Migration and Mobility The European Context
Edited by Subrata Ghatak and Anne Showstack Sassoon
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Migration and Mobility The European Context
Edited by Subrata Ghatak and Anne Showstack Sassoon
Migration and Mobility
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Migration and Mobility The European Context Edited by
Subrata Ghatak Professor of Economics School of Economics Kingston University
and
Anne Showstack Sassoon Professor of Politics School of Social Science Kingston University
Editorial matter, selection and Introduction © Subrata Ghatak and Anne Showstack Sassoon 2001 Chapter 2 © Subrata Ghatak and Vincent Daly 2001 Remaining chapters © Palgrave Publishers Ltd 2001 All rights reserved. No reproduction, copy or transmission of this publication may be made without written permission. No paragraph of this publication may be reproduced, copied or transmitted save with written permission or in accordance with the provisions of the Copyright, Designs and Patents Act 1988, or under the terms of any licence permitting limited copying issued by the Copyright Licensing Agency, 90 Tottenham Court Road, London W1T 4LP. Any person who does any unauthorised act in relation to this publication may be liable to criminal prosecution and civil claims for damages. The authors have asserted their rights to be identified as the authors of this work in accordance with the Copyright, Designs and Patents Act 1988. First published 2001 by PALGRAVE Houndmills, Basingstoke, Hampshire RG21 6XS and 175 Fifth Avenue, New York, N. Y. 10010 Companies and representatives throughout the world PALGRAVE is the new global academic imprint of St. Martin’s Press LLC Scholarly and Reference Division and Palgrave Publishers Ltd (formerly Macmillan Press Ltd). ISBN 0–333–92036–8 This book is printed on paper suitable for recycling and made from fully managed and sustained forest sources. A catalogue record for this book is available from the British Library. Library of Congress Cataloging-in-Publication Data Migration and mobility : the European context / edited by Subrata Ghatak, Anne Showstack Sassoon. p. cm. Includes bibliographical references and index. ISBN 0–333–92036–8 1. Emigration and immigration. 2. Labor mobility. I. Ghatak, Subrata, (date) II. Sassoon, Anne Showstack. JV6032 .M53 2001 304.8’4—dc21 2001021726 10 10
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Printed and bound in Great Britain by Antony Rowe Ltd, Chippenham, Wiltshire
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Contents
List of Figures
vii
List of Tables
viii
Acknowledgements
ix
Notes on the Contributors
x
Introduction Subrata Ghatak and Anne Showstack Sassoon
1
1 The Age of Mass Migration: What We Can and Can’t Explain Tim Hatton
11
2 East–West European Migration: Questions and Some Answers Subrata Ghatak and Vince Daly
30
3 The Economic Impact of Labour Mobility in an Enlarged European Union Thomas Krichel and Paul Levine
49
4 Migration and Citizenship: Why Can Birds, Whales, Butterflies and Ants Cross International Frontiers More Easily than Cows, Dogs and Human Beings? Bob Sutcliffe 5 Civic Nationalism, Civic Nations and the Problem of Migration Philip Spencer 6 Political Asylum in Germany and Britain Liza Schuster 7 Freedom of Movement: the Common Travel Area between Ireland and Britain and the Treaty of Amsterdam Elizabeth Meehan 8 Gendering Migration: the Case of Southern Europe Floya Anthias v
66
83 109
124 146
vi Contents
9 Women’s Work and Contemporary Migration Flows Annie Phizacklea
168
Index
182
List of Figures 1.1 2.1 2.2 2.3 3.1 3.2 3.3 3.4 4.1 4.2
European migration, 1846–1920 Country of emigration Country of immigration Employment and real wage after migration Employment and output after migration with perfectly flexible wages Employment and output after migration with wage rigidity The socially optimal level of migration and Eastern wage flexibility η E The socially optimal level of migration and Eastern human capital HE The ratio of men to women in different migrant groups United States: Hispanic population as percentage of the resident population (1990 census)
vii
13 33 34 43 53 54 57 58 71 72
List of Tables 1.1 Gross emigration rates from European countries, 1850–1913 1.2 Italian gross emigration rates by compartimento, 1882 and 1912 3.1 Foreign nationals (nationals of Central and Eastern European countries) in thousands, in selected European OECD countries, latest available year 1996 3.2 Winners and losers under migration: static and dynamic aspects 4.1 Countries with estimated levels of emigration and immigration as a percentage of their population, c.1990
viii
15 21
50 62 74
Acknowledgements The editors would like to thank Karen Heath, Debbie Meridu-Camporeale, Valery Rose, Leigh Wigham and Leigh Wilson for their administrative and copy-editing assistance. They would also like to thank Oxford University Press and Jeff Williamson for permission to use material from T. J. Hatton and J. G. Williamson, The Age of Mass Migration: Causes and Economic Impact (New York: Oxford University Press, 1998).
ix
Notes on the Contributors Floya Anthias is Professor of Sociology and Head of Sociology at the University of Greenwich, London. She has published extensively in the area of ethnicity, gender, migration and Cypriots in Britain. Her published work includes two recent books, Into the Margins: Migration and Social Exclusion in Southern Europe (co-edited with G. Lazaridis, 1999) and Gender and Migration in Southern Europe (2000). Her latest book, The Social Division of Identity, will be published by Palgrave. She is currently writing a book on young Asians and Cypriots in Britain, and researching into exclusion and citizenship in relation to self-employment practices amongst women and minorities in Britain. Vince Daly is Head of the School of Economics at Kingston University and academic director of its M.Sc. course in Business and Economic Forecasting. Prior to this collaboration with Subrata Ghatak, his previous research and consultancy projects have been in the arena of applied economics. Subrata Ghatak is Research Professor of Economics and the Director of Graduate Research Studies in Economics at Kingston University in England. Before that he was Reader in Economics at Leicester University and Visiting Professor at the Universities of Florida (USA) and Guelph (Canada). He has also taught in London and Nottingham Universities and the University of East Anglia. He has acted as a consultant to many international agencies including the UN and the World Bank, and has written eight books and contributed numerous articles in leading international economic journals including Economic Journal, Journal of Public Economics, Oxford Bulletin of Economics and Statistics, Empirical Economics, Weltwirtschaftliches Archiv, Applied Economics, Journal of Development Studies, European Economic Research and Indian Economic Review. Tim Hatton is Professor of Economics at the University of Essex. He is the author of numerous articles on labour markets in history. His research includes the analysis of employment, unemployment, earnings and poverty using historical surveys of households and individuals. He has also worked extensively on the determinants and effects of international migration in the nineteenth century. He is co-author (with Jeffrey G. Williamson) of The Age of Mass Migration (1998). x
Notes on the Contributors
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Thomas Krichel is Lecturer in Economics at the University of Surrey. His early research examined theoretical and empirical issues arising from economic and monetary union in Europe. More recently he has been working on fiscal policy under endogenous growth. He has published in Economics Letters, Applied Economics, Journal of Regional Science, Economic Journal and others. He founded the NetEc project at http:// netec.mcc.ac.uk/NetEc.html in 1993, and since that time has been a leader in the implementation of the electronic communications research in the discipline. In 1997 he founded the RePEc project that aims to build a distributed relational literature system for the discipline. Paul Levine has been a Foundation Fund Professor of Economics at the University of Surrey since 1994. His general research area is in open economy macroeconomics with a particular focus on policy design, international policy coordination, growth and questions to do with credibility. Other research interests include the arms trade and regulation. He has numerous publications in leading economics journals including the Economic Journal, The Journal of Economic Theory, The European Economic Review, The Journal of Economic Dynamics and Control, The Journal of Monetary Economics and Oxford Economic Papers. He is co-author with Professor David Currie of Rules Reputation and Macroeconomic Policy Coordination. His other activities include Visiting Professor at the Regulation Initiative, London Business School, and Research Fellow at the Centre for Economic Policy Research. Elizabeth Meehan is Professor of Politics and Jean Monnet Professor of European Social Policy in the School of Politics at The Queen’s University of Belfast. Her research interests and publications cover women’s rights in the US, the UK, and the EU; citizenship in the EU and the UK; Northern Ireland and the EU; and British–Irish relations in the context of membership of the EU. Annie Phizacklea is Professor of Sociology at Warwick University; her current research interests are in migration, globalisation and gender. Her forthcoming book with Sallie Westwood, Trans-nationalism and the Politics of Belonging (2001) reflects these concerns. Anne Showstack Sassoon is Professor of Politics in the School of Social Science and the European Research Centre at Kingston University. She has taught in Canada, Denmark, Finland and Italy. Amongst her publications are Gramsci’s Politics; Women and the State, and most
xii Notes on the Contributors
recently Gramsci and Contemporary Politics: Beyond Pessimism of the Intellect (2000). Liza Schuster is T. H. Marshall Fellow, Sociology Department, London School of Economics. She completed her doctoral research, a comparison of British and German asylum policy and practice, at Southampton University in 1998. She has co-edited a special issue of the Journal of Refugee Studies, vol. 13, no. 1, to which she has contributed a comparative article considering asylum policy in seven European States. She is researching the factors, actors and dynamic processes that shape migration, citizenship and integration policies in Britain, France, Germany and Italy. Philip Spencer is Head of the School of Combined Studies and Associate Dean in the Faculty of Human Sciences at Kingston University, where he lectures on Russian and Eastern European Politics. He is working on a broad study of nationalism and national identity in collaboration with Howard Wollman of Napier University, Edinburgh, to be published by Palgrave. Bob Sutcliffe is a teacher of development economics who has worked in the UK, the USA, Nicaragua and Cuba. He now teaches at the University of the Basque Country in Bilbao and works with the development institute HEGOA.
Introduction Subrata Ghatak and Anne Showstack Sassoon
In the literature on migration, it has been said that international and internal migration has been a fact of life throughout the ages. People move, individually and collectively, for a variety of reasons that could be economic, social or political, or a combination of all of these. Although some may argue that economic reasons are the dominant causes behind internal and international migration decisions, there is no question that social and political factors also play a crucial role. The chapters in this book demonstrate that the causes and consequences of migration are so complex that they are best understood in an interdisciplinary framework. They bear testimony to the fact that decisions to migrate are based on many different types of socio-economic and political factors. As Tim Hatton writes, ‘the economic forces underlying mass migration have often taken a back seat to social, cultural and even political aspects’. In Chapter 1 (‘The Age of Migration: What We Can and Can’t Explain’), Hatton asserts the importance of economic and demographic forces in driving European migration in the period from 1850 to 1913. Drawing on earlier work he has done with Jeff Williamson and by using new data and methods, Hatton sheds additional light on the main economic causes driving mass migration. He analyses emigration rates by comparing migrants with non-migrants. He also isolates the systematic forces common to all by looking across countries. Further, his intertemporal analysis captures the effects of economic and demographic conditions. The conclusions confirm some of the existing findings and challenge others. Hatton shows with careful analysis of historical data that it was not until the mid-nineteenth century that mass migration really took hold, and that it did not become a flood until the 1880s: ‘The only 1
2 Subrata Ghatak and Anne Showstack Sassoon
comparable intercontinental migration has been that of black slaves from Africa to the Americas and the Caribbean’. Leaving aside cases of forced migration, falling transport costs, rising family resources, and the increasing attraction of the recipient countries led to voluntary mass migration from Europe, particularly by young adults. Clearly, labour market conditions at home and abroad played a significant role in driving migration. However, some moved to avoid religious and political persecution. Others were driven out by famine or by revolution. Nevertheless, rational economic decision making, counting carefully the costs and benefits, explained much of mass migration and its various features. Within different countries, regional variations in migration can be associated both with levels of economic development and with patterns of landholding and agricultural tenure. Hatton also argues that the issues related to the choice of destinations and return migration are underresearched areas in migration studies. In their chapter ‘East–West Migration: Questions and Some Answers’ (Chapter 2), Ghatak and Daly point out the differences in labour productivity and welfare measures in the operation of the labour markets in Eastern and Western European countries. Clearly, such differences could account for emigration from the East to the West. In theory, migration can be regarded as a major key to economic growth and development. They explain analytically the growth of an economy as a process of labour transfer from a low productivity to a high productivity sector/region. Such a transfer raises total output and real income of the whole society. Thus migration could be ‘welfare enhancing’. They examine different theories of migration, which consider the potential migrant as a supplier of labour ( ‘the labour-flow’ view) or as an investor in human capital (‘the human capital’ view). A third approach, which considers the migrant as a consumer of regional amenities such as public goods, is also analysed (‘the regional amenities’ view). Finally, they discuss the ‘household production approach’ that views the potential migrant as a producer of home-produced commodities. This view emphasises the role of gender where the wife/partner devotes all her time to household production. For a woman working for wages, the income lost from quitting the old place represents a cost of the move. If she is not at work, her migration cost is ‘psychic’. Further, an educated woman enhances the ability to raise household production. The value of her home production at the new location is the benefit of migration while the value of her home production at the old location is the cost of a move. Migration decisions are usually taken by households on the basis of destinations/locations that affect both the shadow prices of
Introduction
3
home-produced commodities and the full income of the family. The overall welfare gains from migration depend on the degree of labour mobility, nature and quality of labour, substitutability or complementarity between domestic and foreign labour and the degree of labour absorption in the labour market (given the labour ‘characteristics’). The net impact of migration will be dictated by the real wage flexibility in the recipient country. Inter alia, the greater the wage flexibility, the greater will be the welfare gain (measured by a rise in aggregate output). Two other issues also deserve special attention in future research: the issue related to gender and the impact of uncertainty on migration decisions, that is the option value of waiting since the cost of migration could be irreversible. The fall of the Iron Curtain in the late 1980s, the eastward expansion of European capital and the flow of political and economic refugees have simply highlighted the need for sober interdisciplinary research of the impact of migration in Western European countries. In their chapter ‘The Economic Impact of Labour Mobility in an Enlarged European Union’ (Chapter 3), Krichel and Levine discuss three important issues: 1 the economic effects on host and donor countries of migration from a less developed Eastern European bloc to a more developed Western European Union, both in terms of the levels and the rate of economic growth; 2 the possible need for migration controls; 3 the ultimate winners and losers from migration. Krichel and Levine are mainly concerned with the economic rather than the political or social impact of immigration. They use the standard Harris–Todaro (H–T) model of migration. It assumes that the migration decision is based on the maximisation of expected income in the light of the wage gap between Eastern and Western Europe and the probability of being unemployed. They point out that, within the European Union (EU), opening of borders has not yet led to mass migration. Within Europe, ethnic (mainly within Germany), regional and transit migration dominates labour mobility. They also argue that, in the original H–T model, urban wages are fixed, but rural wages are flexible. The potential migrant maximises her/his expected income taking into account the probability of being unemployed after migrating which, according to H–T, is one minus the unemployment rate. Urban unemployment provides the equilibrating mechanism to limit the flow of migrants. The
4 Subrata Ghatak and Anne Showstack Sassoon
H–T model predicts that the rate of migration rises as the wage gap rises and urban unemployment falls. However, they argue that, unlike the H–T model, within the whole of Europe, neither bloc is characterised by labour market clearing. Also, between Eastern and Western Europe there are vast differences in the physical and human capital. Drawing on Levine’s recent work, and assuming perfect wage flexibility, they calculate output gains and losses in the two different blocs of countries to measure overall welfare effect. In the absence of wage flexibility, welfare gains will be a lot smaller. Their calculations of winners and losers ignore the irreversibility of migration decisions and the option to wait. In the face of uncertainty and irreversibility in the private costs of migration, a potential migrant from the Eastern bloc will be far more conservative in her/ his decision to migrate. Note that the crucial parameter that determines the extent of welfare gains is the semi-elasticities of wages with respect to the unemployment rate. Finally, they assess the impact of migration on growth within the new endogenous growth theory and discuss whether regional migration increases or decreases income inequalities. The final welfare effects of migration can be divided into static effects from changes in wages and the terms of trade, and the dynamic effects from higher growth. The chapter by Sutcliffe (‘Migration and Citizenship: Why Can Birds, Whales, Butterflies and Ants Cross International Frontiers More Easily than Cows, Dogs and Human Beings?’) raises a number of interesting points. First, he highlights the fact that migration is frequently viewed as both exceptional and undesirable and therefore theories are produced in abundance to explain the phenomenon: ‘No one seems to think it is necessary to explain why people stay where they are.’ It is curious that the authors of human rights resolutions at the United Nations (UN) support some aspects of the freedom to move while remaining silent about others, for example the right to arrive in another country. Further, migration is treated as abnormal because it is generally assumed that everybody will want to stay in her/his own place. Sutcliffe complains that migration – a mechanism through which human beings, like birds, try to meet their needs, to better themselves – is too often deplored or ignored. Sutcliffe reminds us that while labour migration in the nineteenth and early twentieth century occurred between more developed parts of the world, migration after the Second World War mostly took place from the poor to the rich countries. A legal change in a number of countries like the USA and Australia during the 1960s tried to abolish a large element of racism in previous legislation and pave the way to
Introduction
5
a greater flow of migration from Asia and Africa. Thus the national and ethnic variety of present-day migration is striking and contrasts with that of the nineteenth century. He points out that since all governments restrict immigration, the number of potential migrants must be larger than the actual migrants. However, Sutcliffe reminds us that one of the things that restricts migration is poverty itself, as migration is costly. The relaxing of migration controls could reduce some of the costs. It is important to note that, unlike during the nineteenth century, none of the major countries of immigration are open. Moreover, in almost all such countries, political forces are at work to curtail immigration. He argues that the perpetuation of present migration regimes will undermine and devalue the citizenship of everyone, not just the people who migrate: ‘This is a fundamental contradiction of a world which advocates global liberalism except for its inhabitants’. The solution, Sutcliffe contends, lies in liberalising immigration laws and making it easier to acquire citizenship. Philip Spencer comes to a similar conclusion in his chapter ‘Civic Nationalism, Civic Nations and the Problem of Migration’. Citizenship, based on national frames of reference, defines those who are included and those who are excluded. Even when migrants are permitted to enter and to remain, their legal and social status is constrained if they are not citizens, and social exclusion can derive from their being defined as ‘other’ by nationalist discourses. Drawing on research on nationalism and national identity, Philip Spencer argues that the issue of migration cannot be understood with reference to the distinction that is often drawn between ‘civic’ and ‘ethnic’ forms of nationalism. Those nation states, such as France, which are often seen as models of a civic form of nationalism, may be as exclusionary as those, such as Germany, which are supposedly ethnic nation states. He examines the problematic intellectual origins of this distinction, which has historically been much less clear-cut than might appear, and suggests that the evolution of citizenship policies, for example in Britain or the United States, is more complex than much of the literature suggests. ‘This’, he writes, ‘has to do with the way in which the category of the national has taken precedence over that of the citizen’. Indeed, nationalism, of whatever kind, has continued to pose problems, he maintains, for arriving at just or rational solutions to the problem of migration. Despite recent promising attempts, informed by internationalist and cosmopolitan ideas, to put forward new transnational forms of citizenship as political and legal counterparts to trends towards globalisation, the continuing grip of nationalism at a number of levels should not be underestimated. At
6 Subrata Ghatak and Anne Showstack Sassoon
the same time, he points to ‘the need for and desirability of forms of citizenship no longer tied to or located in a national frame of reference’. By no means taking for granted that these forms will be developed, he indicates the possibility that ‘alternative ideological frameworks to nationalism, the mobilisation of internationalist movements and the development of alternative sources of authority’ may be able to ‘challenge the powers of nation states, civic or ethnic, to regulate migration and the nationalist assumptions which underpin such regulation’. No question more dramatically challenges processes of inclusion and exclusion, the boundaries of nation states, and the regulation of migration than that of political asylum. In her chapter ‘Political Asylum in Germany and Britain’, Liza Schuster compares the policies of two countries that appear very different to reach the conclusion that real dissimilarities in their political structures and geopolitical positions, which should not be underestimated, can mask current trends in policy and law which are in several respects leading to convergence. She discusses the way in which asylum seeking has been constructed as a problem concerning, for example, protection of welfare provision, since those who are granted asylum are owed particular obligations, and she criticises the racist nature of many of the lines of demarcation between those who are deemed acceptable and those who are not. ‘States’, she writes, ‘create refugees, both by driving them from their states of origin, but also by definition’. The need to be seen, as sovereign states, to be able to control their borders is not lessened by being restricted to those from outside the European Union. Comparing the positions of political parties and governments in the two countries with regard to changes in the law, in the context of growing popular disillusionment with the political process and the constraints imposed by democratic elections, she points out how the issue has been exploited to create scapegoats. ‘However vulnerable universal values have become, however often they are trumped by particular demands of the demos,’ she concludes, ‘they still have a significant role to play in ameliorating the worst effects of states’ narrow interests, because they act as a scale against which states’ behaviour can be measured’. Borders regulate migration, but in a differentiated way. There are examples of borders such as those within the European Union or those between the Nordic countries, which are relatively permeable for certain groups of people while also serving to exclude others. Countries within the EU have had different policies with regard to the lifting of border controls, not only for contemporary geopolitical reasons but because of long-standing pre-existing interstate relationships. Elizabeth Meehan’s
Introduction
7
chapter, ‘Freedom of Movement: The Common Travel Area between Ireland and Britain and the Treaty of Amsterdam’, examines Ireland’s choice to maintain the Common Travel Area (CTA) rather than at present to lift border controls by joining the Schengen Agreement. She goes on to consider different scenarios whereby Ireland might change its position. On the basis of a close examination of government documents from 1922 to the present, she disagrees with the view that the Common Travel Area is – or ever in fact was – a mark of neo-colonial dependency while also discussing how it could have been construed in this way. She says that the priority given to maintaining the Common Travel Area is significant for two strategic reasons. The first has to do with Northern Ireland, while the second concerns ‘the resilience of Ireland’s independence, both in terms of its historical relationship with the UK and its use of the EU as a means of escaping from that relationship’. Before considering the conditions which might lead to the current priorities being reconsidered, she analyses the history of the Common Travel Area, and what are known in EU parlance as ‘flanking measures’, from the points of view of the two governments, in its first phase, from 1922 through the early years of the Second World War, and then as it was re-established after the war. She argues that it is ‘a kind of precursor to the EU conception of free movement’ and that the ‘whole history of the scheme is characterised by valued administrative cooperation and mutual assistance’ despite controversy. Examining the reasons given for avoiding internal while maintaining external checks, she also traces changes in patterns of travel between the two countries, trends in trade, and the issue of asylum seekers and illegal immigration. She discusses the strategic significance of aspects of the Belfast Agreement as they may affect rethinking the CTA and the relationship of the two countries to each other and to Schengen. Elements of the Treaty of Amsterdam may, she argues, ‘encourage a reconsideration of how best to promote pragmatic interest which, in turn, might impinge upon ideological preconceptions’. The impact of belonging to the EU should not be underestimated in the relationship between the two countries as it ‘has provided the context for the maturing of Irish–British relations which has contributed so greatly to cooperation over Northern Ireland’. She concludes that it is in the context of a ‘relationship of interdependence, not dependence’ between the Irish and British governments in which ‘future discussion of common or divergent interests in the CTA’ will take place. This is likely to have an impact as well on future policy towards EU policy on border controls.
8 Subrata Ghatak and Anne Showstack Sassoon
A relatively recent development in the policies of most countries towards immigration concerns going beyond the assumption that it is men who migrate and women who follow their husbands. Yet legal changes to take gender out of the regulation of migration can serve to mask the different realities for men and women. Mainstream approaches to migration, from whatever theoretical perspective, as Floya Anthias argues, tend to be gender-blind. In her chapter ‘Gendering Migration: The Case of Southern Europe’, she maintains that women ‘have been particularly affected by transnational global processes and are an increasingly important component of new migrations, especially to Southern Europe’. Taking account of gender, however, is not just a question of focusing on women migrants, but of analysing gender processes and discourses within various communities as well as their effects on the identities of both men and women. Use of gender as an analytical category needs to avoid homogenising women, she writes, and also to consider the ‘diversity of experiences and positionings of men and women in the migration process’. Discussing a wide range of literature on transnationalism, globalisation and exclusion, she points out how ‘the European framework provides different instances of ethnic and racist practices’ while Southern Europe, traditionally an area which has exported migrants, is now receiving increasing numbers from outside the EU. She outlines trends towards diversity within this migration accompanied by its feminisation. ‘Women migrants’, she writes, ‘are more often than not a main source of family support and see their role in terms of a family strategy’. She examines the gendered work done by women migrants, including domestic service and in the entertainment industry linked to sexual services. She also points out the divisions which develop between different groups of women, as women migrants often free women in the receiving countries to take paid work outside the home. Yet, even when the work undertaken is deskilled compared to what they might have done before, she stresses that women migrants must be seen as active social agents rather than as victims of global processes. As with other chapters in this book, she sees the issue of citizenship as crucial in providing both legal guarantees and social protection. Undocumented workers, so many of them women, are particularly vulnerable because they ‘can be confined to the least desirable and lowest paid jobs within the large unregulated sector of many Southern European countries’. Economic exploitation goes hand in hand with racism, while the ‘European project’, she argues, ‘is dedicated to containing migrant populations as well as reducing the number of people that might eventually
Introduction
9
have to be recognised as having legal rights to some form of citizenship’. Questions of legal status, economic and social exploitation, and racist practices in host countries are also raised by Annie Phizacklea. Yet, in her chapter ‘Women’s Work and Contemporary Migration Flows’, she, too, refuses to view women migrants as victims but rather as active social agents. In so doing she shows the role of intermediary institutions in the migration of women. The recent growth of female migrants, particularly from parts of Asia and Central Europe, has coincided with the rising demand for labour in specifically female-dominated sectors such as domestic work and the ‘entertainment’ industries. The decision to migrate cannot, however, simply be explained in terms of the neo-classical theory of wage-gap or neo-Marxian theory of collective decision making by households. Women migrate for a variety of structural reasons, for example poverty, civil war, debt, patriarchal structures of the society, domestic violence and so on. Some may migrate to raise their standard of living. Hence, it is necessary to ‘combine accounts of structural context with situational, micro-level understandings in a gendered way’. Migration of women can be a primary source for labour exploitation and source of value. Since the concept of a ‘household’ can take different forms in different countries, it can never be a good unit of analysis. Thus, the role of social networks and institutions linking agents across time and space, she suggests, are an important focus of migration research. These social networks often involve friends, relatives and households. Migration occurs through these networks, as they reduce the costs and risks of migration and raise the expected returns. Many formal and informal institutions in developing countries have also aided the flow of female migration because it is regarded as ‘good business’. Thus, many institutional agents lure women from poor countries by offering them work as ‘domestic workers’ or waitresses in Western Europe, parts of the Middle East and North America. In reality, many migrant women end up in the sex industry of the more affluent countries. The demand for migrant women in the sex industry can be explained by the fact that they are cheap, available with few legal rights and more easily exploited. A variety of analytical approaches in the chapters in this book reveals both the complexity and the wider significance of an increasingly important phenomenon in Western European countries that links these societies to a wider world. Whatever the combination of reasons for migration, and however the discourse on it may be manipulated for political reasons, it remains a challenge for policy-makers, academic analysis and European societies. Tightening border controls and stricter
10 Subrata Ghatak and Anne Showstack Sassoon
welfare regimes in some host countries may constrain further the movements of human beings, but lower birth rates and other factors, in the context of complex demographic, social and economic realities, provide the possibility for the contribution of migrants to these self-same societies to be recognised and their needs placed alongside others on political agendas. Whether this in fact happens is open to question.
1 The Age of Mass Migration: What We Can and Can’t Explain Tim Hatton
Introduction International migration has been a fact of life throughout the ages. But it is mass migrations that have changed the course of history and that hold a special fascination for social scientists and historians. None more so than the migration from Europe to the land-abundant, labour-scarce regions of the New World during the nineteenth century. In the century after 1820 some 55 million Europeans sought a new life in another continent and this experience has spawned a large literature. This rich literature spans a wide range of different approaches to the fundamental questions of who migrated, when and, above all, why and with what effect. Studies vary in scope, period, time and place, but they have increasingly become focused on specific streams of migrants, the communities they left behind and those they entered. These studies have greatly enriched our understanding of the characteristics of migrants and their specific circumstances.1 But the economic forces underlying mass migration have often taken a back seat to social, cultural and even political aspects. Research at the micro level on the particular, and sometimes the peculiar, group or community has been purchased at the cost of the economic and demographic fundamentals that more anonymously, but just as surely, drove the migrant flow. In a recent book, The Age of Mass Migration: Causes and Economic Impact, Jeffrey Williamson and I have reasserted the importance of these economic and demographic forces in driving European emigration in the period from 1850 to 1913. By utilising new data sources and methods, we attempt to shed new light on the economic fundamentals driving mass migration. This chapter draws heavily on material from the first half of the book, the part that deals with the causes of mass migration. 2 11
12 Tim Hatton
Our approach is quantitative and comparative. By analysing emigration rates we compare migrants with non-migrants; by looking across countries and regions we can isolate the systematic forces common to all; and by looking over time we can assess the effects of changing economic and demographic conditions. What follows highlights some of the main findings of our study. The results confirm some of the existing findings and challenge others; in some cases we have only partial answers and in others new questions are raised. Such questions call for further analysis with better data and more sophisticated methods.
Who were the migrants? In the early part of the nineteenth century migration from Europe to the New World was a mere trickle compared with what came later. It was not until after the middle of the century that mass migration really took hold and not until the 1880s that it became a flood. The only comparable intercontinental migration had been that of black slaves from Africa to the Americas and the Caribbean. Indeed, it was not until the 1840s that annual (free) European migration to the Americas exceeded the (coerced) African migration, and it was not until the 1880s that the cumulative European migration exceeded the African (Eltis 1983). Some of the early migrants went as indentured servants as one way to secure a passage. Other forced migrants were transported in convict chains, particularly to Australia. Until well into the nineteenth century, the costs were too high relative to the perceived gains for many ‘free’ migrants. Declining costs of passage, increasing family resources, and the growing attractiveness of the destinations would change these conditions as the century progressed. European intercontinental emigration is plotted in Figure 1.1. In the first three decades after 1846, the figures averaged about 300 000 per annum; in the next two decades the figures more than doubled; and after the turn of the century, they rose to over a million per annum. The European sources also changed dramatically. In the first half of the century, the dominant emigration stream had its source in the British Isles, followed by Germany, and joined after 1870 by a rising tide of emigrants from Scandinavia and elsewhere in north-western Europe. European emigration took a sharp upward trend from the 1880s as emigration surged from southern and eastern Europe – indeed, these new streams accounted for most of the surge in the total. It came first from Italy and parts of Austria-Hungary, but, after the 1890s, it swelled to include Poland, Russia, Spain and Portugal.
