist elsewhere in the EU. Online exchanges with national coalitions from other countries highlighted the high diversity across EU. In some Member States, the level of transparency and stakeholder inclusion is very minimal. This study also raises some concerns on the effects of the new delivery model on building decentralised regional governance capacity and better involvement of local stakeholders. COVID-19 restrictions have, in many cases, exacerbated the lack of proactive actions in the Member States. Open meetings, debates, and consultations have been cancelled, postponed or transferred to online formats.

A word of caution: full transparency of public decision-making is impossible. However, it is important to look at the ongoing lobbying and official procedures within the EU institutions and the Member States. Two years after the Commission’s proposal for the CAP post-2020 regulation, it is still very difficult, even for the authorities working within the ordinary legislative process, to keep track of the latest documents or amendments approved in the Council. A recent example is the French proposal for (drastically) simplifying the Commission requirements for the performance reviews (PMEF). The proposal was presented on February 2020 during an expert group meeting held by the Commission (see agenda), and largely approved in one of the Council Working Party’s meetings. However, neither the documents, nor the Member State’s positions can be easily accessible.

Some skepticism should also be reserved for what concerns ‘inclusion’ or ‘stakeholder consultation’, especially with the new delivery model. While a few coalitions highlighted that their contributions were really taken on board after the consultations, there is generally large scope for all Member States to go beyond a ‘box ticking´ exercise or any form of tokenism in public consultations. It is not an easy task for large countries to deal with a wide arena of stakeholders and consider their aspects (legitimacy, history, representativeness, etc.). However, special attention should be given to the following: the clarity of procedures; removal as far as possible of barriers to accessing  consultations; improving facilitation of interactive methods, timeline, justifications and feedback; and equal representation in terms of gender and stakeholder groups.  

Nevertheless, our analysis encourages numerous practical actions to increase the level of transparency and inclusion in the next steps of preparation, including their final adoption. After SWOT analysis and assessment of needs, the design of the CAP SPs includes numerous elements, such as the ex-ante evaluation, SEA (Strategic Environmental Assessment), setting up of targets and milestones, definition of interventions and conditionalities, etc. Much is still to come before we can finally judge the level of transparency and inclusivity in the new model of national strategic planning.

Find the whole paper with graphics for download below.

This articles has been published in cooperation with Arc2020.