WPS4393 Policy ReseaRch WoRking PaPeR 4393 Product Market Regulation in Bulgaria: A Comparison with OECD Countries Marianne Fay Donato De Rosa Stella Ilieva The World Bank Europe and Central Asia Region Chief Economist Office November 2007 Policy ReseaRch WoRking PaPeR 4393 Abstract Less restrictive product market policies are crucial in product market policies but also emphasizes a number promoting convergence to higher levels of GDP per of areas where further reform is needed. These include capita. This paper benchmarks product market policies adoption of a regulatory process based on incentive-based in Bulgaria to those of OECD countries by estimating rather than command-and-control approach, reduction OECD indicators of Product Market Regulation (PMR). of state interference in the decision of state-owned The PMR indicators allow a comprehensive mapping enterprises, further streamlining of business licensing of policies affecting competition in product markets. procedures, and improvement in the communication of Comparison with OECD countries reveals that Bulgaria rules and procedures to affected parties. has made substantial progress towards less restrictive This paper--a product of the Chief Economist Office of the Europe and Central Asia Region--is part of a larger effort to benchmarkECAcountriesagainstOECDcountriesinvariousdimensionsofpolicyreform.PolicyResearchWorkingPapers are also posted on the Web at http://econ.worldbank.org. The author may be contacted at silieva@worldbank.org. The Policy Research Working Paper Series disseminates the findings of work in progress to encourage the exchange of ideas about development issues. An objective of the series is to get the findings out quickly, even if the presentations are less than fully polished. The papers carry the names of the authors and should be cited accordingly. The findings, interpretations, and conclusions expressed in this paper are entirely those of the authors. They do not necessarily represent the views of the International Bank for Reconstruction and Development/World Bank and its affiliated organizations, or those of the Executive Directors of the World Bank or the governments they represent. Produced by the Research Support Team Product Market Regulation in Bulgaria: A Comparison with OECD Countries Marianne Fay, Donato De Rosa, and Stella Ilieva Europe and Central Asia Region, The World Bank Acknowledgments The team particularly wants to thank the OECD Economics Department, notably Paul Conway and Giuseppe Nicoletti, for sharing the PMR methodology and for their guidance in applying it. Detailed information about the PMR methodology is available, along with country specific data, at www.oecd.org/eco/pmr. The data collection effort that underlies the present report took place in the spring of 2006. Particular thanks are due to the Ministry of Economy and Energy, and the Ministry of Finance who coordinated this initiative. We also gratefully acknowledge respondents from the following institutions for their diligent work in answering the detailed questionnaires: Ministry of Economy and Energy, Ministry of Transport, the Commission for Protection of Competition, and the State Agency for Information Technology and Communications. The team also benefited from the generous support of senior government officials from the Ministry of Labor and Social Policy who provided useful feedback. The present report is a product of an initiative funded by the Chief Economist Office of the ECA region and initiated by Ali Mansoor (ECAVP) on benchmarking ECA countries with OECD ones. TABLE OF CONTENTS INTRODUCTION ................................................................................................................ 3 THE PMR METHODOLOGY .............................................................................................. 4 BENCHMARKING PRODUCT MARKET POLICIES IN BULGARIA .......................................... 9 1. Outward-oriented policies .................................................................................... 13 2. Inward-oriented policies....................................................................................... 17 CONCLUSION.................................................................................................................. 27 ANNEX I: COMPARISONS WITH FULL SAMPLE................................................................. 33 ANNEX II: DETAILED RESULTS OF PMR SURVEY FOR BULGARIA.................................. 41 2 INTRODUCTION On January 1 2007, Bulgaria became a member of the European Union. This achievement was in part made possible by a substantial reform effort, which has allowed Bulgaria to make impressive progress towards long-term stability and sustained growth over the past decade. Nonetheless, the income gap with the new member states of the EU remains large, while competition is still burdened by overly restrictive product market policies. In order to sustain growth and improve competitiveness, a second generation of reforms has been launched to help the country's successful integration in EU and global markets. A cornerstone of this reform agenda is the implementation of less restrictive product market policies that enables firms to put resources - both capital and labor - to their most efficient use. This paper presents a comparative analysis of Bulgaria's performance in product market regulation (PMR). The approach used relies on a methodology developed by the OECD (Conway, Janod and Nicoletti 2005), and the associated data, which are available for all OECD members and Brazil. Bulgaria, together with Romania (and now Ukraine), is one of the few non-OECD countries to have undertaken such a benchmarking exercise. Data for Bulgaria were collected following the same methodology in early 2006. Comparators include countries at similar levels of income and development, as well as high-income EU and OECD countries. The paper is organized as follows. After a brief discussion of the PMR methodology, we present the result of benchmarking Bulgaria's product market policies to OECD countries and outline the areas where divergence from the average OECD levels or selected comparator groups is the largest. Although the PMR approach, and hence the paper, are really only diagnostic tools, we conclude by suggesting broad reform options. Not unexpectedly, we find that overall product market policies in Bulgaria are generally more restrictive than among OECD countries, all of which are richer and with a longer tradition of reviewing their policy environment to make it more conducive to private sector development. Nevertheless, a number of interesting observations on the sources of Bulgaria's ranking emerge from the analysis. These can be summarized as follows: · Bulgaria in 2006 performs better than its peers in terms of outward-oriented policies (meaning obstacles to international trade and foreign direct investment). Its policies in this domain are more liberal than those of peers such as other middle-income countries (Brazil, Mexico, and Turkey) and the pre-accession countries of Central and Eastern Europe.1 In particular, substantial progress has been achieved in ensuring the equal treatment of foreign parties and in eliminating 1The data for the Czech Republic, Hungary, Poland and the Slovak republic is from 2003, so just prior to their joining the EU. 3 regulatory barriers to trade and investment. Until Bulgaria joined the EU, there remained an agenda around barriers to foreign investment in specific sectors and tariff levels, which in early 2006 were still higher in Bulgaria than in the EU, albeit lower than in non-EU middle-income countries. These were brought to the EU level in January 2007. · Bulgaria is most restrictive in inward-oriented policies ­ meaning policies concerned with the degree of state control of the economy and with barriers to entrepreneurship. This is due to a combination of factors: o State control over the economy is still significant. The size of the public enterprise sector and the extent to which the state controls strategic decisions of public enterprises are still somewhat higher than among comparator countries. In addition, although price controls have been substantially reduced during the first generation of reforms, incentive- based regulation is still not the norm. o Barriers to entrepreneurship need to be further reduced, although they are not too distant from benchmark groups. Actions could include: lifting barriers to entry in network and utilities sectors; further streamlining the licenses and permits system (notably by introducing the `silence is consent' rule); simplifying rules and procedures; and alleviating administrative burdens on startups by simplifying the incorporation of new firms and further liberalizing entry in regulated service sectors, such as road freight and retail distribution. It should be noted that these comparisons are between Bulgaria in 2006 and comparators in 2003. However, past experience shows that countries can change very rapidly in terms of product market policies and it is known that a number of countries have been reforming rapidly in recent years. A repeat of the benchmarking exercise for Bulgaria in the next couple of years (for example, in the context of a planned new roll-out of the PMR in 2007) would permit a more exact comparison while allowing for a review of progress achieved in deregulating the economy since Bulgaria's entry to the EU and identify potential areas for adjustment. We now turn to a presentation of the PMR methodology and a discussion of the choice of benchmarks, before presenting the results of the benchmarking exercise. THE PMR METHODOLOGY A regulatory environment propitious to competition in product markets is widely believed to have positive repercussions on long run economic performance (Nicoletti and Scarpetta 2003) and productivity convergence (Conway et al. 2006 and 2007). This may occur by promoting a more efficient allocation of resources both across and within sectors (Nickel 1996). A more competitive environment may also stimulate innovation and technological diffusion, thus enhancing dynamic efficiency (Aghion et al. 2001). 4 Product market regulation (PMR) is measurable through a methodology developed at the OECD relying on the OECD regulatory indicators questionnaire. The methodology and key findings of the PMR for OECD countries are presented in Nicoletti et al. (1999) and Conway et al. (2005). The PMR indicators summarize information on economy-wide and industry-specific regulatory provisions. The PMR indicators are designed to reflect regulations that have the potential to restrict competition in areas where competition is viable. By construction, they have a number of features which make them useful not only for analysis, but, more importantly, for policy advice, since they allow to pinpoint specific policies that hamper competition in product markets. First, PMR indicators are focused on enacted policies and not on outcomes, implying that they are `objective', in that they are not based on opinion surveys. Second, since the summary PMR indicator is constructed as the average of well defined components, PMR scores can be related to specific underlying policies, thus providing precise inputs in the phase of policy recommendation. Finally, PMR indicators focus on regulatory measures that affect the economy at large and can therefore be considered as comprehensive measures of regulatory restrictiveness. Their advantages notwithstanding, PMR indicators are not designed to capture informal regulatory practices nor the effective enforcement of regulations, since they are only concerned with formal compliance with a number of criteria. Data were collected for Bulgaria for the purpose of the present exercise, covering four of the six "sections" of the OECD product market regulation database.2 The first section deals with general regulatory policy issues, concerning public ownership; market access and competition issues; market structure and vertical relationships in utilities and other network industries. The second section covers regulatory and administrative policies, such as processes and capacities in the public administration. The third section covers regulation in transportation industries, focusing on market access, business conduct, and market structure in road freight, railways and passenger air travel. The final section covers regulation in retail distribution, focusing on the regulatory environment, industry behavior and prices. Information from Doing Business 2006 was used for a fifth section of the PMR - administrative burdens on startups. The structure of the PMR system is shown in Figure 1. The system is composed of 16 basic or `low-level' indicators, each capturing a specific aspect of the regulatory regime as described in Box 1. The basic indicators are progressively aggregated in more comprehensive policy areas. The highest level of aggregation corresponds to the summary measure of product market regulation in the country. 