The Age of Mass Migration
13
1600
Thousands per annum
1400 1200 1000 800
Total Europe
600 400 Southern and Eastern Europe
200
0 1846–50 1856–60 1866–70 1876–80 1886–901896–19001906–10 1916–20 Year (five-year average) Figure 1.1
European migration, 1846–1920
The emigrants in 1900 were certainly different from those in 1800. Early nineteenth-century migrant streams were often led by farmers and artisans from rural areas travelling in family groups, intending to acquire land and settle permanently at the New World’s frontier. In the late nineteenth century, while many still had rural roots, the emigrants from any given country were increasingly drawn from urban areas and non-agricultural occupations. By the middle of the century emigrants from Britain, a country that had already undergone a half-century of industrialisation, were mainly from non-farm occupations (Erickson 1990: 25; Cohn 1992: 385). This trend within countries was overwhelmed by the shift from old emigrant regions, the industrial leaders, to new emigrant regions, the industrial followers. Emigrants were also typically unskilled, partly reflecting skill levels in origin countries, but also because they were young and had limited schooling and training. By the late nineteenth century, emigrants were typically young adults. More than three-quarters of the immigrants entering the United States between 1868 and 1910 were aged 16 to 40 – at a time when 42 per cent of the US population was in this age group. The mover–stayer comparison was even more dramatic for the Old World: those aged 15 to 34 were only 35 per cent of the Irish population but over 80 per cent of the Irish emigrants. The migrant flow was also dominated by men: they accounted for nearly two-thirds of immigrants to the United States and
14 Tim Hatton
for more than three-quarters of the emigrants from southern European countries such as Spain and Italy. The ‘mass’ migrants tended to be single and emigrated as individuals rather than as family groups, although a significant minority were young couples with small children. In short, the migrants carried very low dependency burdens to the New World. These emigrant characteristics also reflect a deeper economic calculus. While the young and single might be more adventurous and enterprising, they also had most to gain from the move. By emigrating as young adults they were able to reap the gains over most of their working lives while minimising the cost of earnings foregone during passage and job search. And by moving as single adults, they were also able to minimise the direct costs of the move. Since emigrants were typically unskilled, they also had little technology- or country-specific human capital invested and hence stood to lose few of the rents from such acquired skills (except language). This characterisation reinforces the premise that labour market conditions at home and abroad were paramount to the migration decision and that most emigrants moved in expectation of a more prosperous future for themselves and their (future) children. While some moved to escape political or religious persecution, and others were driven by revolution or famine, most moved simply in the expectation of improving their economic status in the New World.
What accounts for cross-country differences in emigration? Various theories have been offered to explain patterns of emigration in the late nineteenth century. They draw on perspectives from economics, sociology, demography and geography. One typology divides these theories into four groups (Lowell 1987: ch. 2): structural change and response, which stresses economic modernisation and the demographic transition; economic, stressing the relative income incentive to migrate; innovation and diffusion, which stresses the spread of information through social networks; and rural ecology, which stresses change in the structure of landholding and in farming methods. Despite the contrary assumption often made in the literature, these ‘theories’ are not mutually exclusive: accepting one theory does not imply rejecting the others. One important stylised fact that such theories must explain is this: during the onset of modern economic growth in Europe, national emigration rates often rose, steeply at first from very low levels, rising more gradually to a peak and then gradually falling. This evolution, often seen as a multi-stage process, has sometimes been called the ‘mobility transition’ (Zelinsky 1971). Such patterns have been identified in studies
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of aggregate emigration rates from a number of countries (Akerman 1976; Hatton and Williamson 1998: ch. 3). There was certainly a wide variety of emigration rates from European countries in the late nineteenth century. Table 1.1 presents decade-average emigration rates for 12 European countries. The highest overall was from Ireland with an emigration rate of 12 per thousand population between 1850 and 1913. Countries such as Sweden and Norway had rates approaching 5 per thousand over the period from 1870 to 1913; the rates from Germany and Belgium were under 2 per thousand while for France it was close to zero. Furthermore, the long-run trends in emigration differed widely: from the 1860s rates of emigration declined in Ireland, and from the 1880s they declined in Germany and Norway. But almost at the same time emigration rates from Italy and Spain began a steep ascent which was halted only by the outbreak of war in Europe. There have been spasmodic attempts to explain these intercountry differences. Easterlin’s (1961) pioneering study stressed the effects of population growth spilling over into emigration while Tomaske (1971) found little effect of per capita income on cross-country emigration rates. But the further study of comparative emigration rates has been limited by lack of comparative data on some of the key explanatory variables,
Table 1.1 Gross emigration rates from European countries, 1850–1913 (emigrants per thousand population per annum, decade averages)
Belgium Denmark France Germany Great Britain Ireland Italy Netherlands Norway Portugal Spain Sweden
1850–9
1860–9
1870–9
1880–9
1890–9
1900–13
1.90 – – 1.80 4.83 18.99 – 0.50 – – – 0.51
2.22 – 0.12 1.61 2.47 15.16 – 1.67 – – – 2.52
2.03 1.97 0.16 1.35 3.87 11.28 4.29 2.66 4.33 2.91 – 2.96
2.18 3.74 0.29 2.91 5.71 16.04 6.09 4.06 10.16 3.79 3.91 8.25
1.96 2.60 0.18 1.18 3.92 9.70 8.65 4.62 4.56 5.04 4.63 5.32
2.32 2.80 0.15 0.43 7.08 7.93 17.97 5.36 7.15 5.67 6.70 2.93
Source: Hatton and Williamson (1998: 33). Notes: These figures are for gross emigration and were drawn largely from Ferenczi and Willcox (1929). Where possible, the figures include emigration to other countries within Europe. Data on return migration is somewhat limited, but it is possible to construct net emigration figures for a more limited set of country/decades.
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particularly wage rates, which are often thought to have influenced emigration. Our study of decade-average emigration rates for 12 Western European countries over the period 1850 to 1913 takes advantage of a new database of internationally comparable real wage rates for unskilled workers (Williamson 1995). The database includes the major emigrant-receiving countries and thus it allows us to construct the wage ratios between source and destination countries that are relevant to the migration decision. But these alone cannot explain much of the variation across countries and over time: they must be considered jointly with other variables. 3 Only then can the separate influences of each be identified. The other source country variables are: the rate of natural increase lagged 20 years; the share of the labour force in agriculture; the stock of previous emigrants living in destination countries; and the emigration rate lagged one decade. Although this is a limited set of fairly crude aggregate indicators, together they explain about two-thirds of the total variation between countries and across decades. Our results strongly support the hypothesis that relative wage rates were a key influence on emigration. They indicate that, on average, a rise in the relative real wage (destination to source country) raised the emigration rate in the long run by 1.27 per thousand – a significant effect. However our (inverse) measure of industrialisation, the share in agriculture, exhibits only a weak negative effect – suggesting that, on balance, agricultural populations were less mobile than urban/industrial populations. The effect of lagged natural increase strongly supports Easterlin’s view that the demographic transition drove emigration. Our estimate suggests that half of excess births were manifested in emigration 20 years later – a large effect indeed and one deserving further investigation. In particular, it is important to recognise that this was not the result of a labour force boom pushing down wage rates, since any such effects would be captured indirectly by the wage rate variable. Rather it was a direct demographic spillover into emigration. Both the stock of previous migrants and the lagged migration rate had a positive impact on the current decade’s emigration rate and these effects testify to the persistence in emigration streams that many observers have noted. The migration literature has often highlighted chain migration, sometimes called the ‘friends and relatives effect’, as an important influence. Once established, channels of migration perpetuated themselves through earlier migrants providing prepaid tickets for the passage, providing food and shelter to newly arrived friends and relatives and using social networks to gain access to job opportunities. Evidence from
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the United States suggests that as many as 90 per cent of immigrant arrivals at the turn of the century were travelling to meet a friend or relative who had previously emigrated. The migrant stock captures this effect and our estimate suggests that for each thousand previous emigrants a further 20 were ‘pulled’ abroad each year. Thus, the larger the stock of previous emigrants, the greater would be the flow and that flow would lead to further flows in a cumulative process. Can such estimates help us understand the ‘life cycle’ in emigration which was evident for a number of European countries? By aligning the decades of upswing and downswing for each country we can assess the forces at work in the stylised European emigration transition. Our simulation indicates that, in the upswing, the demographic effect made a growing contribution which, at its peak, contributed a rise of two per thousand to the emigration rate. Similarly, at the peak of the emigration life cycle, the falling share of the population in agriculture and the rising emigrant stock each contributed about one per thousand to the rise in emigration. But as real wages in Europe converged on those in the New World, the narrowing wage gap had a countervailing effect, offsetting the positive effects of the other variables by about two per thousand at the peak. Once the peak was passed, continuing real wage convergence overcame the declining effect of natural increase and the slackening influence of industrialisation and the migrant stock, producing a decline in the typical European emigration rate. The life cycle of emigration can largely be explained by the variables in our model, variables which capture relative wage effects, industrialisation, demographic forces and chain migration. It has sometimes been argued, however, that, at least in the early stages, potential emigrants were constrained by poverty from investing in emigration.4 As real incomes rose with economic development, more of those with the greatest incentives to escape poverty could actually afford the move. We found only limited evidence in favour of the poverty constraint. The real wage in the source country (as distinct from the real wage ratio) had only a weak positive effect. There are two possible reasons for this. First, our sample of (relatively affluent) Western European countries includes those where the poverty trap was least likely to be binding. The inclusion of more countries from Eastern Europe, the latecomers to mass migration, might produce stronger evidence of the poverty constraint. Second, emigration was well established in many of these countries so that the ‘friends and relatives effect’, by lowering the costs of emigration, served to attenuate the poverty trap. Thus the effect of the migrant stock may, in part, reflect the easing of the poverty trap. This helps
18 Tim Hatton
explain why emigration could be so high from a country like Ireland and so low (at least until the end of the nineteenth century) from, say, the south of Italy, an equally poor region. In the Irish case, the great famine of the 1840s effectively ejected a million Irish migrants who formed a substantial migrant stock, particularly in the United States. Thus even the poorest Irish migrant would have benefited from the release of the poverty constraint, and Irish emigration declined as conditions in Ireland gradually improved relative to those in destination countries. By contrast, in Italy the migrant stock was a powerful effect on the upswing of the emigration life cycle. Separate time series analysis for Ireland and Italy confirms that the wage gap effect was stronger in the former and the emigrant stock effect was stronger in the latter (see below).
Accounting for shocks and cycles in emigration Much of the quantitative literature on pre-First World War emigration concentrates on explaining the year-to-year fluctuations in emigration rates. Following the pioneering studies of Jerome (1926) and Thomas (1941), the literature has focused on whether ‘push’ or ‘pull’ forces were the most important determinants of the short-term fluctuations in emigration from a variety of countries. This debate has often been conducted in terms of the size and significance of regression coefficients on variables representing economic conditions in the source country versus those representing conditions in the destination. Using these criteria, the literature has reached no consensus: pull from abroad mattered in some studies while push at home mattered in others. A further issue has been whether it was variations in real wage rates or job opportunities (as represented by indices of production or employment) which mattered most. When both types of variable are included, the job opportunities variables often dominate – and especially job opportunities in the destination country. Much of this analysis was conducted in the 1970s and was critically reviewed by Gould (1979), who pointed to the lack of consistency in the results of different studies. Despite, or perhaps because of, this inconsistency the interest in modelling fluctuations in emigration subsequently waned. One problem with the existing studies of emigration is that they often lack a coherent economic model of the emigration decision, making the results difficult to interpret and evaluate. It is difficult to believe that migration decisions were made with reference only to conditions at home, or only to conditions abroad. Emigration decisions must have been based on some comparison, however approximate, between the
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two. Similarly, while cyclical conditions clearly mattered in the timing of migration, it is difficult to believe that wage rates did not matter, especially in the long run. For our analysis of variations in emigration we developed a model of the migration decision using a simple microeconomic framework. In this framework, potential migrants base their decision on the comparison of future expected income streams at home and abroad (based on past observations). Following Todaro (1969), expected income is the wage multiplied by the probability of employment. Because migrants are risk-averse, and because greater uncertainty attaches to the probability of employment than to the wage rate, the latter takes a larger ‘weight’ in the migration function.5 Our model provides a benchmark for the evaluation of the relationship among coefficients attached to different variables in an econometric model of emigration. Rather than test whether each is significantly different from zero, as the earlier studies did, we test the restrictions on their relative magnitudes suggested by the theory. Estimates on annual time series for gross emigration for the UK between 1870 and 1913 strongly support our theoretical priors. We find that wage rates and unemployment rates, both at home and abroad, all matter in the manner predicted. Thus a permanent 10 per cent rise in the foreign to home wage ratio had the effect of raising the emigration rate by 1.9 to 2.4 per thousand population – a result reassuringly similar to that obtained in the cross-country analysis. The effect of a 10 per cent rise in the foreign employment rate (for example a fall in the unemployment rate from 10 per cent to 1 per cent) raised the emigration rate in the long run by between 3.7 and 4.4 per thousand – larger than the effect of an equivalent wage increase and reflecting migrant risk aversion. Changes in the home employment rate had an effect similar to that of the home wage rate – a 10 per cent rise reduced emigration by about 2 per thousand. Finally, the migrant stock, which is also included in the model, had an even more powerful effect than in the cross-country analysis. 6 Can the results from time series be reconciled with the long-run forces identified across countries? Although unemployment or employment rates have powerful short-run effects, they are not trended in the long run and therefore do not drive long-run trends in emigration. However, wage ratios and the migrant stock do have important trend influences. Thus, for Ireland, using a similar model for emigration to that just described, we found that the 17 per cent fall in the (foreign to home) wage ratio between 1876 and 1880 and 1909 and 1913 accounted for 4 per thousand of the decline in the emigration rate.7 Over the same
20 Tim Hatton
period, the decline in the migrant stock contributed a similar amount to the overall decline in the emigration rate. It is more difficult to identify the direct demographic influences on emigration in annual time series because the effects are likely to be diffuse and easily obscured by the short-run volatility in emigration. However, we were able to identify the effect of natural increase lagged 25 years for the three Scandinavian countries. 8 Thus, for example, between 1895 and 1905 natural increase added to the emigration rate 1 per thousand in Sweden, 1.3 per thousand in Norway and 0.3 per thousand in Denmark. Hence the deeper-seated, longer-run forces can be identified, even in annual time series. Given the influence of trend forces in emigration, it is something of a puzzle that annual migration rates were so volatile. Emigration rates often increased or fell by a quarter or even a half in a year or two, only to recover again a few years later. In the time series models much of the volatility is explained by the cyclical employment variables and the equation dynamics. When these effects are excluded the profiles of emigration over time (predicted from simulation) are much smoother. For the Scandinavian countries, volatility is reduced by up to half when we abstract from these short-run influences. But this is itself a puzzle. Given that migration decisions were based on comparing future expected lifetime earning profiles, one might expect that short-run changes, quickly reversed, would have little effect. One reason for the surprising shortrun volatility is the option value of waiting. While it might be worth emigrating today even though unemployment was high in the destination, it would be better still to wait a year or two if conditions were expected to improve. Hence emigrants timed their moves in order to maximise the life cycle benefits overall.
Explaining local variations in emigration An important challenge to any theory of European emigration is whether it can explain differences in emigration rates between regions and localities within the same country. Since national emigration rates are simply an aggregation of local or regional rates, a convincing theory of emigration should be able to account for some of this variation. These differences were large – often larger than between countries. Table 1.2 illustrates the variations among the 16 Italian compartimenti for 1882 and 1912. In 1882 emigration rates varied from close to zero in Lazio to nearly 15 per thousand in Basilicata. These regional statistics hide even greater variations among the 69 provinces: emigration from the province of Belluno was as high as 46 per thousand in 1882. Similar
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Table 1.2 Italian gross emigration rates by compartimento, 1882 and 1912 (per thousand population) 1882
1912
Total Europe Intercontinental Total Europe Intercontinental Piedmont 12.29 Liguria 6.75 Lombardy 6.09 Veneto 12.79 Emilia 3.19 Tuscany 4.21 Marches 0.77 Umbria 0.05 Lazio 0.01 Abruzzi3.56 Molise Campania 4.82 Apulia 0.49 Basilicata 14.72 Calabria 8.29 Sicily 1.08 Sardinia 0.30 Italy 5.62
9.53 1.99 3.77 11.29 2.97 3.48 0.17 0.03 0.00 0.64
2.76 4.76 2.32 1.50 0.22 0.73 0.60 0.02 0.01 2.92
18.97 7.34 15.54 31.82 13.15 15.06 29.40 20.30 13.49 32.27
11.21 2.52 12.17 27.01 9.99 10.11 12.76 16.00 2.03 4.25
7.76 4.82 3.37 4.82 3.17 4.95 16.64 4.31 11.46 28.02
1.21 0.39 0.86 2.12 0.52 0.29 3.54
3.61 0.10 13.86 6.17 0.56 0.01 2.08
20.14 13.54 31.09 33.32 25.06 10.63 20.31
1.65 2.02 1.14 0.91 1.49 5.67 8.80
18.48 11.53 29.95 32.41 23.57 4.96 11.51
variations can be found in other countries. For example, in 1900/1 emigration from Portugal ranged from 0.1 per thousand in Evora to 19.3 per thousand for Ponta Delgada in the Azores. Despite such clear and obvious differences, there is little consensus about how they should be explained (Baines 1994). A number of studies have emphasised differences in the pattern of rural landholding as the key to such variations. For Norway and Sweden, Lowell (1987: 212–16) found that emigration was negatively related to local wage rates, but also positively related to the number of landless labourers and the share of land occupied by large estates. Similarly, for the East Elbian region of Germany in the mid-nineteenth century, it has been argued that the rise of large estates reduced the opportunities for smallholding, converted peasants to wage labourers, and boosted emigration (Walker 1964: 64). A number of studies have suggested that access to land, the availability of other rural employment opportunities and population growth all interacted to determine emigration. In north-west Germany, proto-industrial areas where cottage industry was interlocked with agriculture (especially seasonally) had higher rates of
22 Tim Hatton
natural increase than did other rural areas. They were also vulnerable to factory competition and thus had increasing difficulties absorbing young workers generated by booming birth rates two decades earlier. Thus ‘emigration was highest where there were many agriculturalists but little agriculture’ (Kamphoefner 1976: 182). Some observers have argued that other forces were paramount. In an important article John Gould (1980) argued for what he called the ‘innovation and diffusion’ approach. This suggests that emigration was often constrained in the early years by lack of information and knowledge about the opportunities for emigration. In the innovating areas (often on the coast), contacts with travellers and traders got a stream of emigration started. As knowledge of conditions in destination countries grew, emigration increased and began to spill over into neighbouring localities and regions. This process of diffusion gradually permeated all areas as information spread, so that emigration rates began to converge. The comparison for Italian compartimenti between 1882 and 1912 certainly demonstrates convergence in relative, if not in absolute, terms. At a more disaggregated level, the coefficient of variation in emigration rates among the 69 provinces fell from 1.57 in 1882 to 0.63 in 1912. 9 One difficulty with such a theory is that it is not easy to test since information is not easy to measure. Furthermore, convergence and persistence in emigration rates could be the result of convergence and persistence in underlying forces (other than information diffusion) which influenced emigration. In our study we analysed local emigration rates for two countries: Ireland and Italy (Hatton and Williamson 1998: chs 5 and 6). Looking at regions within a country allows a much richer set of explanatory variables to be used, chiefly from census sources, than is possible between countries. In our study of Ireland we analysed emigration rates from the 32 counties pooled across the four census years, 1881, 1891, 1901 and 1911. Natural increase (as reflected in family size) and foreign to local wage rates had effects qualitatively similar to those emerging from the cross-country analysis. But other, more subtle, influences also emerged. First, measures of poverty were strongly related to emigration rates: clearly the Irish were escaping poverty and were not constrained by the poverty trap. 10 Second, the proportion of the labour force in agriculture was positively related to emigration, as previous writers have suggested, but the proportion of landholdings less than five acres had a strong negative effect. This suggests that where there were opportunities to inherit (or acquire through marriage or other means) small plots of land, there was much less emigration. Third, we found that, contrary to some
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suggestions, the proportion of Catholics did not raise the emigration rates, but in fact had a small negative effect. While some have seen the oppression of Catholics as an important determinant of emigration, the high emigration rates from regions with the highest density of Catholics were a result of poverty and disadvantage, not of Catholicism per se. Italy represents a tougher test than Ireland for it is here that the innovation and diffusion effects might be expected to matter more. Our database for Italy consists of 69 provinces for the two years 1902 and 1912. Here, too, the effects of lagged natural increase and the foreign to local wage ratio had the expected effects although the latter was rather weak. But the wage index fails to capture the chronic underemployment in agriculture, particularly in the south. This is reflected in the fact that the share of the labour force in agriculture had a negative effect in the north of Italy but a positive effect on emigration from the south. Urbanisation and economic development both tended to reduce emigration, adding to the push from the south as compared to the north of Italy. The structure of landholding also proved to be important. The greater the proportion of owner-occupiers and sharecroppers among the agricultural labour force, the greater the emigration rate. This differs somewhat from the finding for Ireland where smallholdings seemed to induce potential migrants to stay (a point discussed further below). Finally, what of the spread of information and the innovation diffusion hypothesis? The fact that one can explain two-thirds of the (considerable) variation in local Italian emigration rates suggests that it was of marginal importance, at least by the turn of the century. Unfortunately it has not been possible to construct a comparable dataset for earlier years when the diffusion approach might be somewhat more compelling. Although the effects of information are not directly measurable, one corollary would seem to be that education and literacy, by mediating the flow of information, would influence emigration. Our results indicate that the proportion of adults who were literate (only 50 per cent in the south) had no significant effect on provincial emigration rates.11 Overall, the variations in provincial emigration rates can be explained fairly well by economic and demographic variables; it is the interpretation of those effects which is most open to debate.
Some awkward questions: destination choice and return migration Emigration streams from a given country were often dominated by one destination, for example, Scandinavian emigrants went almost exclusively
24 Tim Hatton
to the United States. 12 What determined the choice among alternative destinations is a relatively neglected topic. For emigrants from some regions, moving to another European country was one alternative. Emigrants from Belgium, Poland and northern Italy often took the option to move to a more prosperous neighbouring country. Emigration from Italy within Europe, principally to southern France, Germany and AustriaHungary declined with distance from the industrial centres of these countries, as is illustrated by the emigration rates by compartimento in Table 1.2. We estimated this gradient in our model of Italian provincial emigration and the result indicates that proximity to European industrial centres was important. For this reason alone, the region around Naples would have had an emigration rate 8 per thousand lower than the area around Milan. To some degree this was paralleled by a rising north–south gradient of intercontinental emigration, but it is far from clear to what degree these destinations were substitutes. More difficult still is explaining the choice between different overseas destinations. Given the economic calculus revealed in other aspects of emigrants’ decisions, it is difficult to believe that different destinations were not compared and treated as alternatives. Choice of destination within a receiving country, such as the United States, is associated with measures of regional income, as might have been expected, and especially with the stock of previous migrants to that state/region.13 But choice among countries involves additional factors such as cultural and linguistic affinity with the country of origin. Thus emigrants from Britain and Ireland chose from among the English-speaking British dominions and the United States. Emigrants from Italy, Spain and Portugal revealed much stronger preferences for South American countries such as Argentina and Brazil than did other emigrants from continental Europe. These preferences were sometimes reinforced by policy and/or prejudice towards immigrants in the receiving country – subsidies to some emigrants, restrictions on others. 14 In our analysis of Italian provincial data, we estimated the determinants of choice among three destinations: Argentina, Brazil and the United States. Relative wages across destinations had the expected effects (favouring the high-wage destination), but this substitution effect was relatively small. Choice among these destinations seems to be influenced more by ‘emigration traditions’ favouring one destination over another.15 As emigration from Italy grew so the prominence of the United States as a destination increased. But this shift occurred only gradually despite the substantial wage gaps favouring North America over South America. Much of the growth of emigration to the United States came from the
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southern part of Italy where emigration traditions to South America were weakest. Thus, when new streams of emigration arose, such as those from southern Italy at the turn of the century, economic advantage carried more weight. This effect overwhelmed what might seem to be the more obvious logic of destination choices by region. Thus migrants from the north of Italy continued to favour South America over North America despite their urban backgrounds, while the rural southern Italians migrated in increasing numbers to the urban United States.16 While most European emigrants were permanent settlers, there were mounting flows of return migrants. By the end of the century about a third of European migrants to the United States were returning, usually after a few years. Increasing destination wages relative to transport costs and falling transport costs contributed to the trend. But the upward trend in return migration owes most to the changing country composition of emigrants – particularly the growing share from southern Europe. 17 Many of these emigrants intended to return to their country of origin and to use their accumulated savings to marry and set up home, and often to start farms and businesses. In such cases the outward flows were more male-dominated than where permanent settlement was the goal. While return migration strategies are not well understood, one thing is clear: differences in rates of return migration are associated more with the country of origin than with the country of destination. Thus high rates of return migration among southern Europeans at the turn of the century applied equally to those emigrating to North and South America. Cultural differences may account for some of the cross-country differences in return migration. There may also have been vintage effects: countries which entered mass migration early did not develop such strong traditions of return migration. But such differences between countries have been little studied. What evidence there is suggests that family and social structure and patterns of landholding lay at the heart of return migration. The comparison between Ireland, where return migration was relatively unusual, and Italy, where it was common, is instructive. In our analysis of county emigration rates from Ireland, we found that where smallholdings predominated there was less emigration. By contrast, in Italy, small ownership and sharecropping was associated with high emigration – particularly to the United States. This is consistent with the view that, for Italians, emigration was more often seen as a means of acquiring or accumulating land or property (see Cinel 1991). This emigration, particularly to the United States, can be seen as part of a strategy which involved migration and remigration, often by several family members, rather than as the product of
26 Tim Hatton
overoptimistic expectations followed by disillusionment with life in the New World. But why these strategies differed across time and place is still not fully understood.
Conclusion International migration was one aspect of the growing globalisation of the world economy in the late nineteenth century. Its contours and characteristics have been widely studied and it has given rise to a large literature. In The Age of Mass Migration we elaborate on the economic and demographic causes of this surge of migrants to the New World. The results of our analysis demonstrate that rational economic decision making lay at the heart of mass migration and can explain many of its features. Variations over time and between countries can be explained, at least to a first approximation, by the economic environment in which such decisions were taken. Within individual countries, regional variations can be linked both with indicators of economic development and with patterns of landholding and agricultural tenure. But there remain questions about precisely how and why these translated into different emigration intensities within and between countries. Patterns of destination choice and return migration remain the least well understood aspects of the global integration of labour markets. Deeper insight awaits further study of life cycle decision making in the context of different patterns of demographic change, family and social structure, and asset accumulation.
Acknowledgements This paper originated as a presentation given at the conference on ‘Migration and Mobility: The European Context’ at Kingston University on 26–7 April 1999. It is based almost entirely on material from Hatton and Williamson (1998). I am grateful to Jeff Williamson for allowing me to reproduce the results of our joint work. Any errors of interpretation are mine alone.
Notes 1. The most useful and readily accessible short survey is that of Baines (1991). The volume edited by Vecoli and Sinke (1991) contains a number of valuable country studies in the social history tradition.
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2. Specifically, this chapter summarises the findings of Chapters 2–6 of the book. The economic impact of mass migration on source and destination countries, the other major focus of our research, deserves separate treatment and is reserved for another occasion. 3. The correlation coefficient between the emigration rates in Table 1.1 and the relevant decade-average real wage ratio is –0.20. The correlation with net emigration rates (where these can be calculated) is somewhat higher, at −0.39. 4. See, for example, Faini and Venturini (1994) for evidence for Italy. 5. The model is derived from a logarithmic utility function and assumes that future expected values of the wage and of employment probabilities are related with geometric lags to past values in an adaptive process. This gives the following model for migration (see Hatton and Williamson 1998: 61–3 for the full derivation): Where m is the emigration rate, w denotes wage rates and e, employment rates abroad (f) and at home (h). The terms in the lower line of the equation (with parameters ε) are the costs ofmigration as reflected by the migrant stock (MST) and a time trend for falling transport costs. The last term is the lagged dependent variable arising from the adaptive expectations process with parameter λ. In the upper line of the equation, the fraction 3/2 reflects the greater weight given to the empolyment terms as a result of employment uncertainty (arising from the concavity of the utility function). The coefficient γ allows for lower uncertainty to attach to home employment as compared with abroad. Thus it could range between 1 (equal uncertainty with abroad) and 2/3 (no uncertainty). Further dynamics are added to the estimating question to reflect the option value of waiting. See Hatton (1995). 6. The long-run effect of an increase of 1000 in the migrant stock is to draw a further 80–90 migrants abroad each year. This is much larger than the effect obtained from cross-country estimation and is probably the result of using annual rather than decade-average data. 7. Between 1876 and 1880 and 1909 and 1913 the migrant stock abroad relative to home population fell from 59 per cent to 49 per cent. This may seem surprising in light of the high rates of emigration and falling home population. It reflects the diminishing contribution to the migrant stock of the famine and post-famine cohorts of emigrants as well as the subsequent decline in emigration due to improvements in Irish living standards (see O’Rourke 1995). 8. The studies of Quigley (1972) and Larsen (1982) also find some evidence of a demographic ‘push’ in the context of time series for Sweden and Denmark respectively. 9. Baines (1994: 532) has argued that convergence was not universal among regional emigration rates in different continental European countries. Clearly, in some countries where emigration was relatively well established, the information diffusion hypothesis would have less force. Thus, across the 32 Irish countries, the coefficient in emigration rose from 0.31 in 1881 to 0.71 in 1901, falling back to 0.41 in 1911. 10. The measures of poverty used are the proportion of hte county population in receipt of poor relief and the proportion of housed classified as third and fourth class (generally one-roomed cabins).
28 Tim Hatton 11. It might be argued that literacy would also have another effect in the opposite direction: those with more country-specific capital would be less likely to emigrate. In fact, no positive effect of literacy on emigration emerged in our study of Ireland – a country where information effects were unimportant. 12. Between 1870 and 1913, 90 per cent of Danish, 97 per cent of Swedish and 98 per cent of Norwegian intercontinental emigrants went to the United States. 13. The most useful study, which analyses the intended destinations of immigrants arriving at Ellis Island at the turn of the century, remains that of Dunleavy and Germany (1978). 14. Thus, for example, subsidised passages were offered to British immigrants to Australia and to (northern) Italian immigrants to the state of São Paolo (Brazil). Non-British emigrants to Australia were discouraged until after 1945 under the so-called ‘White Australia policy’. 15. This term has been used by Kero (1991) in the context of emigration from Finland. 16. This apparent anomaly has attracted the attention of historians – see Baily (1983) and Klein (1983). 17. Baines (1994: 535) has argued that the differences between ‘old’ and ‘new’ emigrant countries is not as sharp as sometimes believed. To some extent the rates of return migration depend on the methods of measurement. But the evidence from the United States in the few years before 1913 suggests that there was still a higher propensity to return among recent immigrants from southern Europe than among those from the countries of north-west Europe who were more likely to settle permanently.
References Akerman, S. (1976) ‘Theories and Methods of Migration Research’, in H. Rundblom and H. Norman (eds), From Sweden to America: A History of the Migration (Minneapolis: University of Minnesota Press). Baily, S. L. (1983) ‘Italian Immigrants in Buenos Aires and New York’, American Historical Review, 88: 281–305. Baines, D. (1991) Emigration from Europe, 1815–1930 (Basingstoke: Macmillan). Baines, D. (1994) ‘European Emigration, 1815–1930: Looking at the Emigration Decision Again’, Economic History Review, 47: 525–44. Cinel, D. (1991) The National Integration of Italian Return Migration, 1870–1929 (Cambridge: Cambridge University Press). Cohn, R. L. (1992) ‘The Occupations of English Immigrants to the United States, 1836–1853’, Journal of Economic History, 44: 289–300. Dunleavy, J. A. and Gemery, H. A. (1978) ‘Economic Opportunity and the Responses of Old and New Immigrants in the United States’, Journal of Economic History, 38: 901–17. Easterlin, R. (1961) ‘Influences in European Overseas Migration before World War I’, Economic Development and Cultural Change, 9: 33–51. Eltis, D. (1983) ‘Free and Coerced Transatlantic Migrations: Some Comparisons’, American Historical Review, 88: 251–80.
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Erickson, C. (1990) ‘Emigration to the U.S.A. from the British Isles in 1841: Who were the English Emigrants?’, Population Studies, 44: 21–40. Faini, R. and Venturini, A. (1994) ‘Italian Emigration in the pre-War Period’, in T. J. Hatton and J. G. Williamson (eds), Migration and the International Labor Market, 1850–1913 (London: Routledge). Ferenczi, I. and Willcox, W. F. (1929) International Migrations (New York: National Bureau of Economic Research). Gould, J. D. (1979) ‘European Intercontinental Emigration: Patterns and Causes’, Journal of European Economic History, 8: 593–679. Gould, J. D. (1980) ‘European Inter-continental Emigration: The Role of “Diffusion” and “Feedback” ’, Journal of European Economic History, 9: 267–315. Hatton, T. J. (1995) ‘A Model of UK Emigration, 1870–1913’, Review of Economics and Statistics, 77: 407–15. Hatton, T. J. and Williamson, J. G. (1998) The Age of Mass Migration: Causes and Economic Impact (New York: Oxford University Press). Jerome, H. (1926) Migration and Business Cycles (New York: National Bureau of Economic Research). Kamphoefner, W. D. (1976) ‘At the Crossroads of Economic Development: Background Factors Affecting Emigration from Nineteenth Century Germany’, in I. A. Glazier and L. De Rosa (eds), Migration Across Time and Nations (New York: Holmes and Meier). Kero, R. (1991) ‘Migration Traditions from Finland to North America’, in R. J. Vecoli and S. Sinke (eds), A Century of European Migrations, 1830–1930 (Urbana, Ill: University of Illinois Press). Klein, H. S. (1983) ‘The Integration of Italian Immigrants into the United States and Argentina: A Comparative Analysis’, American Historical Review, 88: 306–29. Larsen, U. M. (1982) ‘A Quantitative Study of Emigration from Denmark to the United States, 1870–1913’, Scandinavian Economic History Review, 30: 101–28. Lowell, B. L. (1987) Scandinavian Exodus: Demography and Social Development of 19th Century Rural Communities (Boulder, Col.: Westview Press). O’Rourke, K. (1995) ‘Emigration and Living Standards in Ireland since the Famine’, Journal of Population Economics, 8: 407–21. Quigley, J. M. (1972) ‘An Economic Model of Swedish Emigration’, Quarterly Journal of Economics, 86: 111–26. Thomas, D. S. (1941) Social and Economic Aspects of Swedish Population Movements (New York: Macmillan). Todaro, M. P. (1969) ‘A Model of Labor Migration and Urban Unemployment in Less Developed Countries’, American Economic Review, 59: 138–48. Tomaske, J. A. (1971) ‘The Determinants of Intercountry Differences in European Emigration, 1881–1900’, Journal of Economic History, 31: 840–53. Vecoli, R. J. and Sinke, S. M. (1991) A Century of European Migrations, 1830–1930 (Urbana, Ill.: University of Illinois Press). Walker, M. (1964) Germany and the Emigration, 1816–1885 (Cambridge, Mass.: Harvard University Press). Williamson, J. G. (1995) ‘The Evolution of Global Labor Markets since 1830: Background Evidence and Hypotheses’, Explorations in Economic History, 32: 141–96. Zelinsky, W. (1971) ‘The Hypothesis of the Mobility Transition’, Geographical Review, 61: 219–49.
2 East–West European Migration: Questions and Some Answers Subrata Ghatak and Vince Daly
Introduction The economics of migration has demonstrated that there are significant differences between labour markets and real wages in West (WEU) and East European (EEU) union countries (see Ghatak et al., 1996; Hatton and Williamson 1998; OECD, 1997). For instance, social welfare measures providing unemployment, insurance, pension rights and other income support benefits are now much less in the EEU in comparison with the WEU countries. Such differences in labour welfare measures can lead to major behavioural differences in the operations of labour markets. Unemployment may be disguised in the EEU as the marginal (extra) productivity of many jobs (for example, in agriculture and the service sector) may be zero or close to zero. Note that such ‘disguised unemployment’ is not welfare enhancing in the aggregate as observed employment contributes little to the aggregate output or real income. Second, labour markets in the whole of Europe are marked by substantial differences in real wages and incomes. Of major importance are questions regarding the sources of these differences in real wages. One obvious source is difference in labour productivity. But there are other unanswered questions. Are these real wage differences the product of high competitive market forces? To what extent has the price/wage-setting behaviour of large firms or governments contributed to such differences? Each probability underlines a different set of policy prescriptions. Most of the writings on migration, including the seminal contribution of Harris and Todaro (1970) and Todaro (1969), focus on the real wage differences as the main motor behind labour migration. A related feature of European labour markets is the contrast in techniques of production. Even within the EEU countries, some sectors use highly 30
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31
capital-intensive techniques while others use quite backward technologies. Clearly, the existence of such a phenomenon highlights the need for a debate concerning the choice of appropriate technology for EEU economies (see Sen 1964). It also poses the question as to whether the EEU workers in low technology sectors will migrate between technologies or between countries. Finally, a major feature of some EEU countries is relatively low levels of education in comparison with WEU countries, particularly in the field of market economics, business, law and advanced science. Given the relative scarcity of ‘human capital’, one should expect high rates of return to agents for investment in human capital. These high rates of return do not seem to exist, for example, in Poland – an EEU country which is supposed to poorly reward its highly educated manpower. For this reason, the question naturally arises: what is the correlation between education and migration? While many have focused on the macro-economic issues like real wage differences, the probability of finding a job, real wage flexibility and benefit payments, the main motivation of writing this chapter is to emphasise the microcharacteristics of immigrants, labour market behaviour (prompted by economic, political and sociological forces within the host countries) in the light of the enlargement of the Western European Union and its possible eastward expansion with the fall of the Iron Curtain. The other motivation lies in emphasising the need for undertaking interdisciplinary research to enhance our understanding of the welfare impact of migration within a larger European Union (EU). The rest of the chapter is organised as follows. Section 2 outlines the policy debate in Europe and asks some basic questions. Section 3 summarises the economic theories of migration and welfare. In section 4, we describe the need for developing a microbased, interdisciplinary approach to understand and evaluate the costs and benefits of migration. The final section concludes by setting out a future research agenda for analysis of the causes and consequences of European migration.
European migration: the policy debate A number of factors contributed to the current policy debate on East– West European migration. For instance: 1 The enlargement of the Western European Union and the subsequent relaxation of internal border controls to allow free mobility of labour within Europe.
32 Subrata Ghatak and Vince Daly
2 The eastward expansion of the European Union with the possibility of full membership of Poland, Hungary and the Czech Republic of the EEU within the next decade. 3 The declining and ageing population in Europe. The migration policy debate has received additional attention with the rise of neo-Nazi movements in some Western European countries, particularly in France and Germany. Some of the major questions asked in this context are as follows: (a) (b) (c) (d)
Who are the migrants and do they rob our jobs and lower our wages? What will be the size of the flows? Do immigrants live off our social security systems? How do we measure the welfare of the ‘donor’ and ‘recipient’ countries? (e) How well do immigrants perform in the recipient country? (f) How does the process of ‘social assimilation’ or ‘exclusion’ take place? (g) How does the political system help or hinder the welfare of the immigrants and the host country? (h) How do we analyse the problem of ‘illegal’ immigration and political asylum and refugees and can we explain return migration? (i) To what extent is migration a gendered issue? Many researchers have contributed to the different aspects of the debate. But, so far, few have tried to investigate the issues in migration from a broad sociopolitical and economic angle. In what follows, we will first discuss the economics of migration and welfare and then draw attention to some of its limitations.
Economics of migration and welfare In dualistic theories of economic growth and development (Lewis 1954; Ghatak 1995), migration is regarded as a key to economic growth. Economic growth is explained as a process where labour is transferred from a low productivity to a high productivity sector, thereby increasing total output and real income of the whole society. Thus, labour migration is regarded as a welfare-enhancing mechanism (see Figure 2.1). The gains from factor mobility (for example, labour) within an enlarged EU can be shown with Figure 2.1. Assume factors are homogeneous and the initial availability of the factor Qa in country A and Q b in country B.
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Price
P*
MPA PA
Quantity
Q *A Figure 2.1
QA
Country of emigration
The total supply of, say, labour, is Q A + Q B which is fixed. The gain from employment of an additional unit of factor (i.e., MPL) varies with the quantity of labour, Q. This relationship is shown for countries A and B respectively by MPA (see Figure 2.1) and MPB (see Figure 2.2). Without factor – that is, labour – mobility between A and B countries, the MPL in country A is PA (employing Q A); in B, the MPL is higher and thus PB > PA. In country B, employment is Q B. If a unit of labour moves from A to B, its MPL would rise from PA to PB. Thus, it is incentive compatible for a factor to move from A to B until MP in the two countries is equalised at P*C. Here, a quantity (Q A − Q*A) in Figure 2.1 (equal to Q*B − Q B in Figure 2.2) has moved to country B, raising factor supply in B from Q B to Q* B. The total gain from factor mobility is shown by the difference in MP for each unit of the factor, aggregated for all units moving to country B. This is shown in Figure 2.2 by the shaded area ≡ ½ (PB − PA ) (Q*B − Q B). East–West European migration: some ‘stylised facts’ Interestingly enough, East–West European migration was a major feature of labour mobility in the nineteenth and the first half of the twentieth centuries (Hatton and Williamson 1998). Such migration occurred in the following stages:
34 Subrata Ghatak and Vince Daly
Price
PB P*
MPB PA
Quantity
QB Figure 2.2
Q *B Country of immigration
1 In stage one, two different types of migration occurred: (a) European mass migration to the New World, particularly to the USA and Canada; (b) massive internal migration from the rural to the major urban areas in search of better life. 2 The next East–West migration within Europe was the direct consequence of the Second World War. The treaties of Yalta and Potsdam led to the uprooting of many Germans, Poles and many Eastern European people. The Cold War and the Iron Curtain halted most of the East–West migration. Even so, about 13.3 million people migrated from the East to the West (Fassman and Munz 1994). More than 75 per cent of such migration between 1950 and 1993 can be classified as ‘ethnic migration’. 3 The fall of the Iron Curtain led to a significant rise in East–West migration. Besides this, political and war refugees migrated from former Yugoslavia (see also Chapter 3 of this book). Migration Explaining rural to urban labour migration and evaluating its consequences are important for understanding economic development. Urbanisation certainly seems to be a concomitant of economic growth.
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The countries with higher per capita income also have larger proportions of their population residing in urban areas. For the most part, this urbanisation has been viewed as desirable. For example, in dualistic theories of growth and development, migration is seen as a key to economic growth. Development is seen as a process where labour is transferred from a low productivity, rural sector to a high productivity, urban sector thereby increasing output as a whole. This view is strikingly illustrated in the dualistic growth models. The views of migration which are most consistent with dualistic models view the potential migrant either as a supplier of labour or as an investor in human capital. These two views and the research which they have generated will be outlined in this section. A third approach which views the migrant as a consumer of regional amenities such as public goods will also be sketched. Finally, a new approach which views the potential migrant as a producer of home-produced commodities will be outlined. These four views will be classified ‘the labour-flow’ view, ‘the human capital’ view, ‘the regional amenities’ view and ‘the household production’ view respectively. The labour-flow view In labour-flow models, migration is viewed as being labour’s response to regional labour market disequilibrium. To illustrate this adjustment process, consider a simple production function with two inputs, labour and capital. Furthermore, assume each input is paid its marginal product. Let MPL and MPK be the marginal products of labour and capital in a region where labour is relatively abundant and let MPL′ and MPK′ be the marginal products for labour-scarce regions. Assuming normal inputs, where the marginal product of a factor is positively related to the quantity of the other factor employed, MPL < MPL′ and MPK > MPK′. If only real returns are important, equilibrium exists when factors of production receive the same real return in each region (that is, when MPL = MPL′ and MPK = MPK′). This equilibrium will be achieved because factors, both capital and labour, will flow to the region where they have the greatest return. As labour flows to the high-wage region, MPL′ will fall (and MPK′ rise) due to the increased supply of workers in the high-wage region. Similarly, MPL will rise (and MPK fall) with the reduction of workers in the low-wage region. Capital should, of course, flow in the opposite direction to labour, reinforcing these changes in factor prices. This adjustment will continue until real regional wage differentials are entirely explained by regional wage and capital rigidities and the resulting unemployment or by moving costs.
36 Subrata Ghatak and Vince Daly
In dualistic development theories, the labour-flow model, in its simplest form, can be stated as M = â(w − s), â > 0,
(1)
where M represents net rural to urban migration, w is the real urban wage rate, s is the real rural wage rate (typically assumed to be at subsistence), and â is a scalar which represents imperfect information, moving costs and artificial barriers which restrict the speed of adjustment. If w falls as the size of the urban labour force rises (that is, if labour and capital are substitutes and if the labour force grows more rapidly than the capital stock) then migration will fall through time as the urban–rural real wage differential narrows. Indeed, the eventual narrowing of real wage differentials is a major prediction of the model. The apparent failure of real wages to narrow has generated much empirical research and several innovations. It is important to properly define the real wage rates in the model. In general, it is thought that the costs of living are higher in urban areas than in rural areas. Hence, nominal wage rates are expected to be higher in cities. In terms of equation (1), M = 0 when w = s. Since w and s are real wage rates, the nominal wage rate in equilibrium (that is, when w = s) is higher in the urban area. These wage rates should of course be made occupation- or skill-specific in order to obtain the relevant comparison. One influential view of why real regional wage rates may not converge was stated by Myrdal (1957). Regional differences in skill or education may be self-perpetuating because higher-skilled and better-educated individuals are the most likely to migrate out of depressed regions. If this education is largely paid for by those living in the depressed region, the exodus of the most skilled persons will further impoverish the region, resulting in higher out-migration in the future. Myrdal presented this drain of skilled persons as an example of a vicious cycle. Another explanation for the failure of urban–rural real wage differentials to narrow concentrates on employment differentials that can occur when labour markets fail to function perfectly. Union or government restrictions on hiring, restrictive land tenure laws, discrimination and high wage policies of governments, private employers or unions may be a cause of such failure. In early dualistic models it was assumed that there is no unemployment in the urban sector and no observed unemployment in the rural sector. Rural workers simply shared jobs and could be transferred to the urban sector without cost. Later models introduce urban unemployment. Potential migrants must look not only at the wage rate they would earn if employed but must also look at the probability they
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will be employed. In the Harris–Todaro model, the probability a potential migrant will be unemployed is assumed to be the proportion of urban workers who are currently unemployed. This assumption allows equation (1) to be rewritten as M = â(δ w − s),
(2)
where δ = 1 − u, and u is the unemployment rate. Hence, δ is the employment rate and δw is real expected urban wage income. This simple equation (2) has many implications for trade theory and public finance as well as for labour economics. For the moment, consider the implications of equation (2) for regional wage differentials. If δw − s > 0, labour will flow into the urban area, lowering δw. Note that it is not necessary that wage rates be flexible in order for δw to fall. The equilibrating mechanism might be a rise in unemployment. δw will continue to fall until δ w = s. Hence, migration may not necessarily cause regional wage differentials to narrow. Another notable feature of the model is that job creation may increase both the number of unemployed workers and the rate of unemployment. Suppose the labour market is initially in equilibrium, in the sense that δw = s with w and s fixed. The creation of urban jobs will initially increase δ, resulting in more rural to urban migration in response to the increased probability of employment. Equilibrium is restored when rural workers move to the urban area for each job created. The unemployment rate in the urban market returns to its former level with both more urban workers and more rural workers unemployed. However, the unemployment rate in the economy as a whole rises because the high unemployment urban sector increases in relative importance in the economy. The Harris–Todaro model suggests two ways of lowering unemployment rates. Urban jobs could be made less attractive or rural jobs could be made more attractive. For example, a fall in the urban wage rate would make urban jobs less attractive. A fall in w would reduce δw and workers would leave the urban area. Consequently, δ would rise (unemployment would fall) offsetting the fall in w. Similarly, a rise in traditional, rural income, s, would lead to an increase in δ as urban workers moved to the rural area. If a decline in w is thought to be undesirable, policy could be directed at improving the traditional, rural economy as the best way of reducing urban unemployment. The Harris–Todaro migration model, like the labour-flow model from which it is derived, views migration in a narrow context where net migration occurs as a response to opportunities to earn higher income.
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The model is an aggregate model where aggregate migration responds to regional variables. It does not directly address the question of why some persons move and others stay. The next model to be discussed does address the question of who moves. Migration is viewed as an investment decision. Investment costs involve returns over time. These costs might properly be thought of as including a period of job search in the urban area. Recent migrants may be much more likely to be unemployed than established residents. Hence, unemployment, and the resulting temporary loss in income, might be better viewed as investment required to earn higher future income. The migrant might, then, be properly viewed as an investor in human capital and not simply as a supplier of labour. The human capital view In the human capital view of migration, migration is viewed as an investment decision like any other investment decision. Costs are incurred in anticipation of future gains. Central to the investment decision is the identification of the costs and returns from migration. Here it is argued that persons or families look at the net present value ( V ) of a move. Net present value is given by n
V =
∑ ( yt – δ ) ⁄ ( 1 + r )
t
–C
(3)
t=1
where yt = δ t w is urban income, r is the rate of time discount, and C is the cost of moving. Note that in equation (3) the costs of moving are assumed to occur before the move. The wage rates are assumed to be constant. However, expected income is different for each year because the probability of unemployment is assumed to depend upon time. Note that if δt is constant and if C = 0, then the model collapses to the labourflow model in equation (2). The expected duration of the initial job search and not the average regional unemployment rate becomes the crucial unemployment variable. Equation (3) suggests that migration is discouraged by high costs of funding a move. Also, the use of V begs the question of access to borrowing/lending institutions (Ghatak and Levine 1994). The explicit treatment of migration as an investment decision provides a further explanation of why regional wage differentials may narrow. The costs of a move must be covered by the discounted differences in income. The human capital model moves away from the aggregate labourflow model to an emphasis on individual decisions. Persons or families
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with a positive net present value from migration move. Those with a negative net present value stay. Empirical studies concentrate on determining the characteristics of individuals or families that make them prone to migrate. These characteristics are introduced to the studies in terms of how they are thought to influence the costs or benefits of a move. Age, education, marital status, occupation, sex, employment status, income and the number of children are all characteristics which have been included in studies of migration because they are thought to systematically influence the costs or benefits of a move. Regional characteristics such as average employment rates and average income and the distribution of that income have been included in human capital models as affecting the expected costs or benefits of a move. In terms of policy, one of the more important variables is education, which is thought to lead to more migration. Migrants are risk takers, as are any other investors, and education may both reduce risk and enhance the ability of a person to bear risk. Education will reduce risk to the extent that it represents general human capital, enabling the person to adjust to a wider variety of occupations and lifestyles. Education makes it easier to bear risk because it represents higher lifetime wealth, enabling the person to bear a temporary loss in income. Within the context of dualistic development views, rural education is encouraged partly because it is thought to increase rural to urban migration, resulting in a better allocation of resources. Non-monetary, psychic costs and benefits may also be included in the model. Caution should be exercised, however, when dealing with these psychic costs. For example, persons may be reluctant to leave friends, relatives and the comfortable lifestyle of their birthplace. This reluctance is a psychic cost. Other persons may be eager to escape the restrictive lifestyle of their birthplace. This eagerness is called a psychic benefit. The persistence of regional wage differentials might be explained in terms of psychic costs, while the higher mobility of some subgroups of people may be explained in terms of psychic benefits. However, unless relative magnitudes of the costs and benefits can be independently assigned, the explanation is not testable. The regional amenities view The regional amenities view concentrates on migration as a decision to purchase regional amenities which are not available at the original location. These amenities include public goods such as education, roads, water supply and sewerage. They also include physical aspects of the
40 Subrata Ghatak and Vince Daly
region such as climate and private goods which are not available at other locations. The consumer pays for the availability of these amenities through taxes, to pay for public goods, and land rent. As consumers move to a region to purchase amenities, land rent rises and will continue to rise until households are in equilibrium. Hence, migration is seen as equilibrating both the labour market (as in the labour-flow view) and the land market, with the emphasis on the land market. Regional wage differentials are still viewed as a key determinant in explaining migration. Wage differentials determine the quantity of market goods and services which a person can purchase. The greater the difference in real income, the greater the quantity of market goods which can be purchased and the greater the level of utility, ceteris paribus. Externalities in consumption, however, may create regional differences in the variety and kinds of market goods which are available. For example, the variety of movies shown in an area depends on market size. In addition, locations differ in terms of the availability of non-market public goods and non-produced regional amenities. Much of the recent literature on migration in developed countries has focused on the migrant as a consumer of non-market regional amenities. One hypothesis that has received some attention is that as a society becomes more prosperous, regional amenities will replace pecuniary motives in the migration process. Regional amenities are assumed to be luxury goods, which are not purchased at low income. Expenditures on these goods rise as a proportion of income once income rises above some critical level. Since the EEU countries are by definition low-income countries, this hypothesis implies that regional amenities will not play an important role in the migration of people in the EEU countries. One question of concern is how to account for regional amenities in the migration investment decision. Should enhanced regional amenities enter in the migration investment decision and be counted as a gain from migration? If urban lifestyles are attractive per se then equation (2) should be rewritten as M = â(δ w − s + a), where a represents the psychic net return from urban amenities. High urban unemployment would then partly be the result of the attractiveness of urban living. We can suggest a simple answer to the question of how to count urban amenities. These amenities are already reflected in the differences in rent on land. In other words, land in desirable locations costs more than in undesirable locations. Since differences in land costs are perhaps the major cause of differences in the costs of living, potential migrants are faced with paying for these regional amenities in the form of higher living costs. In aggregate, the value of regional amenities may be largely
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cancelled by increased living costs. Hence, aggregate migration can only be explained by regional amenities if the availability of regional amenities has not yet been reflected in land costs. Furthermore, differences in living costs might play little role in migration because they are offset by the value of regional amenities. Consequently, the analysis of investment in migration can concentrate on differences in expected income. There is reason to believe that regional amenities do, however, play an important role in the EEU countries. Urban areas offer a lifestyle which is often not available in rural areas. As a country develops and incomes rise, families can be expected to shift their consumption patterns. As income rises, families generally choose to have fewer children and to increase expenditures per child. This was interpreted in terms of choosing a higher quality of children and a lower quantity. Some of these expenditures on children involve health and educational amenities which are more readily available in urban areas. Hence, as education and income rise, families will tend to migrate to areas which have lower costs of raising higher quality children. The household production view In the regional amenities view, tastes play an important role in determining migration. Tastes are thought to vary with the life cycle and with education. Educated persons are thought to have a taste for areas with better schooling, cultural surroundings and more diversity in lifestyles. The household production view of migration can be most sharply contrasted with the other three views by considering a nuclear family where the wife devotes all of her time to household production. Such a wife plays no basic role in the labour-flow, human capital and regional amenities approaches other than that she adds to the costs of a move. For a wife working for wages, the income lost from quitting at the old location represents a cost of the move. Unless she works, her contribution to moving costs comes largely through influencing psychic costs. For example, no economic role is attached to differences in the level of education of wives unless their education is translated into actual earned income or into differences in the tastes of their family. In contrast, in the household production approach, the education of the wife specialising in home production can be given a concrete interpretation. Education enhances the ability of the wife to produce commodities. The value of the wife’s household production at the old location is a cost of a move. The value of her home production at the new location is a benefit of a move or she may get a job in the new location.
42 Subrata Ghatak and Vince Daly
Employment and the level of market earnings of the wife are usually thought to be negatively associated with moves of the family to a new labour market. The reason for this negative relationship is that these earnings are assumed to be difficult to transfer. In many instances household production may also be difficult to transfer. For countries where wives seldom work for wages, household production is important in the migration decision. To a considerable extent, food is prepared, clothing is made and repaired, and both children and the elderly are cared for in the home. In addition, a large proportion of the goods consumed by the family is produced in the family’s own garden or earned in the informal sector where remunerations are seldom reported. These activities may be costly to transfer. Consider the choice between living in an urban area with readily available urban amenities or in a rural area that allows for close contact with relatives and friends. In the urban area, the shadow prices of educational activities and of recreational activities might be low, while the shadow price of contacts with friends or relatives could be high. If the family lives in the rural area, the family could produce commodities associated with urban amenities by occasionally making trips to the urban centre for educational, recreational and health services. However, the costs of these trips to the city would increase the costs of producing urban amenity commodities while living in the rural location. Living in an urban area might greatly reduce the costs of urban-related commodities. Hence, location will affect both the shadow prices of home-produced commodities and the full income of the family. In Figure 2.3, we explain the efficiency gains in a perfect world without barriers to labour mobility. Hamilton and Whalley (1984), using a general equilibrium model, have shown that such mobility could be a substantial part (about 6 per cent) of the world GDP (gross domestic product). In Figure 2.3, we show the pre-migration labour market in the Eastern and Western Europe. Due to access to superior technology, better organisation and human capital, MPL in the West is higher than in the East, as shown by the positions of the MPLW and MPLE. Real wages are higher in the West (Ww) in comparison with East (WE) as shown on the vertical axis of Figure 2.3. In Figure 2.3, we show that after migration of labour from the East to the West, equilibrium real wage is now W. The welfare gains are equal to ≡ KED (West) + EDCJ (migrants); loss for East ≡ FGJ = EJC. Thus the net overall gain = EKDC. Incidentally, Hamilton and Whalley (1984) estimate this area for global perfect labour mobility. Clearly, the size of the gain will depend on the degree of labour mobility, nature and quality of labour, substitutability
East–West European Migration
43
Real wage = MPL
K WW
F
E
W
D
WE
C G
MPLW
J
MPLE
0 Figure 2.3 1999)
H
A
B
Employment
Employment and real wage after migration (adapted from Levine,
or complementarity between domestic and foreign labour and the degree of labour absorption in the labour market given by the real wage flexibility. Inter alia, the greater the wage flexibility in the host country, the greater would be the welfare gain (Ghatak et al. 1996; Levine 1999). Since the fall of the Iron Curtain in the late 1980s, an increasing number of immigrants have been arriving with neither the support nor the consent of the Western European countries. Such migration is now part of a new ‘normality’. It consists of ethnic minorities, political and economic refugees and new labour migrants. The socio-economic features of the new East–West migrants, the estimation of the potential migrant flows, the careful analysis of the socio-economic impact of such migration and a comparison of the political reactions in Western Europe should be the main items of a future research agenda within an interdisciplinary framework. A simple but strict political insulation policy through
44 Subrata Ghatak and Vince Daly
tough border controls is no substitute for a sober welfare-enhancing migration policy. To implement such a policy, we need to undertake both the macro- and micro-analysis of migration. We have already discussed the macro issues of migration and welfare. At the micro level, we need to concentrate on the following issues: A
Characteristics of migrants (i) (ii) (iii) (iv)
B
age, sex, household size and marital status education, experience and skill nationality and political status (i.e. legal, illegal) self-selection in observable features
Determinants of flows (i) desire, e.g. unemployment rates in the East; wage gap; differences in cost of living; location-specific public goods amenities, schools, hospitals, etc.; previous migration and cyclical factors. (ii) ability to migrate would depend on distance; liquidity constraints and access to credit and finance (Ghatak and Levine 1994); immigration policies within the host countries; and absorptive capacity of the recipient countries.
C
Migration decision
As regards decision to migrate, the following four factors deserve special attention: (i) (ii) (iii) (iv)
individual vs. household role of women asymmetry of information the option value of waiting
Needless to say, factors (ii), (iii) and (iv) are very under-researched areas. D Welfare effects (i) Destination country: on labour markets; on immigrant workers and government budget constraints; the process of assimilation. (ii) In origin country: on wages and employment; composition of labour and ‘backwash’ effects; remittances and their effects on employment.
East–West European Migration
45
Gender and migration Possibly because of its concentration on labour market issues, and within this no consideration of gendered roles for the suppliers of labour, much of the economic analysis of migration has not felt the need to explore gendered questions. In consequence this literature has possibly dealt arbitrarily with questions such as whether individuals or families migrate, whether migrating individuals retain family membership, whether migrating families retain citizenship of the home country, whether we should expect to observe seasonal or temporary migration and whether the migration decision is likely to impact on intrafamily relationships. It could be argued that such gender-neutral analysis has implicitly accepted Becker’s (1981) ‘unitary’ model of the family, in which all economic decisions are made by an altruistic household head, presumed male. In such a world the household head will presumably identify the most advantageous labour market and make this a basis for the family’s migration decision. However, even in such a world the altruistic family head might need to compare the pros and cons of relocating the entire family or merely one or more of its labour market participants. As Agarwal (1997) points out, many authors have found Becker’s approach (to understanding a household’s economic decisions) to be relatively futile. Again, the possibility exists that the concentration on labour market issues implicit in this approach (see Becker 1965) is partly to blame. A broader perspective on individuals’ endowments (as in Sen 1981) might include, for example, non-earned income and land entitlements and find these to offer a richer basis for understanding the aspects of a migration decision. The current theoretical support for analysis of within-family decision formation is essentially game-theoretic. Family members continually recontract, choosing between co-operation and conflict; individuals possess fall-back positions such as reconstructing their role within the family and, at the extreme, leaving it; such fall-back positions constitute ‘threats’ within a game-theoretic approach to bargaining but the threats are not all credible in all instances. ‘I’ll divorce you if . . .’ is not credible when bargaining over small matters. In such an analysis the relative bargaining strength of family members is crucial to the outcome, and Agarwal gives a list of relevant factors, which is paraphrased here as:
• ownership of and control over assets, e.g. arable land; • access to income-earning opportunities; • access to communal resources;
46 Subrata Ghatak and Vince Daly
• access to informal social support systems; • access to support from formal structures (state and non-governmental organisations);
• social norms. One salient feature of this list is that all factors may be sharply redefined by migration and that therefore migration is a nexus for the reconstruction of gendered roles within a household. Thus, for example, even if male and female parents are both individually advantaged by migration with respect to every factor listed, migration could dramatically alter relative bargaining strengths and so it is not immediately obvious that we should expect to observe migration as a family. Versions of migration in which initially only one parent migrates or in which one parent permanently becomes a migrant worker, and which parent that might be, become easier to understand.
The value of an option to migrate Admitting uncertainty over future income streams not only modifies the standard conclusions about migration flows, but also suggests a need to reconsider whether the standard welfare analysis (summarised in Figure 2.1) is an adequate basis for evaluating the benefits of free movement of abour. To put the argument briefly, an open borders policy can be viewed as giving agents an option to migrate should this ever seem their best decision. Thus the valuation methods developed within the finance literature for valuing those instruments that give their bearer an option to trade commodities or securities may also be appropriate for evaluating the welfare gains that follow from giving agents the option to migrate (see Burda 1993). The most immediate implication of such an argument is that the option to migrate is valuable to a local agent not only when the local expected real wage is below that of the destination country but also when wages in one or both countries are so highly variable that, even though their relative levels do not currently trigger migration, there is some chance that they might do so in the future.
Conclusions In conclusion, we should emphasise that the overall economic welfare of migration will depend on the following critical factors:
East–West European Migration
47
1 the degree of labour-market flexibility/wage rigidity in the host country; 2 the nature of social and political absorption of the immigrants; 3 role of taxes/subsidies/controls; 4 nature and impact of trade and aid flows; 5 pattern of convergence of economies; 6 the in-depth analysis of the implications of migration within the new theory of endogenous growth. (Barro and Martin 1995; Aghion and Hewitt 1998) As regards future research on migration under uncertainty, it should be noted that migration as financial options can be purchased by payment of a premium to an options trader. The options trader acts like an insurer, bearing the risk that the option will be exercised. Options are risk-shifting devices. The following questions clearly arise: what risks are being shifted by an ‘option to migrate’? Who is bearing those risks? Options markets equilibrate when the premium is set at a marketclearing level. What is the premium in the case of migration policy? Maybe it is allowing migration in the reverse direction? This might make free migration a risk-pooling activity for the two countries. The option-pricing mechanics are relatively straightforward for a binomial option, that is, an option on a security whose future value is either ‘high’ or ‘low’. The analysis of uncertainty in Ghatak et al. (1996) is essentially binomial (job vs. no job) and so might be an appropriate starting-point for rehearsing the mathematics involved.