2The OECD questionnaire adapted for Bulgaria is provided in the Annex. For a comprehensive reference see www.oecd.org/eco/pmr. 5 Figure 1 The PMR indicator system Figure 1. The PMR indicator System1 Product market regulation Inward-oriented policies (0.59) Outward-oriented policies (0.41) Barriers to Barriers to trade and investment State control (0.49) entrepreneurship (1.0) (0.51) Public ownership Involvement in Administrative Barriers to Other barriers business operation burdens on competition (0.56) Regulatory and (0.30) (0.44) administrative opacity startups (0.30) (0.22) Explicit barriers to trade (0.48) and investment (0.70) Scope of public enterprise sector Price controls (0.45) Administrative burdens for Foreign ownership corporation (0.36) barriers (0.45) (0.30) Licenses and permits system (0.55) Size of public enterprise sector Administrative burdens for Legal barriers (0.30) Discriminatory (0.30) Communication and sole proprietor firms (0.30) procedures (0.24) Use of command & simplification of rules Regulatory barriers Direct control over control regulation and procedures (1.0) business (0.55) (0.45) Antitrust exemptions enterprises2 Sector specific administrative (0.70) Tariffs (0.31) (0.40) burdens (0.34) {regulation data} {regulation data} {regulation data} {regulation data} {regulation data} {regulation data} {regulation data} Economic regulation Administrative regulation 1.The numbers in brackets indicate the weight given to each lower level indicator in the calculation of the higher level indicator immediately above it. The weights were derived by applying principal components analysis to the set of indicators in each of the main regulatory domains (state control, barriers to entrepreneurship, barriers to trade and investment, economic regulation and administrative regulation). The same approach was used to derive the weights used to calculate the indicators of inward and outward-oriented policies and the overall PMR indicator. The principal components analysis was based on the original 1998 data. 2. Two indicators from the 1998 version of the PMR indicators ('Special voting rights' and 'Control of public enterprise by legislative bodies') have been combined into this indicator. Source: Conway et al. (2005) Box 1. The low-level PMR indicators There are 16 low-level indicators in the PMR system. These indicators cover a wide range of product market policies and include: INWARD-ORIENTED POLICIES State control: Public ownership Scope of public enterprises: this indicator measures the pervasiveness of state ownership across business sectors as the proportion of sectors in which the state has an equity stake in at least one firm. Size of public enterprise: reflects the overall size of state-owned enterprises relative to the size of the economy. Direct control over business enterprises: measures the existence of government special voting rights in privately-owned firms, constraints on the sale of state-owned equity stakes, and the extent to which legislative bodies control the strategic choices of public enterprises. State control: Involvement in business operations Price controls: reflects the extent of price controls in specific sectors. 6 Use of command and control regulation: indicates the extent to which government uses coercive (as opposed to incentive-based) regulation in general and in specific service sectors. Barriers to entrepreneurship: Regulatory and administrative opacity Licenses and permits systems: reflects the use of `one-stop shops' and `silence is consent' rules for getting information on and issuing licenses and permits. Communication and simplification of rules and procedures: reflects aspects of government's communication strategy and efforts to reduce and simplify the administrative burden of interacting with government. Barriers to entrepreneurship: Administrative burden on corporations Administrative burdens for corporations: measures the administrative burdens on the creation of corporations.3 Administrative burdens for sole proprietors: measures the administrative burdens on the creation of sole proprietor firms.4 Sector-specific administrative burdens: reflects administrative burdens in the road transport and retail distribution sectors. OUTWARD-ORIENTED POLICIES Barriers to entrepreneurship: Barriers to competition Legal barriers: measures the scope of explicit legal limitations on the number of competitors allowed in a wide range of business sectors. Antitrust exemptions: measures the scope of exemptions to competition law for public enterprises. Barriers to trade and investment: Explicit barriers Tariffs: calculated as the (simple) average of most-favoured-nation tariffs. Foreign Ownership barriers: reflects legal restrictions on foreign acquisition of equity in public and private firms and in the telecommunications and airlines sectors. Discriminatory procedures: reflects the extent of discrimination against foreign firms at the procedural level. Barriers to trade and investment: Regulatory barriers Regulatory barriers: reflects other barriers to international trade (e.g. international harmonisation, mutual recognition agreements). _______________________________ Source: reproduced from Conway, Janod and Nicoletti, 2005 The indicators are calculated on the basis of the qualitative and quantitative information obtained from questionnaire answers. Qualitative data are assigned a numerical value that allows ordering each of the possible responses to a given question. Quantitative information is ranked by subdividing it into categories based on a system of thresholds. The coded information is then normalized over a scale of zero to six. These data are then 3Data from Doing Business in 2005 was used to construct this indicator. 4This indicator is not available for Bulgaria as information about it was not included in the adapted questionnaire for Bulgaria. 7 aggregated into basic or `low-level' indicators by assigning subjective weights to the various regulatory requirements. Given the normalization of the basic data, all the low- level indicators also have a scale of zero to six, reflecting increasing restrictiveness of regulatory areas.5 Basic indicators are then aggregated into broader regulatory domains. Higher-level indicators are calculated as weighted averages of their constituent lower-level indicators. The attribution of lower-level indicators to each higher-level indicator, and the weights used in the aggregation, are based on principal component analysis (Nicoletti et al., 1999). At the highest level of aggregation the overall indicator of product market regulation summarizes the restrictiveness of the regulatory framework in the product market. The structure of the PMR system, with progressive levels of aggregation, has the advantage of allowing a decomposition of higher-level indicators, with an increasing degree of detail, into the values of the more disaggregated indicators, each corresponding to specific regulatory provisions. Data refer to the beginning of 2006 for Bulgaria and Romania, to end-2003 for OECD countries and 2004 for Brazil. As to benchmarks, the most obvious ones for Bulgaria are Romania, for which estimation of PMR indicators has been carried out in parallel with Bulgaria and refers to 2006, and the countries of Central and Eastern Europe that are also OECD members: these include Czech Republic, Hungary, Poland and the Slovak Republic and we refer to them as the OECD CEE. The fact that the data for the OECD CEE are from 2003, when these countries were at about the same point as Bulgaria in 2006 relative to their accession to the EU, makes them interesting benchmarks. Nevertheless, when assessing Bulgaria's relative performance, it should be kept in mind that the OECD CEE countries have made further substantial progress in various areas of product market regulation since EU accession in 2004. Extension of the benchmarking exercise to Brazil, Mexico and Turkey offers a broader perspective on other middle income countries (MICs) with different historical experiences. Finally, comparison with the OECD or high income EU15 countries helps identify longer term objectives for policymakers.6 These benchmarks are used in the graphs. However, Bulgaria's score relative to the full sample of countries (30 OECD members plus Brazil) is shown in Appendix I for all PMR indicators. 5The calculation of low-level indicators, including the weights used, is based on Conway et al. (2005). 6EU15 countries are Austria, Belgium, Denmark, Finland, France, Germany, Greece, Ireland, Italy, Luxembourg, Netherlands, Portugal, Spain, Sweden, United Kingdom. 8 BENCHMARKING PRODUCT MARKET POLICIES IN BULGARIA In the aftermath of the 1996-1997 crisis Bulgaria pursued an ambitious reform effort, stimulated by the prospect of EU accession. Macroeconomic stability was established as a result of prudent fiscal and income policies centered on a Currency Board Arrangement. Fiscal consolidation reduced the overall fiscal deficit from 15.2 percent of GDP in 1996 to a balanced budget in 2003 and fiscal surpluses thereafter while public debt level declined from over 100 percent of GDP in 1997 to currently 27 percent. As a result of these policies and deep structural reforms, average growth reached about 5 percent per year in 2000-05 (and is estimated at close to 6.5 percent in 2006) and inflation has declined to single digits from hyperinflation levels. Unemployment also declined from 18 percent in 2000 to 8 percent currently. Solid macroeconomic performance supported by accelerated structural reforms improved the environment for doing business in Bulgaria. The private sector's share in the economy increased substantially and is now comparable to, and in some cases even higher, than among other EU new member states (NMS). Domestic investment surged to close to 30 percent of GDP in 2006 compared to less than 10 percent in 1996-1997 while foreign direct investment has averaged 13 percent over the last four years. Beginning in 1998, most of the non-infrastructure enterprises and banks were privatized or liquidated, banking restructuring was completed and banking supervision strengthened; trade and prices were liberalized; reforms in the energy sectors were implemented in both the district heating and electricity sectors; major public sector and institutional reforms have been implemented. Steps were also taken to reform the regulatory framework. Nevertheless, important aspects of the regulatory environment still need to be improved, both in terms of the quality of the rules and regulations, and of their efficient enforcement. A crucial element of the second generation of reforms to be pursued by Bulgaria is the implementation of less restrictive product market policies, which will encourage a more efficient allocation of resources and improve labor productivity. This is especially important for Bulgaria given the significant income and productivity gaps the country has with other EU members: Bulgaria joined the EU with an estimated per capita income level of about 35% of the average for EU25, the lowest among the new member states.7 In addition, employment and participation rates, albeit improving substantially recently, remain among the lowest in the EU. Enhancing competition in product markets has been found to help increase GDP per capita by providing incentives to firms to reallocate resources to more productive activities, increase innovation and technological diffusion. In addition, less restrictive regulations may positively affect employment by reducing the rents that some firms extract from overregulation and force firms to expand their activities.8 7Eurostat projection. 8See Conway, Janod, Nicolletti (2005). 