References Agarwal, Bina (1997) ‘“Bargaining” and Gender Relations: Within and Beyond the Household’, Feminist Economics, 3, 1: 1–51. Aghion, P. and Hewitt, P. (1998) Endogenous Growth Theory (Cambridge, Mass.: MIT Press). Barro, R. and Martin, X. S. (1995) Economic Growth (New York: Mcgraw-Hill). Becker, Gary (1965) ‘A Theory of the Allocation of Time’, Economic Journal, 75: 493–517. Becker, Gary (1981) A Treatise on the Family (Cambridge, Mass.: Harvard University Press). Burda, M. (1993) ‘The Determinants of East–West Migration’, European Economic Review, 37: 425–61. Fassman, F. and Munz, S. (1994) Migration Focus (Paris: OECD). Ghatak, S. (1995) An Introduction to Development Economics (London: Routledge).
48 Subrata Ghatak and Vince Daly Ghatak, S. and Levine, P. (1994) ‘Migration with a Borrowing Constraint’, Scandinavian Journal of Economics, December: 19–38. Ghatak, S., Levine, P. and Wheatley Price, S. (1996) ‘Migration Theories and Evidence: An Assessment’, Journal of Economic Surveys, 10, 2: 159–98. Hamilton, B. and Whalley, J. (1984) ‘Efficiency and Distribution Implications of Global Restrictions on Labour Mobility’, Journal of Development Economics, 14: 61–75. Harris, J. R. and Todaro, M. (1970) ‘Migration, Unemployment and Development: a Two-Sector Analysis’, American Economic Review, 60: 126–42. Hatton, T. and Williamson, J. (1998) The Age of Mass Migration: Causes and Economic Impact (Oxford: Oxford University Press). Levine, P. (1999) ‘The Welfare Economics of Rural to Urban Migration’, Journal of Population Economics, 12: 23–43. Lewis, W. A. (1954) ‘Economic Development with Unlimited Supply of Labour’, Manchester School, 22 November: 139–91. Myrdal, G. (1957) Economic Theory and the Underdeveloped Regions (London: Duckworth). OECD (1997) Rapid Reports (Paris: OECD). Sen, A. (1964) Choice of Techniques (Oxford: Blackwell). Sen, A. (1981) Poverty and Famines: An Essay on Entitlement and Deprivation (Oxford: Oxford University Press). Stark, O. (1991) Migration of Labour (Oxford: Blackwell). Todaro, M. (1969) ‘A Model of Labor Migration and Urban Unemployment in Less-Developed Countries’, American Economic Review, 59(1): 138–48.
3 The Economic Impact of Labour Mobility in an Enlarged European Union Thomas Krichel and Paul Levine
Introduction The possibility of East–West European migration waves within a more liberal immigration regime has received considerable attention from policy makers and concern has been expressed about the economic and political impact. The political dimensions of migration are important, and they are explored in other chapters of this book. This chapter focuses narrowly on the economic issues. From the perspective of an economist, the migration decision based on the maximisation of expected income, the existing wage gap between Western and Eastern European countries, and a probability of employment in the West at least as good as in the East suggests large group of potential migrants. This chapter assesses the short-run and long-run economic impact of a laissez-faire migration between the regions, and assesses who are the winners and losers and the possible need for migration controls. The rest of the chapter is organised as follows. Section 2 examines recent migration trends from Central and Eastern Europe into the European Union (EU) (in fact mostly into Germany). Section 3 focuses on the short-run impact of migration from a less developed East into a more developed West. This section draws on Levine (1999) and emphasises the importance of labour market flexibility in the West for realising economic gains from migration. Section 4 is concerned with the long-run and reviews some recent papers that study the effect on both transitional and long-run growth of migration between undeveloped and developed regions. Section 5 concludes the paper. 49
50 Thomas Krichel and Paul Levine
Recent trends in Central and Eastern Europe An important part of migration in Central and Eastern Europe (CEE) is the repatriation of ethnic minorities. The most important ethnic migration movement is the movement of ethnic Germans from Poland, Hungary and the CIS countries to Germany. These outflows had already started in the 1980s but intensified in the 1990s. Table 3.1 shows total numbers of foreign nationals from the CEE countries (CEECs) in selected OECD countries. However, the opening of borders has not yet led to mass migration into the West. In fact the inflows into the West have declined, despite continued liberalisation of movements of persons. The current flows of East–West migration are to a large extent explained by past migration flows that have established communities. Polish and Romanian groups are particularly successful in migrating to the West and have large communities already established. At the time of the overthrow of the communist regimes many observers feared a rapid increase in Central and Eastern European migration to the West, in particular to Western Europe for economic reasons. The dismantling of exit visas and the general issuance of passports allowed workers to migrate to high wage and low unemployment areas in the West. However, the majority of workers who considered migration exercised their option early. Therefore, migration flows increased until 1991, but they have declined since. For example, the migration of Romanians into Germany has been negative since 1993. However, ethnic conflicts in the region continue to be sources of actual and potential
Table 3.1 Foreign nationals (nationals of Central and Eastern European countries) in thousands, in selected European OECD countries, latest available year 1996 (except for Austria for which the year is 1991) AT Bulgaria Former CSFR Hungary Poland Romania CIS Former Yugo. % of immigrants
3.6 11.3 10.6 18.3 18.5 2.1 198 50.7
Source: SOPEMI (1998).
DK
5.3 1.1 2.6 32.2 17.4
FI
0.4 0.7 17.0 4.0 29.9
DE
HU
IT
SE
36.0 29.6 55.7 283.4 100.7 54.3 1297 24.4
1.5 3.7 0.1 4.3 61.6
27.4 31.7
2.9 15.9 3.8
14.9 60.4
94.6 14.0
36.6 11.2
CH
4.6 3.5 4.4
305.0 23.7
Economic Impact of Labour Mobility
51
migration. Note that until 1996, the last year for which data for most countries is available, the number of refugee and asylum seekers has declined. Most CEECs are now considered safe; any asylum application by nationals of these countries will be rejected. This is another reason why the number of permanent migrants to Western Europe has declined. The number of temporary migrants has increased in the Western countries that border CEECs, in particular Germany and Austria. In addition many CEECs have set up programmes of temporary migration to allow nationals access to human capital that is not available locally. The CEECs have also changed their nationality code to allow former citizens to return to the country. Some CEECs like Hungary and the Czech Republic are likely to have now a positive migration balance. 1 For the most part it appears that this immigration is regional. In recent years migration flows from Ukraine, Kazakhstan, and Siberia into Poland, from the Baltic States into Russia, from Russia and Estonia into Finland all can be described as ethnic return migration. Therefore CEE has become a regional migration pole. A more recent trend that contributes to the emergence of a regional migration pole is the increase in transit migration. These are mainly flows within the CEECs but also, from outside, of migrants who hope to illegally enter a Western European country. Poland and the Czech Republic are particularly affected by this trend because of their common border with Germany. Some transit migrants use Hungary to reach Austria and a small number try to move to the Scandinavian countries via the Baltic states. Many attempts at transit migration fail and some transit migrants stay to work in the informal sector of the transit country. There are, of course, no figures on how widespread the problem is. There have been attempts at international collaborative efforts – between the destination countries and the transit countries – to control the problem. Between 1994 and 1996, Bulgaria, the Baltic countries, the Czech and Slovak Republics, Hungary, Poland, Romania and Slovenia presented their candidature to access the European Union. The population of these countries is over 100 million, which is about 30 per cent of the current EU countries. The control of migration flows that could arise is a major challenge for the integration process and free movement of persons may have to be introduced gradually.
The short-run economic impact The pioneering work on the migration decision and its impact on the donor and host regions was undertaken in a LDC (lesser developed
52 Thomas Krichel and Paul Levine
countries) rural–industrial context by Harris and Todaro (1970), henceforth H–T. They offer a macro-economic model comprising a developed urban sector and an undeveloped rural sector, in which wages were rigid for the former, but flexible for the latter. The potential rural-to-urban migrant then maximises her expected income taking into account the probability of being unemployed after migrating which H–T assumed to be one minus the unemployment rate. In this set-up urban unemployment provides the equilibrating mechanism to limit the inflow of migrants. The H–T analysis yields predictions that the rate of migration increases as the urban–rural wage differential increases and the urban unemployment rate decreases. It is clear that an analysis of East–West European migration differs from the H–T framework in a number of respects. First, European migration takes place largely between industrial regions which are characterised by apparently huge differences in physical capital per worker. Second, neither bloc is characterised by labour market clearing, unlike the H–T case of a market-clearing rural sector. Indeed there is likely to be higher unemployment in the donor than in the host country. Third, human capital considerations are of crucial importance: the impact of highly skilled, well-educated workers on the West will be quite different from that if their skills turn out to be lower or irrelevant. Levine (1999) develops an H–T-type model2 of East–West migration in which labour market imperfections prevent market clearing in both blocs. The model applies to the short-run in the sense that the capital and prices are fixed. Wages are allowed to respond to labour market pressures. The model encompasses two extremes of perfectly flexible wages with full employment on the one hand, and the H–T scenario where the wage in the host country is fixed, on the other. Before reviewing the findings of this paper it is instructive to first consider the opposite extreme to H–T: the case of perfectly flexible wages. Perfectly flexible wages Consider two blocs, East and West. To keep things simple assume that the regions produce the same composite output and the labour force is equal. Capital of both the physical and human variety are given and are higher in the West. Both average and marginal output per worker is therefore higher in the West. Figure 3.1 shows what happens when migration from East to West occurs. The Eastern workforce (fully employed by assumption) falls from OA by an amount HA, increasing the Western workforce by the same amount AB = HA. The area under the marginal product of labour (MPL) curves gives total output and the
Economic Impact of Labour Mobility
53
Real Wage = MPL
K
WW L
F
W
E
D
P
WE
M
O
G
H
C
J
A
B
Employment
Figure 3.1 Employment and output after migration with perfectly flexible wages (Levine, 1999)
MPL(West) is higher than its Eastern counterpart MPL(East) because physical and human capital is higher in the West. Ignore for the moment human capital differences; then 1 unit of Eastern labour is equivalent to 1 unit of Western labour. Output then rises by an amount KDBA in the West and falls by an amount FJAH = ECBA in the East. The net increase in output is therefore given by the shaded region KDCE. The real wage falls in the West and rises in the East. If there are costs associated with migration and migrants maximise income net of costs, migration will cease before wages are equalised. Figure 3.1 shows the case of factor price equalisation where migration costs are zero and migration leads to equal wage rates. The winners are the migrants and Western capitalists; losers are the original Western workers and Eastern capitalists. Figure 3.1 assumes that human capital per worker is the same in the two blocs. If this is not the case, however, and the Eastern migrant has a lower skill level than the Western indigenous worker,
54 Thomas Krichel and Paul Levine
there is a further effect: the MPL(West) curve shifts downwards thereby reducing the net output gains from East–West migration. Migration with wage rigidity The general case of some wage flexibility which encompasses the two extremes we have discussed is illustrated in Figure 3.2 (taken from Levine 1999). The labour supply curves (which, following Layard et al. 1994, we refer to as the ‘bargained real wage’ or BRW curves) and the labour demand curves (the marginal product of labour, MPL) are shown for the two blocs. Upward-sloping BRW curves are consistent with a number of theories of wage determination, including the monopoly union model, bargaining, and efficiency wage theories. OA is the total labour force in East and West prior to migration (assumed to be equal). As a result of migration equal to HA = AB, with some real wage flexibility, the BRW (West) shifts to the right and employment rises by WW. Similarly the BRW (East) shifts to the left and employment falls by EE. The welfare implications of East–West migration – which we analyse in more detail in the next section – can be assessed by comparing the increase in Western output HJWW with the decrease in the East FGEE.
Real Wage = MPL
BRW (West) BRW (East)
H J
F
G MPL (West)
MPL (East) O Figure 3.2
EE WW
H
A
B
Employment
Employment and output after migration with wage rigidity
Economic Impact of Labour Mobility
55
We have illustrated the case where WW, EE and the real wage flexibility in the two regions are about equal. Then the net output gains are positive; in general, however, the output effects are crucially dependent on the degree of real wage flexibility in the two labour markets. Figure 3.2 assumes that human capital per worker is the same in both blocs and subsequently there is no drop in the average post-migration human capital in the West. If, however, migration lowers the average human capital in the West the MPL (West) curve shifts downwards, thereby reducing the net output gains from East–West migration. The migration decision Assume that the potential migrant is risk-neutral and faces uncertainty over the possibility of employment in the West. Assume that the latter decreases as the unemployment rate increases. Denote by Cp the private costs per period of migration; this includes the transport cost to the West, the cost of language training, searching for a job, and more generally a monetary evaluation of the inconvenience of living in a foreign country as opposed to be living at home. Let pW be the probability of employment in the West, wW the Western wage rate and bW the income of the unemployed. Then the expected income after migration is P W WW + (1 − pW)b W + CP. Migration will then continue until in a migration equilibrium this expression equals the expected income in the East, i.e., pW wW + (1 − pW)bW + CP = pE wE + (1 − pE)bE.
(1)
The unemployment rates East and West, as in the H–T model, then act as an equilibrating mechanism that limits migration and stabilises postmigration workforce in the two regions. A wave of East–West migration increases (decreases) the unemployment rate in the West (East). This reduces the expected income differential until the migration equilibrium, equation (1), is reached and migration ceases. Factors which will reduce the size of the migration flow are: high private costs of migration, unequal treatment of immigrants in the Western labour markets and unequal access to unemployment income support. However, these calculations ignore the irreversibility of the migration decision and the option to wait. From the ‘new investment theory’ of Dixit and Pindyck (1994) we know that the migration equilibrium in an environment of exogenous uncertainty, coupled with irreversibility in the private costs of migration, will make the potential Eastern citizen far more conservative in her decision to migrate. These
56 Thomas Krichel and Paul Levine
considerations will lead to lower migration flows than that predicted by equation (1). The welfare analysis of migration Consider a mythical utilitarian social planner concerned with Europe’s total GDP net of the costs of migration. This implies a social welfare function of the form S(M ) = YE + YW − M(CP + CS )
(2)
where M is the number of migrants, YE and YW denote output in the two blocs and Cp and Cs are private and social costs per migrant respectively. Then the mythical social planner, by maximising S(M) with respect to M, chooses an optimal migration rate and with it an optimal allocation of Europe’s workforce between East and West. Two results are then obtained in Levine (1999): result 1 tells us that the fundamental theorem of welfare holds for migration. This implies that once the mythical central planner has made the socially optimal choice, it is not possible to improve the welfare of one bloc without reducing the welfare of another block. Result 2 sets out the necessary and sufficient condition for laissez-faire migration to exceed the social optimum. Result 1 Under full wage flexibility and in the absence of externalities the laissezfaire migration rate is socially optimal. Result 2 With wage rigidities in the two blocs laissez-faire migration is excessive relative to the social optimum if and only if dL dL dS -------- = W E ---------E + W W ---------E < C P + C S dM dM dM
(3)
at the laissez-faire migration equilibrium. In equation (3) the first term is the marginal decrease in output in the East with respect to the migration level; the second term is the marginal increase in output in the West. The combined left-hand side of the inequality is the difference between the two shaded areas in Figure 3.2. The right-hand side of equation (3) is the marginal cost both private (internalised by the migrant) and social (the externality not internalised by the migrant).
Economic Impact of Labour Mobility
57
An interesting possibility immediately arises from Result 2. A combination of high real wage flexibility in the West, low flexibility in the East and low migration costs (private plus social) can lead to laissezfaire migration being below the social optimum. This leads to a large increase in employment and output in the West alongside a low employment and output loss in the East. We pursue this case further in numerical simulations to which we now turn. The laissez-faire and social optimum outcomes: numerical results The crucial parameters that determine the extent of welfare gains are the semi-elasticities of the wage with respect to the unemployment rate in the two blocs, η E and η W and the ratio of Eastern to Western human capital HE/HW . In Figures 3.3 and 3.4, the Western elasticity and human capital per worker is set at η W = HW = 1. The sizes of the two workforces are assumed to be equal and normalised at unity. Figure 3.3 graphs the social welfare function S(M ) against the migration rates for three values of the Eastern elasticity, η E = 1.0 (the benchmark value) and two alternatives η E = 0.75 and η E = 0.5. The migration level M therefore
1.27
SO LF
ηE = 0.5
1.265 1.26
SO
S(M)
LF
ηE = 0.75
1.255
SO
1.25
LF η = 1 E
1.245 1.24 1.235
0
0.1
0.2
0.3
0.4
M Figure 3.3
The socially optimal level of migration and Eastern wage flexibility
ηE (SO = social optimum; LF = laissez-faire)
58 Thomas Krichel and Paul Levine
1.27
HE = 1
1.26 1.25
S(M)
1.24
HE = 0.9
1.23 1.22 1.21
HE = 0.8
1.2 1.19 1.18
0
0.1
0.2
0.3
0.4
M Figure 3.4 capital HE
The socially optimal level of migration and Eastern human
becomes a migration rate. Social costs of migration are ignored throughout this section, thus understating the need for immigration controls in the West. However, the costs of immigration controls are also ignored, which tips the balance in the opposite direction towards laissez-faire. When the model is calibrated using η E = 1.0, the socially optimal migration rate is around M = 0.25 compared with the laissez-faire equilibrium M = 0.28. For this case there is a clear case for immigration controls. But the two cases where wage flexibility is greater in the West, η E = 1.0, 0.5 as opposed to η W = 1.0 illustrate the possibility alluded to above that laissez-faire migration can be too low compared with the social optimum. Figure 3.4 examines the robustness of this result by relaxing the assumption that the level of human capital is the same in both blocs. From a large number of numerical simulations undertaken we report the case η W = 1.0, η E = 1.0 and values H E = 1.0, 0.9, 0.8 and HW = 1.0. For these quite small differences in East–West human capital levels the
Economic Impact of Labour Mobility
59
social optimum falls below the laissez-faire migration level even for the low real wage elasticity η E = 1.0 in the East. These results suggest that if Eastern underdevelopment originates in part from lower human rather than physical capital, then laissez-faire migration will lead to excessive levels of migration, even from the narrow economic perspective of this chapter, and the need for some form of immigration controls.
Migration and growth A vast theoretical and empirical literature has emerged since the 1980s, which has transformed the way economists think about growth. The pioneering research was Romer (1986) and Romer (1990). New growth theory contrasts with the earlier neo-classical or old growth theory of Solow (1956), which invoked exogenous technical change to explain sustained long-term growth. By contrast the focus of the new endogenous growth (EG) theory is on how the consumption and savings decisions of households, the investment decisions of firms, and public policy in various forms, determine long-term growth. Whilst the neo-classical model could be described as a model with long-run growth, the new literature offers a number of possible models of long-run growth. The EG literature can be usefully be divided into two broad strands: the first builds on Romer (1986), is closest to the classical tradition and emphasises capital accumulation as the engine of growth, with capital broadly defined to include human and physical components. In the second broad strand of the literature, following Romer (1990), the discovery of new goods and of new processes provides the engine of growth. Research and Development (R & D) activity provides blueprints for these innovations and a feature of this literature is the attempt to understand the economic forces that drive R & D. This section reviews three papers that draw upon this literature in order to assess the impact of migration on growth. The first two papers, Mountford (1997) and Faini (1996), use models in the neo-classical tradition where migration affects transitional growth, but long-run growth is exogenous. The third paper, Lundborg and Segerström (1998), studies migration in the context of an EG model driven by R & D activity. A standard argument is that migration lowers the growth in the source economy when the highly skilled workers emigrate. Mountford (1997) addresses this question, using a model where human capital is crucial to transitional growth. The amount of human capital in any period depends on the decision of households to acquire education. The prospect of higher wages through emigration stimulates the
60 Thomas Krichel and Paul Levine
acquisition of human capital and therefore enhances growth. This effect can be stronger than the direct effect of emigration. The direct effect of migration is to reduce growth because there is a reduction in the supply of skilled labour and a decline in aggregate demand. A brain drain may therefore actually enhance growth in the source economy. Faini (1996) is more concerned with whether migration increases or decreases inequality between regions. He develops a two-region model of migration. The population in each region is modelled through a twoperiod overlapping generations model. Consumers are endowed with a unit of labour in youth only. In each period of her life, a consumer i derives utility from a consumable good that is interregionally traded. Consumption is multiplied by a parameter θ i ≥ 1 which depends on the location of the consumer. If she migrates, θ i falls to 1. This introduces a cost of migration. θ is allocated between individuals according to a Pareto distribution. The fraction of the young that will decide not to migrate can then be written as a function of the ratio of wages in the two regions only, with the added convenience of a constant elasticity ε. There are two sectors of production. Production in the non-traded intermediate commodity depends on the capital stock in that sector only with a constant elasticity φ. Returns to scale are increasing if φ > 1. Firms take the cost of capital as given, but compete in the output market in a Cournot fashion. Production in the traded sector depends on labour, capital and the non-traded intermediary. Since the latter is produced at increasing returns to scale, endogenous growth is possible, but Faini confines the analysis to parameter values for which there is only transitional growth. The capital stock is composed of the traded commodity but adjustment costs prevent perfect capital mobility between regions. The interest rate is exogenous and coincides with the discount rate of consumers. Capital depreciation is complete. Assume initially that the labour force is identical, but that the initial capital stock is not the same. First consider the case without migration. In each region the rental rate is a negative function of the installed capital stock. Therefore the relative rental rate declines when the relative capital stock increases in the North, leading to an inflow of capital to the South. The model is stable and regional convergence occurs. Now assume that there is labour mobility. The relative rental differential depends negatively on the relative capital stock as before, but it also depends positively on (1 − φ.) ε. Therefore if the degree of labour mobility is sufficiently high and the returns to scale in the intermediate sector are sufficiently strong, then the model diverges.
Economic Impact of Labour Mobility
61
Lundborg and Segerström (1998) examine a quality-ladder model of economic growth based on a North–South model in Grossman and Helpman (1991: ch. 12). In such a model, growth is driven by improvements in product quality. In each period, firms engage in an R & D race to become the quality leader by hiring R & D workers. A firm that wins the race becomes the only producer in that period. All firms stay in the R & D race, and every leading firm will be replaced by another. Any firm’s probability of becoming the leader depends positively on its own R & D effort and negatively on the aggregate effort made by all firms. Since all firms are identical, they all make the same R & D investments and face the same probability to become the product leader. The world is made up of two regions called North and South. The high-quality products of the North are called ‘high-tech’, only Northern firms can produce them. The products of the South are called ‘low-tech’. The Northern firms could produce them, but they will not do so because production of high-tech products is more profitable. Consumers spend a fixed part of their expenditure on commodities of each region. They benefit from the innovation in both regions through falling commodity prices, therefore the rate of growth of real expenditure is identical in both regions. Southern welfare levels are a constant fraction of Northern welfare levels. There is a constant incentive to migrate. Consider first what happens when some Southern consumers/workers die. To start with this means a reduction of consumer expenditure in the South.3 Therefore demand and production of Northern commodities falls and the relative wage of Northern consumers falls. This leads to a fall in Northern expenditure. The fall of expenditures leads to a fall in the growth rate because there are reduced incentives to invest in R & D. All these circumstances reduce Northern welfare. Southern welfare is affected negatively by the fall in growth rate, but it is affected positively through the increase in the relative wage. As far as workers – who receive labour income – in the South are concerned the latter effect dominates the former in simulation evidence presented by the authors. As far as capitalists – who own the stock value of firms – in the South are concerned the growth effect dominates. Now consider the effect of migration from the South to the North. An R & D worker is assumed to be more productive in the North than in the South, therefore the growth potential in the world economy increases when labour moves to the North. We also have the effect of a population decrease in the South, as discussed in the previous paragraph. In addition we have the impact of the labour supply increase in the North, which puts further pressure on the wages in the North. Firms
62 Thomas Krichel and Paul Levine
in the North and South increase R & D expenditure. But in simulations the resulting increase in growth is not sufficient to make migration beneficial to Northern consumers. Northern workers are worse affected than Northern capitalists. Southern workers benefit from migration; the incentives to migrate are reduced. Thus the welfare effects of migration can be divided into static effects from changes in wages and the terms of trade, and dynamic effects from higher growth. Static distributional effects are as the previous section – Northern workers (excluding new immigrants) and Southern capitalists lose and Northern capitalists, Southern workers and migrants gain. Workers North and South gain from increased growth, but Northern capitalists can lose because more R & D activity intensifies competition and squeezes profits. Table 3.2 summarises these results on winners and losers. It should be noted that the whole analysis hinges on the absence of capital mobility. If capital mobility is introduced, the results could be very different. The net effect of migration is naturally sensitive to parameter values and to the specification of the model. In a rather different North–South (or East–West) model Chui et al. (1998) set out a North–South trade model with changing patterns of trade in which the South can progress through a number of stages of development. Their model again draws upon Grossman and Helpman (1991), but instead of EG being driven by quality ladders, they follow Chapter 11, and adopt a model with expanding varieties of goods, developing it in a number of important directions.4 They introduce a second factor of production, skilled labour, and include a ‘traditional’ low-technology sector in both regions. They then allow for the South to differ from the North in three ways. First it is less efficient at adopting the technology available on a worldwide level. Second, the speed with which the South learns from the North is less than that in the opposite direction. Third, its endowment of human capital is less than that in the North. These three differences, together with the degree of patent protection enjoyed by Northern firms (all exogenous in the model), give rise to four stages of develop-
Tables 3.2
Winners and losers under migration: static and dynamic aspects
Groups
Static effects
Dynamic effects
Northern workers Northern capitalists Southern workers Southern capitalists
Losers Winners Winners Losers
Winners Losers Winners Winners
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63
ment in the South as possible equilibria: specialisation in the traditional sector; a stage where the South in addition copies Northern innovative goods producing ‘product cycles’; a third stage where the South begins to innovate in its own right and finally a stage in which the South, like the North, only innovates. Although Chui et al. do not examine migration in the context of this model, we can point out two channels through which migration will increase growth and strengthen the dynamic effects. First they find that North–South trade results in much larger North–South wage differentials for skilled than for unskilled workers. The former will therefore tend to migrate in larger numbers. A high proportion of them will find their way into R & D activity, enhancing growth. Moreover, if Southern R & D involves copying the reduction in this activity will encourage innovation in the North further. This reasoning suggests the possibility that the pessimistic conclusions of Lundborg and Segerström are not robust to the specification of their model, but clearly this is an important area for further research.
Conclusion This chapter first examined the short-run economic effects of moving to a liberal migration regime in Europe, drawing upon Levine (1999). Although our results would generally indicate that for two regions with the present large differences in GDP per head, the socially optimal level of migration is far less than that under laissez-faire, a combination of high-wage flexibility in the West, low flexibility in the East and an inefficient technology for controlling immigration can lead to the surprising possibility that laissez-faire migration is too little and no immigration controls are necessary; indeed subsidies may be necessary to encourage migration! Although we should not take this scenario too seriously, not least of all because social costs of migration and distributional issues are ignored, it does highlight the need for more research to be directed at the emerging labour markets in the Eastern European countries and at the technology of immigration control. The literature on growth and migration is quite recent and limited. Our conclusions on this aspect must therefore be tentative. The ‘newtrade, new-growth’ literature has established that efficiency gains from free trade become magnified many times when the more efficient allocation of resources leads to growth as well as level effects. One must expect that factor mobility leads to a similar effect. However, the theoretical new-growth literature has yet to be matched in size and clarity by
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its empirical counterpart. As we can see in the discussion of North– South growth models based on quality ladders or expanding varieties, we need to narrow down the range of competing growth models from which to choose before we can begin to assess the effect of migration on growth and draw policy conclusions.
Notes 1. This is difficult to know because of a lack of reliable data. 2. Ghatak et al. (1996) provide a survey of and extensions to the H–T class of models. Krichel and Levine (1999) extend H–T to allow for some wage flexibility. 3. It is not clear in the paper what happens to the wealth of the dead consumers. 4. A previous paper involving the same authors, Currie et al. (1999), develops a more primitive model of stages of development with only one factor of production and no traditional sector.
References Chui, M., Levine, P. and Pearlman, J. (1998) ‘Winners and Losers in a North– South Model of Growth, Innovation and Product Cycles’, Discussion Paper in Economics, University of Surrey. Currie, D., Levine, P., Pearlman, J. and Chui, M. (1999) Phases of Imitation and Innovation in a North–South Endogenous Growth Model (Oxford: Oxford Economic Papers). Dixit, A. K. and Pindyck, R. S. (1994) Investment under Uncertainty (Princeton, N.J.: Princeton University Press). Faini, R. (1996) ‘Increasing Returns, Migration and Convergence’, Journal of Development Economics, 49: 121–36. Ghatak, S., Levine, P. and Wheatley Price, S. (1996) ‘Migration Theory and Evidence: an Assessment’, Journal of Economic Surveys, 10, 2: 159–98. Grossman, G. and Helpman, E. (1991) Innovation and Growth in the Global Economy (Cambridge, Mass.: MIT Press). Harris, J. and Todaro, M. (1970) ‘Migration, Unemployment and Development’, American Economic Review, 60: 126–42. Krichel, T. and Levine, P. (1999) ‘The Welfare Economics of Rural to Urban Migration: the Harris–Todaro Model Revisited’, Journal of Regional Science, 39, 3: 429–47. Layard, R., Blanchard, O., Dornbusch, R. and Krugman, P. (1994) East–West Migration: The Alternatives (Cambridge, Mass.: MIT). Levine, P. (1999) ‘The Welfare Economics of Immigration Control’, Journal of Population Economics, 12: 23–43. Lundborg, P. and Segerström, P. S. (1998) ‘The Growth and Welfare Effects of International Mass Migration’, FIEF Working Paper Series, the Trade Union Institute for Economic and Social Research, Stockholm.
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Mountford, A. (1997) ‘Can a Brain Drain be Good for Growth in the Source Economy?’, Journal of Development Economics, 53: 287–303. Romer, P. (1986) ‘Increasing Returns and Long-run Growth’, Journal of Political Economy, 94: 1002–37. Romer, P. (1990) ‘Endogenous Technical Change’, Journal of Political Economy, 98: S71–S102. Solow, R. M. (1956) ‘A Contribution to the Theory of Economic Growth’, Quarterly Journal of Economics, 70, 1: 65–94. SOPEMI (1998) Trends in International Migration (Paris: OECD). Straubhaar, T. and Zimmerman, K. F. (1992) ‘Towards a European Migration Policy’, CEPR Discussion Paper 641.
4 Migration and Citizenship Why Can Birds, Whales, Butterflies and Ants Cross International Frontiers More Easily than Cows, Dogs and Human Beings? Bob Sutcliffe
It is easier to get into space than to get into Spain. Bachir Attar, leader of the Master Musicians of Jojoka, after waiting for three days for a visa in the Spanish consulate in Tetuan (1998)
From up here you can’t see any frontiers. Pedro Duque, first Spanish astronaut in space (1998)
Migration as deviance The advent of the internet has turned research into a new form of serendipity. You decide to work on something, you do a search on the internet and you begin a journey full of surprises through the 1 million or so documents which Yahoo! tells you are relevant to whatever it is you are searching for. And that is just what I did when a few years ago I started working on migration. My first search term was simply ‘migration’. I was, but should not have been, surprised to find that the first few hundred or maybe thousand of the documents offered me were about birds. A team of social scientists appointed by the International Union for the Scientific Study of Population recently produced a book about human migration which, as far as empirical social science is concerned, is the state of the art, and a good starting point for anyone embarking on a study of human migration. It begins with the observation that ‘Like 66
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many birds, but unlike most other animals, humans are a migratory species’ (Massey et al. 1998: 1). This appears to be difficult to accept. If, in Europe at least, you ask an audience, ‘Who is from immigrant stock?’, usually a minority of hands goes up. But 40 000 years ago there were no humans in Europe. We are all migrants or the descendants of migrants. I think it is fair to say, however, that migration is recognised by ornithologists and by the general public as an essential part of the life and nature of birds in a way that it is certainly not in the case of human beings, either by the public, by politicians or social scientists. Quite the contrary, and I shall argue in this chapter that as often as not migration tends to be regarded as something which is both exceptional and undesirable. The bias starts at the most basic level in the search for some theoretical foundation for the debate. Social scientists produce theories of migration because it is seen as an exceptional act which needs explaining. No one seems to think it is necessary to explain why people stay where they are – presumably because this is thought of as so normal as not to need any theories. Much of social science is like that. For instance, there are numberless theories of the causes of homosexuality (including, inevitably, the ‘gay gene’) and of crime; but I am not aware that there is a single theory of heterosexuality or of law-abiding behaviour, simply because what is deemed normal is not regarded as being in need of explanation. As medicine studies disease much more than health, so the social sciences tend to study phenomena perceived as deviance. And that is true, among other things, of migration. From a rather different point of view this tendency is also visible in efforts to produce universalist social rules, as in theories of justice, human rights and neo-classical economics. Visionaries of these fields habitually tremble when international frontiers come into sight; they tend to assume that the world is already one country or to limit their theories to single countries. Egalitarian theories of justice have been enunciated for national societies but their extension to the world as a whole has been much more difficult. The drafters of various internationally accepted declarations of human rights (such as the UN Universal Declaration of 1949) walk a tightrope when they support some aspects of freedom to move (the right to a nationality, to a passport, to travel freely inside the country of citizenship, and the right to leave the same country freely), but are silent about others (there is no right to arrive in another country, only a right to leave your own). It is true that a number of theoretical economists, applying neo-classical competitive principles, have argued that free immigration would speed up factor price equalisation and vastly
68 Bob Sutcliffe
increase efficiency and size of the global product. But the elders of this church have been very wary of supporting freer international movement and some of them (for instance, Herbert Simon and Gary Becker) have specifically made it an exception from rules which they seem ready to apply to almost everything else (Briggs 1996). The assumption that migration is abnormal is also tied up with another assumption: that everyone in the world has a ‘place’, usually the country in which they were born, and that it is natural and desirable that everyone should stay there and not move to some other place. This is combined with the assumption that almost everyone will want to stay in their own place, partly because they do not want to be separated from their national culture, and hence that virtually all migration should be seen in some way as forced and not voluntary. An enormous amount of the social science literature about development at least implicitly makes this assumption. Development is seen not as a feature of individuals or families but of geographically stationary communities, usually nations. Textbooks in development – and indeed international – economics have been slow in reflecting contemporary international migration. And often, when the subject has been discussed, the conclusion has been that the arrival of migrants has pathological consequences in the receiving country (social tensions, crime, violence, excessive cost and so on) and that their departure has pathological consequences in the country which they leave (the brain drain and so on). Heaven knows how many thousands more academic articles and theses have been written about economic aid than about the flow of emigrants’ remittances. Yet for many years the value of the latter has exceeded the value of the former by a considerable margin. This is the financial aspect of the growing phenomenon of the multinational family, a subject which is as undercommented on as the multinational corporation is overcommented. In short, I am complaining that migration, a process through which human beings, like birds, try to meet their needs, to better and liberate themselves, is too often deplored or ignored.
Mass migration: then and now The Age of Mass Migration is the title which Tim Hatton and Jeffrey Williamson appropriately gave to their illuminating book about European migration to America in the nineteenth and early twentieth centuries (Hatton and Williamson 1998). As we sit here, more books with rather similar titles are being published about migration today (for instance,
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Castles and Miller 1998). Is the parallel apt? How similar and different are today’s migration and the earlier one? It is frequently said that nearly 2 per cent of the world’s population live in countries of which they are not citizens. Is that a lot or a little? It is known that 20 million people have been forced to flee from their country of citizenship, and another 35 million are believed to be displaced within their country of citizenship. That figure is large, clearly much too large. It is a symptom of a very sick society. But it may not be so exceptional in modern history. A recent history of the development of refugee law during the interwar years argues that as a percentage of the population there were more refugees during the 1920s than today (Skran 1995). Then, they were disproportionately in Europe; now they are disproportionately in Africa. What about migrants who are not regarded as refugees? The admittedly very rough figures suggest that there may be up to 80 million people who today live outside the country where they were born, or of which they are citizens. In absolute numbers, this is more than in Hatton and Williamson’s ‘age of mass migration’. But since then the world’s population has more than quadrupled. As a proportion of the world population it is doubtful if there are as many people who have migrated today as at the beginning of this century. In 1910 the number of foreign-born people in the United States alone amounted to about 14 per cent of its own population, in other words about 1 per cent of the world’s population. The global total must have been considerably more than twice this number. Certainly there are few countries today whose demography and economy are as much affected by migration as were the main sending and receiving countries (such as Italy and Ireland, the USA and Argentina) a century ago. But there are some: in the case both of sending and receiving countries they tend to be countries with relatively small national populations (Luxembourg, Switzerland, Saudi Arabia and other Gulf oil producers, some Pacific and Caribbean islands). Few countries today have had such a large and sustained out-migration rate as Ireland in the nineteenth century. The absolutely most numerous emigrant population today is probably that from Mexico. At present the number of Mexican-born people living in the USA is equal to nearly 2 per cent of the population of the USA and about 7 per cent of the population of Mexico. The number of Turkish citizens who are German residents is less than 3 per cent of the population of Germany and a little more than 3 per cent of the population of Turkey. In the case of Mexico, and also to some extent of Turkey, there is not a high rate of naturalisation of the immigrant populations: in the
70 Bob Sutcliffe
USA because the immigrants do not seek it; in Germany because the receiving state does not grant it. And there is much reverse migration in both cases, resembling the Italian more than the Irish case in the nineteenth century. This means that the numbers of migrants at any one time does not adequately illustrate the social and economic importance of the migration. While Mexican-born residents in the USA amount to no more than 7 per cent of the Mexican population, it is important to remember that, in the words of Douglas Massey, 20 percent of all Mexicans aged 15 to 64 had made at least one trip to the United States, and 41 percent of all household heads had done so. We likewise found that 60 percent of all Mexican household heads had at least one immediate family member with US experience and 25 percent had an immediate family member living in the United States. Likewise, 67 percent had at least one member of their extended family with US experience and 61 percent had an extended family member living north of the border. All told, 81 percent of Mexican household heads knew someone with US experience, and 73 percent had some friend or relative living in the United States. (Massey 1998) The significance of this kind of migration cannot be grasped merely through a snapshot of the number of migrants at any given moment. Hatton and Williamson observe that one of the characteristics of the nineteenth-century migration to the USA was its male majority: 64 per cent of migrants entering the USA between 1851 and 1910 were men (Hatton and Williamson 1998: 11). There is still a male majority among migrants, but it is almost certainly smaller. Some forms and locations of migration are almost exclusively male (construction and other workers in the Gulf); but migration is playing an increasing role in forms of work largely done by women (especially domestic labour and the sex and entertainment industry). And in a number of the developed receiving countries (including the USA) women are a majority of legal immigrants, a feature related to the fact that famility reunion is the most important avenue of legal migration. Some examples showing the great diversity of sex ratios in contemporary migration are given in Figure 4.1. There is another respect in which there may seem to be a big qualitative difference between the mass migration from Europe to the USA in the nineteenth century and the mass migration of today. For the former was a migration from relatively more developed parts of the world to another of the more developed countries of the time, although a large proportion of the migrants came from the poor parts of the more
Migration and Citizenship 71
Percentage of men 0
Pakistani workers in the Gulf (1990)
100
Moroccans in Germany (1990) Moroccan workers in France (1990) Turkish workers in Germany (1990)
Immigrants from the South to Germany (1985–9) World population 50
50 Regular immigrants from the South to USA (1990–2)
Immigrants from the South to the UK (1985–9) Immigrants from the South to the UK (1990) Polish workers in Sweden (1990) Immigrants from the Philippines to Denmark (1990)
Immigrants from Thailand to Denmark (1990)
100
Asian domestic workers in Europe (1995) Percentage of women
0
Figure 4.1 The ratio of men to women in different migrant groups (adapted from Sutcliffe 1998)
developed world (Ireland, Southern Italy, Eastern Europe and so on). Today, however, European migration to the USA is a very small part indeed of international migration. Ninety or more per cent of the migrants come from countries regarded as developing as opposed to developed
72 Bob Sutcliffe
countries. A legal change in a number of receiving countries (the USA and Australia in particular) during the 1960s abolished the large element of racism in previous legislation and opened the way to immigration from all continents. And immigrants now come from an enormous number of countries, far more than in the mass migration of the nineteenth century. Most of the countries from which today’s migrants set out were colonies in the nineteenth century and, apart from slavery and indentured labour, emigration from them was banned by the colonial power. Mexico is an exception: a major redrawing of frontiers left many Mexicans on the US side of the border, and since then numerous social and economic forces have conspired to make this border a more than usually porous one, something which can be seen in Figure 4.2, which maps by county the percentage of people of Hispanic origin (mainly Mexican-born) in the resident population of the United States. The national and ethnic variety of present-day migration is very striking and seems to contrast with that of the nineteenth century. Perhaps that is an exaggeration in that it is unwise, especially today, to underestimate the sense of ethnic difference between European populations. What some observers argue, however, is that the receiving countries (the USA in particular) are now less of a melting pot for immigrants than in the
10 20 40 60 80
Figure 4.2 United States: Hispanic population as percentage of the resident population (1990 census)
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previous epoch of migration. Today there is a greater tendency for immigrant populations to maintain their language and culture in the country of settlement and even to build ethnic economic enclaves. We should not accept that argument too readily since it is frequently used as a weapon against immigrant communities and is, therefore, subject to possible distortions. Modern migrations (the plural seems more appropriate than the singular) are nothing if not diverse and complex. Some idea of this, as far as the nation of origin and destination are concerned, is given by estimates of the proportion of emigrants and immigrants in national populations, summarised in Table 4.1. The percentage of emigrants appear in the columns and the percentage of immigrants in the rows. It is clear from this table that most countries are either not very much affected by migration (the bottom right-hand box) or are countries which participate in world migration almost exclusively either as sending or as receiving countries (the bottom row and right-hand column respectively). The 21 countries where immigration is most important (boxes marked with*) do include neither the USA nor the UK. The countries which are most affected by emigration (boxes marked with*) are mostly countries affected by wars and/or are very small countries. A few countries are important both as sending and receiving countries: Somalia and Paraguay (affected by political upheavals in the regions) and the Dominican Republic (where large-scale emigration to the USA is matched by major movements of migrant workers from Haiti). Other countries which have significant emigrant and immigrant flows are Burkina Faso, Bolivia, Sudan, Botswana, South Korea, Egypt, Tunisia, Poland and Jordan. This table, therefore, shows something of the very complex migration patterns which now exist for a few countries. This might be said to be an age of mass migration in a more potential sense: the large number of migrants who exist in the modern world would presumably be larger if it were not for the fact that all governments restrict immigration. If they did not then clearly there would be more movement, but it is very difficult to predict how many frustrated migrants live in poorer countries. Of course, one of the things which restricts migration is poverty itself since migration can be costly. The relaxing of migration controls would reduce some but not all of the costs. It has been shown that some migration control laws have perverse effects and actually increase migration (Massey 1998). Many supporters of these controls, however, seem to believe the pro-immigration character in Leonard Bernstein’s well-known dialectical song ‘America’, who says that ‘Everyone there will have moved here’. But she was wrong. Although
Countries with estimated levels of emigration and immigration as a percentage of their population, c.1990 >10%
% Emigrant/ % Immigrants
6–9%
>10%
1–5%
*Jordan
6–9%
*Somalia, Paraguay
Dominican Poland Republic
1–5%
*Burkina Faso, Bolivia
Sudan, Botswana
South Korea, Egypt, Tunisia
<1%
*Laos, Cambodia, Afghanistan, Chad, Mozambique, Lesotho, Liberia, Bolivia, Nicaragua, El Salvador, Belize, Surinam, Cape Verde, various Caribbean and Pacific islands
Angola, Guinea, Cuba, Ireland, Lebanon
Mexico, Guatemala, Panama, Colombia, Morocco, Algeria, Ethiopia, Guinea, Bissau, Romania, Bulgaria, Albania, Philippines, Vietnam, Pakistan, Syria, Turkey
<1%
*Canada, French Guyana, France, Switzerland, Luxemburg, Israel, Saudi Arabia, Kuwait, Bahrain, Qatar, United Arab Emirates, Oman, Australia, Brunei, Papua New Guinea, New Zealand, Gabon, Ivory Coast, Gambia Malaysia, Thailand, Malawi, Congo (Brazzaville), Ghana, Togo, Senegal, Germany, Belgium, UK, USA, Argentina Bangladesh, India, Iran, Kenya, Tanzania, Zambia, Zimbabwe, Dem. Rep. Congo, Central African Republic, Cameroon, Benin, Mali, Mauritania, Sierra Leone, Italy, Austria, Denmark, Netherlands, Norway, Venezuela, Costa Rica All countries not mentioned elsewhere
Source: Segal (1993: 128–31) Note: In the text Mexico is said to have a rate of emigration of 7 per cent of its population. In this table it appears in the category 1–5 per cent. The figures in the table are for an earlier date.
74
Table 4.1
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Puerto Ricans enjoy free entry to the USA, net migration from the island has come to an end (US Bureau of the Census 1999). And in recent years there has been net migration from Britain to the Caribbean. Contemporary migration is in absolute quantities larger than in the previous age of migration, in relative quantities not much less, potentially larger still and more widespread in terms of the countries involved. Some more differences emerge when we look at some of the ways in which the present migration is categorised.
Dangerous dichotomies Looking at a number of the dichotomies which are used to describe contemporary migrations may help us to see the differences between nineteenth- and twentieth-century migration and to warn us of the perils of migration vocabulary. Perhaps the most commonly encountered is the dichotomy between forced and voluntary migration. Most refugees in the world today are driven to migrate in circumstances in which they really have no alternative other than death. In these circumstances forced migration has a very clear and unambiguous meaning. But in other circumstances it may be very difficult to say when a person is forced and when he or she is not. A number of writers about migrants who do not qualify as refugees have tried to insist that nearly all migrants, or at least those that are being studied, are really forced migrants, forced in this case by hunger and poverty rather than by ethnic cleansing or extreme repression. Migration is thus seen as another undesirable consequence of underdevelopment and imperialism. On the other hand, neo-classical economics tends to discuss migration entirely in terms of individual choice (maximising income or security) and never sees any element of obligation. For most migration I would say that these extremes distort the question. The majority of today’s migrations are, as Tim Hatton says about nineteenth-century migration, some kind of combination of push and pull factors. To some extent the relatively new distinction made between political and economic migrant parallels the one made between the forced and the voluntary migrant, the forced being equivalent to the political and the voluntary to the economic. Such a distinction can only have some validity in relation to the original motive for migration. Even these motives are often a mixture of political and economic factors. And once migrations arrive at their chosen or accidental destination the distinction dissolves almost completely since all migrants must be in a sense both political and economic. Once they are resident in a new country
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they need to survive, to find work, welfare, housing and so on, independently of the original cause of their migration. And like everyone else they need civil and political rights. The distinction, therefore, is not a very useful one to social scientists. But it is being increasingly used in the political debate about migration in the receiving countries, and in a strange and contradictory way. Political migrants are in principle characterised as helpless victims who deserve help. Economic migrants are increasingly portrayed as selfish, grasping people, only out to get more money. The distinction has therefore been made into a moral one between good and bad migrants. This is a very curious distinction in view of the fact that it is frequently made by exactly the same people (politicians and social scientists) who preach the virtues of the free market, including the need for workers to be flexible, and whose answer to unemployment is to get ‘on your bike’, like Norman Tebbit’s dad, and look for work. What is virtuous in people of one’s own nation is deplorable, it seems, in foreigners. But the moral distinction between good (political refugees) and bad (economic migrants) has been shifting. Since the virtual end of communist governments the idea of political refugees in the West has largely gone out of fashion. Since nearly everywhere there are now free markets and free elections it is virtually impossible to be a ‘genuine’ political refugee. Hence we frequently hear that aspiring political refugees are not in fact genuine but ‘bogus’, being really just more economic migrants. This makes the economic migrant an even worse character than before. It is bad enough to be an economic migrant in the first place, but worse to lie about it and pretend to be persecuted. The figure of the authentic political refugee has all but disappeared from the debate. And that is partly because, despite the rhetoric, everyone knows that it has become virtually impossible for a genuine refugee legally to reach the country of potential refuge, except through as yet unblocked loopholes. The next commonly heard distinction is also closely connected with the previous one, but on the surface it is much more objective. It is that between legal and illegal migrants. It might seem that nothing would be simpler, but of course it could. In the first place migration law is extremely unclear in most receiving countries and, for this reason and others, its application is extremely slow. Hence it is very difficult to say for certain whether many people who migrate do so legally or illegally. Second, from the point of view of the migrant him- or herself, life is not very different if you are legal or illegal. Both categories of people in most receiving countries suffer the same constant suspicion that they are illegal and are thus harassed by the authorities. Both have to spend
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a large amount of time maintaining their ability or right to stay in the receiving country. And there is a tendency, especially marked by the US Personal Responsibility and Work Opportunity Reconciliation Act, for legal migrants to have no more rights to such things as welfare benefits than illegal migrants. The number of illegal migrants may be growing for several reasons: there may be a growing demand for migration, there may be an advance in the networks which help people (sometimes but not always cynically and fraudulently) to migrate illegally (secret transport, forged documents and so on). But by far the most important reason is that legal migration is being made increasingly impossible because of changes in the immigration laws of receiving countries. The person migrating without recognised papers, often referred to in the press and by politicians simply by the neo-noun ‘illegals’, has become the most reviled figure of all in the migration debate, worse even than the bogus refugee; but the figure has been largely created by changes made by the receiving countries themselves. Only one route remains open in most countries for legal immigration: the reunion of families. In the US, 64 per cent of legal immigrants are in that category, and in Britain 80 per cent are (SOPEMI 1997). This situation is, of course, in marked contrast to the mass migration from Europe to the USA in the nineteenth century. Then, the main receiving country, the USA, maintained a policy towards virtually all European countries of the open door. Almost any European who could afford it and was willing to take the risk was legally able to migrate to the USA. Today none of the major countries of immigration are open. Quite the contrary, immigration is legally controlled by a massive bureaucratic apparatus which did not exist anywhere in the nineteenth century. Moreover, in all countries of immigration important, often dominant, political forces are trying to curtail immigration. There is no prospect at present of an open door policy in any country of the world. NO VACANCIES notices are going up all over the world. Up to now I have looked especially at the ideological barriers being raised against migration. But the physical and bureaucratic apparatus designed to enforce immigration control is immense. In a world in which ‘decontrol’ is routinely advocated in nearly all fields, the movement of human beings across borders is a gigantic and universal exception. Once again this is a construction almost entirely of the twentieth century and its new conceptions of the nature of the nation state. I have never seen a study which tries to estimate the supposed costs and benefits of maintaining this enormous apparatus; its justification seems to be taken for granted. To give an example, it was recently revealed that the Spanish
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government planned to invest an extra $166 million (equivalent to about 15 per cent of the annual aid budget) on improving the equipment of the Civil Guard coastal patrols against illegal immigration. The assumption that frontiers should be inviolable penetrates deeply into the social sciences. A significant amount of recent research and publication is either directly commissioned and financed by governments in developed receiving countries or closely reflects their preoccupations. Even when it is not, it still reflects a concern with researching the causes and modes of migration, with an emphasis on controlling and reducing it. In a brilliant recent article revealing the palpable absurdity and perverse results of present US migration policy towards Mexico, Douglas Massey ends with a series of recommendations as to how to control it more effectively (Massey 1998). The story of how the human being got its travel documents and restrictions has still to be definitively told. But I feel sure that it will look as implausible as many of the other Just So Stories.
Citizenship To illustrate my next point I need to quote a few remarks made by professional social scientists about old people and disabled people: ‘How much do old people cost the American public?’ (title of an article) ‘The net cost of handicapped people is $65 billion’ (quotation from article) ‘Disabled people are often uninsured and underinsured . . . constitute a disproportionate share of the total number of uninsured persons in the nation. . . . The cost of medical care of these disabled people is passed on to the taxpayer and strains the financial stability of the health care community. . . . As a result the costs of medical care for the disabled is staggering’. (quotations from an article) ‘The decline in the quality of the current generation of the elderly’ (title of article) ‘This chapter and the next bring data to bear on whether old people are a burden on, or a benefit to, younger people by ways of the public coffers’ (introduction to chapter of book)
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‘Numbers, origins, economic value and quality of technically trained disabled people in the US’ (title of article) ‘How much do the elderly really cost? What do the elderly really take from and give to the public coffers?’ (quotation from article) ‘Are the new elderly less educated than the old?’ (quotation from article) ‘The real issue is not: do the disabled do economic harm? But: what good do they do? Do they do something for able-bodied people, something which they could not do for themselves. And here there is agreement among economists: No.’ (quotation from internet article) I hope that you will agree with me that these quotations are horrifying. In fact, they are surely unacceptable in academic discourse. It is rare, I think, for a category of people to be evaluated in relation to the rest of the community in this way, although perhaps it happens in the case of such categories as trade union members. But I think we would all be surprised to read the quotations above. You may think that I have made them up. Well, that is an exaggeration: I have, however, doctored them in a small way. All of them are quotes I have found in my researches in which the word ‘immigrants’ appeared in the place of ‘the elderly’, ‘old people’ and ‘disabled people’. It is in fact a very common methodological device in the literature to say that the maxim in evaluating immigration is the welfare of the existing residents of the receiving country. And it is by no means only the enemies of further immigration who use this methodology. It is the defining question of the well-known book by Julian Simon, who until his recent death was a prolific market-friendly economic writer in favour of more immigration to the United States (Simon 1989). I maintain that it is another way in which the discussion of immigration is loaded against the immigrant and against immigration. The interests of immigrants are thus put on a lower plane than the interests of citizens. In this way I think that immigrants are singled out as an especially undervalued category of people; neither in law, nor in many discourses, are they counted as citizens. Citizenship is an attribute greatly prized by the democratic ideologies which at present dominate the world, at least nominally. Through citizenship people acquire a bundle of rights (judicial, material and economic); and citizens are nominally privileged because governments supposedly act to improve their welfare and security. If in practice this
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is not 100 per cent true, at least it is true enough to mean that where a significant part of a resident population do not enjoy citizenship then a situation of discrimination exists. When citizenship is a real privilege then residence and non-citizenship have a real price. So societies based on an ideology of some level of equality become unequal. And in enforcing, by the only means possible, the law which excludes some from legal residence the societies are forced to exercise force against persons whose only crime is being in a certain place. This situation is contradictory and unsustainable. Several governments in the European Union have recently had to radically rethink the enforcement of immigration laws after the death or injury of an allegedly illegal immigrant in the course of forcibly expulsion. And many people who are denied the right to asylum are not forcibly expelled but carry on in a kind of limbo, illegal but tolerated. It seems almost certain that the perpetuation of present migration regimes, not to mention their hardening, will at length undermine and devalue the citizenship of everybody, not just the people who migrate. This is a fundamental contradiction of a world which advocates global liberalism except for its inhabitants. As South African apartheid has, politically at least, crumbled, global apartheid has tended to intensify. At one stage in my internet surfing I decided on a more refined search. I asked for ‘migration, Mexico, United States’. In about equal numbers I received documents about human beings, grey whales and monarch butterflies. The two latter species perform a wonderful annual migration – the grey whale between Alaskan and Mexican Pacific waters and the monarch butterfly between the USA–Canada border and Mexico. Monitoring the arrival of the monarchs from the south each spring has become something of a naturalists’ and schoolchildren’s cult in the USA. The common feature of the internet sites about the whales and the butterflies is that their migration is regarded as something positive and obstacles, such as environmental problems, are denounced. The sites about the migration of human beings have a much more mixed attitude, with probably a majority devoted to asserting the need for more control. To cut what ought to be a long argument short, I think that the answer to this contradiction is simply to go in the opposite direction. Instead of restricting immigration and widening the gap between the rights of citizens and non-citizens, we should liberalise immigration and narrow the gap by increasing the rights of non-citizens. In practice this means fewer frontier controls, more rights of all to welfare benefits and participation in all aspects of economic life, the control of discrimin-
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ation, easier rights to acquire citizenship. In other words, the recasting of citizenship as a more transnational attribute, more portable across borders. That may look like an unattainable ideal. And I have argued myself that there is a trend at present in the opposite direction. But the picture is not all bleak. The practice of different countries, even within the EU which has tried to co-ordinate its immigration policies (in private meetings of ministers, rather than EU meetings which can be investigated by the European parliament), there is a wide variety of national practices. A major step towards my goal would be gained if all countries implemented present or recently past best practice in all the areas of immigration policy. As with most aspects of Utopia, the germ of this one, in spite of everything, already exists. Also, not all present plans for changes in immigration law are restrictive. The new German government is liberalising immigration law for Turkish residents, even if the reform is less radical than the one they originally envisaged. The way immigration is studied and written about by social scientists also has a major role to play in the transnationalisation of citizenship. We should be more ornithological in our approach to immigration, regarding it as a natural characteristic of our species. We should write more from the point of view of those who move to meet their human needs and less from the point of view of those who try to control them. I have little time to mention the other species in my title. Pets and farm animals are perhaps subject to even more frontier controls than human beings. This is their hard luck for leading such human-dependent lives. Late in his life John Steinbeck set out on a trip around the United States with his dog. The result is the splendid book of essays Travels with Charley (Steinbeck 1997). At one point he hits on the idea of taking a short-cut, passing through a small tract of Canada. The Canadian border guards advise him not to enter because he will have problems getting the dog back into the USA. So, without entering Canada, he returns to the USA. This time the US border guards (who saw him pass and then return from the Canadian frontier post) stop him, declare the dog to be an illegal immigrant and subject Steinbeck to a long interrogation. The experience leads him to a passionate soliloquy against the abuses and absurdity of state bureaucracy. I still have not mentioned the ants. They stand for the numerous species (including flies, mosquitoes and rats) which must make literally billions of frontier crossings every day without arousing special attention from the authorities. They face no barriers, they need no passport and at the other side of the border they have equal rights with other members
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of their species. Human beings will be better off when they have attained these aspects of the position of the ants.
References Briggs, Vernon M. Jr (1996) ‘International Migration and Labour Mobility: the Receiving Countries’, in Julien van den Broeck (ed.), The Economics of Labour Migration (Cheltenham and Brookfield, Vt: Edward Elgar). Castles, Stephen and Miller, Mark J. (1998) The Age of Migration: International Population Movements in the Modern World (Basingstoke and London: Macmillan). Hatton, T. and Williamson, Jeffrey G. (1998) The Age of Mass Migration: Causes and Economic Impact (Oxford: Clarendon Press). Massey, Douglas S. (1998) ‘March of Folly: US Immigration Policy after NAFTA’, The American Prospect, 37 (March–April): 22–33 (http://epn.org/prospect/37/ 37massfs.html). Massey, Douglas et al. (1998) Worlds in Motion: Understanding International Migration at the End of the Millenium (Oxford: Clarendon Press). Segal, Aaron (1993) An Atlas of International Migration (London: Hans Zell). Simon, Julian L. (1989) The Economic Consequences of Immigration (Oxford and Cambridge, Mass.: Blackwell). Skran, Claudena (1995) Refugees in Interwar Europe: The Emergence of a Regime (Oxford: Clarendon Press). SOPEMI (OCED) (1997) Trends in International Migration: Annual Report 1996 (Paris: OECD). Steinbeck, John (1997) Travels with Charley (1962; London: Arrow). Sutcliffe, Bob (1998) Nacido en Otra Parte: un ensayo sobre la migración internacional, el desarrollo y la equidad (Bilbao: HEGOA). United States Bureau of the Census (1999) http://www.census.gov/population/ estimate /puerto-rico/prmunnet.txt
5 Civic Nationalism, Civic Nations and the Problem of Migration Philip Spencer
Introduction It is often argued that there is a clear distinction between two fundamentally different and opposed kinds of nationalism: one civic, the other ethnic; the one open and inclusionary, the other closed and exclusionary. 1 This distinction is, however, problematic in a number of respects, particularly when we come to consider the regulation of migration, where nation states which are often seen to be essentially civic in character have worked within a largely nationalist frame of reference with particular conceptions of national identity, which may be as exclusionary in their own way as those of supposedly ‘ethnic’ nation states. The origins of this are conceptually problematic, whilst ‘civic’ nation states do not consistently abide by their own putatively democratic and inclusionary norms. It has been argued by some (Soysal 1994) that the tensions this has produced, and the contradictions which may have been exposed, may be and indeed are being resolved by the emergence of a new form of transnational citizenship, particularly in Western Europe, but this may be to underestimate the continuing grip of nationalism, not only in its ethnic but also in its civic form. All forms of nationalism, however they differ, it can be argued, partake of an exclusionary logic, requiring the construction and perception of variously defined others as in some way unwelcome, in some sense feared, in some measure to be denigrated. More open and inclusionary approaches to citizenship are likely sooner or later to run up against this logic, in some shape or form, at some level or another. If real and sustained progress is to be made, it will be suggested, alternative conceptions of political association and membership need to be articulated and grounded in a more confident and assertive internationalist or cosmopolitan frame of reference. 83
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Civic versus ethnic nationalism The distinction between civic and ethnic forms of nationalism is now widespread in the literature. In his popular work on nationalism, for instance, the writer and broadcaster Michael Ignatieff offers the following definition of the first kind: ‘civic nationalism maintains that the nation should be composed of all those – regardless of race, colour, creed, gender, language or ethnicity – who subscribe to the nation’s political creed. This nationalism is called civic because it envisages the nation as a community of equal, rights bearing citizens, united in patriotic attachment to a shared set of political practices and values’ (Ignatieff 1994: 3–4). The nation here is a political construct of some kind, formed somewhere and somehow as a political association conferring political and legal equality, rights and obligations on its (willing and consenting) members. In the ethnic model, by contrast, the nation is generally understood to be pre-political, a product of ancestry, something one is born into, a given, a fate rather than any kind of choice. In this ‘second brand of nationalism’, nations are ‘“communities of fate” bound together by seemingly objective qualities, such as history, language and culture and often, by connotation, blood ties. Rather than free associations . . . they [are] historically determined entities based on ancestry’ (Jenkins and Sofos 1996: 15). This distinction may then be applied to particular nations. In his influential work, for instance, the American theorist Rogers Brubaker analyses differing conceptions of nationhood in France and Germany along these lines, seeking to show how they have informed the construction of different definitions of citizenship over time, that there are ‘distinctive and deeply rooted French and German understandings of nationhood [which] have remained surprisingly robust’ (Brubaker 1992: 3). The distinction between a French and a German model of nationalism of course long pre-dates – and is by no means confined to – Brubaker’s work. It can be found, for instance, in the seminal work of Hans Kohn, where it is couched in terms of a contrast between a ‘Western’ or political and an ‘Eastern’ or cultural type of nationalism (Kohn 1965). Indeed more generally, it may be seen as only the latest in a long run of efforts over the years to distinguish between a ‘good’ and a ‘bad’ form of nationalism. Many if not all of these distinctions are, however, difficult to sustain or apply when scrutinised more closely,2 and although the civic–ethnic formulation is more persuasive than many others in some ways, it too runs into difficulties, particularly when we consider it in relation to issues of citizenship and migration.