9 Benchmarking product market Poland regulation has proved to be a useful tool Turkey Mexico for monitoring the performance of Hungary policies and institutions in OECD Italy countries and for identifying specific Greece Switzerland policy gaps, thus offering the Czech Rep. opportunity to benefit from the France Spain experience of other member states. Two Portugal surveys have been conducted so far Korea collecting data for 1998 and 2003. Norway EU15 Results from these surveys point to a Germany convergence in product market policies Slovak Rep. Netherlands across OECD countries, with substantial Belgium improvements achieved by countries that Austria originally exhibited relatively restrictive Finland Japan product market regulations, such as Luxembourg Poland, Turkey, Czech Republic, Sweden 2003 1998 Canada Greece, Italy, France, Mexico, Korea, New Zealand Hungary, and Spain ( Ireland Figure 2) Substantial improvements in Denmark U.S. easing product market policies have also Iceland been achieved among EU15 countries United Kingdom Australia where the average PMR score fell from 0 0.5 1 1.5 2 2.5 3 3.5 4 2.1 in 1998 to 1.4 in 2003. While this reflects the increasing harmonization of Source: Conway, Janod, Nicoletti 2005. EU common market rules, the PMR Note: A lower figure indicates a better benchmarking may have been performance. instrumental in fostering this improvement. Figure 2. Product Market Regulation among OECD countries, a comparison between 1998 and 2003 10 Product market policies, as measured by the overall summary product market indicator, are still relatively restrictive in Bulgaria compared to those of OECD countries. Simple comparisons suggest Bulgaria still scores less well than the EU 15 average, although better than many of its peers did in 2003 (Figure 3). Figure 4, which reports the summary PMR scores accounting for the uncertainty in the choice of weights used in the PMR system, confirms that Bulgaria falls into the group of relatively restrictive countries (which includes France, Greece, Italy and the Czech Republic as estimated with 2003 data).9 Figure 3. Product Market Regulation: Country Group Comparison 3.0 2.8 2.5 2.0 2.1 2.0 1.6 1.7 1.8 1.4 1.4 1.5 1.5 1.0 0.5 0.0 Slovak EU15, OECD, Romania, Czech Bulgaria, Hungary, Other Poland, Republic, 3002 2003 2006 Republic, 2006 2003 MICs, 2003 2003 2003 2003 Source: see Figure 3. Note: Other MICs are Brazil, Mexico, Turkey. Values refer to 2006 for Bulgaria and Romania, 2004 for Brazil, and 2003 for all other countries. For full data set see appendix I. Figure 4. Product Market Regulation - Country Comparison 90% confidence interval (2003) 2003 PMR Indicator Product market regulation 4 3 Relatively Restrictive 2 1 Relatively Liberal 0 United KingdAuUniteNew om lia tes nd strad StaZeala anadIcelaDenmkRepu relaembouSwedenJapanFNether a nd ark blic nd rg nia y a m y a d e y o C I inlandlandsomaGe manAustriBelgiuNorwaPortugalSpainKoretzerlanBulgariaFrancch. Rep. r R Italy eecengarMexicTurkeyPoland Gr Hu Slova Lux Swi Cze Note: Values refer to 2006 for Bulgaria and Romania and 2003 for all other countries. 9See Conway, Janod, Nicolletti (2005) for details. 11 The confidence intervals are calculated using stochastic weights on the low-level indicators to generate a distribution of overall PMR indicators for each country. The 90 per cent confidence intervals are calculated from that distribution. Indicator values for the 'relatively liberal' and 'relatively restrictive' countries are significantly different at the 90 percent level of confidence (Conway, Janod, Nicoletti, 2005). In order to identify the sources of restrictiveness of product market regulation, the indicator may be decomposed into the broad categories of inward-oriented policies and outward-oriented policies. The former include policies and regulations that determine the degree of state control and barriers to entrepreneurship, while the latter reflect policies and regulations that affect barriers to trade and investment. A detailed description of what the indicators measure follows in the next sections. Compliance with the acquis communautaire for EU accession and membership of the WTO has an important impact on both inward- and outward-oriented policies. EU legislation must eventually be fully implemented in a wide range of domains as a precondition to participating in the EU-wide single market for goods and services. Nonetheless, greater reform challenges, as well as greater cross-country variation, lie with the regulations that fall under the category of inward-oriented policies. Indeed, while implementation of the acquis communautaire is certainly reflected in certain aspects of the inward regulatory framework in Bulgaria (e.g. competition policy), many areas are still subject to a large degree of domestic discretion. Thus, average scores are lower (less restrictive) across the board for outward-oriented policies than for inward-oriented ones. This is certainly due to the requirements that are imposed by international agreements - such as the WTO charters, and, for EU countries, membership in the European Union - which are more binding in matters concerning trade and foreign direct investment. Within this general picture, it appears, nonetheless, that Bulgaria performs relatively better with respect to outward-oriented policies (Figure 5). 12 Figure 5. Inward- and outward-oriented policies (a) Inward-oriented policies (b) Outward-oriented policies 2.9 3.0 3.0 2.5 2.5 2.4 2.1 2.2 2.2 2.5 2.0 2.0 1.8 1.8 1.8 2.0 1.5 1.5 1.5 1.3 1.5 1.4 1.4 1.1 1.1 1.0 1.0 0.9 0.5 0.5 0.0 0.0 ic 15 15 p. ia d Slovak Republ CD CD OE EU ania MICs Rep. ary land EU Re MICs Rom lgaria OE man lgaria public ngary Bu ech Hung Po ech Polan Ro Bu Hu Cz Cz Slovak Re Source: see Figure 3. Note: Other MICs are Brazil, Mexico, Turkey. Values refer to 2006 for Bulgaria and Romania, 2004 for Brazil, and 2003 for all other countries. For full data set see appendix I. 1. Outward-oriented policies Compliance with international commitments may more easily impose discipline on policymakers. Indeed, this probably explains why all country groups do better on average in their outward-oriented policies ratings than in the inward-oriented one. In the case of Bulgaria, observance and implementation of the rules for membership of the World Trade Organization (WTO) and, even more strongly, the European Union (EU) has led it to significantly reduce barriers to trade and investment since the start of transition. Bulgaria's foreign trade policy has been driven most of all by the commitments of the EU Eastern Enlargement project, promoting bilateral trade liberalization initially with the EU and EFTA and, subsequently, with other preferential partners of the EU. The Pan-European Agreement on the Cumulation of the Rules of Origin combined with the removal of tariffs on all industrial products and the harmonization of technical standards has led to Bulgaria's participation in a de facto free trade area for industrial products (World Bank, 2005). As a testament to Bulgaria's success in this respect, foreign direct investment net inflows increased from 6% of GDP in 2001 to 16.5% in 2006, while trade in goods and services expanded from 119% to 149% of GDP in the same period. FDI has gone to a variety of sectors, notably manufacturing, financial sector, trade, and transport, and has amply made up for the expanding external current account deficit, which is expected to exceed 13% of GDP in 2006. Looking forward, strong FDI inflows will be instrumental in ensuring continued macroeconomic stability and productivity growth. Therefore, continued improvements in the business environment remains critical. 13 Figure 6. FDI inflows, average 2001-03 Figure 7. Trade Integration, average 2001-03 % of GDP 12 160 10 140 8 120 6 100 4 80 2 60 0 40 Poland Hungary Czech Slovakia Bulgaria* Poland Bulgaria* Czech Hungary Slovak Rep Republic Republic Source: WIIW and Eurostat Source: Eurostat *Data for Bulgaria refer to 2003-05 *Data for Bulgaria refer to 2003-05 Examining the various component indicators of outward-oriented policies sheds light on the sources of the gap between Bulgaria and OECD CEE countries. These include explicit barriers to trade and foreign investments such as tariffs, discriminatory procedures against foreign firms and foreign ownership barriers, as well as regulatory barriers such as the absence of international harmonization or mutual recognition agreements. While Bulgaria has achieved best practice standards in incorporating in legislation the principle of non-discrimination against foreign parties and has eliminated all other regulatory barriers to trade and investment (discussed in 1.3), progress can still be made in terms of tariffs and remaining obstacles to foreign investments. 1.1 Tariffs First generation reforms rapidly succeeded in eliminating all quantitative restrictions and the state monopoly over foreign trade (Kaminski, 2006) and the EU Eastern Enlargement project rapidly led to Bulgaria's participation in a European free trade area. As a result Bulgaria's tariff levels (measured here as MFN tariffs on industrial goods) are much lower in 2006 than those of comparator middle income countries and even slightly lower than some of the pre-accession OECD CEE (Figure 8). In particular, Hungary and Poland entered the EU with substantially higher tariff levels than Bulgaria's in 2006. In addition, Bulgaria's tariff levels have been lowered to those of the EU common market as of its entry into the EU as of January 1, 2007. 14 Figure 8. Tariffs 5.0 5.0 4.3 4.5 4.0 4.0 3.5 3.0 3.0 2.5 2.0 2.0 1.4 1.5 1.0 1.0 1.0 1.0 0.5 0.0 Slovak EU15 Czech OECD Bulgaria Hungary Poland MICs Romania Republic Rep. Source: see Figure 3. Note: Other MICs are Brazil, Mexico, Turkey. Values refer to 2006 for Bulgaria and Romania, 2004 for Brazil, and 2003 for all other countries. For full data set see appendix I. 1.2 Barriers to foreign direct investment Barriers to foreign direct investment include foreign ownership barriers, discriminatory procedures against foreign firms, and other barriers to trade and investment, all of which are presented in detail below. One such barrier concerns legal restrictions on foreign participation in the equity of domestic firms and in telecommunications and airline sectors. In this regard, Bulgaria does not compare well with high income EU countries, or with pre-accession CEE countries and other MICs ( Figure 9). Foreign ownership barriers take the form of statutory or other legal limits to the proportion of shares that can be acquired by foreign investor or of special voting rights that can be exercised in case of acquisition of equity by foreign investors. Such restriction may apply in general or be limited to specific sectors that are considered `strategic' such as air transport, telecommunications, and electricity generation. Bulgaria fares relatively poorly in this respect mostly because of general ownership barriers ­ which in Bulgaria actually apply to domestic and not just foreign investors. (Barriers in specific sectors are in line with those in the EU - for example the 49% foreign ownership ceiling in the airlines sector is standard across EU countries.) 15 Figure 9 Foreign ownership barriers 4.0 3.7 3.5 3.0 3.0 2.6 2.5 2.3 2.0 2.0 1.8 1.9 1.5 1.3 1.0 0.8 0.5 0.0 Romania EU15 OECD Hungary Czech Slovak MICs Bulgaria Poland Rep. Republic Source: see Figure 3. Note: Other MICs are Brazil, Mexico, Turkey. Values refer to 2006 for Bulgaria and Romania, 2004 for Brazil, and 2003 for all other countries. For full data set see appendix I. This is therefore consistent with the finding that Bulgaria does not discriminate against foreign firms (Figure 10). The rights of foreign firms in Bulgaria to appeal and redress through competition agencies, regulatory bodies, trade policy bodies, or private rights of action is equal to those of domestic firms. Figure 10. Discriminatory Procedures against foreign firms 1.4 1.2 1.1 1.2 1.0 0.9 0.8 0.7 0.6 0.5 0.5 0.4 0.3 0.2 0.0 0.0 0.0 Bulgaria Romania Poland EU15 OECD Czech MICs Slovak Hungary Rep. Republic Source: see Figure 3. Note: Other MICs are Brazil, Mexico, Turkey. Values refer to 2006 for Bulgaria and Romania, 2004 for Brazil, and 2003 for all other countries. For full data set see appendix I. 1.3 Regulatory barriers to trade and investment Bulgaria has also completely eliminated other regulatory barriers to trade and investment. These barriers include the absence of mutual recognition agreements with other countries such as specific provisions which require regulators to recognize regulatory measures performed in other countries; to use internationally harmonized standards and certification procedures; or avoid unnecessary trade restrictiveness. In this respect, Bulgaria has, in fact, achieved best practice (Figure 11). 16 Figure 11. Regulatory barriers to trade and investment 2.0 1.6 1.6 1.5 1.0 0.4 0.5 0.2 0.2 0.0 0.0 0.0 0.0 0.0 Czech Rep. y CD MICs lic Hungar lgaria mania 15 EU OE Bu Poland Ro SlovakRepub Source: see Figure 3. Note: Other MICs are Brazil, Mexico, Turkey. Values refer to 2006 for Bulgaria and Romania, 2004 for Brazil, and 2003 for all other countries. For full data set see appendix I. 2. Inward-oriented policies Inward-oriented policies in the PMR system can be decomposed into two broad categories: indicators of state control and barriers to entrepreneurship (Figure 12). Figure 12. State control and barriers to entrepreneurship a. Barriers to entrepreneurship b. State control 4.0 4.0 3.6 3.5 3.5 3.2 3.2 3.3 3.0 3.0 2.4 2.5 2.5 2.3 2.5 2.3 1.9 2.0 2.1 2.0 2.0 1.3 1.4 1.5 1.5 1.4 1.1 1.2 1.5 1.0 0.5 1.0 0.5 0.5 0.0 0.0 nia ria CD . CD 15 ry ma lga EU15 ngary OE MICs land Po OE EU MICs lgaria mania ga land Ro Bu Republic Hu h Rep. Po ak ech Rep Republic Bu Hun Cz Slov Slovak Czec Ro Source: see Figure 3. Note: Other MICs are Brazil, Mexico, Turkey. Values refer to 2006 for Bulgaria and Romania, 2004 for Brazil, and 2003 for all other countries. For full data set see appendix I. Bulgaria performs very well with respect to barriers to entrepreneurship. Priorities concerning inward policies clearly lie with state control. The legacy of central planning is still visible in CEE countries, since they perform comparatively worse than all other groups, although Euro zone countries, with a tradition of heavy state involvement in the economy, present not much lower values.10 As a general trend, most of the OECD countries that had relatively restrictive policies in 1998 have succeeded in reducing the 10See Tables in the Annex. 