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Germany and the ethnic model Germany is, as we have noted, often taken to be the prime European example of the ethnically based nation. Here, it is argued, nationality has always been defined essentially in ethnic terms. Writers such as Herder and Fichte in their various ways asserted the importance of culture, of language and of deeply entrenched roots binding people together across time and space (Hughes 1988: 24–6). Germans are essentially those born of German ‘stock’, to German parents. German nationality is inherited, passed on biologically, a function of blood rather than residence, of fate rather than choice. Thus, as Gerd Knischewski puts it, whereas in the ‘French model’ it was the universalist declaration of the citizen-state which became the dominant characteristic of modern political nationality (Staatsburgernation), the ‘German model’ stressed the particularistic characteristics of an ethnic community of common origin and descent (Volksnation) which revealed itself in the national spirit (Volksgeist) and its language, culture (Kulturnation) or even landscape. (Knischewski 1996: 126) The emergence of a unified German nation state, made up of Germans according to ethnic nationalist criteria, is, however, difficult to track with any great certainty and is at best a relatively recent phenomenon. After all, a German nation state only came into existence in 1871, after the Franco-Prussian war. Somewhat paradoxically then, given the apparent importance in this model of the past, of roots, of history, it is a nation which is rather more modern in many respects than its civic rivals to the west. Perhaps more significantly, when we look at the basis on which membership of this nation was constructed, ethnicity was not in fact the sole grounds. It was certainly not made up of only or all ethnic Germans. Not only were there a significant number of Danes, French, Poles, Jews, Italians and others inside this new German nation, but quite a large number of supposedly ethnic Germans found themselves on the outside, particularly the 10 million or so Germans so identified in the Austro-Hungarian Empire. This led, for instance, to the poet Grillparzer, a leading advocate of German ethnic nationalism, reproaching Bismarck for having created an empire by dividing a Volk (cited in Evans 1997). As Brubaker puts it: ‘In 1871 Germany became a national state and acquired a national citizenship. Yet on the ethnocultural understanding of nationhood, the Bismarckian state and its citizenship were only imperfectly national’ (Brubaker 1992: 52).
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The national basis of the new state then was actually a source of some confusion, compounded to a degree by the fact that the different states which had come together to form the new nation had differing rules of access (Halfmann 1997). In an effort to resolve this, a law was introduced in 1913 (over 40 years after the founding of the new nation) which sought to assert the rights of all with supposedly German blood to German citizenship. It is this law which has impressed so many observers, since its assertion of the primacy of ethnicity is not only so forthright but has also apparently remained a constant term of reference in all subsequent legislation. Although they gave it an extreme and particular inflection, in essential respects the Nazis did not break with this principle. The removal of citizenship rights from Jews was presented and accepted as flowing from broadly the same logic. Importantly, however, after the collapse of the Nazi regime and the establishment of a supposedly new democratic federal republic, the primacy of the ethnic principle was not challenged.3 Instead there was in some ways a massive reassertion of its centrality, as huge numbers of supposedly ethnic Germans migrated to the Federal Republic and were accorded citizenship on this basis. These included displaced persons, refugees, those expelled from neighbouring countries, resettlers, as well as East German citizens able until 1961 to cross over without hindrance into the West (Munz and Ehrlich 1997). It has been estimated that something like 10 to 12 million people migrated to West Germany on this basis in the 15 years after the end of the war. Of course, this movement has to be understood in a particular and wider post-war European context of expulsion, flight and family separation. Nevertheless, given the numbers and the material conditions of West Germany at this time (rebuilding itself, with extensive American help, from the devastation of war and defeat) it is worth noting, as Mary Fulbrook has pointed out, how the West German state was able to accord citizenship unproblematically to such migrants, and how West German society was able to integrate them without major tensions or outbreaks of mass discontent (Fulbrook 1996). On the other hand, although the scale, concentration and acceptance of this migration seem impressive, it needs to be put into a broader historical context. Migration of one sort or another has always taken place both into and (just as importantly) out of this part of Europe. As Bade has noted, ‘throughout German history, the movement of people across borders . . . has not been the exception but the norm’ and has taken all kinds of forms or been precipitated by all kinds of factors, from labour to flight to forced migration (Bade 1997: 2). It was not migration per se which caused problems, since it did not, even in the straightened
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circumstances of post-war Germany, but how that migration was perceived, or constructed in the national imagination. For there was then to be a striking contrast between this massive post-war migration and the only slightly later migration of others, not ethnic Germans, recruited as an alternative supply of cheap labour particularly from southern Europe in the 1950s and 1960s, the so-called guestworkers or Gastarbeiter. These migrants were viewed in a quite different light. It was first assumed that their stay would be only temporary and hence the issue of citizenship did not even arise. Even when this proved an illusion, as many settled and had families, no serious effort was made to offer them citizenship. On the contrary, all kinds of obstacles were put in their way, involving stringent residence, housing, income and language requirements, which cumulatively made it almost impossible for even the most determined to acquire citizenship. The difference between the two migrations was striking, not to do with matters of scale but with political perception and consequent treatment by the state. In the context of conventional distinctions between different kinds of nationalism, there was then a second, perhaps more acute paradox. For it was at precisely the moment in history when Germany as a nation state was most anchored in the West, when (West) Germany became a recognisably liberal democratic polity like its neighbours, that the ethnic criterion for nationality was most fully deployed. This was stimulated perhaps in part by ongoing resentment at the division of Germany, a division which it was insisted was only temporary. Nevertheless, it is striking that it was under a democratic republic that the ethnic principle of German nationality became more of a magnet than ever before (through the ‘Heim ins Reich’ policy), whilst more and more people who lived, worked, had children, were born, grew up and were educated in Germany had markedly inferior rights within this very polity. Unlike ethnic Germans, these migrants were not to be citizens, not allowed or enabled to participate or be represented in politics, whilst being the target, of course, of discrimination in a whole host of other ways in political, social and economic life (Castles et al. 1984). This immense contradiction was largely, and for many years, buried in the repeated official assertion that Germany was not a country of immigration, reinforced by a policy switch after 1973 which aimed to stop any further non-ethnic immigration. Neither the assertion nor the policy change, of course, could alter the reality that large numbers of non-ethnic migrants were by now effective permanent residents, nor indeed that migration was continuing (Martin 1998). What they did, however, was to provide a basis for the continuation of a quite effective
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political myth, subscribed to for many years on almost all parts of the political spectrum, that Germany was, always had been and would always remain an ethnically homogeneous state. A serious gap then grew up between official assertions and declared policy on the one hand and reality on the other, a gap made altogether more problematic by the dramatic collapse of communism in Eastern Europe at the end of the 1980s. The sudden disintegration of the East German state and its wholesale incorporation into the Federal Republic dramatically altered the terms of the hitherto buried if barely contained debate. There was immediately a massive influx of ethnic Germans, not only from East Germany but also from Poland, Russia and other parts of the disintegrating communist system, particularly once the democratic revolution had been overtaken or defeated by nationalism (Spencer and Wollman 1997). On the other hand, the sizeable community of the growing non-ethnic German population still remained without citizenship. One set of migrants was accorded full citizenship, sharpening the continuing denial of the same rights to arguably more deserving others (Wilpert 1993). At the very moment when the triumph of democracy over ‘totalitarianism’ was being celebrated then, the principle of political equality was in some ways further distorted. This contradiction was accompanied by, if not expressed in, appalling waves of violence then unleashed against Gastarbeiter and asylum seekers (Bjorgo and Witte 1993), largely played down in official circles. There were, however, further and interesting complications. For as much as hostility was heightened towards non-ethnic Germans, it also increasingly emerged against some ethnic Germans, exposing some of the hollowness of the ethnic criterion itself. Now it appeared (in contrast to the immediate post-war period) that ethnicity was not a secure category, that there were significant cultural differences between West German Germans and some of their newly arrived fellow Germans, thus generating among ethnic German nationalists what Rathzel has called a struggle between two racist discourses, an older genetic one and a newer so-called cultural one, with the latter more exclusionary than the former (Rathzel 1995). Anxieties thus generated also led to the imposition of restrictions on prospective ethic German migrants from Eastern Europe (Aussiedler), requiring the filling in of questionnaires before arrival and tests to demonstrate a German ‘heritage’ (tests, incidentally, which in 1997 were failed by 30 per cent of those forced to take them!) (Martin 1998: 24). These were, of course, by no means the only restrictions. A major debate blew up in this context over asylum seekers. Provision in the Basic Law in this regard had been generous, for a very good reason. In
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an effort to re-establish in the post-war period some kind of legitimate claim to nationhood, it had been agreed to make a very open commitment to those fleeing from political persecution. In the aftermath of the collapse of communism, however, there appeared to be a dramatic rise in the number of those applying, leading to accusations that immigration was being pursued through the back door. Again, in an effort to allay panic, restrictions were imposed, requiring applicants to apply for asylum in countries they were passing through rather than in Germany, making it extremely difficult for anyone to succeed in obtaining asylum there. Yet it was precisely the liberal nature of the original provision for asylum which, in signalling a clear break with the past, had served to hide to some degree other more problematic continuities. If the liberalism of this provision was revoked, yet the ethnic basis of citizenship continued to operate to deny rights to so many, what kind of nation was Germany now turning (back?) into? By now, a major debate had finally erupted over citizenship and nationality, as these contradictions became more and more acute. Barbieri (1998) has identified at least five different positions in this debate but, at the risk of simplification, it may be helpful to focus on the three main ones associated respectively with the Christian Democrat Union/ Christian Social Union (CDU/CSU) (then) governing coalition on the right; the Free Democrats (FDP) in the political centre; and the German Social Democratic Party (SPD) and Greens, soon to form the new government, on the left. The former sought by and large to maintain the increasingly problematic status quo, insisting that ethnic nationalism remained central, that Germany therefore remained a country of no immigration (although Kohl actually had this claim removed from the 1998 election platform). The FDP argued for a quota-based immigration policy. The SDP and the Greens argued that, in return for the restrictions accepted on asylum, a more open approach, loosening the ethnic basis of nationality, had to be taken to citizenship, particularly by allowing for dual nationality, although at least one leading figure on the left (Otto Schilly) also appeared to argue against further immigration on the grounds (more familiarly articulated on the right) that the ‘boat is full’ (Martin 1998; Migration News, August 1998). The victory of the Red/Green coalition in the elections did not, however, lead to a straightforward implementation of their proposals, which were significantly watered down in March 1999, as the arguments of the right continued to resonate (Migration News, May 1999). It appears that many in Germany, faced with or having inherited such a complex and contradictory situation, in which ethnic nationalism
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has played a large but not consistently overriding role, are looking outside Germany and elsewhere in Europe for a solution. If ethnic nationalism now causes difficulties, and if the certainties it once promised are no longer so clear, is there not an alternative kind of nationalism that is at once both more acceptable in a democratic context and can provide a more coherent and consistent basis for policy? Given that Germany is so fully integrated into Western Europe, so central to the European Union, can it not abandon its ethnic nationalism and adopt the civic kind supposedly developed and adopted in France and other Western nation states (Weil 1996; Joppke 1998)? However, whilst there may be no cause to regret the crisis of the ethnic model in Germany (although given the resistance shown on the right to efforts to abandon it, it may be unwise to celebrate its demise prematurely), it is by no means clear that a coherent, rational or just civic alternative does in fact exist in France or elsewhere in Western Europe, for reasons to which we now turn.
France and the civic model The idea of a civic rather than ethnic form of nationalism is often held to have originated in France at the time of the Revolution, and the principles laid down then to have been most fully developed and articulated in that country. The French Revolution, indeed, is often taken to be the defining moment at which a specifically modern nationalism came into existence (Llobera 1994), a moment in which people and nation were formed as one, with the nation as an essentially political association, constituted by the people. As the Abbé Sieyes put it at the time (in his famous pamphlet outlining the demands of the Third Estate against the aristocracy and monarchy), ‘all public powers without distinction are an emanation of the general will, all come from the People, that is to say the Nation. These two terms ought to be synonymous’ (cited in Schwarzmantel 1991: 31–2). Among the key theorists who then helped to develop the idea of a civic nationalism were two nineteenth-century historians, Jules Michelet and Ernest Renan. Michelet was the first great chronicler of the Revolution, whilst Renan for his part was the author of a famous and still widely cited text on nationalism (‘What is a Nation?’), whose central argument was explicitly articulated in opposition to what he took to be the German model (Renan 1994). When we look more closely at both of these writers, however, it is hard to sustain a clear-cut contrast between two radically different conceptions of the nation, one ethnic and German, the other civic and French. In an incisive analysis of the work of both of these writers on
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this topic, Tzvetan Todorov has shown how the contrast between an ethnic and supposedly German set of ideas and a French supposedly civic set does not stand up to close scrutiny. As he argues, ‘the image that Michelet seeks to give France belongs to the purest ethnocentric tradition, which consists in attributing superlative qualifications to one’s own group, without attempting to justify them’ (Todorov 1993: 217). For Michelet, France is ‘the pilot ship of humanity’, ‘the history of France [is] that of humanity’, France is the ‘moral ideal of the world’. 4 Other nations are grossly inferior and depicted in overtly racist terms. Thus the Germans are characterised by ‘the inherent barbarism of their race’, Russia is a monster, England a bloated giant whilst ‘the Jews . . . operate everywhere, but they are rooted in the country of gold’ (cited in Todorov 1993: 214–18). Renan’s arguments are equally problematic in related ways. Whilst he did claim famously that ‘a nation is the actual consent, the desire to live together . . . [and that] the existence of a nation is an everyday plebiscite’ (Renan 1994: 17), much of his argument is underpinned by romantic and determinist assumptions, often of a more or less explicitly racist character (Sternhell 1991) and informed by ideas of the spirit and tradition more often associated with supposedly German ethnic nationalism (Silverman 1992: 20–1). If the intellectual origins of the distinction between ethnic and civic nationalism are problematic, the allocation of citizenship within and by the French civic nation has also not been straightforward. Much has often been made of the way in which the French Third Republic in particular developed a form of civic nationalism supposedly capable of assimilating and integrating migrants in ways excluded by a narrower, closed, ethnic form of nationalism. What is less often discussed is the political context in which this civic nationalism emerged and the nationalist framework, of the left as much as the right, within which conceptions of citizenship were framed and by which they were driven. Renan himself was writing with a particular set of concerns uppermost in his mind: the recent loss of Alsace and Lorraine to Germany in the wake of the latter’s military victory over France in 1871. As Weil amongst others has noted, Renan’s arguments could be used as the basis for a critique of Germany’s annexations, to provide a rationale for why the people of those regions should be considered (and consider themselves) part of the French nation (Weil 1996). This was a period of considerable national humiliation, when the experience of defeat fuelled nationalism on the left as much as on the right. If they had different solutions, different projects for the nation, what both left and right aimed for was its revival, the reassertion of its power, and, not least,
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revenge over the Germans. For the French left, as much as the right, had by then its own obsession with national unity, was committed not only to the notion but to the forced construction of a homogeneous nation. The French state in the Third Republic, under governments of both right and left, had then to take great care and devote considerable resources to ensure that French became the common, dominant language, that a particular understanding of French history was taught to all, that French territory was seen as eternal, that a common culture was imposed on all living under its sovereignty. This was a major undertaking, whose scale should not be minimised. As Tombs points out, ‘to take only language: official reports show that in the 1870s standard French was a foreign language for about half the population . . . [and] language was far from being the only form of diversity’ (Tombs 1996: 306). It was then only as a result of a massive and sustained effort on the part of the central state5 that so many peasants and others could have been turned into Frenchmen, as Weber put it (Weber 1976), ready not only to take revenge on the Germans for the humiliation of 1871 but also of course to extend the imperialist power of the French nation state over so many others through colonial conquest (the plebiscites so dear to Renan, of course, not being for everyone).
Ius soli and ius sanguinis It is in this context that we need to look in particular at one core distinction between ethnic and civic nationalism that has major implications for migration. Civic nationalism appears on the surface to be more open and more inclusionary than its rival. The civic conception of the nation stresses the significance of choice, of association if not participation, membership of a political community. In the ethnic model, on the other hand, the emphasis is on descent, on birth, if not biology, on membership of a cultural community. This has implications for the rules which may be formulated to define who can and cannot be a member of the nation. Civic and ethnic conceptions of the nation may then be associated with different legal principles, with the principles of ius soli and ius sanguinis. However, if conceptions of German citizenship have been primarily articulated in terms of the latter principle (although not without difficulty, as we have seen), is it the case that the history of France as the model civic nation reveals a clear and consistent application of the former? The answer to this question is at best ambiguous, for a number of reasons. To begin with, we have to note that ius sanguinis is also used by all
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civic nations. As Mertes has pointed out, ‘ius sanguinis is a rule in most places in the world; children of American parents, for instance, are citizens of the United States even if born abroad. Ius soli and, of course, naturalisation, are additional ways of conferring citizenship’ (Mertes 1996: 27). In the French case, as Brubaker acknowledges, citizenship law has always been based to some degree on the principle of ius sanguinis, supplemented with significant elements of ius soli, even as he insists that France and Germany represent polar cases on the grounds that French citizenship law includes a substantial territorial component, whilst German citizenship law contains none at all (Brubaker 1992: 81). Perhaps more seriously, the process by which ius soli came to complement ius sanguinis in France raises almost as many questions as it answers. As Weil has shown, ius soli was not an achievement of the Revolution, the moment when the civic nation was supposedly founded, but had indeed been rather strongly associated with feudalism, with the ancien régime. Under Napoleon indeed, it was felt ‘that birth within the borders of the country was not enough to guarantee the loyalty of the children of those foreigners born in France’ (Weil 1996: 77), whereas those with blood ties could be more relied upon to defend the nation against its enemeies. Only much later, in the Third Republic, was this changed and the principle of ius soli readopted. However, it is important to locate this shift again in its context. The Third Republic came into existence as a result of a humiliating military defeat at the hands of Prussia, whose victory inaugurated a new and powerful rival nation state, the German Empire. This defeat was, as we have noted above, the source of considerable resentment, focusing attention on the importance of a powerful and large army which could defend France against its enemies and perhaps reverse this humiliation. As Withold de Wenden has argued, this placed what was seen to be an unfair burden on existing French citizens, whilst raising questions and concerns about the presence on French soil of residents who were not French citizens (Withold de Wenden 1994: 87). Giving these residents French citizenship, on the principle of ius soli, could also make them eligible for military service. The issue of military service was certainly a focal point for the new nationalist project, with the army functioning, as Tombs puts it, ‘as a giant mixer, the “school of the nation” . . . men from different regions were deliberately mixed and posted away from home . . . near universal military service was adopted, not only for military reasons but also in the hope of creating a sense of patriotism and certainly providing a practical course in spoken French’ (Tombs 1996: 309). Together with
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the construction of a national educational system (so central to Ernest Gellner’s (1983) influential modernist theory of nationalism), it was part of what Brubaker acknowledges as a rigorous state-sponsored programme of socialisation, a sustained process of ‘moral and civic indoctrination’ (1992: 109), producing national citizens, instilling nationalist loyalties where they did not spontaneously exist. This was not quite the unequivocal resolution of a conflict between two fundamentally different principles that it has sometimes been made out to be. When the law on citizenship was revised in 1889 to incorporate ius soli, it was, perhaps unsurprisingly, something of a compromise. (This was true at other levels too: as Noiriel has shown, it was also a compromise between a number of quite specific interests, many of which it is difficult to think of in particularly civic terms. Many of those, employers for instance, pushing for ius soli at this time had quite narrow and temporary concerns.) What made the compromise possible, and what was of greater long-term significance than the precise details of the legislation, was the way in which the national interest was now identified on all sides as supreme, how the national frame of reference became hegemonic, how society, as Noiriel puts it, now became nationalised. In his view, the decade of the 1880s was a ‘moment fondateur’ in this regard, a period in which there was a critical rupture with earlier more universalist principles, derived from the most radical period of the French revolution (Noiriel 1988). Prior to this, the notion of the foreigner was imprecise, to do more with locality than with nation. 6 Certainly the presence on French soil of those who did not have French nationality was not previously a cause of acute public concern. When France went to war with Prussia in 1870, for instance, Napoleon III did not think it necessary to intern or expel Germans from French territory, a decision which would have been unthinkable in 1914. Similarly it was only now that refugees turned from being a local concern to a preoccupation of the central state, identified not merely as a burden on the local purse but as a matter of national security, requiring extensive bureaucratic surveillance (Noiriel 1993: 80). If the French right was focused on the ius sanguinis principle, and could thus be seen to adopt a form of ethnic nationalism, the left’s defence of ius soli was equally nationalist in ways that were to have potentially serious longer-term consequences. As Brubaker shows, the discourse of the left was saturated (as was Michelet’s and Renan’s, of course) with assumptions about the superiority of France, of French history, of the French language, of French culture. Those now accorded French citizenship on the basis of ius soli were expected to assimilate to
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something given in its own way, to adapt and adjust, to embrace a national identity that was presented to, if not forced upon, them. It is relatively easy to point to the overtly exclusionary objectives of right-wing nationalism in France, where a whole host of movements have sought over the years to expel variously identified aliens. These have included, inter alia, Italians (in the nineteenth century), Jews (in both the nineteenth and twentieth centuries), refugees (especially this century), and more recently immigrants particularly from Africa. The nationalism of the left, however, has not been without its own difficulties. For whilst republicans were able to mount a successful defence of the rights of man in the Dreyfus affair and to contain (for a while) the virus of antisemitism, the French left’s assimilationist nationalism became increasingly problematic in the longer term.7 As Silverman has argued, from a political angle it may appear initially egalitarian – even universalist – but in its assumptions about culture it is particularist and intolerant (Silverman 1992). If they are to become members of the French nation, immigrants must assimilate to a given, dominant, national culture. This has had a number of consequences. Amongst other things, it has led to a tendency in that same culture to render immigrants in some degree invisible in the depiction of the nation’s identity. Thus, as Noiriel notes, there is very little recognition of the impact or scale of immigration in Braudel’s highly influential work on the history of France (Noiriel 1988). At the same time, the particular ways in which the French state has in reality sought to regulate immigration in the supposed national interest, and the rather dubious criteria which have informed such judgements, are easily buried. De Gaulle, for instance, often seen as a champion of republican values, agreed to ethnic quotas which were designed to discriminate against black immigrants (Noiriel 1988). Racist views of this kind are not of course confined to the elite, republican or not, but powerfully influence dominant conceptions of national identity, even though, as Hargreaves points out, these ‘ethnicised categories against which French images of national identity are constructed are seriously at odds with both the de facto participation of immigrants and their descendants within French society and with their own sense of belonging’ (Hargreaves 1995: 159). It has not been easy for the French left to meet the challenge of such sustained ethnic nationalism, effectively mobilised in more or less overtly racist forms by movements of the far right, by asserting in any straightforward way the principles of a civic nationalism. Rather, what has been required is a move beyond the sacrosanct categories of the national itself, a reinterrogation of some fundamental principles. In
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fact, as Catherine Lloyd has shown, the anti-racist movement of the 1990s in France has been impelled to develop along precisely these lines, articulating a demand for a ‘new citizenship’ which is not rooted in terms of nationality so much as in participation on an equal footing in the polity, in the economy and in society. The focus of this movement, driven from below, with a strong emphasis on local action, has been on both formal and substantive rights, to security, to housing, to education, to employment, to political representation and participation. Its demands had to be and have been articulated in universalist and increasingly internationalist terms, as the anti-racist movement has challenged and critiqued the inherently ambivalent notion of a French national identity (Lloyd 1998). All of this has led in recent years to a sharp conflict over citizenship and nationality, which has in many ways transcended the old divide between a French right and left each adhering to their own particularist conception of the nation. In resisting the persistent efforts of the right to revise French citizenship in an ethnic direction, anti-racist republicans in France then have had to go both back and forward: back to the universalism of the most radical phase of the French revolution (the 1793 Declaration of Rights); and forward to a conception of citizenship decoupled from nationality altogether (Lloyd 1998; Withold de Wenden 1994).
National identity, immigration and citizenship: the British case Similar issues arise if we turn to a brief consideration of the British case, although here the pull of an exclusionary nationalism has been rather more effective. Ius soli in Britain was a product not of a political decision but typically (given the absence of a written constitutional tradition) of common law and precedent and, as Cesarani has pointed out, citizenship laws have developed in a confused and uncertain manner, tied up with shifting definitions of national identity (Cesarani 1996). These have varied over time, depending in good measure on who or what at any particular point in time has been perceived or feared as a dangerous other. Indeed, as Robin Cohen has argued, this national identity may have been shaped to a significant extent by exclusionary measures taken to reject or eject those deemed not to fit the prevailing definition. Over time, those so proscribed have included former French allies, Jews (more than once), Lombards, Hansards, Flemings, Calvinists, Catholics, Spanish agents, continental revolutionaries, Germans, Gypsies, Bolsheviks, and (especially since the war) black commonwealth citizens.8 Here, as he notes,
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the Other is a shifting category. . . . Who becomes the alien, who the Other, who has to be feared, despised and deported, varies greatly. But all are victims of a nasty version of the old game of ‘pass the parcel’ [which] gets dumped into the lap of that group that the Self, or more exactly the defining agents and agencies of the British identity, most need at that time to distance themselves from and repulse. (Cohen 1997: 372–3) The formulation of the appropriate categories to define who is and is not British has not been easy. At times, it has involved more or less overt racism, as both Miles and Cesarani have argued (Miles 1987; Cesarani 1996). The attempt to racialise national identity is certainly discernible in a number of legislative initiatives from the 1905 Aliens Act, deliberately constructed to keep out Jews fleeing persecution in Eastern Europe, to the legislation of 1962, 1968, 1971 and 1981, the last of which, Cesarani argues, ‘exceeded all previous legislation by abrogating the principle of ius soli. . . . Such legislation exposed the racialised character of British nationality, reflecting the bitterly polarised and at one extreme, racist understanding of British nationality in the mid-1980s’ (Cesarani 1996). This understanding was often obscured, if not hidden, as policy makers struggled with the difficulties of formulating a coherent policy on migration in the aftermath of Empire. It had, after all, been the riches of Empire and the ideology of ‘mother country’ which drew or encouraged many to come to Britain in the first place. As Kathleen Paul has argued, this produced a fundamental contradiction between what was initially a formally inclusive legal nationality policy and an informal, exclusive construction of national identity (Paul 1997). The resolution of this conflict over time and in sometimes halting stages involved, as she has shown, the construction and pursuit of quite distinct strategies in relation to at least four designated groups. In the immediate post-war period, despite a domestic economic crisis and a labour shortage, white UK residents were encouraged to migrate to designated parts of the Empire. At the same time (and in sharp contrast with the treatment of Jews fleeing persecution from Germany in the 1930s), quite major efforts were made, at considerable cost, to recruit and integrate Europeans from refugee camps. Alongside this, in a more ambivalent way reflecting the tensions of a desire in the wake of independence to both define them as still British but also alien, Irish migrant workers were both recruited and accorded citizenship, whilst being at the same time subjected to sustained discrimination. Finally, in the wake of an immigration encouraged for economic reasons (cheap
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labour being the uppermost consideration), black migrants from the colonies (particularly from the Caribbean and the Indian subcontinent) were identified as a major problem, requiring a complex but ultimately drastic revision and retraction of citizenship. A succession of acts were passed (in 1957, 1962, 1968, 1971 and 1981) which, as Paul puts it, ‘transformed British citizens into immigrants and immigrants into coloureds’ (Paul 1997: 169). This racialisation of national identity, which as Rich argues ‘drew on deep traditions of nativist reactions’ (Rich 1990: 106) had the effect of effectively ‘controlling the migration of subjects of colour, while allowing white subjects to migrate at will’ (Paul 1997: 180). It is difficult to interpret this complex and tortuous history as the expression of a coherent civic nationalism, given the discrimination and systematic inequities which appear to have marked successive revisions of citizenship, or to have a great deal of confidence in the civic character of a nation that has felt impelled to define itself by keeping out so many others on such apparently uncivil grounds. As in France, the correlate of a racialised immigration policy has been a structural racism that pervades the institutions not just of the British state but British society (Solomos 1993). This is not accidental, of course, for, as Sarah Spencer amongst others has pointed out: ‘immigration policy is interlinked with and shapes the way in which former immigrants are treated . . . . If the policy excludes or discriminates against a particular group, it implies that they are undesirable’ (Spencer 1991: 9).
Immigration, national identity and the nation state What this limited discussion of the supposedly civic nations of France and (more briefly) Britain suggests is that the invocation of national identity which lies at the heart of even civic nationalism runs up against a serious difficulty when migration occurs, as it has so often down the centuries and as it continues to do so. For what immigration in particular does is to pose a critical set of questions to any form of nationalism, what Baubock has called ‘the question of collective identity; who are we and who belongs to us?’ (Baubock 1994: 7). Immigration raises questions about who may be included and who must be kept out, and so about the composition and character of the nation; about who may have or claim rights and who may not, and so about the nature of the polity itself. Migration into civic nations may have periodically been welcomed, indeed organised, if perceived to be in the national interest (often for cheap labour), but care has usually been exercised to
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ensure that immigrants were of the right type, that their entry would not subvert the existing, dominant vision of national identity. Otherwise, immigration has been constructed as a problem, purportedly of numbers, of security, of culture, but perhaps most fundamentally for national identity itself. Insofar as nation states, even civic ones, then accord or deny citizenship on this basis, they may run into serious difficulties in arriving at a coherent, rational or just approach to issues of migration. For, as Briggs has pointed out, ‘in a world of nation states, immigration control is a discretionary act of government. Regulation is thus directly linked to sovereignty over a particular land area’ (Briggs 1996: 3). If Smith is then right that the civic model of the nation is ‘in the first place, a predominantly spatial or territorial conception . . . [that] such nations must possess compact, well-defined territories’ (Smith 1991: 9), then it would appear that actually civic nations may be driven to control migration as much, if not more so, than ethnic ones but perhaps no less arbitrarily. In their extensive survey of contemporary migration, Boyle, Halfacre and Robinson perhaps unwittingly draw attention to a critical slippage here. They begin by arguing that ‘the civic conception of the nation has clear implications for migration . . . . Unregulated immigration poses a major threat to such a nation, since it implies a loss of control over who can and cannot become citizens’. It may then indeed be the case, as they say, that ‘modern civic nations have little choice other than to become committed to selectivity in international migration’. At the same time, as they then note, however, ‘such a policy serves to bolster national self-identity and homogeneity, through the admission of certain ethnic, racial and religious groups and the exclusion of others’ (Boyle et al. 1998: 156). The line between civic and ethnic nationalisms seems to become especially blurred at this point, if indeed the argument is not becoming circular. Civic nations, it seems, have to control migration in order to maintain their territorial integrity. However, attempts to control migration are framed by and in turn reinforce dominant conceptions of identity which turn out to have a significant ethnic component, precisely what was supposed to distinguish ethnic nations from civic nations in the first place. This, it has to be said, seems to have been the case for many civic nations, inside and outside Europe, from the outset, or at least once they began to formulate an international set of controls on migration in the latter part of the nineteenth century. It was, after all, democratic states which led the way in developing rules for the control of immigration – France in the 1880s, Britain in 1905, although it can be argued
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that it was the USA which in some respects was the pioneer in this area (Cohen 1992; Noiriel 1993). In any event, as Zolberg has shown, the adoption of what he calls the zero-baseline ‘contributed to the naturalisation of nativism, that is of a cultural construction whereby national societies are viewed as self-contained population entities with a common, homogeneous ancestry . . . [so that] immigration came to be regarded as a pathogenic disturbance’ (Zolberg 1997: 315). In fact, in order to justify such regulation, supposedly civic nation states have been driven over time to engage in a whole set of mystifications, denying their own responsibility for migration, manufacturing representations, making arbitrary distinctions, and erecting a host of barriers and gates over and through which people may (or more usually may not) pass. Yet migration is not exactly a new phenomenon as far as nation states, often held up as models of a civic kind, are concerned. Something like 11–12 million people were forcibly ‘exported’ from Africa from the seventeenth to the nineteenth centuries, whilst between 1820 and 1930 55–65 million left Europe, mostly for the USA (another ‘model’ civic nation for some writers). It might perhaps be objected that, for much of this time, neither France nor Britain had yet become fully civic nations. The European imperialism which dictated much of this migration seems to have continued, however, for quite some time after whenever the democratic transformation, which is supposed to have made these nations civic, may be dated in either case.9 Since the ending of the European empires, there have been massive movements of people, including the return of settlers to Europe, and the controlled immigration of non-Europeans as cheap labour, leaving aside the havoc caused by the British state on the Indian subcontinent that led to partition (Boyle et al. 1998). What is new, and arguable, is the perception that there is a huge, permanent, insatiable, natural demand for migration, rather than particular sets of circumstances, various combinations of quite identifiable ‘push’ and ‘pull’ factors, many if not all of which involve the actions of civic nation states themselves. What are even more arguable are the related assumptions, often fostered in the politics of civic nations, that immigration is some kind of zero sum game (Hammar 1990: 105) both for nation identity and resources, that migrants can only be loyal to one ‘homeland’ and that they become an instant drain on the resources of the state they are allowed to enter. It is assumptions of this kind perhaps which have helped to generate the frequent, if not essentially arbitrary, effort to distinguish between different ‘applicants’ for admission, between legal and illegal immigrants, between economic migrants and political refugees, between voluntary
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and forced migration. These distinctions are not only conceptually problematic (Lucassen and Lucassen 1997), but are liable to lead to civic nation states breaking their own norms and engaging in the systematic abuse of human rights. The transformation of refugee status over the past century, as refugees have become the focus of extensive surveillance and policing by supposedly civic nation states, has been particularly striking. As Noiriel’s analysis of the French case shows, ‘national egoism’ has become the main factor in the formulation and implementation of asylum policy throughout the modern world, with the lead often being taken by civic nations (Noiriel 1993).10 At the same time, such discriminatory policies have led to a contradictory state of affairs with regard to citizenship within civic nation states, involving distinctions between fully-fledged national citizens, denizens (or migrants who have stayed despite assumptions to the contrary) and aliens (Hammar 1990; Barbieri 1998; Castles and Miller 1998). There are now citizens of nation states with (at least formally) full rights; denizens who have some rights but none of a political nature; and aliens who have very few, if any, especially when they are incarcerated pending appeal or deportation.
Citizenship and the civic nation Citizenship in supposedly civic nations is thus rather more problematic than the civic model suggests. This, it may be argued, has to do with the way in which the category of the national has taken precedence over that of the citizen. For, despite appearances, citizenship and nationality may be thought of as grounded differently. Oomen has suggested that citizenship is about equality, a category whose internality to a given society is not questioned, whereas nationality (and, he adds, ethnicity) are about kinds of collective identity which raise the possibility of externality. Thus, ‘while nationality and ethnicity as identities are exclusionary and could be inequality generating, citizenship can essentially be inclusionary and equality oriented’ (Oomen 1997: 35). Now of course it can be argued that, in its own various ways, citizenship too is exclusionary. Minors may be excluded on grounds of age; felons on grounds of their failure to observe the laws; tourists on the grounds that they are not staying long enough to take on the burdens that go with the rights of citizenship. It can be argued that any conception of politics implies some sense of bounded space within which political activity can take place, within which people may be citizens. It is not obvious, however, why this space has to be articulated in national terms, why
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the grounds of exclusion have to be based on the idea of nation, on associated conceptions of national identity. The problem is that principles of exclusion from the nation state, even from supposedly civic nation states, are framed characteristically in terms of who is deemed to belong to the nation and who is not, who is wanted by the nation and who is not, who may or may not threaten the nation’s identity, involving a closure which necessarily has effects not just externally (on those excluded), but also internally (on those included) as well as on those caught between nation states, the stateless.
Beyond nationalism? It has been argued in recent years, on the other hand, that there are signs of a shift towards a different basis for citizenship, one no longer grounded in a nationalist frame of reference. According to Soysal, for instance, we are seeing now the emergence of a post-national citizenship, a new model which has been developing throughout the post-war era, based on universal personhood rather than national belonging (Soysal 1994). There is now, she has argued, ‘an intensifying discourse about individual and human rights that is transmitted as global norms and models by a number of inter- and transnational agencies’ (1994: 41). This has resulted in a signal shift in policy towards the large numbers of migrants who have, contrary to expectations, become permanent residents with reunified families. In a survey of a variety of apparently different ‘incorporation regimes’ across Western Europe, Soysal suggests that there is now a growing standardisation and uniformity of approach, involving the granting of ‘an expanding range of rights and privileges . . . blurring the line between citizen and non-citizen’ (1994: 130). The result is that ‘the scope and inventory of non-citizens’ rights is not different significantly from those of citizens’ (1994: 119). There is, in her view, a powerful logic at work here, so powerful indeed that it ‘obliges national states not to make distinctions on grounds of nationality in granting civil, social and political rights’ (1994: 145). At the same time, and importantly, it runs counter to the influential evolutionary schema proposed by Marshall (1950), whereby citizenship rights are developed from the civil to the political to the social within an essentially national frame of reference. 11 It would indeed be encouraging if this were the case, but there remain powerful obstacles in the path of such developments, which it would be a mistake to underestimate. Nation states are notably jealous of their powers to regulate migration, perhaps increasingly so as contradictions
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appear within the civic nationalist framework and the gap between civic principle and discriminatory practice widens. Even insofar as they have appeared to give up some of these powers and move to co-ordinate policy at a European level, the latter has been articulated within an exclusionary frame of reference, in which the 12 to 13 million nonnationals (that is those who are not already citizens of the nation states that make up the EU) have markedly inferior status (Kostakopolou 1998). European Union citizens who are not nationals of member states do not enjoy a range of rights relating, for instance, to entry, to residence or to full political participation. Even within the ranks of interstate citizens, there is systematic discrimination between the economically active and inactive, designed to prevent the migration and mobility of the latter, discrimination of a kind which significantly the United States Supreme Court specifically attacked as a basic infringement of rights on that continent (Hall 1999). This has led to justified criticisms that the EU is in the process of constructing a Fortress Europe predicated on the same exclusionary assumptions as the immigration policies of its member states (Fekete and Webber 1994; Carchedi and Carchedi 1999). These exclusionary assumptions may be articulated in a variety of ways. The emphasis may be placed on the identity purportedly distinct to a given nation or it might equally well be articulated at another level, in which the project is to defend a European identity of a similar sort. Feldblum has suggested that we think about this, not so much in terms of differences of principle as of different strategic responses of a nationalist kind. The first she labels neo-nationalist, whilst suggesting that ‘the latter be understood as a reformulating of nationalist ideas where the redrawing of lines around a culturalist and physical Europe ensures the exclusion of non-European foreigners – an exclusion that could no longer be effectively or easily accomplished at the level of the nationstate’ (Feldblum 1997: 11). However, although nation states remain powerful, and nationalism continues to exert a powerful appeal, in both the supposedly civic ‘West’ as well as the purportedly ethnic ‘East’, there may nevertheless be grounds for some optimism. The persistent appeal of older notions of international solidarity may be reinforced by the development of new international norms which may be invoked to challenge the exclusionary activity of nation states (Cassese 1990). Attention is now beginning to be devoted to alternative conceptions of democratic citizenship along cosmopolitan or transnational rather than national lines (Baubock 1994; Held 1995), and involving multiple or tiered membership linking local, regional and global identities and associations (Soysal 1994).
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Interestingly, such arguments may be articulated from a variety of perspectives, feminist (Lister 1997), neo-republican (van Gunsteren 1998), or neo-Marxist (Waterman 1998). At the same time, it can be argued that a new internationalist movement is developing (Waterman 1998), encompassing socialist and feminist campaigns and networks, human rights movements and the growing number of non-governmental organisations independent of, and attempting to monitor, the activities of nation states.
Conclusion The thrust of all of this is to point to the need for and desirability of forms of citizenship no longer tied to or located in a national frame of reference. How successful any of this turns out to be can at this stage of course only be a matter of conjecture or speculation. However, if a more just approach to issues of migration and a new basis for citizenship are to be found, they will surely require the development of an alternative ideological framework to nationalism, the mobilisation of internationalist movements and the development of alternative sources of authority which can effectively challenge the powers of nation states, civic or ethnic, to regulate migration and the nationalist assumptions which underpin such regulation.
Notes 1. This chapter draws on work undertaken for a larger project on nationalism I have been carrying out with Howard Wollman. 2. For a survey and discussion of some of these distinctions, see Spencer and Wollman (1998). 3. In this context, as Fulbrook amongst others has pointed out, it turned out to be ‘in practice easier for ethnic Germans in East Germany to claim rights to citizenship in West Germany if they had documents proving their parents or grandparents had been members of NSDAP, the SS or other Nazi organisations, than if they had been murdered in Auschwitz and all their property and documentation destroyed’ (Fulbrook 1996: 89). 4. Although his thinking is more complex, Durkheim also expressed analogous ideas at times, particularly during the First World War when he insisted that German nationalism was radically different and markedly inferior to French nationalism (Giddens 1986). 5. There are some interesting parallels between this project and that of the German state in the Polish-speaking regions of the Reich at around the same time. A major set of ‘Germanisation’ measures involved amongst other things not
Civic Nationalism and the Problem of Migration 105
6.
7.
8.
9.
10.
11.
only an extensive effort to colonise the land, but also to impose German culture (and the German language) on the inhabitants of the region. That this was, as Eley has argued, in large part the initiative of national liberals, may cast further doubt on a narrowly ethnic interpretation of the character of German nationalism (see Eley 1986). As he puts it, until 1889 ‘la perception de l’Autre n’est pas, le plus souvent, fondée sur la definition nationale . . . L’étranger est encore avant tout celui qui n’appartient pas à la communaute locale’ (Noiriel 1988: 278). Noiriel has argued that the defence of Dreyfus was itself predicated, within a fundamentally assimilationist problematic, to some extent on a distinction between French Jews and other Jews. This made it difficult to react quickly to the Vichy regime’s initial selection of ‘foreign’ Jews as a target, so that, when the regime attacked French Jews too, a degree of barbarism had already been accepted (Noiriel 1988). Cohen’s lengthy list also includes illegal entrants and overstayers, as well as drug dealers and even a black Briton who had committed a driving offence! One major writer on the subject (Leah Greenfeld), who sees Britain as the model nation of this kind, dates this back to the seventeenth century, which, however one looks at it, is certainly somewhat prior to the full flowering of the British Empire (Greenfeld 1992). Noiriel has noted how France, the very nation which at the height of the revolution in 1793 proclaimed its openness to all those fleeing from tyranny, became preoccupied with taking more and more measures to restrict entry to refugees precisely when the need became most acute in Europe in the 1930s (Noiriel 1993: 34, 108). Soysal regards this, of course, as a welcome and positive development. There are other writers who have noted the same developments, but who see it in a very different light. Jacobson, for instance, takes a very different view. For him, the erosion of the powers of nation states to determine who may or may not be citizens, which means they no longer have a ‘way of shaping and defining the national community’ (Jacobson 1997: 6), is leading to a devaluation of citizenship itself.
References Bade, K. (1997) ‘From Emigration to Immigration’, in K. Bade and M. Wiener (eds), Migration Past, Migration Future (Oxford: Berghahn). Barbieri, W. (1998) Ethics of Citizenship: Immigration and Group Rights in Germany (Durham, N.C.: Duke University Press). Baubock, R. (1994) Transnational Citizenship: Membership and Rights in International Migration (London: Edward Elgar). Bjorgo, T. and Witte, R. (eds) (1993) Racist Violence in Europe (Basingstoke: Macmillan – now Palgrave). Boyle, P., Halfacre, K. and Robinson, V. (1998) Explaining Contemporary Migration (London: Longman).
106 Philip Spencer Briggs, V. (1996) Mass Immigration and the National Interest (Armonk, N.Y.: M. E. Sharpe). Brubaker, R. (1992) Citizenship and Nationhood in France and Germany (Cambridge, Mass): Harvard University Press. Carchedi, B. and Carchedi, G. (1999) ‘Contradictions of European Integration’, Capital and Class, 67: 119–53. Cassese, A. (1990) Human Rights in a Changing World (Cambridge: Polity). Castles, S. and Miller, M. (1998) The Age of Migration: International Population Movements in the Modern World (Basingstoke: Macmillan – now Palgrave). Castles, S., Booth, H. and Wallace, T. (1984) Here for Good: Western Europe’s New Ethnic Minorities (London: Pluto). Cesarani, D. (1996) ‘The Changing Character of Citizenship in Britain and Europe’, in D. Cesarani and M. Fulbrooke (eds), Citizenship, Nationality and Migration in Europe (London: Routledge). Cohen, S. (1992) Imagine There’s No Countries: 1992 and International Immigration Controls against Migrants, Immigrants and Refugees (Manchester: Greater Manchester Immigration Aid Unit). Cohen, R. (1997) ‘Shaping the Nation, Excluding the Other: the Deportation of Migrants from Britain’, in J. Lucassen and L. Lucassen (eds), Migration, Migration History, History (Berne: Peter Lang, European Academic Publishers). Eley, G. (1986) ‘German Politics and German Nationality: the Dialectic of Nation-forming in the East of Prussia’, in G. Eley (ed.), From Unification to Nazism: Reinterpreting the German Past (London: Routledge). Evans, R. (1997) Rereading German History: From Unification to Reunification (London: Routledge). Fekete, L. and Webber, F. (1994) ‘Inside Racist Europe’, Race and Class, 29, 3. Feldblum, M. (1997) ‘“Citizenship Matters”: Contemporary Trends in Europe and the United States’, Stanford Electronic Humanities Review, 5, 2. Fulbrook, M. (1996) ‘Germany for the Germans?’, in D. Cesarani and M. Fulbrooke (eds), Citizenship, Nationality and Migration in Europe (London: Routledge). Gellner, E. (1983) Nations and Nationalism (Oxford: Blackwell). Giddens, A. (ed.) (1986) Durkheim on Politics and the State (Cambridge: Polity). Greenfeld, L. (1992) Nationalism. Five Roads to Modernity (Cambridge: Cambridge University Press). Gunsteren, H. van (1998) A Theory of Citizenship (Oxford: Westview). Halfmann, J. (1997) ‘Immigration and Citizenship in Germany: Contemporary Dilemmas’, Political Studies, XLV: 260–74. Hall, P. (1999) ‘European Citizenship – Unfinished Business’, in L. Holmes and P. Murray (eds), Citizenship and Identity in Europe (London: Ashgate). Hammar, T. (1990) Democracy and the Nation State: Aliens, Denizens and Citizens (Aldershot: Avebury). Hargreaves, A. (1995) Immigration, ‘Race’ and Ethnicity in Contemporary France (London: Routledge). Held, D. (1995) Democracy and the Global Order (Cambridge: Polity). Hughes, M. (1988) Nationalism and Society: Germany, 1800–1945 (London: Edward Arnold). Ignatieff, M. (1994) Blood and Belonging: Journeys into the New Nationalism (London: Vintage).
Civic Nationalism and the Problem of Migration 107 Jacobson, D. (1997) Rights Across Borders: Immigration and the Decline of Citizenship (Baltimore, Md: Johns Hopkins University Press). Jenkins, B. and Sofos, A. S. (1996) ‘Nations and Nationalism in Contemporary Europe’, in B. Jenkins and A. S. Sofos (eds), Nation and Identity in Contemporary Europe (London: Routledge). Joppke, C. (1998) ‘Asylum and State Sovereignty: a Comparison of the United States, Germany and Britain’, in C. Joppke (ed.), Challenge to the Nation State (Oxford: Oxford University Press). Knischewski, G. (1996) ‘Postwar National Identity in Germany’, in B. Jenkins and A. S. Sofos (eds), Nation and Identity in Contemporary Europe (London: Routledge). Kohn, H. (1965) Nationalism: Its Meaning and History (New York: Anvil). Kostakopolou, T. (1998) ‘European Citizenship and Immigration after Amsterdam’, Journal of Ethnic and Migration Studies, 24, 4: 639–56. Lister, R. (1997) Citizenship: Feminist Perspectives (Basingstoke: Macmillan – now Palgrave). Llobera, J. (1994) The God of Modernity: The Development of Nationalism in Western Europe (Oxford: Berg). Lloyd, C. (1998) Discourses of Anti-Racism in France (London: Ashgate). Lucassen, J. and Lucassen, L. (1997) ‘Introduction – Old Paradigms and New Perspectives’, in J. Lucassen and L. Lucassen (eds), Migration, Migration History, History (Berne: Peter Lang, European Academic Publishers). Marshall, T. H. (1950) Citizenship and Social Class (Cambridge: Cambridge University Press, 1950). Martin, P. (1998) Germany: Reluctant Land of Immgration (Baltimore, Md: American Institute for Contemporary German Studies, Johns Hopkins University). Mertes, M. (1996) ‘Germany’s Social and Political Culture: Change through Consensus?’, in M. Mertes, M. Muller and H. A. Winkler (eds), In Search of Germany (New Brunswick: Transaction Publishers). Migration News http:/migration.ucdavis.edu (California). Miles, R. (1987) ‘Recent Marxist Theories of Nationalism and the Issue of Racism’, British Journal of Sociology, 38, 1: 24–43. Mitchell, M. and Russell, D. (1996) ‘Immigration, Citizenship and the NationState in the New Europe’, in B. Jenkins and A. S. Sofos (eds), Nation and Identity in Contemporary Europe (London: Routledge). Munz, R. and Ehrlich, R. (1997) ‘Changing Patterns of Immigration to Germany’, in K. Bade and M. Wiener (eds), Migration Past, Migration Future (Oxford: Berghahn). Noiriel, G. (1988) Le Creuset Francais: Histoire de l’Immigration X1X–XX Siecles (Paris: Seuil). Noiriel, G. (1993) La Tyrannie du National: Le Droit d’Asile en Europe, 1793–1993 (Paris: Calmann-Levy). Oomen, T. (1997) Citizenship and National Identity from Colonialism to Globalism (New Delhi: Sage). Paul, K. (1997) Whitewashing Britain: Race and Citizenship in the Postwar Era (New York: Cornell University Press). Rathzel, N. (1995) ‘Aussiedler and Auslander – Transforming German National Identity’, Social Identities, 1, 2: 263–82. Renan, E. (1994) ‘What is a Nation?’, in J. Hutchinson and A. Smith (eds), Nationalism (Oxford: Oxford University Press).
108 Philip Spencer Rich, P. (1990) ‘Patriotism and the Idea of Citizenship in Postwar British Politics’, in E. Vogel and M. Moran (eds), The Frontiers of Citizenship (New York: St Martin’s Press). Schwarzmantel, J. (1991) Socialism and the Idea of the Nation (London: Harvester). Silverman, M. (1992) Deconstructing the Nation: Immigration, Racism and Citizenship in Modern France (London: Routledge). Smith, A. (1991) National Identity (London: Penguin). Solomos, J. (1993) Race and Racism in Contemporary Britain (Basingstoke: Macmillan – now Palgrave). Soysal, Y. (1994) Limits of Citizenship: Migrants and Postnational Membership in Europe (Chicago: Chicago University Press). Spencer, P. and Wollman, H. (1997) ‘Nationalism and Democracy in the Transition to Postcommunism in Eastern Europe’, Contemporary Politics, 3, 2. Spencer, P. and Wollman, H. (1998) ‘Good and Bad Nationalisms: A Critique of Dualism’, Journal of Political Ideologies, 3, 3. Spencer, S. (1991) ‘Introduction’, in S. Spencer (ed.), Strangers into Citizens: A Positive Approach to Migrants and Refugees (London: Rivers Oram Press). Sternhell, Z. (1991) ‘The Political Culture of Nationalism’, in R. Tombs (ed.), Nationhood and Nationalism in France: From Boulangism to the Great War, 1889–1914 (London: HarperCollins). Todorov, T. (1993) On Human Diversity: Nationalism, Racism, and Exoticism in French Thought (Cambridge, Mass.: Harvard University Press). Tombs, R. (1996) France, 1814–1914 (London: Longman). Waterman, P. (1998) Globalisation, Social Movements and the New Internationalism (London: Mansell). Weber, E. (1976) Peasants into Frenchmen: The Modernisation of Rural France, 1870– 1914 (London: Chatto and Windus). Weil, P. (1996) ‘Nationalities and Citizenships: the Lessons of the French Experience for Germany and Europe’, in D. Cesarani and M. Fulbrooke (eds), Citizenship, Nationality, and Identity in Europe (London: Routledge). Wilpert, C. (1993) ‘The Ideological and Institutional Foundations of Racism in the Federal Republic of Germany’, in J. Wrench and J. Solomos (eds), Racism and Migration in Western Europe (Oxford: Berg). Withold de Wenden, C. (1994) ‘Immigration, Nationality and Citizenship in France’, in R. Baubock (ed.), From Aliens to Citizens: Redefining the Status of Immigrants in Europe (Aldershot: Avebury). Witte, R. (1996) Racist Violence and the State: A Comparative Analysis of Britain, France and the Netherlands (Harlow: Addison Wesley Longman). Zolberg, A. (1997) ‘The Great Wall against China’, in J. Lucassen and L. Lucassen (eds), Migration, Migration History, History (Berne: Peter Lang, European Academic Publishers).
6 Political Asylum in Germany and Britain Liza Schuster
Introduction The very obvious dissimilarities between Britain and Germany serve to mask the growing parallels in policy and law that are explained by common features of these two states. The differences between them are immense, varied and not to be underestimated, and include their political structures and their geopolitical positions. Elsewhere I have gone into these differences in greater detail. 1 However, in spite of these differences, especially in terms of the number of asylum seekers arriving in each country, both countries simultaneously introduced legislation designed to deal with a phenomenon constructed by both states as a problem – the number of asylum seekers. The argument presented here is that it is those characteristics that the two states have in common that are most important for asylum policy – that they are states, that they are liberal representative democracies, that they are welfare states and that they are nation states.
Nation states Germany and Britain are both nation states, though one is much older than the other. Wolfgang Schäuble of the Christian Democratic Union (CDU) is very clear about what being a nation state means: We – the states of old Europe – are classic nation-states. We do not create our identity through belief in an idea, but through belonging to a particular people, as it is geographically bordered and as it has developed historically. (Schäuble 1989: 25) 109
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This view informs and shapes German citizenship and Germany’s receptiveness to ‘foreigners’. In Britain, there is less of an attachment to the idea of ethnic belonging or to a unifying political ideal. Instead there is a claim to multiculturalism (a claim that is contested and problematic) which permits the co-existence of Black, Asian and British identities However, these differences in conceptions and understandings of citizenship can be overplayed. In each state, citizenship is about belonging. Those who are citizens, that is, those who belong, have rights and privileges (and responsibilities) that must be protected, and rights that non-citizens do not have. Citizenship continues to be a means of formally distinguishing who is or is not British or German. Nonetheless, there is an ongoing discussion in each country about what it means to be British or German. National identity is problematic for both states (Peck 1992; Cohen 1994) and, in the process of renegotiating this identity, asylum seekers, one of only two groups of outsiders 2 with a ‘right’ to enter either state in any numbers, are being constructed as the threatening ‘other’.3 Although membership of the German Volk is tightly and narrowly defined, there is an on-going debate in Britain about what makes someone British (Gilroy 1987; Cohen 1994).4 In each country, immigration controls are filters, designed to select those who belong or those who can be most easily assimilated to a particular British or German identity. Asylum legislation, though ostensibly solely about protection, is also part of that filtering process. The introduction of lists of ‘safe third countries’ introduces buffer zones which keep at a distance the most different, those most likely to change the nation into a ‘durchrasste Gesellschaft’ – a mongrelised society (Edmund Stoiber, Die Zeit 30 August 1991), a ‘multikriminelle Gesellschaft’ – a multicriminal society (Streibl, former Prime Minister of Bavaria, cited in Knopp 1994: 125), or another Balkans (as the former Conservative Minister Norman Tebbit suggests). While such crude formulations are not usually part of mainstream British politics, the emphasis in the British debates on the multicultural nature of British society and on its good race relations is usually a prelude to the argument that these good relations between the different cultures were dependent on strict immigration controls (Hansard: Michael Howard, 11 December 1995, cols 699 and 710; Kenneth Clarke, 2 November 1992, col. 21; Kenneth Baker, 13 November 1991, col. 1083). In Germany, violence against those who did not obviously belong to the ‘nation’ is explained by the presence of too many foreigners, so that the solution was obviously to limit the numbers of them who could enter.
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Brochmann (1992) and Miles and Thränhardt (1995) have argued persuasively that the impact of immigration controls on societal harmony can only be negative. As Steven Cohen has said, ‘It is illogical, nonsensical to think that we can take the racism out of immigration control’ Cohen 1995: 6–7). 5 These views are not confined to academia. In British parliamentary debates, while some MPs claimed the legislation was necessary to maintain good race relations (Hansard 2 November 1992: Kenneth Clarke, col. 21; Ian Duncan-Smith, col. 53; Jacques Arnold, col. 70), others, especially those with a large ethnic minority in their constituency, voiced concern about the impact of the new legislation on their constituents. In the debate on the 1992 Bill, Tony Blair argued that ‘good race relations cannot be other than harmed when we pass legislation which in the main will adversely affect one part of our community only’ (Hansard 2 November 1992, col. 36).6 Such concerns also had an impact in Germany. Those who wished to retain the original Art.16(2)2 pointed to a different kind of Germany, one to which they were not anxious to return. Nazi Germany was invoked as a warning to those who would tamper with the constitution (Prantl 1994: 156–7). The rise of the far right and their racist attacks on foreigners and asylum hostels created a dilemma for the opponents of the amendment.7 It seemed as though a large proportion of the population, including a violent and extremist minority, wanted greater restrictions, though this was in part due to selective reporting, as in the coverage of the mass demonstration in Berlin in November 1992.8 During the asylum debates, many politicians spoke of their duty to respond to the wishes of those who had elected them – to the demos: 90% of the population expect us to change the constitution. Failure to do so would have dramatic consequences. Faith in the political process would be deeply shaken.9 (Hermann Otto Solms, chairman of the liberal FDP, during the final debate in the Bundestag) The choice posed was stark – amend the constitution so as to restrict access to the asylum process or face the probability of a violent collapse of the state; or, in the case of Britain, introduce the Asylum and Immigration Appeals Act (1993) or face Germany’s problems. Mattson argues that: The solution to the crisis as it took shape in the early nineties was as constructed as the problem. At each and every step, certain rhetorical and political strategies determined the way the issue itself would evolve. (Mattson 1995: 83)
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Why was an asylum problem constructed? In both Britain and Germany there is a distinct correlation between economic insecurity and racism (Foot 1965; Thränhardt 1995). This is not a necessary correlation, as demonstrated by the response to refugees in the immediate aftermath of the Second World War, but the temptation to blame ‘foreigners’ for economic problems is one too rarely resisted by governments. In the case studies on Britain and Germany, the economic difficulties facing the two states were offered as one explanation for the targeting of asylum seekers. Concerns about protecting the nation state found common ground with worries about financing the welfare state. The debate surrounding the welfare state also revolves around issues of inclusion and exclusion, of belonging and entitlements, and it is to the welfare state that I now turn.
Welfare Of all the arguments for restriction of entry, the protection of welfare provision is perhaps the most challenging, for it seems as though providing assistance to one vulnerable group – asylum seekers – must mean providing less to other needy groups – the unemployed, the disabled, the poor. The claims of these last groups on the welfare state have two advantages over those of asylum seekers: they are ‘our’ poor and disadvantaged, and they are finite. Asylum seekers’ claims to assistance, on the other hand, are the claims of strangers and are probably, according to the dominant logic, fraudulent and, perhaps most importantly, are potentially infinite. To argue that the claims of asylum seekers are as valid as those of citizens would, it seems, place an intolerable economic burden on the state. There are two assumptions at work here: that the welfare state has finite capacity and is currently on the verge of collapse; and that lifting restrictions would mean that millions from around the globe would make their way to Europe, specifically to Britain and Germany. It was this economic argument that formed the basis of the push to distinguish ‘genuine’ from ‘bogus’ refugees, to limit assistance to ‘deserving’ asylum seekers (Gerster 1993: 169). 10 The crisis of the welfare state in both Britain and Germany has provided the rationale for exclusion in each state, in spite of the difference between the two welfare systems. Reference to the crisis offers convenient justification for making distinctions, and not just between ‘bogus’ and ‘genuine’ asylum seekers, but for limiting the number to be protected by choosing from among the ‘genuine’ (Ann Widdecombe, Hansard 15 July 1996, col. 823). That there was a welfare crisis, and that it was due to a scarcity of resources
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(rather than decisions about how those resources are deployed) was treated as axiomatic, yet the massive increase in the number of people claiming benefits in Germany after 1989 – people who had not previously contributed to the Federal Republic’s coffers – did not bankrupt the state. In Britain, the new Labour government has responded to the crisis in the National Health Service by reallocating funds from other departments. However, reducing costs cannot be the most important goal since both Britain and Germany have introduced more expensive ways of delivering benefits to asylum seekers – vouchers. It is accepted that substituting vouchers or goods in kind for cash benefits is more expensive and less efficient.11 The goal for both Britain and Germany is to dissuade potential asylum seekers from making their claim. This is considered a sensible investment, since it is assumed that it will lead to fewer claims and costs (Home Office Statistical Bulletin 15/97: para. 1). While the reception policies of countries undoubtedly has an impact on an asylum seeker’s choice of destination, it is only one factor influencing it (Koser 1997) and is unlikely to be a major determinant in the actual decision to flee. Supporters of new, more restrictive legislation pointed to the millions of ‘genuine’ refugees around the world and, in a strange leap of logic, went on to claim that Britain/Germany could not be expected to provide for all of them, and that to attempt to do so would be to inflict terrible pressures on ‘our poor’, ‘our homeless’, ‘our unemployed’ (Edward Garnier, Hansard 2 November 1992, col. 61; Gerster 1993). This line of reasoning overlooks the difficulties most would-be refugees have in leaving their own country, as well as the fact that the overwhelming majority of refugees find asylum in neighbouring countries (Kosovo being a case in point, and Africa hosts 95 per cent of African refugees). The conclusion of this chain of illogic was that there was therefore a need to pick and choose from among these ‘genuine’ asylum seekers those who could contribute to the welfare of Britain and Germany, those who would most easily ‘fit in’ and to exclude those who would ‘bleed Britain of £100 million through benefit fraud’ (Tim Janman, Hansard 13 November 1991, col. 1087).12 An attempt to disguise the racist nature of such concerns was made by appealing to the need to reduce the provocation to racist violence that the ‘large’ numbers of asylum seekers offered. In Britain, while home-grown racist and fascist groups have not generally had the same influence as in the rest of Europe (Solomos 1993: 244–5), asylum policy in the 1990s was formulated in the shadow of potential far-right violence. The Conservative government in Britain used the Neo-Nazi attacks on
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asylum seekers in Rostock and Hoyerswerda (which were watched and applauded by police and bystanders) as a warning of what would happen if Britain did not reduce the numbers who gained access to Britain (Bowen Wells, Hansard 2 November 1992, col. 78). 13 The Labour government has used the Stephen Lawrence inquiry into the murder of a black teenager and the promise of new race relations legislation to deflect accusations of racism arising from the 1999 Act, while in Germany it was stressed that the ‘acceptance capacity’ (Schäuble 1989: 26), ‘threshold of tolerance’ and ‘the limits of endurance’ had been reached (Neusel 1993: 153).