17 extent of state control in 2003 by removing price controls and reducing reliance on coercive - as opposed to incentive-based - regulations. 2.1 Barriers to entrepreneurship Barriers to entrepreneurship include barriers to competition, regulatory and administrative opacity and administrative burdens on start-ups. These are discussed in turn below. 2.1.1 Barriers to competition Bulgaria scores better than the EU average in terms of barriers to competition (as measured by license and permit requirements or antitrust exemptions). It also outperforms other MICs (Figure 13). This is largely due to Bulgaria's diligence in incorporating EU rules and best practices in national legislation. This resulted in the elimination of antitrust exemptions for state-owned enterprises (Campeanu et al., 2003). In this regard Bulgaria fares very well and even better than EU15 and the average for the OECD countries. Bulgaria also compares well in terms of other legal barriers to competition, such as explicit legal limitations on the number of competitors allowed in certain business sectors. Bulgaria still maintains some legal restrictions to entry in network and utilities sectors (air transport infrastructure; collection, purification and distribution of water; electricity generation, transmission, distribution and supply; and gas production, transmission, distribution and supply) but these are fairly standard among other OECD and EU countries. Figure 13. Barriers to competition a. Legal barriers (licenses and permit b. Antitrust exemptions requirements) 2.5 1.5 2.0 1.2 2.0 1.8 1.6 1.0 0.9 1.5 1.4 1.4 1.4 1.1 0.4 1.0 0.5 0.6 0.6 0.3 0.5 0.0 0.0 0.0 0.0 0.0 0.0 0.0 ria p. ia 15 CD land ic ria p. 15 D ry lga Re land ublic EU gary MICs Bu Po Po Slov SlovakRep man OE ak Republ lga Re EU OEC MICs Ro Hun Bu ech Hunga mania ech Ro Cz Cz Source: see Figure 3. Note: Other MICs are Brazil, Mexico, Turkey. Values refer to 2006 for Bulgaria and Romania, 2004 for Brazil, and 2003 for all other countries. For full data set see appendix I. 2.1.2 Regulatory and Administrative Opacity Important progress has been made since 2002 in streamlining licensing regimes at the national level. A program for optimization of the centrally managed regulatory regimes 18 for licensing, permission and registration has been implemented. As a result 85 percent of the regulatory regimes slated for optimization were modified or eliminated. In addition, a Law on Administrative Regulation and Administrative Control on Economic Activities was enacted to control the development of future licensing regimes. The law establishes the principle that new regulation can only be passed with parliamentary approval; that new regulatory regimes are limited to the initiative of line ministries and other government agencies; and requires new regulation to be accompanied by an assessment of compliance cost. Specific guidelines were issued to central and municipal bodies on the design of proposed new regulatory regimes, including the identification and measurement of costs and benefits, and the establishment of a process by which new regimes evolve appropriately from concept to implementation. Figure 14: Regulatory and Administrative Opacity a. Licenses and permit system b. Communication and simplification of rules 4.5 4.0 1.6 1.4 4.0 1.4 3.5 1.2 3.0 2.7 1.0 2.5 2.2 2.0 2.0 2.0 0.8 0.8 2.0 0.5 0.5 1.5 0.6 0.5 0.5 0.5 1.0 0.4 0.3 0.5 0.2 0.1 0.0 0.0 0.0 0.0 0.0 ry blic ia 15 CD ia p. y CD 15 ic nga ania EU OE MICs Rep. mania MICs Re ngar OE EU Poland publ Hu Rom Repu Bulgar Poland Ro Bulgar Hu Slovak Czech Czech Slovak Re Source: see Figure 3. Note: Other MICs are Brazil, Mexico, Turkey. Values refer to 2006 for Bulgaria and Romania, 2004 for Brazil, and 2003 for all other countries. For full data set see appendix I. The achievements in the simplification of licenses and permits requirements are visible in the levels of regulatory and administrative opacity, where Bulgaria compares well with benchmark groups, ranking as well as or better than the EU 15 or the OECD (Figure 14a).11 These achievements are also reflected in the fact that businesses in Bulgaria now perceive licenses and permits as less of a problem for doing business than in 2002 (Figure 15). 11 Note that, since accession, the Czech Republic, Hungary, Poland and the Slovak Republic have continued progressing with their reform agenda implying that the gap between these countries today and Bulgaria is larger than what the 2003 data suggest. For instance, in January 2004, Poland enacted a Law on Economic Freedom, reducing the number of licensing regimes from 9 to 5 and introducing the `silence is consent rule' in business registration and in various areas administrative regulation. 19 Figure 15. Business Licenses as a Problem for Doing Business (percent of firms indicating business licenses and permits as a problem for doing business) 45 40 35 30 25 20 15 10 5 0 Slovakia Turkey Hungary Bulgaria Poland Czech Rep. 2002 2005 Source: EBRD-WB BEEPS, 2005. Bulgaria also fares well in terms of communication and simplification of rules and procedures (Figure 14b) compared to OECD countries. The indicator captures aspects of the government's communication strategy and its efforts to reduce and simplify the administrative burden of interacting with government. Bulgaria has implemented a number of reforms to improve the communication of rules and procedures to affected parties. The Law on Normative Acts was amended in 2003 to require that all affected parties be notified through mass media or representative associations prior to the approval of new regulation by Parliament. In addition, the Law on Administrative Regulation and Administrative Control on Economic Activities requires that the rationale and the regulatory impact evaluation for a draft legislation that introduces licensing or registration regime, is posted on the web or released publicly. Affected parties have the right to comment on the proposed regulation. Consultations on new legislation are organized with business associations or interested groups and some of the new regulations are discussed at the sessions of the Council for Economic Growth12. The Law on Normative Acts also requires the use of plain language when drafting of rules and regulations. Reforms aimed at simplification of rules and procedures also took off in 2003 with a completed count of all centrally mandated licenses and permits and clearly defined rules and responsibilities for their optimization. Further steps could include the simplification of sector-specific regimes and the extension to the municipal level of rules such as `silence is consent' for business registration and licensing. 2.1.3 Administrative Burdens on Start-Ups 12A consultative body established in 2002 under the Council of Ministers that consists of representatives of businesses, and ministers of economy and energy, finance, transport, regional development, and labor and social policy. 20 Over the past several years, Bulgaria has made some progress in promoting a business friendly regulatory environment. This is reflected in the World Bank's Doing Business reports showing Bulgaria's overall ranking for the summary indicator for "ease of doing business" improving from 59th to 54th between 2005 and 2006.13 Bulgaria's relative position in the sub-indicator for "starting a business" is somewhat worse, although up from 91st in 2005 to 85th out of 75 economies in 2006. A closer look at the components of this indicator reveals that Bulgaria still lags behind comparator countries for the number of steps entrepreneurs can expect to go through to launch; the time it takes on average; and the cost and minimum capital required as a percentage of gross national income (GNI) per capita (Table 1).14 Table 1. Starting a business in 2006: Component indicators Bulgaria Romania Czech Hungary Poland Slovak OECD EU15 Republic Republic Procedures (number) 9 5 10 6 10 9 6.9 6.9 Time (days) 32 11 24 38 31 25 19.3 19.7 Cost (% of income per 7.9 4.4 8.9 20.9 21.4 4.8 8.4 6.3 capita) Min. capital (% of 91.3 0 36.8 74.2 204.4 39.1 52.4 33.9 income per capita) Source: Doing Business 2007. These achievements reflect efforts underway to ease the administrative burden on firms. In the beginning of 2006, the National Revenue Agency started an operation that integrates the collection of taxes and social contribution with a view to reducing the taxpayer compliance burden. Other activities are being implemented to simplify and ease reporting requirements for taxpayers, particularly for start-ups. In 2006 a Law on Commercial Registry was enacted that transfers the responsibility for business registration from judicial courts to a special enlistment agency, thus transforming business registration into an administrative process. However, the start of the new agency has been postponed to July 2007. Nevertheless, the PMR indicators show that administrative burdens are still an issue for specific service sectors, such as road transport and retail distribution (Figure 16). These sector specific administrative burdens assess the restrictiveness of licensing, registration and notification requirements, as well as technical, health and safety standards, 13The summary "Ease of doing business" indicator is constructed from the following components: Starting a Business, Dealing with Licenses, Employing Workers, Registering Property, Getting Credit, Protecting Investors, Paying Taxes, Trading Across Borders, Enforcing Contracts, Closing a Business. 14 The PMR indicator for "administrative burdens on start-ups" shows an even better positioning of Bulgaria relative to OECD countries. Nonetheless, some caution is in order given that, due to data availability, the underlying components were estimated relying on a different methodology to the one used for OECD countries. Values for Bulgaria and Romania were obtained based on Doing Business 2005 data. Since Doing Business information on number of procedures, number of days and cost connected with starting a company are not directly comparable to the same information in the OECD International Regulation Database, a normalization process was necessary to homogenize the scores obtained. See Annex Table A2.8 for details. 21 Figure 16: Sector specific administrative burdens 4.5 4.1 4.0 3.5 3.0 2.6 2.5 2.2 1.9 1.9 2.0 2.0 1.6 1.5 1.5 1.0 0.8 0.5 0.0 Romania EU15 OECD Bulgaria Slovak Hungary Czech MICs Poland Republic Rep. Source: see Figure 3. Note: Other MICs are Brazil, Mexico, Turkey. Values refer to 2006 for Bulgaria and Romania, 2004 for Brazil, and 2003 for all other countries. For full data set see appendix I. 2.2 State control of economic activity The degree of state control in the business sector has decreased substantially in Bulgaria since 1998. In the aftermath of the 1996-1997 crisis an ambitious program of macroeconomic stabilization and structural reforms placed Bulgaria on the course to EU accession. A crucial element of the reform package was the substantial reduction of the state's presence in the economy. Between 1998 and 2002, most of the non-infrastructure enterprises and banks were privatized, thus reducing both the size and the scope of the public presence in the business sector. Currently, about 60 percent of all state-owned enterprises (valued at end-1995 prices), and 91 percent of all assets slated for privatization, have been privatized. At the same time, extensive price liberalization reduced the role of the state in many services. The two measures of state control in the PMR system are public ownership and state involvement in business operations (through price controls and coercive, as opposed to incentive-based, regulation). A look at Figure 17 reveals that Bulgaria still remains quite far from OECD and EU levels with respect to both indicators, although it is on par with the pre-accession CEE (with the exception of the Slovak Republic). Figure 17. Public ownership and state involvement in business operation a. Public ownership b. State involvement in business operations 22 4.5 4.1 4.2 4.5 4.0 3.8 4.0 3.5 3.5 3.5 3.0 3.0 3.0 2.8 2.8 2.4 2.5 2.6 2.6 2.5 2.5 2.2 2.2 1.9 1.9 2.0 1.9 2.0 1.7 1.5 1.5 1.0 1.0 0.8 0.5 0.5 0.0 0.0 ublic OECD MICs 5 EU1 p. ia 15 Re lgaria gary lic CD ria OE EU Rep. MICs ngary lga land Bu Hun Romania Poland man Hu Po SlovakRep Czech Ro ech Bu akRepub Cz Slov Source: see Figure 3. Note: Other MICs are Brazil, Mexico, Turkey. Values refer to 2006 for Bulgaria and Romania, 2004 for Brazil, and 2003 for all other countries. For full data set see appendix I. 2.2.1 Public ownership The aggregate indicator for public ownership covers size and scope of public enterprise sector, as well as direct control over business enterprises. Given that there is much variation among EU15 or OECD countries for these indicators, we show the full set of comparators (Figure 18). The figure suggests the size and scope of the public sector in Bulgaria is fairly standard (although within the upper tier), while state control of public enterprises remains more extensive. 23 Figure 18 Public ownership: size, scope and extent of control over public enterprises a. Size of the public enterprise sector 6.0 5.0 4.0 OECD average 3.0 2.0 1.0 0.0 nap cil ub liza y ar cibl oci ylaIt ece yekr dnal aina Ja epR Br liaartsuA estatS gr m al da d d y do kra nia en miugl airts ecna ngiK naaC mn Sp anleIr aer Ko anle Ic ynamr dnaln airagl war m Fi De Be Mex Gre Au Fr Tu Po ak ovlS edtinU dnalaeZ dnalrezti ugtroP edwS sdnalreht nguH Ge Bu No Ro w oubmex Sw Ne Ne Lu edtniU pueRh eczC b. Scope of the public sector 6.0 5.0 OECD average 4.0 3.0 2.0 1.0 0.0 KingdkRepublBe om iclgiumJapanKo rea Au Finl ung s gal nd France Italy rkeyPoland UnitedSlova IcelanZealanDe d dnmarkIreland StatAu d es a a ce ico n ia lic rmany tria and arySp ainbourg New Unite straliCantherla ada nds BrazilmaniGree Ro MexGe H Ne Luxem Sw edeBulgarRepubPortuitzerla NorwayTu ech Sw Cz c. Control of public enterprise by legislative bodies 5.0 4.5 4.0 3.5 3.0 2.5 OECD average 2.0 1.5 1.0 0.5 0.0 eden s xico rkeyKo rea ium FrantherlandRepuGermany SpaiNorw eaSw ce s n il ia Ro Hungaryia l Tu lg blic way land and o Po lg ublic Italy ugalman rt AustraliaAustria JapanIcelanSw d Den markIrelandStateCanadaGreeceMe ited Be Z itzerl Po ted KingdomFinlxemb and urg andBrazBu arRep Un Ne ech Ne Lu Cz Uni Slovak Source: see Figure 3. Note: Other MICs are Brazil, Mexico, Turkey. Values refer to 2006 for Bulgaria and Romania, 2004 for Brazil, and 2003 for all other countries. For full data set see appendix I. 24 The Bulgarian public enterprise sector remains important as a share of GDP.15 However, it is still smaller than that of a number of EU15 countries such as Austria, France, Italy, Greece and Norway. As to its scope, it is also wide given that the Bulgarian state holds equity in the largest firm in 14 out of 23 sectors of the economy.16 This however, places Bulgaria very close to the OECD average, and appears to be fairly standard (Figure 18b). As to the instruments of control used by the Bulgarian state in the sectors where it remains involved, they seem more extensive than in most benchmark countries (Figure 18c). The similarity with Hungary, Poland, and the Slovak Republic suggests that transition countries have followed a similar approach in this domain. Direct control over business enterprises in Bulgaria has taken the form of constraints to the sales of state- owned equity stakes, special voting rights, and, to a lesser extent, control of the strategic choices of public enterprises by legislative bodies (see Annex Table A2.3 for details). 2.2.2 State Involvement in Business Operation State intervention in the overall economy is captured through price controls and "use of command and control regulations." The price control indicator measures the existence of price regulation or administrative control of prices in air travel, road freight, telecommunications, and retail distribution sectors. The "use of command-and-control" indicator reflects the extent to which government uses prescriptive (as opposed to incentive-based) regulation both in general and in specific service sectors. Figure 19: State involvement in business operations a. Price controls b. Use of command-and-control regulation 4.0 4.0 3.8 3.4 3.5 3.5 3.5 3.0 3.0 2.6 2.3 2.3 2.3 2.5 2.5 2.2 2.0 2.0 2.0 1.6 1.5 1.4 1.5 1.0 1.0 1.1 1.3 1.0 0.8 1.0 0.4 0.5 0.5 0.0 0.0 0.0 5 blic 15 D p. blic CD nia pu gary OE Rep. EU1 MICs lgaria pu EU MICs OEC mania lgaria land ngary Hun Roma Poland Bu Slovak Re Ro ech Re Bu Po Hu Czech Cz Slovak Re Source: see Figure 3. Note: Other MICs are Brazil, Mexico, and Turkey. Values refer to 2006 for Bulgaria and Romania, 2004 for Brazil, and 2003 for all other countries. For full data set see appendix I. 15This was calculated following the PMR methodology. As its base, it uses an indicator of the size of the public enterprise sector taken from the Freedom of the World Indicators (Gwartney and Lawson 1997). This base indicator value is then adjusted each year based on the extent of privatization proceeds as a share of GDP using a perpetual inventory type approach (see Appendix table A2.2) for more details. 16 The indicator does not into account the number of shares or the proportion of state ownership. In Bulgaria, for examples, state ownership in some of the sectors is 1%. 25 Price controls have been largely removed since the first phase of transition (Kaminski, 2006), although Bulgaria still score well above the OECD and EU (Figure 19)17. In addition, reliance on prescriptive regulation is much more pronounced than in all comparator groups, although it is similar to Poland's and the MICs 2003 average and should certainly represent a high priority for the reform efforts of policymakers. Box 2 What the PMR survey means by "command and control" regulation The contrasting use of "command-and-control" and "incentive-based" regulation appear to have been brought into common usage by Schultze who wrote in a 1977 lecture about economic efficiency: "We tend to see only one way of intervening ­ namely removing a set of decision from the decentralized and incentive-oriented private market and transferring them to the command-and-control techniques of government bureaucracy" (page 6) In this context, the PMR attempts to measure the extent to which the cost of new regulation is assessed, and whether alternatives are considered before implementing new regulations. About half of the indicator weights are allocated to the following two questions (the full make-up of the indicator is provided in Annex table A2.5): Regulators are required to assess alternative policy instruments (regulatory and non-regulatory) before adopting new regulation. (Current answer: no). Explanation. The use of a wide range of mechanisms for meeting policy goals, not just traditional regulatory controls, helps to ensure that the most efficient and effective approaches are used. Approaches may include green taxes and subsidies, voluntary agreements, information programs such as eco labeling, self-regulation, permit-trading schemes, and performance-based regulation (where a sector or industry must comply with a standard but can broadly choose how to meet it). Note that the question only refers to whether the obligation exists as a specific provision in a specific legislative act, not whether the spirit of it is in fact respected. A positive answer to the question would require the existence of a normative act explicitly ruling out regulation as the default option Guidance has been issued on using alternatives to traditional regulation. (Current answer: no). Explanation. The regulatory process is governed by a standard procedure, outlining the steps to be taken to issue new regulation. For instance, the procedure may include binding ex ante regulatory impact assessment (RIA). Box 2 offers a discussion of alternatives to traditional regulation. A detailed look at the make-up of this indicator shows that Bulgaria's very high (poor) score is almost entirely driven by the fact that regulators are not required to consider alternative instruments before issuing new regulations, and no guidance has been issued concerning the use of alternatives to traditional (Box 2). Bulgaria performs very well on the other components of this indicator, which measure the use of prescriptive regulation in the specific sectors included in the PMR approach (air travel, road freight, railways and retail distribution). Universal service requirement for 17By the time the report was finalized, prices of tobacco have already been liberalized. Since August 2006, prices of all tobacco products, including cigarettes, are subject only to registration regime. 26 railways (which is standard) is the only command-and-control regulation picked up by the sectoral questions. CONCLUSION Over the last years, Bulgaria has implemented substantial structural reforms on many fronts, including in improving the regulatory environment for doing business. As a result, it is now performing as well or better than the average for the OECD on a number of indicators. As shown in Figure 20, Bulgaria has been very successful in reducing barriers to trade and investment, and in eliminating regulatory barriers and discriminatory procedures against foreign investors. Tariffs were above the OECD average in 2006 but are now in line with EU rules. With respect to barriers to entrepreneurship, Bulgaria has managed to eliminate a number of them (such as antitrust exemptions) or is on par with the OECD average for several others (licenses and permits, and legal barriers to competition). Figure 20 Indicators in which Bulgaria performs as well as the OECD average (or is about to): outward-oriented policies, barriers to competition and licenses and permits. Licenses and permits 3.0 Administrative burden for corporations 2.5 Tariffs 2.0 1.5 1.0 Communication and simplification of Foreign ownership barriers rules and procedures 0.5 0.0 Regulatory barriers to trade and Legal barriers to competition investments Discriminatory procedures against Antitrust exemptions foreign investors Bulgaria OECD However, an important agenda lies ahead if Bulgaria is to continue eliminating barriers to entrepreneurship and further reduce state control (Figure 21). 27 Figure 21. Remaining gaps compared to the OECD Scope of public enterprise sector 4.0 3.0 Sector specific administrative Size of public enterprise sector 2.0 burdens 1.0 0.0 Direct control over business enterprises Price controls Use of command and control Bulgaria OECD In fact, the Bulgarian state continues to exercise a greater amount of control over the economy than is the norm among OECD countries ­ at least as measured by the PMR approach. The size and scope of the public sector are above the average, yet the two indicators that standout concern the extent of direct control over business enterprises and the use of command-and-control (as opposed to incentive-based) regulation. (Table A2. 3 and Table A2. 5 show the detailed composition of these indicators). Actions to improve Bulgaria's performance on both counts could include: · Increase reliance on incentive-based regulation. In a narrow sense this entails requiring regulators to consider alternatives to any regulation they seek to introduce as is now the norm in OECD countries. More substantively, this requires changing the regulatory and administrative culture so that new regulation is not the default option to modify economic behavior. Among other things, this will require providing guidance and training on what may constitute valid alternatives to regulation (Box ). · Reduce control over business enterprises in which the state has interest. As shown in Table A2. 3, the practice of holding golden shares has been eliminated by the majority of OECD countries. Of those that still have golden shares, only about half use them to affect strategic decisions of firms, as is still the case in Bulgaria. More generally, responses to the PMR questionnaire suggest that the strategic choices of publicly controlled firms have to be reviewed or cleared by a national or sub-national legislature. This practice has now been abandoned by about half the countries in the OECD. 28 And while Bulgaria has made great stride in improving its business environment, it is still not at the OECD average. Particular areas in need of further attention are: · Further reducing administrative burdens, overall and sector specific. In general, implementation of the new business registry would further streamline and simplify business registration. At the same time, easing off the licensing and registration regimes for retail distribution of food and clothing would also help reduce burdens on businesses. · Improve communication of rules and procedures to the affected parties by extending the program for optimization of licensing and permits system to municipalities and revisiting the effectiveness of the program at central government level. Finally, it should be noted once more that the PMR methodology does not capture implementation or common practices associated with the rules and regulations it measures. Bulgaria has made impressive strides towards the enactment of rules and regulations that are less restrictive of competition. However, for this progress to be reflected in an improved business environment, government policy in years to come will need to be directed towards ensuring effective implementation and enforcement. 29 Box 3: Alternative Regulatory approaches Performance-Based Regulations--specify required outcomes or objectives rather than the means by which they must be achieved. Thus firms and individuals can choose processes that are more efficient and less costly, which promotes the use of new technology on a broader scale. Such type of regulation is increasingly used in health, safety, consumer protection, and environmental regulation. Drawbacks include measurement problems related to desired outcomes, higher administrative and monitoring costs, greater responsibilities for small companies to develop appropriate compliance strategies. Most countries have resorted to the use of guidelines or "safe harbors" in conjunction with performance- based regulation. Guidelines provide information on appropriate compliance strategies, while safe harbors allow the benefits of certainty of compliance associated with prescriptive regulation to be attained, while also allowing more innovative firms to take advantage of the benefits of such regulation. Process Based Regulations--require businesses to develop processes that systematically control and minimize production risks. These processes are used in businesses with multiple and complex sources of risk, where ex post testing of the product is either ineffective or expensive. Process based regulation is predominantly used in health, food safety, and environmental regulation. Co-regulation--businesses take the lead in regulation through endorsement and adherence to codes of practice. This type of regulation is highly cost effective for the government. Drawbacks include the possibility for encouraging anti-competitive activities by business or professional organizations. Economic Instruments--taxes, subsidies, tradable permits, vouchers and the like. Economic instruments allow businesses to achieve regulatory goals in the least costly manner and provide market incentives which reward the use of innovation and technical change. Information and Education--most widely used approach to regulation in OECD member states; empower consumers to adopt actions or make informed choices to change their behavior. Examples include campaigns aimed at reducing speeding when driving, anti-litter behaviors; reducing the use of drinking water; eco-labeling of products. Guidelines--issued by regulatory authorities, setting out processing or providing interpretations to aid understanding of government objectives by businesses and citizens. Guidelines may accompany existing regulations, but also are increasingly used as stand-alone documents. Guidelines, for example, are widely used in the area of consumer protection in Denmark. Voluntary Approaches--initiated by industries, sometimes formally sanctioned or endorsed by government. They include voluntary initiatives, voluntary codes, voluntary agreements, and self- regulation. An example of a voluntary arrangement is the chemical industry's Responsible Care Program, used in 40 countries, which promotes the adoption of rules for sound environmental management practice. _____________ Source: OECD 2002. 30 References Aghion, Philippe, Christopher Harris, Peter Howitt, and John Vickers. 2001. "Competition, Imitation and Growth with Step-by-Step Innovation." Review of Economic Studies, No. 68(3), pp.467-492. Campeanu, Virginia, Constantin Ciupagea, Joze Damijan, Donato De Rosa, Rumen Dobrinsky, Surd Kovats, Boyko Nikolov, and Silviya Nikolova. 2003. "EU Competition Policy and its Institutional Framework: A Survey of Transition Countries." EU COMPPRESS, Institute of Economics of the Hungarian Academy of Sciences,. http://econ.core.hu/english/comppress/D5.PDF. . Conway, Paul, Veronique Janod, and Giuseppe Nicoletti. 2005. Product Market Regulation in OECD Countries: 1998 to 2003. OECD Economics Department Working Paper, No. 419. Paris. Conway, Paul, Donato De Rosa, Giuseppe Nicoletti, and Faye Steiner. 2006. Regulation, Competition and Productivity Convergence. OECD Economics Department Working Paper, No. 509. Paris. Conway, Paul, Donato De Rosa, and Giuseppe Nicoletti. 2007. Competition and Productivity Convergence in the Age of ICT: Evidence from OECD Countries. OECD Economics Department Working Paper, forthcoming. Paris. Gwartney, Jim, and Robert Lawson. 1997. Economic Freedom of the World Annual Report: 1997. Vancouver: Fraser Institute. http://www.freetheworld.com/download.html Kaminski, Bartolomiej. 2006. Bulgaria's Institutions and Policies: Integrating into Pan- European Markets. World Bank Policy Research Working Paper, No. 3864. Washington, DC. Nickel, Stephen J. 1996. "Competition and Corporate Performance." Journal of Political Economy, Vol. 104(4. , 724-746. Nicoletti, Giuseppe, and Stefano Scarpetta. 2003. "Regulation, Productivity and Growth: OECD Evidence." Economic Policy, No. 36, pp. 9-72, April. Nicoletti, Giuseppe, Stefano Scarpetta, and Olivier Boylaud. 1999. Summary Indicators of Product Market Regulation with an Extension to Employment Protection Legislation. OECD Economics Department Working Paper, No. 226. Paris. OECD. 2002. Regulatory Policies in OECD Countries: From Interventionism to Regulatory Governance. Paris. 31 ------. 2005. OECD Economic Surveys. Brazil. Paris. Schultze, Charles. 1977. The Private Use of Public Interest. Brookings Institution. Washington, DC. World Bank. 2005. Bulgaria. The Road to Successful EU Integration ­ The Policy Agenda. Country Economic Memorandum. World Bank, Washington, DC. 32 ANNEX I: COMPARISONS WITH FULL SAMPLE 33 Table A1. 1: PMR Product market Inward-oriented Outward-oriented regulation policies policies Australia 0.9 0.9 0.9 United Kingdom 0.9 1.2 0.5 Iceland 1.0 1.4 0.4 United States 1.0 1.2 0.8 Ireland 1.1 1.4 0.6 Denmark 1.1 1.3 0.9 New Zealand 1.1 1.3 0.9 Canada 1.2 1.2 1.2 Sweden 1.2 1.5 0.9 Luxembourg 1.3 1.6 0.8 Japan 1.3 1.5 1.0 Finland 1.3 1.7 0.8 Belgium 1.4 2.0 0.5 Netherlands 1.4 1.8 0.8 Austria 1.4 1.8 0.8 Slovak Republic 1.4 1.3 1.5 Germany 1.4 1.9 0.8 Norway 1.5 1.9 0.9 Korea 1.5 1.7 1.3 Romania 1.6 1.8 1.4 Portugal 1.6 2.0 0.9 Spain 1.6 2.1 0.9 Switzerland 1.7 2.1 1.1 France 1.7 2.1 1.1 Czech Republic 1.7 2.2 1.1 Bulgaria 1.8 2.1 1.4 Greece 1.8 2.2 1.3 Italy 1.9 2.3 1.3 Brazil 1.9 1.8 1.9 Hungary 2.0 2.4 1.5 Mexico 2.2 2.1 2.3 Turkey 2.3 2.6 1.8 Poland 2.8 2.9 2.5 NOTE: The values of indicators refer to 2006 for Bulgaria and Romania, 2004 for Brazil, and to 2003 for all other countries (Conway et al. 2005). 34 Table A1. 2 State Control State control Public ownership Involvement in business operation Australia 0.6 0.8 0.3 Iceland 1.1 1.8 0.3 United States 1.2 1.2 1.2 Denmark 1.3 1.7 0.8 Slovak Republic 1.4 1.9 0.8 New Zealand 1.4 1.9 0.8 Japan 1.5 0.8 2.4 Canada 1.7 1.7 1.5 Korea 1.7 1.8 1.5 United Kingdom 1.7 1.9 1.6 Mexico 1.9 2.3 1.4 Sweden 1.9 2.2 1.6 Netherlands 1.9 2.5 1.2 Austria 1.9 2.2 1.6 Ireland 2.0 1.8 2.1 Luxembourg 2.0 2.6 1.2 Germany 2.2 2.8 1.5 Switzerland 2.2 2.4 2.1 Finland 2.3 3.2 1.3 Belgium 2.4 2.2 2.6 Brazil 2.4 2.1 2.8 Czech Republic 2.5 3.0 1.9 France 2.7 3.3 1.9 Spain 2.7 2.7 2.7 Portugal 2.7 3.1 2.2 Norway 2.8 3.5 1.8 Greece 2.8 2.4 3.3 Turkey 2.8 3.1 2.5 Romania 3.2 4.1 2.2 Italy 3.2 3.8 2.3 Bulgaria 3.2 3.5 2.8 Hungary 3.3 3.8 2.6 Poland 3.6 4.2 2.8 NOTE: The values of indicators refer to 2006 for Bulgaria and Romania, 2004 for Brazil, and to 2003 for all other countries (Conway et al. 2005). 35 Table A1. 3 Barriers to Entrepreneurship Barriers to Administrative Regulatory and Barriers to entrepreneurship burdens on startups administrative opacity competition Romania 0.5 0.7 0.1 0.6 United Kingdom 0.8 0.7 1.2 0.4 Canada 0.8 0.9 0.5 0.7 Ireland 0.9 0.5 2.1 0.3 Norway 1.0 1.0 1.2 0.6 Sweden 1.1 1.2 1.1 0.6 Finland 1.1 1.3 1.2 0.4 Bulgaria 1.1 1.4 1.2 0.4 Australia 1.1 1.0 1.2 1.5 New Zealand 1.2 0.8 2.2 0.4 United States 1.2 1.0 1.3 1.5 Slovak Republic 1.2 1.9 0.7 0.3 Luxembourg 1.2 1.8 1.1 0.1 Denmark 1.2 0.5 2.1 1.7 Portugal 1.3 1.7 1.2 0.5 Brazil 1.3 1.5 1.4 0.6 Italy 1.4 2.4 0.4 0.6 Japan 1.4 1.9 1.2 0.6 Hungary 1.4 2.3 0.4 1.1 Germany 1.6 1.6 2.2 0.5 Iceland 1.6 1.4 2.4 0.7 Greece 1.6 2.6 0.6 0.5 Spain 1.6 2.8 0.4 0.4 France 1.6 1.9 1.3 1.4 Belgium 1.6 1.7 2.2 0.6 Austria 1.6 2.8 0.4 0.8 Netherlands 1.6 1.6 2.5 0.6 Korea 1.7 2.2 1.2 1.0 Switzerland 1.9 1.7 3.1 0.7 Czech Republic 1.9 2.3 2.3 0.5 Mexico 2.2 3.1 0.4 2.9 Poland 2.3 3.7 1.5 0.3 Turkey 2.5 2.7 3.4 0.5 NOTE: The values of indicators refer to 2006 for Bulgaria and Romania, 2004 for Brazil, and to 2003 for all other countries (Conway et al. 2005). 36 Table A1. 4: Barriers to trade and investment Barriers to trade and investment Explicit barriers Other barriers Iceland 0.3 0.5 0.1 Belgium 0.3 0.5 0.1 United Kingdom 0.4 0.5 0.2 Ireland 0.5 0.8 0.2 Finland 0.6 1.0 0.2 Germany 0.6 0.6 0.7 Netherlands 0.7 1.0 0.3 Spain 0.7 0.7 0.6 Austria 0.7 1.0 0.2 Luxembourg 0.7 1.1 0.2 United States 0.7 1.1 0.2 Norway 0.8 0.9 0.6 Sweden 0.8 1.2 0.3 Portugal 0.8 1.2 0.3 Denmark 0.8 1.0 0.7 New Zealand 0.8 1.3 0.2 Australia 0.9 1.4 0.2 Czech Republic 0.9 1.4 0.3 Japan 0.9 1.4 0.3 France 1.0 1.5 0.3 Switzerland 1.0 1.5 0.4 Canada 1.1 1.7 0.4 Italy 1.1 1.7 0.4 Greece 1.2 1.4 1.0 Korea 1.3 1.9 0.4 Bulgaria 1.3 2.0 0.4 Romania 1.3 1.9 0.5 Hungary 1.4 2.1 0.6 Slovak Republic 1.6 1.6 1.5 Turkey 1.7 2.5 0.6 Brazil 1.9 2.3 1.5 Mexico 2.4 3.4 1.0 Poland 2.4 3.0 1.7 NOTE: The values of indicators refer to 2006 for Bulgaria and Romania, 2004 for Brazil, and to 2003 for all other countries (Conway et al. 2005). 37 Table A1. 5 State Control: values of the low-level indicators Scope of Use of public Size of public Direct control command & enterprise enterprise over business control Price controls sector sector enterprises regulation Australia 2.8 0.1 0.0 0.4 0.0 Austria 3.5 4.0 0.0 2.2 1.3 Belgium 1.8 3.3 1.5 4.5 1.0 Brazil 2.9 0.0 3.0 4.2 1.3 Bulgaria 3.7 3.5 3.3 3.8 1.4 Canada 2.8 2.1 0.8 1.3 2.0 Czech Republic 3.8 3.2 2.3 2.3 1.3 Denmark 2.5 2.3 0.8 1.4 0.0 Finland 3.5 3.2 2.9 1.4 0.3 France 4.5 4.1 1.9 3.0 0.3 Germany 3.3 3.2 2.3 1.8 0.5 Greece 3.0 3.8 0.9 5.1 2.3 Hungary 3.5 3.0 4.8 2.3 2.0 Iceland 2.3 2.8 0.7 0.0 0.3 Ireland 2.5 2.6 0.8 3.8 0.8 Italy 4.5 3.7 3.5 1.9 2.0 Japan 2.0 0.0 0.6 3.0 2.5 Korea 2.0 2.8 1.0 1.1 2.0 Luxembourg 3.5 1.2 2.9 1.5 0.0 Mexico 3.0 3.6 0.9 1.7 1.0 Netherlands 2.8 2.8 2.0 1.7 0.3 New Zealand 2.3 0.8 2.6 0.8 0.0 Norway 4.8 4.0 2.4 2.2 0.8 Poland 5.8 4.6 3.0 3.5 1.6 Portugal 3.8 1.7 3.8 2.0 1.8 Romania 2.9 4.8 4.4 2.3 1.1 Slovak Republic 1.6 0.0 3.5 0.0 0.4 Spain 3.5 2.5 2.3 4.4 0.8 Sweden 3.7 2.7 0.7 2.3 1.0 Switzerland 3.8 0.9 2.6 1.2 2.6 Turkey 4.8 4.3 1.0 4.4 0.6 United Kingdom 0.8 1.6 2.9 2.3 0.4 United States 2.5 0.6 0.8 1.5 0.8 NOTE: The values of indicators refer to 2006 for Bulgaria and Romania, 2004 for Brazil, and to 2003 for all other countries (Conway et al. 2005). 38 Table A1. 6 Barriers to entrepreneurship: values of the low-level indicators Communication Licence and and Administrative Sector permits simplification burdens for specific Legal Antitrust system of rules and corporations administrative barriers exemptions procedures burdens Austria 0.0 0.5 3.0 3.4 0.3 1.0 Canada 0.0 1.0 0.8 0.9 0.9 0.6 Greece 0.0 1.1 2.3 2.9 1.6 0.0 Hungary 0.0 0.5 2.3 2.0 1.6 0.9 Italy 0.0 0.5 2.8 2.1 1.9 0.0 Mexico 0.0 0.3 3.3 3.2 1.9 3.5 Portugal 0.0 2.6 1.5 1.8 1.4 0.0 Slovak Republic 0.0 1.4 2.0 1.9 0.6 0.0 Spain 0.0 0.6 2.8 2.4 1.1 0.0 Romania 0.0 0.1 0.8 0.8 2.0 0.0 Australia 2.0 0.2 1.3 0.3 1.6 1.5 Finland 2.0 0.3 1.3 1.1 1.4 0.0 France 2.0 0.3 2.0 1.6 2.2 1.1 Japan 2.0 0.3 1.5 2.3 1.4 0.3 Korea 2.0 0.0 2.7 1.9 1.9 0.6 Luxembourg 2.0 0.0 2.5 0.3 0.3 0.0 Norway 2.0 0.2 1.0 0.9 2.2 0.0 Poland 2.0 0.8 4.3 4.1 0.6 0.0 Sweden 2.0 0.0 1.0 0.9 2.0 0.0 United Kingdom 2.0 0.2 0.8 0.6 1.4 0.0 United States 2.0 0.4 0.8 1.0 1.4 1.6 Brazil 2.0 0.6 0.5 1.3 2.0 0.0 Bulgaria 2.0 0.3 1.4 1.9 1.1 0.0 Belgium 4.0 0.3 1.8 1.7 1.6 0.0 Czech Republic 4.0 0.5 3.0 2.2 1.4 0.0 Denmark 4.0 0.0 1.0 0.3 1.4 1.9 Germany 4.0 0.3 2.3 1.4 1.4 0.0 Iceland 4.0 0.7 1.3 1.6 2.3 0.0 Ireland 4.0 0.2 0.8 0.3 0.9 0.0 Netherlands 4.0 0.9 2.0 1.3 1.9 0.0 New Zealand 4.0 0.3 1.0 0.8 0.3 0.4 Switzerland 6.0 0.0 2.3 0.8 2.2 0.0 Turkey 6.0 0.5 2.3 3.2 1.4 0.0 NOTE: The values of indicators refer to 2006 for Bulgaria and Romania, 2004 for Brazil, and to 2003 for all other countries (Conway et al. 2005). 39 Table A1. 7 Barriers to Trade and Investment: values of the low-level indicators Ownership barriers Discriminatory procedures Regulatory barriers Tariffs Belgium 0.3 0.0 0.0 1.0 Germany 0.3 0.7 0.7 1.0 United Kingdom 0.3 0.3 0.0 1.0 Romania 0.8 0.0 0.0 5.0 Spain 0.8 0.3 0.7 1.0 Iceland 1.1 0.0 0.0 0.0 Denmark 1.2 0.5 0.7 1.0 Ireland 1.2 0.0 0.0 1.0 Netherlands 1.2 0.5 0.0 1.0 Greece 1.3 2.0 0.7 1.0 Austria 1.5 0.3 0.0 1.0 Finland 1.5 0.0 0.0 1.0 Luxembourg 1.5 0.3 0.0 1.0 Sweden 1.5 0.7 0.0 1.0 Portugal 1.6 0.7 0.0 1.0 United States 1.8 0.0 0.0 1.0 Norway 1.9 0.3 0.7 0.0 Hungary 1.9 1.2 0.0 3.0 Brazil 2.0 0.7 1.3 4.0 Czech Republic 2.0 0.7 0.0 1.0 Switzerland 2.0 1.1 0.0 1.0 Korea 2.2 0.0 0.0 3.0 New Zealand 2.3 0.0 0.0 1.0 France 2.3 0.5 0.0 1.0 Slovak Republic 2.3 1.1 1.6 1.0 Japan 2.4 0.3 0.0 1.0 Australia 2.4 0.0 0.0 1.0 Mexico 2.8 1.4 0.0 6.0 Italy 2.8 0.7 0.0 1.0 Canada 2.9 0.5 0.0 1.0 Bulgaria 3.0 0.0 0.0 2.0 Turkey 3.1 0.7 0.0 3.0 Poland 3.7 0.3 1.6 4.0 NOTE: The values of indicators refer to 2006 for Bulgaria and Romania, 2004 for Brazil, and to 2003 for all other countries (Conway et al. 2005). 40 ANNEX II: DETAILED RESULTS OF PMR SURVEY FOR BULGARIA 41 d sey sey sey . esy sey sey sey esy esy sey s ye n.a esy no sey sey sey sey sey esy esy esy sey esy 3% .859 64.1 Polan ep.R on on on no esy esy - no no on s ye a..n no no on on esy on esy no no no sey no 27% 5.75 lovakS 27. 5 an na an an na na na an an na an an an an an na na na na an an an an an 3% 2 U1E .635 3.2 D an an an na an an an na na an an na na na an an an an an na na na an na 41% 14 3. ECO 52. niaa % on esy on . no esy esy esy no no esy s ye n.a no sey on esy esy esy esy no no no on no .83 87.2 omR 47 iar s lga ye sey s ye no sey sey sey no no sey % on . n.a no esy s ye sey sey sey sey s no no no ye no .87 56.3 60 Bu ctor n se ers oN 0 0 0 0 0 0 0 0 0 0 0 0 0 0 0 0 0 0 0 0 0 0 0 0 atets the nswa 1 prise of thiws p =20>s i a)/i i A2. ngdi 6 6 6 6 6 6 6 6 6 6 6 6 6 6 6 6 6 erws 42 ble enterc Yes Co ortcesfot rshi newo erwsna of an i a i Ta publi thgi ) i 1 1 1 16 16 16 1 1 1 16 1 16 1 1 1 1 1 1 16 1 1 16 1 1 encr ber ( m of (a We pe nuif Scope eth tr inse ndayr yl s trop pp ga spo e akts stc yiticrt or tran e hine ,seicvres n odu ac onisis terawfo anstrt utr esl tu tyiuqe ucts pr s n uctrsar erg tur er nes trops antr e ilebo tioceoj odrp tale m,stc eclerotr suyitictrcele yl tio po or hicev ls inf asp ad uctrsar uctr m, y 158 pr m pp ghierF,sya d /im su ado t inft . t estii an hold : cco sic t msnatrs oni buirtsid toro oteh d ilwar orp nt menrev ortces banru roybtr ec ort ba muelotrep odurpl en asg d turcutrsarfin por esicvres nsiotuitt ion d an er tivitcass tivca Sec tofo bafo eta atr tionubirt or an m.lcin aivt ailrrfo asrfintrops int spo e lin escivres the re neifer garotr ndlaregness anstr po ant por pa ansrt anru neis thal im aurt nda tran inslai of tera orpsnatrr etn Air nc nsI bu he butirtsid go ni anrtria of erutcaf m ed quipme ador ion ali m nu aticr enegyitictr disyitictrc de,atr niota n W edxif e tion/ ale abf ele esR ansrt of inter na bar teawfo naiF urt incvo firt actufuna erut uc butirtsid er htgierF ion hertO ac Ma tionacifirup, pic or pero,sy at niotaic muH pr esgral M of uf onit ationrepO an erut elec: esloh nges niota oni or M acf ityictrc onisis odrps un W buus, m ot m llecoC awilar erpO M avi duledehcsrehtO erpO atets,lan anu Ele M nsatr ga:saG Pas:sya banrur ilwaR hetO moceleT ) (0-6 e tio na ) 03 9, 2 12 3.1 e the 29, 10 20 00 51, 63 21 21 23 03 03 03 2 65, cors 1 67 1 92, ISIC ev. cod 16 232 27 55 61 26 47 Do 28 40 40 41 50 64 19 67 85 (R 01,6 60 60 60 63 63 63 66, 11 65 92 ytrnuoC fo llow foot peyt aree W ),ro hodtem sect licb puethfo ryontevni year.eth for alu flows zesitsegral rpet pea ceedorp on or atization rstoweht0htiw( relying ted priveth R. is PM calcula Pt-1 were and eal 6) rallevoeth sc01ot0a earsy nt 199r fo witht ue eqs zero istensn ) morf subr to 43 al .bg/ntemn fo coren ed Data rescal ).g (equxedin anma ver but,)7991(n inal inaatd rankin origeth esethg is 2 ort x) wsoaLd worsteth It-1 w no calculatin public sec of sector ndei6ot an 6 65. 45. 25. 05. 74. 54. 44. 04. 63. 53. gov.rip.www(ariagluB is6 of ney ree rstfiehter in lpeh Size (0 enterprise cynegA Gwart (wh whe his ), t-1 for lic n (pct 1) oni omfrsi ubp as PMReth nway +0.2*(P ofez atizatio ds DPG 13. 61. 32. 31. 92. 31. 11. 13. 43. 39.0 re of Co It-1 . of Si2 Priv zatiatvriP procee gufi69 scale6 =It Paul tol ated A2. 9961 79 89 99 00 10 20 30 40 50 19 19 19 20 20 20 20 20 20 0062 rce:uoS 19ehT 1/ 2/ to0eth approach: atefurg Estim 3/ Table 44 e enterpris ss busine over control direct of Extent 3 A2. ble Ta and 0 1 0 0 Pol 5.40 esy 0.8 no no no on on no esy on no 0.44 ci ak s ovSl 0.75 no 0 0.25 no no no 1 0 on on no no ye 0 no 1.60 Republ U15E 0.54 na na 1.00 na na na 1.63 na a a na na na na 0.83 ECDO 1.23 na na 0.87 na na na 2 na an an na na na na 1.01 ania 2.40 no 0.8 0 no no - 2 esy onn onn no esy esy no 1.10 Rom ai ar 2.40 no 0.8 0 no no - 3 esy - sey no esy - 0000 no 1.35 Bulg e scor er er er Sco Sco Sco erocS erallvO srewsna No 0 0 0 0 oN 0 0 0 0 0 0 0 ail - n/4)*6( 0 0 0 0 0 0 of or Retrof or oN ng 6 6 6 6 esY 6 di Yes n/5)*6( Scale Co -ro r jk s esY Ye 6 6 6 6 6 6 answe k n estiouQ sthgi c k 45 ) k (c 1/2 1/2 1/3 1/3 1/3 1/6 1/6 1/6 1/6 1/6 1/6 1 bjj we ry st du htsgi ) j (b 41/ 41/ 41/ 41/ In we ent edvol nm er inve sol ar gov ests contreci ted the pr on by es nteri to ati aywe pani alic ect regulae ar egulr omc erm slo subje slo s price somni ar t tot ghteirf com ations onstiac lso slo sol contreci n ontrolc 6) io (0- and onit contreci ated regul pr ead) br pr travel eighrf to res road ribu to price icatnu ubjecs egulr to adetr ors of ine stid ect mm Air lso ated Road are nesi esv del subje andklim ontrceci ontrceci pr pr ontrceci ect tot unimmoce pr to to to subje scoyrtn egulre outesr icesv del gui etailR ar (e.g. ect ect ect ubjecs elecoT telnieciv Cou ar esti gui ts ser Contr esentati es bus4 ngicirp es subje subje arsalc aret sere ar ar subje riceP4 arfrai ngici pr repr produc stapl ar co produc obilm estic or5fo ghteirf or cing euticam des oadr es or enf rtainec neiol ertainc gas tobac oholcal phar other gitaldi of provi bodi or of of of of of of of of ber A2. dom ent ble ofseci numf esci esci esci esci esci esci esci esci esci prl onalsi ngiyf prl prl prl prl prl prl prl prl ati Ta Pr Rel Retai vernmoG esof Pr pecisni Retai Retai Retai Retai Retai Retai Retai Retai c s Republi ye esy no no no no no no no 0.0 ovak Sl and s ol ye no no no no no esy esy esy 3.5 P . . . . . . . . . . . . . . . . .6 U15 n.a n.a n.a n.a n.a n.a n.a n.a n.a n.a n.a n.a n.a n.a n.a n.a 2 E a. a. a. a. a. a. a. a. a. a. a. a. a. a. a. a. 2 ECD n. n. n. n. n. n. n. n. n. n. n. n. n. n. n. n. 2. O ania esy no no no no no no no esy 3.2 Rom iar ag 8 no no no no no no no no esy 3. Bul sre ws o N 6 6 0 0 0 0 0 0 0 0 0 No na al,c of ol + ng s es di 0 0 6 6 6 6 6 6 o Ye 5.0 kij C Stat er w 46 oni s ht ) ans ocal,l est gi k *- 16 16 k (c 1/2 1/2 1/8 1/8 1/8 1/8 2/3 1/3 c k u onal+i Q we j b j y i ) j a i Nat,l 4 4 4 4 ightse (b 1/ 1/ 1/ 1/ Loca Industr w = vsl -y ci s No ar ht ) i ecif gi (a 1/2 1/2 ne dustr ni sp we Ge regulation icy er ot to o or s e t ot ding ; pol bef ngil iager ageir or ec ntroloc evi es ngi noi ovi )y natives arc arc ) odal at ent hour m rwi m e ubjs pr gat ecivres edifi nat ert hauk tional e ) ng n leg) erff s)a actr or spec am sal Na ert al o di othe are bac shipper inter oper( s are e ev urn atvi peni ) and al ati ni pr )s o (1 an s bec obli.g tur ervi ) ionta s egulatorr oni ngi ountcc cont )6 ate, iont ain n or ser rm ain etr n a egulatedr s tr e tr ort eary (e. s uc un level tr ot eas (0- St es us a one oit outesr er and fo l non- ght th air een u hops 5t ass egulatr own w b hour ar on in onsc ainrts mrif ecs are tic asr ott and s on ri on asl ents res ays ec or mmoc w egulr c to and fi eirf nst onsc r es ation onal+i bet onali inf s informlar or co orf con ei or sti our avert wl sco y ne or ul h emri etween ationt d nat het omtsuc subj gilb er Nat edr or b in dom het of ort suedsi y e, ui a ting speci Road eightrf oni o ry onl Rai e t at ha event s por om aditional event elr ilate at opening Air y on equr iedfi of ngi ar or event pr R blei unt Stat Use Gene req tr pr up por nkli rat .g.e( stuc e egulr( been event adop ansrt opening egulationsr appl s oni ngi pecs s Co = ns ngi pr pr ualt p ar hi exlf 5. Sect at rat es s st ope ha oit pendent ionst ent ecivresl ent Y e a ansrt( a en pick( onsi rac ers Shop ope es escivres A2. atl ont ndei n nm egulr sa evres ations s ni ya mer 1)( rumt (c ow pa qui uidanc Regul Regul over he T erir ervin Regu wliar re Regulator nsi G Regulations u G oper Table Car Com Note: 0 Rep. ovak Sl sey sey sey 2 olandP no se se U15E n.a. .ya. .ya. 22.2 ECDO n.a. .na.n .na.n ania Rom esy sey sey 20 ai Bulgar on sey sey srew oN 6 6 6 nsa of jk ng erw 47 0 0 0 Yes ans Codi c kk n ) k estiouQ ights (c 1/3 3/1 3/1 we are ecif e ") ") es of ess enscil ing ponsser hopss hopss encli y ens opts essnecli opts metsys lic and and that ) . tent tatutors "one-( "one-( -6 i.e( pe ationsic (0 the permits eulr omc of ntsoipt ationsicf noti ntsoipt notif serocs and ent' theif on on end y onsc allyc the by lalta ontacc ation ontacc eptingc ountrC Licenses si ati e 6: edsu ngleis mro ac inf ngleis or A2. enclis' utoma edtcat is rea ng rea no Table heT uedssi has period) hereT gettirof uingsis hereT orf a e ent akiv loS esy esy mos se nm ed no on 4.1 in cas esy wi esy gover d anloP esy esy sesaclla tne esy nm wide esy esy on 0.8 ni gover 51UE n.a. n.a. .a.n n.a. n.a. n.a. n.a. .a.n .50 D ECO n.a. n.a. .a.n n.a. n.a. n.a. n.a. .a.n 0.5 ai man esy esy sesaclla esy mentn ed erv wi no esy sey .10 Ro ni go aria lguB esy esy sesaclla ent esy mn ed er wi esy on esy 0.3 ni gov - - - - - - - No s erwsna 6 6 No 6 6 No 6 of e e 48 ngi mos s m se sor sroct jk In ca es Cod Fo se erw 0 0 ur Yes lla 0 ne 06 06 06 ans c kk j oced pr inroseY s m se 03 ca rnev deiwt ) 03 W ni Go M- b j d 98 an tionseuQ ) ightsew k (c 12/2 12/1 21 4/ 12/3 21 Wx 2/ 1/3 1/3 1/3 Ma/() rules W by ) j ofno in k s (b e M- i ) er k ight m 1/2 1/4 1/4 1/4 1/4 We the (W*2 ightse (d sco W 1/ i d kk icati lifp ns d s r Wt an the latio es edt in nse ativetr ional en on and/o e sim nat egur age" t es ati epsek)s celi ins ents nisi terin me cie e elem s gni ascl ation and ducer adm n and langu ak agal pero io or m agen tsi esisrp thyb mrifr iest vidua m the nda ion mrof edt the e enter edir cati arp ew -6) -1) "plain indi on and per (0 lif ion ns n ion at etoirpo de (0t esr edt gni ppeaa ecf quirerciif orfinfo on evir equr mp nicat tot nis af at ofr ducer es pr atio nte ot dom ic tsi si porr le bur edu ecffa e ghir oni pecs be to es nm m way orcs co ghiew oc e cis mro ns lifp esirstini num ma ative pr to quirery th de herwst inf pos eerf/y mlla( per orf sorof Commu the gover der d Communication7 icta leib ve nte Sim get latio enc un an ehtrofth ns ns istrin by de de essc lation ha emc poiny imy ar ent ogrrpit can d Country ige untryoC emtsys licoplar egur of polic sp mn en W bur bur adm ac gene egur iest orf esti antr wide ver oftnuoc plic amr ses ex osep og icif A2. e d a of arp quirin en e nte tiona ent pr to tne ative tivea ar an is g ar par nte go na im a licfo e e tinfa edt es mn al letep is is pecs nicu e emc nm e nm m ecf or dens ens e ber strini strini ort Table herT nownk herT dr Af adver herT eignrof enf veroG tion elar gover ationN moc a ediruqer herT bur tizic herT num overg Adm Adm Sec moC licbu epRk 7 15 8 15 1.9 72 .002 va Slo d , = anolP 82 6 09 a 3 ss n. 4.3 basea dnaa T as 7 15 EU 14.5 1.5 es,rud 22.3 99.08 1.83 oce Datnoiat arigluB D 4 prfo guleR nesiuBgnioDeht Romaniadna ECO 4.91 0 5. 3.82 8.1 .901 110 erbmun oniatvi onali ond dedr niaa nat base da ulgariaB 5 .54 11 80 on ter omR anst for 107 0. on In D ati ia arlg 11 23 33 7 rm Bu 80.1 1.3 foni OECDeht .swollof OECD-DB atedl oniatvi OECeht calcu inn as de is rd 6 20> 6 98.4> 500 ded se,a >7 00 nesssiuBgn ofst uni rmatio ocee pr andast)/ Databn 5 5 <=20 =98.4< 75=< Doi foine nyam 00 nce ocess OECD-DB wohs latio 4 4 <=16 <=82 50=< Si.a 0-6 samethot pr oni mean- Regula 00 vealree ale 3 3 ore or ation <=12 Sc =65.6< 25=< re k dat5002 izatal arablep sc tern 2 8 answ rmon 49 (raw In <= 2 49.2=< 500 c kk com <=1 The = 8. d. Z =5< 1 000 <=32 neai asd sc-zehT.3002 <=1 0 nesssiuBgnioDno directly OECDeth not obts ness 01 <=3 0 6.4 are <=1 <=50 sed obtaines omrf ) bad wa Busign on nso ecn anyp scoreeht k c( edniatbo 4 4 4 ze Doiot ati ighte ep 1/4 1/ 1/ 1/ neai W obt coma ores complia ty porroc erts ferrese sc D tot lal edit D-PMR on regi iml tedi ngitarstht ogenimohot score)lamron trinu ean.m OEC ot tac onc red to -erp(y etepl icbl orer on) iml on) wi co com pu icbl OECote eanm (pre- a ed OECD burden quier istrati pu istrati anyp on)tia es pan n)o to +) ng a the odib necessa istr omc sco-zdel n+reg n+reg OECDr tivea s durese was fo com tea tedi tratisgie ired ng (0-6) isteri ectnnoc isteri calos arablpmoc, d n+reg priv iml +r requsy n proc ite regrof tioa tioa str str orecs esu below OECD-PMR (al or ore iatio tory mlicli tioarts icbl on da try stocd ocess val andcli pu gin regfo reewaniamoRdnaairagluBrof ry ans pr the scde Administr8 ndaa on dev pub regi pub ar tratisgier orkw durese regi-erp(y regi-erp(y Coun oveba (euros) esu orecsd m a day of of proc pan pan dar are ormsf rda A2. of erb erb tesgier Val of where ber tory omc ostcl omc zatiial m anst niaa anrt Nu Num ndaa otaT E: ber Table Num m NOT num rmona A le,p A stand( 1) sam Rom 2) Z* ndlaoP esy oN no oN s ou 1 ye no syawal d reiuq syaw d reiuq re Al re syawal d reiuq syaw deruiq re Al re syawal d reiuq - re syawal d no ettl reiuq ends of 1.9 re e dep siz t t t t t t ak licb on tle on tle on tle on tle on tle on tle derui derui s ov Sl pueR esy sey esy sey ye on nds oufo nds oufo nds oufo nds oufo nds oufo nds oufo eped ezsi eped ezsi eped ezsi eped ezsi eped ezsi eped ezsi eqrsyawal eqrsyawal 4.11 5 U1E na an na an an na an an an an an an an na na 56 1. DCEO an na an an an an na na na na na na na an an 7 1.6 t t aina s d s d s d s on tle of dl on tle of dl s d s d m esy no esy on on esy Ro aywal reiuq re aywal reiuq re aywal reiuq re aywal edruiq nds oufo epty re eped ezsi or sosdoog nds oufo epty eped ezsi or sosdoog aywal reiuq re aywal reiuq 0.75 re ia arlguB esy on esy on s red red red red red red 8 ye no sya sya sya sya alw quier alw quier alw quier alw reduiq sya - sya sya re alw quier alw quier alw quier 1.8 ro ng ro ng ro ng No ssii - - ent" m No ssii m No ssii m emrui 0 0 0 0 0 0 0 0 ro No gniss ro ro oN eqr 0 mi No gniss mi No gniss oN mi no" ers ro ng ro ng ro ng fo s No issi m No issi m No issi Ye epty m answ no of s 3 3 3 3 3 3 3 3 ro ro gniss s ro Ye gniss end 50 odingC No gniss mi No mi No mi dep" ro No gniss ro ro " jk Yes 10 10 re mi No gniss mi No gniss Yes edri mi requs 6 6 6 6 6 6 6 6 answ s ro ng ro ng ro ng ay c kk j Ye No ssii 4321 lw b j m No ssii m No ssii m "a w urdensb iont s e ht ig ) 1/3 1/3 1/3 1/8 1/8 1/8 1/8 1/8 1/8 1/8 1/8 k rativt Ques we (c ns ) j minisda b( yr 2 2 s 1/ 1/ ht burde dustnI ig we specific eualv i of rativet Sector weightl edsial toracdini la vetia no w=w 98 w er gen strnii xa the urdensb M/ Overal ormN mda of startups ,ss a a ,ss a y adminis al start start neis orf n(i n(i a n ort neis ort the ort ness, nci tost orf to to ngni ngni en erdro sectort en ucts ductso a a but en tha but ore ni naif ed ed pr up up in in ernm efb der gheirf busi freight ernm foyrtne anw odrp ng)tisi ng)tisi ngtisi anpl ngtisi anpl gheirf et et her ernm ot( ovg gheirf ovg al age age specific quier start ador ghteirf ovg da nda ety on mrif start ro cali afi eedn is odof eedn nghit ductso ductsorp ettl ettl is clo to pr to eng ou eng ou urban urban ador the ador of si d of of safci the snoisic ion ngi gnil nghi (0-6) ded oodf ded otlc to ot to ot utlorof stc utlorof ductso d d ed neral ed neral pr al freight on censeli al elvle ster ni oarl elvle techn publ de soaly stergier seel stergier ge a on ona ement in account orf selrof neesi neesi tedlaer tedlaer ge eedn produ eedn nghit orescs Sector.9 adoR nati a nai omrfti nati regitr el than thiw ppla ed ributtsid eeden eeden thiw oodf thiw mr a anyyif pprovaroftaiw atin anyyif er ons nwo alicre tyiv alicre tyiv estiir estiir are are ucts are are clo try hsi obt pe to or hsi not nda nesssiub a gnillesrof gnillesrof e not first m m oth erid tsi tsi tsi ngil tsi ngil to onita w atil taileR tyi tyi transpo ne atr to het a anceipl com actil com actil uthoa uthoa ductso odrp mr nceaipl sel mr nceaipl sel ounC ed ency ed ency ed ency A2. eriti nsoc itsrofy ni ni pe pe establ ag establ ag er ni a ope ag cr moc to to perm pr perm orf orf to nesr ercia rciae tivcal tivcal (notytivitical (notytivitical or com or com ense)cil to nesr for op on reguyr nghi ishbl to nesr ale e stne and torsar onl on m on m on on or or to to ar ent ercia oodf ercia otlc ble start stratii order order esta order atoryul Sc er meir ope es sport stratii moc stratii moc rciae rciae ess a a catiif m catiif m m m onti onti Ta nI peratoo ngivird atoryul atoryul reg nI peratoo n reg ca egR ot nI peratoo reg heT tnif quer wen heT anrt egR pu egR pu otiN m co otiN m co nseseciL m ngill co se nseseciL m ngill co se nsesecLi ddia ons)isivorp nsesecLi ddia ons)isivorp p.eR 0%1 .60 cityri , ,s lovakS on no no no sey icesv esy - no no no no - on no on on no on no on on elect no - no ser 0%1 6.0 or ilwayar nd issionm viat obilem or olaP on no no no esy esy no no no no no - on no on on no on no on on no - no supply ices,v 3%2 4.1 ansrty ansptr gas ser ricit or 15UE .a.n a..n .a.n .a.n .a.n a..n a..n .a.n a..n a..n a..n .a.n .a.n eight line a..n .a.n .a.n .a.n .a.n a..n .a.n .a.n a..n .a.n .a.n elect Fr s, 4 5% 1. ort issionms fixed- ilwayar k, D porm antr ECO .a.n a..n .a.n .a.n .a.n a..n a..n .a.n a..n a..n a..n .a.n .a. a..n .a.n .a.n .a.n .a.n a..n .a.n .a.n a..n .a.n .a.n gas viat networ 3%3 0.2 ortr line a xed-if ani generation/iy po im/ ansportr s: omR on on on on sey esy on on on esy on - on esy on on on sey esy on on esy - on ricit or ction senger 1 9%1 1. lecte sect odu Pas s: ai pr s: gar gas llowingof Bul - on on on esy esy esy on on on - on onn on on on on esy on on on on - on sectorg s: sector or ur s erwsnafo sect fo oN al n 0 0 0 0 0 0 0 0 0 0 0 0 0 0 0 0 0 0 0 0 0 0 0 0 leg the llowinof following the thiws i of >=20s a)/i i ee four following thr one seY ort in 6 6 6 6 6 6 6 6 6 6 6 6 6 6 6 6 6 6 6 6 6 6 6 wer ecs the ans swer thefo ourf m Coding of of an i fir the 51 ) i a(t niotr of a i one ber ( in of one one in 1 1 1 1 1 16 1 1 1 1 1 1 1 1 1 1 1 1 1 1 1 1 1 1 ighe oporp numif firm one in firm least at W yt onet one lso for icitr ,s , firm : least ent esicv leas at one contr at be in elec st ipm or num ntemn rkea equ at ion ylppus ailwayr tr ers least po le lso lso r viat obi contr thet m or lso contr e cts and ssi asg anstr t m sp er m, ntr gover m ry or esl er por tu er tu ntemn co stric so sct odu watefo antr ut esicvr re pr ntemn ls nio on hic ergnes nsatr er uctr tu uctr se onticejo ast ns le odurp m ssi eta inehca pr m sl uctr pas uctr neil s y gover ntemn ovincial pr iot at oc and ial sic or iont tivit tivities goverl in nfi po or itut ce acs or ac gulaer or bac eulotrep m m,ts anstryitcitr butiirt ver oto asr land tr asrfnit ecle dis hote asr asrfnit ger po tr ba duco ly m.l ghteirF,s nfi anbrur daorybtr ion gover ens sp esicvr state ess ct to po sp se an 6)-0( pr inte antr ed-xif,k ins alth ovincrp Se of e ednifer of ort and e upps inc ndatna ilwayar ador anstr antr ial nessi he provincia urt tale por ansrtsagrotr ion pas orw of net ser and anstr anstrreta Air nc ursnI butirstdi or entry or to otherro sinub tur air bur ovincial of ac m n/im po de,atr viatr adoilrarfo n led htg n W teraw net of terni na e sco a e uf d im aticif po atio of line naiF urt pr national, s e ac anb state nuf tur atior pur eal aursteR hetO Hum or state Man esl atior if bur eirF pic law state Yes ali eratpo ac ateic Ma ion/ct ionta ho ansrt su eduhcsr perO ionta ed-xif ot nufa braf W er tion rytnuoC n: national, infrastructureda n: M of an,b erpO Op Mo barriers incvorp dew e enegyitictr er peO odurp ion,ct asg olleC engs hetO tional,an ur if if railro hertO un m Yes: national, Yes of or lloa Pas:s if Legal01 s: services. etats sroti urctafuna atioci cityi M ecle:yitictr s:aG ayw mo unicatiomm Yes l,a etp ailR Elec elecT ectrlE supply Gas: Railway Operation lecoeT internet A2. tion moc 1) 03 2 , ble · · · · Na 3.. 2 59,6 1 ISIC 16 27 29, 51, 55 63, 61 62 code 9, 67, 74 Ta evr( 232 28 0104 0204 1004 50 0216 0216 0236 3036 3036 3036 64 67 158 601 66 2119 2129 651 a akivo no - - - .00 Sl siytr edn edn edn no the not ontis siytr the not ontis siytr the not ontis 0.0 Poland Coun oncerc by que Coun oncerc by que Coun oncerc by que 5 EU1 .a.n .a.n .a.n .a.n 0.3 CDEO n.a. n.a. n.a. n.a. .40 iana siy siy siy no ntr not ernedc the onti the onti the onti by es ntr not ernedc by es ntr not ernedc es Rom Cou onc qu Cou onc qu Cou onc by qu is is is riaa t e t e t e no untry no ernedc th onti th onti th onti no no 00 Bulg Co onc by uesq untry ernedc Co onc by uesq untry ernedc Co onc by uesq s er No 0 0 0 0 answfo ding esY 6 6 6 6 Co x s ) k ma onitca (c wi/ k ts erws 4 4 4 4 52 edt weigh 1/ 1/ 1/ 1/ an n ckk dan i w ma-etatsrosesir Questio i =w ez Si roct )/2) eightw + ess all verO thgi peocS( prir rpetne We = secilbupfo ente on thatt alc pti (in ?)sr licb me to an ntalozir ergers tyi ho an ertiv an m purofs ex or nducocrof or sec ott as ott as ott as h h h n auth wla etepl ubjecs suc ubjecs suc ubjecs suc iontp usiolcxe ent mnr omc era wla era wla era wla )6 ve toy orf petition gsin onti gsin onti gsin onti (0- s em extsurtitnA11 ginid moc go appl peti peti peti dertak dertak dertak score prov otheryb ghti omc omc nancei omc mt un un m un yr do le general ed tha ors omrf n ors omrf n of ors omrf unt n Co ncipi the horiz onsi mrif tiop mrif tiop mrif tiop pr or under aut usl edlolr exem edlolr abuse exem to edlolr exem A2. leur or exc e der or or or or to ont ont ont -c -c -c ble er liability onti cly onis cly onis tsina cly onis th Ta Is omrf quier bli clu sletr bli clu bli clu is addi Pu ex ca Pu ex estrr Pu ex osal ity eht dna be d e Rep. ak sey e un esy terfa 04 m phi non % 20/ m oftp ablci co ec oulcl .32 7%2 lovS 49 05/ ro 01 EU ncoc rsen appl ow ontc olandP sey sey e 9 non .40 3.7 6%9 U15E .a.n .a.n . . . .an .an .31 .an ECDO .a.n n.a. n.a. .a.n 1.8 n.a. nia on siyrtn ed 9 not ern eht onit ne es .40 .80 8%4 Roma Cou oncc by qu no ia s ye sey ne 9 no .40 3.0 61% Bulgar %5 ls 6 oN <2 0 0 No 0 ontroc sre 0% 4 <3 atets the answ 5% y 3 of rtl <3 3 hichw ngidoC Pa 0% 1 in s 6 6 <4 rmif 53 Ye s % rews jk orstcess ats lea 6 Ye 50< 0 an at c kk nesi j bus ) k sr of atets ats bj of % ontise c( cto : sthgi (% i se e lea ) th at w mrfi 3 2 2 1/ 1/ 1/ item Qu 3* o we 2/ ssensiub hchiw in ntrolsoc Mem by )b( j hts e 2 2 1/ 1/ Weig emht barriers of ed fo rship al n s in an leg by ntrollo be tionis in ) -c owne rs ie barrl erhtoro portio nac red nte pro ts nsiot (0-6 blicly orst barrier rict or quica righ quicafo pu e mtse esro Foreign erb res inv be in ent asc esvin m e pih sc 12 Genera atutoryts nu ign can orsts rnm th ve in ersn onstia anyp the A2. are that vein oref nigerof go Country to by ector-specificS ow nicu on moc item its esr gn gn g s ity mo o ine Table hereT lim has oreif mrfi pecialS desicre lec ex equ Forei te ilineC airl Mem p Re esy esy yes yes on esy esy 13.1 ovaklS andolP esy esy no esy sey sey sey 250. U15E a.n. a.n. a.n. a.n. a.n. a.n. a.n. a.n. 9 0.4 DC OE a.n. a.n. a.n. a.n. a.n. a.n. a.n. a.n. 0.49 a ani 0 0 0 0 0 0 0 00.0 Rom a arigluB yes yes yes esy yes yes yes 000. -o/N - - - 6 No/ No/ No/ -o/N - esY esY No/ 255. -o/N -o/N seY -/oN 255. -o/N seY -/oN -/oN 25.5 No 6 6 6 -/oN /-oN /-oN esY 1254. esY No/- No/- o/-N 1254. /-oN esY /-oN seY 3753. no atiin im esY -o/N esY esY 3.375 srews scrdi an noti of etip esY seY o/-N o/-N 3753. ngidoC com fore jk calS seY -/oN seY -o/N 75 rew 3.3 ans 54 0-6 c k k j -o/N j esY esY seY b 6252. s 0 0 0 esY seY seY Ye /-oN 6252. - - esY No/ No/ esY 1.5 esY No/- esY seY 5 0.7 esY esY -o/N esY 750. esY seY seY seY 0 no ) k c(s esti 63/ 62/ 61/ Qu ghtiew ybs ) j (be 32/ 31/ ocedures ghtie em W th pr or and or no age n pri, are onit esci onit onit ned s onit acti cour en oreriu hewepli oni otn esid of natimri theotdteac esc onsis onsiat el bo owng ope nc scdi servi ecid are gulre evl enganoit cyli redrese onali hav tshgire reqhcihw prit hatt unimmoc etipm poe oreif(s en non- ors oryat heyt,s teen good,s regul tem llewsa re sei petimoctcristreot petimoctcristreot rmfi ancs petimoctcristreot -6)(0 herwot ernatnti petimoctcristreot coh adtrh edvi gnie vedl ivatrph reatmt rmif esr to edvi ugo edvi ugo edvi ugo Discriminatory onsis onali guara .31 to rmficti sys esi het gn voni ngiat part requihcihw ord perce thr perce thr perce forfos reiof, esiti perce thr scoytr no provicifi nat es rel rytoal gn hesil are ress are ress are ces or are ress the dom reiof nsois ateblis pub th ces onitan red red red unoC atini pecs of asos, cesti cesti cesti cesti edures and edt be ac miir auy A2. im oniti onsiat e, have have acevitce etsrkamh have gn proc regucistem provicifi scdi pracs pracs pracs eff pracs scrid anys ogn gulre reifo resetni pecs oratlu nesi nesi nesi reg nesi ancs ha or forcotni ancs ancs entv ble ral ry ngiy appeal are een ry annermanici onitit bus rmifng bus rmifng bus pree sucot)del bus rol rmifng Ta Gene ountC recticipl hen donieblalai edtce ent ex appl betw W av aff There to publ ompeC hen hen hen W forei W forei W henc cont trh hguo hen W forei ublic Rep .15 0.1 lovakS andolP 4 13. 0.4 15UE 4 4. 0.1 D ECO .55 4.1 niaa 8 m 5.1 0.5 Ro ia ar 6 8. 0.2 Bulg 18%> 18% 56 <= 55 5% srewsna <=1 % of =12< ding sreir Co % 234 <=9 arb adetr %6=< ffsiraT % 01 <=3 ffi barriers tar adetr ) hted ige -60( se Tariffs.41 on-wit or scy duc pro A2. untroC ble agerevA Ta public Re esy on esy esy 60.1 ovaklS olandP sey no sey sey 0.00 5 U1E na na na na 0.18 DCEO na na na na 0.22 niaa omR esy esy esy esy 0.00 ia esy esy esy esy 0.00 Bulgar srewsna oN 6 6 6 6 jk 56 of er 0 0 0 0 sw odingC Yes an c kk n tne io ) k estuQ ights (c 2/5 4/15 2/9 1/9 we vestmni or to d the ult e an ition yna esr ogn thiw or e ing esr re or atei e teia edu adetr niz the oth ecR oprr quirer to ortces oc s equirr og or in pro equirr nallyo no h pr es appr e nati ers at Mutual hcihw ecrr ed app ur and hicws ide mrof and hcihw eas terni aticiift ativtr ivenestcirt barriy in d leasta e erc ionss onsc my per ent bleis inis ionss us bleiss ionisvo esr in) ovirp tos and pr ) er -6 engage RAs icif egulatorr msses pos ovirp tos po ds icif admy ever icif ev adetry (0 Regulator 15. ashy M( of as pecs ars se ytr ecps gulatorer andarts e tyi ents e m A2. ountrc ounc ar age or erhw,sei ecps gulatorer herw gulatorer es e ed any es e nec orcs ar age ar age y e our ntr e oniz un our m edur e our Table heT eemrgA other herT nfoc enc equivalenc of ouc herT oc enc har pr herT dio enc av ountrC