Multiparty representative liberal democracies Given the electorate’s disillusionment with all of the parties, and the system as a whole, given the general acceptance by this time that the asylum seekers were responsible for the crisis that many Germans believed Germany was facing, and given the fear that the liberal, democratic state was threatened by internal extremist forces, it is perhaps unsurprising that liberal voices were drowned out by the shouts of a demos fed on a diet of tabloid prejudice and racism, and misled by their elected representatives (Kaye 1998). The arguments that the numbers of asylum seekers had to be restricted because of the threats they posed to the identity, welfare and stability of Germany and Britain were contrived. They were constructed with a particular goal in mind – the winning of elections. For the most part, it has been the parties of the right who have kept asylum and migration on the electoral and political agenda. Yet, as we have seen, the parties of the centre left in both Britain and Germany have continued to accept this agenda. Traditionally, conservative parties have been in favour of economic protectionism and restrictive immigration policy, and in both Britain and Germany it has been the conservative parties who have been most active in demanding restrictions. Liberals, ideologically wedded to free markets and (relatively) free movement, reacted differently in each country. In Germany, where they formed part of the governing coalition, they strove to tone down the government proposals, but in the final vote supported their partners in government. In Britain, where the Liberal Democrats had little to lose, they could afford to uphold their principles, as they continued to do against Labour’s own Immigration and Asylum Act (1999). Although the conservative governments each had (a few) individual members who expressed concern that the new legislation might be
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going too far – Emma Nicholson and Patrick Cormack in Britain and Heiner Geißler in Germany – on the whole, their members tended to support the party line. Parties of the left, by contrast, have traditionally been torn between internationalism and the need to protect the national workforce from cheap foreign labour. In Britain, where far less pressure had been placed on the opposition party, especially after the 1992 election, splits in the Labour Party were much less obvious, since the MPs could all oppose the bill. Different objections were raised, however, by different sections of the party. The ‘old left’ (Jeremy Corbyn, Max Madden, Robert Maclennan and the late Bernie Grant among others), to judge by their contributions to the debates and their records as MPs, opposed the bill as a matter of principle (and socialist principle at that): As a socialist, I believe that people who are fleeing war and persecution should be welcomed into this country as they have been so many times by past generations. (Dave Nellis, Hansard, 21 January 1992, col. 275) In other cases, opposition seemed to reflect ‘liberal’ values such as due process and fairness: It is accepted that the issue between us concerns the due process of law – in other words, it is about fairness and whether our procedures conform to the rules of natural justice. (Tony Blair, Hansard, 2 November 1992, col. 36)14 In Germany, the Social Democratic Party(SPD)’s differences could not be avoided and were revealed for all to see during the final debate when just over half of the SPD MPs voted for the amendment. Again, as in the British case, motives were mixed, with some, such as Heidemarie Wieczorck-Zeul and Christoph Zöpel, taking the socialist internationalist position, and others, in particular that generation of SPD politicians who had experienced exile, concerned about the abandonment of a cornerstone of the liberal democratic state. However, because of its different voting system, Germany’s ideological menu is more comprehensive than Britain’s, offering, in addition to the Greens, the PDS (Democratic Socialists).15 These were the only parties in Germany that voted unanimously against the amendment. The same ideological positions are there in both Britain and Germany, if one looks for them. The British Labour Party maintained a relatively united front against the 1993 Asylum and Immigration Appeals Act and the 1996 Asylum and
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Immigration Act, though there were differences in approach discernible. The New Labour wing tended to focus on legal arguments, whereas Old Labour (especially Diane Abbott, Jeremy Corbyn, Max Madden and Neil Gerrard) stressed the racism and discrimination inherent in the legislation. The Labour government’s initiative, the Immigration and Asylum Act (1999), 16 threatened (briefly) to provoke a major backbench rebellion, but the Party’s majority and strict use of the whips ensured that the Act went through with only cosmetic changes, in spite of vociferous opposition from MPs like Diane Abbott and Jeremy Corbyn. It seems that, just like the borders of nations and states, the borders of parties and ideologies do not neatly coincide. To a greater or lesser degree, the debates on asylum in the early 1990s revealed tensions and splits in the main political parties, especially in the parties of the centre left. Each of the four main parties – the Christian Democrats, the Conservatives, the Social Democrats and the Labour Party – has its share of universalists and particularists, reflecting the rival tensions in liberal democracies. These tensions are spotlighted by elections.
The constraints imposed by democratic elections The elections in 1992 in Britain and 1994 in Germany were the first since the opening of the Berlin Wall, the reunification of Germany, the collapse of the Soviet Union and the outbreak of war in Yugoslavia. One consequence of these traumatic events in and around Europe was not so much the movement of large numbers of people from East to West, as the realisation by people in the East and the West that they could move. Although Britain’s island status and its strict immigration controls insulated it to a great extent from these events, the media brought the events into our living rooms and served to create a sense of vulnerability to the mass movements of the people displaced by those events. In Germany, the presence of Roma (gypsies) begging and inviting passers-by to play ‘Find the Lady’ on the streets of the cities, where they were concentrated, distorted perceptions of just how many people there were and created the same sense of loss of control. As the borders dissolved or became permeable, there were hundreds of thousands of refugees who could and did cross into Western Europe (though not the millions predicted). They presented both a challenge and an opportunity to the incumbent governments of the European Union. As representative democracies, Britain and Germany hold regular elections, which entail particular dangers for vulnerable non-members of the demos such as asylum seekers, who can be exploited by those
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anxious to return to or hold on to power. In 1992/3 the governing parties in each state were facing an electorate disenchanted with conservative governments that had each been in power for more than decade. The Conservatives in Britain and the Union parties in Germany had been in power thirteen and ten years respectively, and were quick to exploit this chance. Concern about verdrossenheit (voter apathy) was being voiced in each country. An issue was needed which would bring the voters to the ballot box in order to legitimate the democratic process once again, but in setting the agenda, the incumbent government had to choose an issue that would highlight the weaknesses of the opposition parties. In Britain, the issue that actually won the 1992 election for the Conservatives was tax, but Conservative candidates also played the race/immigration card: Maureen Hicks (Wolverhampton NE) warned of Labour’s ‘Open Door policy’, Tim Janman (Thurrock) spoke of bogus refugees, and David Evans (Welwyn and Hatfield) demanded a ‘moratorium on foreigners’ (Le Lohé 1992a: 472). The first reading of the Asylum and Immigration Appeals Bill took place on 1 November 1991 and the second in January 1992. Although it fell because there was not enough parliamentary time before the approaching election, as suggested earlier by Dietrich Thränhardt (1997), it had already served its purpose. The introduction of this bill reinforced the traditional image of the Conservative Party as the party that could be trusted to control immigration, that is, to put the interests of British citizens above those of non-citizens. As party strategists prepared for the General Election in 1997, Andrew Lansley, Conservative candidate for South Cambridgeshire, pointed out that immigration was an issue which still had potential to hurt the Labour Party (Hansard 20 November 1995, col. 340), a fact that the Labour government has taken steps to correct, introducing the Immigration and Asylum Act (1999), which contains measures more Draconian than anything introduced by the Conservatives (cutting the number of appeals to one, increasing deportations, mandatory dispersal, vouchers for all applicants, and so on). In Germany, the government’s post-unification honeymoon had been cut short by tax hikes, and Kohl’s government was widely seen as responsible for the country’s deepening economic crisis: therefore the government could not attack their opponents on tax issues. The asylum issue must have seemed an ideal opportunity both to deflect responsibility for the perceived crisis onto others – asylum seekers – and to wrong-foot the opposition. The SPD mishandled the asylum debate badly. They accepted that something would have to be done, though
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this should not involve a constitutional amendment. Their alternatives were either weak and hesitant – amendments to the laws and regulations governing the asylum procedures – or vague and general – fighting the causes of flight and increasing aid to developing countries (Münch 1993, 1994; Knopp 1994; Mattson 1995). They were treated as risible by the Union parties. Throughout the autumn of 1992, pressure on the SPD mounted until, in spite of fierce opposition from within the party, it was accepted that a compromise had to be made. The SPD leader, Bjorn Engholm, persuaded his party that, unless they accepted the necessity of a constitutional amendment, they would be made responsible for obstructing a resolution to the crisis.17 Without disputing the demands that large numbers of asylum seekers (by comparison with other European countries) placed on the German people and state, it is nonetheless difficult to avoid the conclusion that asylum seekers also presented an political opportunity for German and British governments, which they exploited with alacrity (Münch 1994). Could they have behaved any differently? It was almost inevitable that asylum seekers would become an election issue. It was a chance for political opportunists to demonstrate that they were more responsive to the citizenry than their rivals. The strength of a democracy – its responsiveness to the demos – is also the source of one of its weaknesses. The interests of the demos – the electorate – will usually tend to be privileged, even over those whose needs are greater. However, a heterogeneous opposition in both countries indicated that there was a sizeable number of people who believed either that fairer methods of controlling entry could be found (Roos 1991; Rudge 1993), or that the German constitution should not be changed (including the Greens, the PDS, and organisations such as Pro Asyl), or that the Asylum and Immigration Appeals Act was unnecessary, 18 in other words that the actual measures chosen were wrong. Most of those who opposed the legislation in Britain and Germany were from the parties of the left, or the Greens or the Liberal Democratic parties (less so in Germany). And yet, migrant and refugee groups, and lawyers and campaigners acting on behalf of migrants, refugees and asylum seekers, seem to carry less weight than far right political parties and extra-parliamentary extremists. To a large extent, this is because the proposals from the Labour Party and the SPD, from refugee groups, refugee lawyers, churches and other advocates leave unchallenged many features of the nation state which actively militate against an adequate response to the needs of refugees and asylum seekers. These include the right to control entry at the border and to place ‘interests of
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state’ before universal commitments. By conceding that some restrictions are necessary, all these groups are put on the defensive.
A balance sheet This chapter has examined the similarities between Britain and Germany. The differences are substantial – from the basis of citizenship and nationhood to geopolitical conditions and political structures. These differences account for the difference in the scale of the challenge that faced Britain and Germany at the start of the 1990s, and for the very different debates leading up to their legislative and political responses to those challenges. And yet these responses were very similar – the construction of asylum seekers as a threat to the nation, to welfare provision, to political stability – because Britain and Germany are both politically stable, liberal-democratic, welfare-providing, nation states. It is the similarities between these states that explain why the arrival of groups of people – very disparate in size and origin – could be constructed as exactly the same kind of threats necessitating the same legal solutions. However, the most important factor in the construction of the refugee problem is statehood. States create refugees, both by driving them from their states of origin, but also by definition. For political, as well as economic reasons, states define refugees as those forced to flee for political reasons. More importantly, they are defined as people to whom states have particular obligations, unlike migrants. Because of their special status, they could, in theory, enter states like Britain and Germany whenever they needed to, though in fact this privilege is dependant on factors other than individual need. This means that the numbers (and kinds) of people who enter cannot in theory be so easily controlled. And yet, as sovereign states, Britain and Germany have to be seen to control their borders. The relatively small numbers of asylum seekers reaching Britain in the early 1990s were an indication that access could be and was controlled, though the opposite case was made. Germany, through its constitutional amendment, which turned all neighbouring states into a buffer zone, hoped to make itself as difficult to reach as Britain (and figures in the last five years indicate that numbers are now more tightly controlled). And yet, each country remains vulnerable. The arrival of boatloads of Kurds on Italian shores caused consternation in Germany, as did the arrival of 800 Czech and Slovak Roma and Sinti at the end of 1997, and increasing numbers of Kosovars in August and September 1998 in Britain. Having done as much as possible within the state to control entry,
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reducing the number of people seeking asylum in Britain or Germany becomes a question of deterring them or containing them within those areas where they are oppressed (as are the Kurds in Turkey, and the Roma and Sinti in the Czech Republic, Romania and Slovakia) or close by (such as the Kosovars in camps in Albania and Macedonia). The oppressors are often happy to co-operate, recognising that refugees and asylum seekers are a weapon which they can use to exert pressure on receiving countries, as Milosevic did with the Kosovars. What has been learnt from a comparison of these two states and their asylum policy? First, that even in the age of globalisation and the Single European Market, control of territorial boundaries is still central to these states’ understanding of themselves as states. Second, the welfare state presents a challenge to those who argue for the abandonment of restrictions, but it is a challenge that needs to be answered. Those who use the welfare state as grounds for restrictions are usually those who attack it most vociferously. Third, that representative democracies remain vulnerable to populist appeals to exclusivity, to short-termism and to the manipulation of fear and anxiety in order to create scapegoats to distract the demos from the failings of their representatives. Fourth, however vulnerable universal values have become, however often they are trumped by the particular demands of the demos, they still have a significant role to play in ameliorating the worst affects of states’ narrow interests, because they act as a scale against which states’ behaviour can be measured.
Notes 1. This paper is based on Chapter 6 of my thesis, which explores both the similarities and the distinctions between the two states. 2. Since ethnic Germans have a right to return by virtue of ius sanguinus they can be considered insiders. The second group of outsiders with a right to enter are the children of migrants so long as they are below a certain age. 3. In the run-up to the 1998 Federal elections, the second group – family members – became a target. The CSU proposed lowering the age limit for children wanting to join their family in Germany from 16 to 11 years. 4. In its anxiety to prevent ‘benefit tourism’, to ensure that non-Britons could not avail themselves of social welfare benefits in Britain, a rule was introduced according to which only those who could prove that their primary residence is in Britain are entitled to benefits. An unforeseen side effect of this rule is that Britons who have been travelling for extended periods or working abroad, and who have not been resident in Britain, are now finding it difficult to get benefits on their return.
Political Asylum in Germany and Britain 121 5. The asylum debate shows that it is difficult to see how racism can be taken out of nationalism. Nationalism cannot be other than racist and exclusionary, as is very clear from the work of Spencer and Wollman (1997). A detailed discussion of the arguments, however, lies outside the framework of this chapter. 6. See also during the same debate, Roy Hattersley, col. 50; Max Madden, cols 59–60; Jeremy Corbyn, col. 65; Piara Khabra, col. 79. 7. An interesting difference between Britain and Germany is concern with the opinion of the rest of the world. While Britain remains secure with its selfimage and either unconcerned by the opinion of non-Britons, or convinced that it is universally admired, in Germany members of the public, of parliament and particularly of the business class expressed concern that the attacks on foreigners would seriously damage Germany’s image abroad, and thus its international trade. 8. Had I not been present and had to rely on the media, I would have believed that the demonstration was simply anti-racist. Instead, I saw with my own eyes many banners proclaiming ‘Deportation is murder’, ‘Hands off Art. 16(2)’ and ‘Asylum is a human right’. 9. My translation. 10. Johannes Gerster is a CDU MP. 11. Home Office White Paper, Fairer, Faster and Firmer – A Modern Approach to Immigration and Asylum, July 1998: 39. 12. Janman was citing an article in The Times, conveniently printed on the same day as the debate. The figure of £100 million cannot, of course, be verified. 13. Little reference was made to the actual, though unpublicised, racial attacks that occur daily in Britain, of which the Lawrence and Menson cases are only the most well known. 14. Mr Blair’s focus on the legal aspects of the bill was shared by other lawyer MPs, such as Paul Boateng (Hansard, 2 November 1992, col. 33). 15. The far right find it difficult to overcome the 5 per cent hurdle at federal elections. While Britain has its Scottish and Welsh national parties (the SNP and Plaid Cymru), they have not been as successful as the Bavarian CSU. 16. For a more detailed discussion of the Immigration and Asylum Act (1999), see Bloch (2000) and Schuster (1999). 17. Mattson suggests that the compromise involved a trade-off, with the CDU promising to consider the introduction of an immigration law. 18. Mr Robert Maclennan, the member for Caithness and Sutherland, referring to actual numbers which were far smaller than those predicated by Kenneth Baker twelve months earlier, questioned whether the bill was necessary (Hansard, 2 November 1992, col. 55).
References Bloch, A. (2000) ‘A New Era or More of the Same: Asylum Policy in the UK’, Journal of Refugee Studies, Special Issue, April.
122 Liza Schuster Brochmann, G. (1992) ‘Control at what Cost?’, paper prepared for the workshop ‘Migration into Western Europe: What Way Forward?’, Royal Institute of International Affairs, London. Brubaker, Rogers W. (1992) Citizenship and Nationhood in France and Germany (London: Harvard University Press). Cohen, R. (1994) Frontiers of Identity (London: Longman Sociology Series). Cohen, R. (1995) ‘A Rotten Act’, Jewish Socialist, 35. Foot, P. (1965) Immigration and Race in British Politics (Harmondsworth: Penguin). Gerster, J. (1993) ‘Das neue Asylrecht-Auswir Kungen in Deutschland und auf Europa’ in L. Drüke, Fluchtziel Europa: Strategien für eine neue Flüchtlings politik (Bonn: Aktuel Verlag). Gilroy, P. (1987) There Ain’t No Black in the Union Jack (London: Hutchinson). Home Office (1997) Statistical Bulletin, no. 15. Home Office (1998) White Paper, Fairer, Faster and Firmer: A Modern Approach to Immigration and Asylum (July). Kaye, R. (1998) ‘Redefining the Refugee: the UK Media Portrayal of Asylum Seekers’, in K. Koser and H. Lutz (eds), The New Migration in Europe: Social Constructions and Social Realities (London: Macmillan – now Palgrave). Knopp, A. (1994) Die deutsche Asylpolitik (Münster: Agenda Verlag). Koser, K. (1997) ‘Social Networks and the Asylum Cycle: the Case of Iranians in the Netherlands’, International Migration Review, XXXI, 3: 591–611. Le Lohé, M. (1992a) ‘Political Issues’, New Communities 18, 3: 469–74. Le Lohé, M. (1992b) ‘Political Issues’, New Communities, 18, 1: 140–7. Mattson, M. (1995) ‘Refugees in Germany: Invasion or Invention?’, New German Critique, 64: 61–85. Miles, R. and Thränhardt, D. (eds) (1995) Migration and European Integration: The Dynamics of Inclusion and Exclusion (London: Pinter Publishers). Münch, U. (1993) Asylpolitik in der Bundesrepublik Deutschland: Entwicklung and Alternativen (Opladen: Leske and Budrich). Münch, U. (1994) ‘Vorgeschichte, Probleme und Auswirkungen der Asylrechtsänderung 1993’, in C. Tessmer (ed.), Deutschland und das Weltflüchtlingsproblem (Opladen: Leske and Budrich). Neusel, H. (1993) ‘Anmerkungungen zur europäischen Asyl- und Zuwanderungspolitik aus deutscher Sicht’, in L. Drüke (ed.), Fluchtziel Europa: Strategien für eine neue Flüchtlingspolitik (Bonn: Verlag Aktuell). Peck, G. (1992) ‘Refugees as Foreigners: The Problem of Becoming German and Finding a Home’, paper presented at Conference on Trust and the Refugee Experience, University of Lund. Prantl, H. (1994) ‘Asyl: Debatte und Finale’, in K. Barwig, G. Brinkman, L. Hüber and C. Schumacher (eds), Asyl nach der Änderung des Grundgesetzes: Entwicklungen in Deutschland und Europa (Baden Baden: Nomos Verlagsgesellschaft). Roos, A. (1991) ‘Für das Grundrecht auf Asyl: Anmerkungen zur Debatte um eine “realistische” Flüchtlingspolitik’, Vorgänge, 111, 3–13: 84–100. Rudge, P. (1993) ‘Zunehmende Verantwortung der Nichtregierungsorganisationen für Flüchtlinge’, in Luise Drüke (ed.), Fluchtziel Europa: Strategien für eine neue Flüchtlingspolitik (Bonn: Verlag Aktuell).
Political Asylum in Germany and Britain 123 Schäuble, W. (1989) ‘Artikel 16 Grundgesetz und europäischer Binnenmarkt aus der Sicht der Bundesregierung’, in Klaus Barwig (ed.), Asylrecht im Binnenmarkt (Baden Baden: Nomos Verlag). Schuster, L. (1999) ‘The New Immigration and Asylum Bill: New Labour, New Government, New Policies?’, paper prepared for the Social Policy Association Conference, Roehampton, 1999. Spencer, P. and Wollman, H. (1997) ‘Good and Bad Nationalisms: A Critique of Dualism’, paper presented at the European Sociological Association conference, Amsterdam. Solomos, J. (1993) Race and Racism in Britain, 2nd edn (London: Macmillan – now Palgrave). Thränhardt, D. (1994) ‘Europäische Feindbilder – alt und neu’, Welt Trends, 5 (Berlin: International Politik und Vergleichende Studien). Thränhardt, D. (1995) ‘Germany: An Undeclared Immigration Country’, New Community, 21, 1: 19–36. Thränhardt, D. (1997) ‘The Political Users of Xenophobia in England, France and Germany’, in E. M. Uçarer and D. J. Puchala (eds), Immigration into Western Societies: Problems and Policies (London: Pinter).
7 Freedom of Movement: the Common Travel Area between Ireland and Britain and the Treaty of Amsterdam Elizabeth Meehan
Introduction Ireland’s choice to give priority to the Common Travel Area (CTA) over lifting border checks on European Union (EU) routes under the free movement provisions of the Treaty of Amsterdam is of interest in two strategic contexts. First, there is Northern Ireland, to which I shall return. The second is the resilience of Ireland’s independence, both in terms of its historical relationship with the UK and its use of the EU as a means of escaping from that relationship. On the one hand, the Common Travel Area itself is sometimes taken to be symptomatic of a neo-colonial link between the two islands, revealed as still there – despite Ireland’s success in the EU – in that Ireland’s freedom of manoeuvre over Amsterdam was conditioned by the UK’s stance. Moreover, questions have been raised about the possibility of a new double dependency – on future British decisions about the Common Travel Area and on the goodwill of European partners in not vetoing any desire to take part in some free movement developments. 1 On the other hand, the public position is that Ireland succeeded in negotiating for itself the most reasonable of all possible worlds: freedom to continue to benefit from the Common Travel Area; freedom to ‘opt-in’ to Amsterdam when indicated by the national interest; clear statements of the distinctiveness of the Irish position from that of the British; and a unique method whereby Ireland may put an end to its ‘opt-outs’. 2 My views are that the Common Travel Area is not, and never was, a mark of neo-colonial dependency – though one can see how it could be constructed so – and that the public position on preserving it, but with 124
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distinctiveness and flexibility, must be right. Nevertheless, this raises the question of what conditions might occasion a reconsideration of priorities. Before exploring such possibilities and concluding that any change to bilateral arrangements would take place in the context of a now indubitably good relationship between the two states, I wish to set some of the record straight about the status and significance of the Common Travel Area, particularly its flanking measures.
The Common Travel Area and its flanking measures The Common Travel Area existed between 1922 and the early war years and again from 1952 until the present. When people now increasingly refer to it, they often stress its lack of foundation in law or agreement and emphasise more strongly its freedom for travellers than related measures which enable there to be that freedom. A trawl of the national archives is a useful corrective. Two things are clear. First, the Common Travel Area is a kind of precursor to the EU conception of free movement. That is, co-existing with the absence of barriers to movement are measures – once asymmetrical but less so now – which make movement easier or more attractive. Both depend on what in EU parlance are called ‘flanking measures’ to inhibit abuse of the negative and positive freedoms; notably common or co-ordinated immigration policies and police co-operation. Second, although discreet and sometimes described as informal, the provisions of the Common Travel Area are explicitly agreed at the political as well as administrative levels, at first in Imperial and Commonwealth Conferences, and later, based on bilateral ‘undertakings’ or ‘understandings’.3 The whole history of the scheme is characterised by valued administrative co-operation and mutual assistance in training and so on.4 In view of time constraints, I shall concentrate on the post-Second World War features of the Common Travel Area, though I shall briefly mention the earlier period since it is here that it can most readily be understood as neo-colonial. The pre-war Common Travel Area The reasons why the first period of free movement between the two islands and the flanking measures can be construed as neo-colonial relate to the tradition of right of entry into the UK for Commonwealth citizens and British security concerns about Bolshevism and, later, Germany.5 A common system of passport control was seen by the British as
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the only way to ‘shield’ its back door. Hence it was necessary ‘to persuade the Irish that it was in their interests’ to maintain a common approach. Thus began the practice of sharing the names of people who would be excluded by one country and, hence, inadmissible in the other, to prevent them from being able to make use of the absence of checks between the two. The two countries also had a common list of countries whose nationals would need visas. 6 If ‘persuading’ the Irish of their own interests can be understood as redolent of an unequal partnership, then the British legal basis permitting movement from Ireland and rights in Great Britain may be more so. This was a conception of identity that was anathema to a newlyindependent people and even more so after the introduction of the 1935 Irish Nationality and Citizenship Act with its autonomous, international definitions. Conversely, the UK still retained its 1914 legislation under which all those born in what at the time was the United Kingdom of Great Britain and Ireland were – like those of the Commonwealth and the UK itself – British subjects. While this provided for positive rights inside the UK, it also gave rise to potential duties – most controversially conscription. Nevertheless, Irish governments saw the public interest as lying in co-operation – not simply to protect freedoms for Irish nationals, but also to inhibit the spread of Bolshevism and, later, the immigration of displaced continental Europeans – especially Jewish refugees who were seen as a threat to a homogeneous Irish culture and as insupportable in a poor country.7 British assistance in the exclusion of aliens, through passports and immigration control, was so valued that, in reviewing the pre-war period, the Department of Justice believed in the 1950s that arrangements had worked disproportionately in Ireland’s favour. Britain ‘operated rigid controls on Ireland’s behalf’, allowing the latter to preserve its ‘ethnic and religious’ character, while the ‘odium’ of limiting entry by refugees was incurred by the United Kingdom.8 Moreover, Ireland was able to maintain its interests as a newly-independent country by restricting the reciprocity of positive rights for non-nationals by use of the terms ‘subject to compliance with conditions’ or ‘subject to law’. These bland phrases in orders of reciprocity denoted about a dozen Acts of the Oireachtas which limited the rights on nonnationals in a range of economic activity.9 From the constitutional point of view, voting rights in local and general elections were not reciprocated on grounds of the objectionable British nationality law and did not become so until long after that had changed.
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The re-establishment of the Common Travel Area after the Second World War Questions were raised in the British House of Commons in 1950 about the continuation of checks on travel from Northern Ireland to Great Britain in the context of an open north–south border. The tourist authorities of both countries also raised the matter. The British thought the initiative lay with Ireland because its immigration system now allowed entry to aliens who would not be admitted to the UK. The Irish government thought the UK should take the initiative. 10 And, indeed, in February 1952, two Home Office officials held informal talks with officials in the Department of Justice about a British proposal to lift barriers on traffic from Ireland and, hence, about what could be done to maintain ‘reasonable controls’ upon passengers who were aliens under the laws of either and both states.11 On 27 February, the Irish Minister for Justice asked the Cabinet to allow his officials to enter ‘into an informal arrangement with officials of the Home Office, London, for cooperation in the control of aliens’.12 Two days later, the Cabinet agreed. 13 Co-operation was to cover the following areas. As before the war, each side would notify the other of actions taken over aliens seeking to land whose names appeared in the other’s ‘Suspect Index’. Aliens would not be allowed to land in either country intending to transit to the other if immigration officers were not satisfied that they would be allowed to land in the other. The implementation of the new arrangement would be more rigorous and comprehensive. Each state would keep, and exchange, traffic indices of all arrivals and departures. It was agreed that aliens landing in either state via the other who were not acceptable would be re-admitted by the state which had admitted them in the first place. It was agreed that the police forces of both countries would exchange information about the movement of aliens. It was agreed that such arrangements would not prejudice particular policies on the granting of asylum. Though some concerns are evident from the documents (see notes 11 and 12), the Irish government thought the proposed arrangements were more satisfactory than the pre-war ‘understanding’, bringing about a more ‘completely reliable index of the entry and departure of aliens’. Of special value was ‘the undertaking by the Home Office to re-admit aliens who drift here from Great Britain’ since ‘[a]t present we have difficulty in getting rid of such aliens and we are sometimes put to the expense of deporting them to the Continent’. In departmental consideration of the issue, prior to the request to the Cabinet, a question was raised about whether the reintroduction of
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a ‘single immigration unit’ might be out of ‘keeping with our position as an independent State’, but it was noted that this might be offset if, when meeting British officials, Ireland could secure – as it did – the readmission undertaking. However, constitutional delicacies were attended to in the manner of announcing change. It was agreed that the arrangement would be: put into effect by an exchange of informal letters between the Assistant Secretary of the Department of Justice and an Assistant Secretary in the Aliens Department in the Home Office. The letters would make it clear that it was to be entirely informal and in no way binding on the two Governments. 14 The exchange of letters took place in March 1952 and it was announced in the British House of Commons that new arrangements would take effect from 7 April 1952. The Home Office had been told by the Irish government that any publicity in the UK – which might find its way to Ireland – ‘would be undesirable’ given that they were ‘entirely informal’ and, in responding to a question from Deputy Sean McBride, the Minister for Justice carefully distanced the Irish position from that of the British.15 Agreement on immigration policy in what, by then, was acquiring its modern name, but with inverted commas not capital letters,16 was restated in 1961–2 in the context of the Commonwealth Immigrants Bill which, for the time, proposed statutory entry restrictions on British subjects (1914 legislation) or citizens (1948 legislation) from the Commonwealth. The archives reveal a fascinating story – which will be told in the Blue Paper* – of warm political and diplomatic understanding of each other’s problems, on the one hand, and, on the other, studied indifference to the Irish public when the occasion demanded. At issue was how the UK, in trying to exempt Irish nationals from controls, became definitively embroiled by accusations of racism and how Ireland succeeded in persuading the British to maintain the Irish privilege – even when it
*Visiting Fellows at the Policy Institute, Trinity College, Dublin, are expected to carry out a piece of policy analysis which is published as a Blue Paper (as in the pre-1992 Irish equivalent of a Green Paper). That by Elizabeth Meehan was published in 2000 – Free Movement between Irleand and the UK: from the ‘common travel area’ to the Common Travel Area, Studies in Public Policy no. 4 (Dublin: the Policy Institute in association with the Department of Justice, Equality and Law Reform).
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seemed that their mutual interest might have to go, be modified, or cause the downfall of the whole Bill. With respect to practical arrangements, ‘exploratory’ consultation took place in Dublin in October 1961.17 The participants were: Mr Chin-Chen, Assistant Chief Inspector of the Immigration Branch of the British Home Office and officials of the Departments of Justice, External Affairs, and Industry and Commerce. The basis was that, since the British ‘did not intend to apply the controls’ to Irish nationals or ‘to impose checks at points of entry from Ireland’, they needed Irish ‘co-operation’ to prevent Ireland from being ‘used as an “open backdoor” to Britain’. The British had in mind ‘an arrangement more or less identical with that at present working so well between the two countries whereby the two islands are an area of “common travel” on the basis of a uniform system of alien control at the “outer perimeter” of the two islands’. But the Bill could not be written that way since, as ‘the Irish authorities would readily appreciate . . . it would be impossible [for the British] actually to write into the Act an exemption that would give Irish citizens a legal status superior to that to be given to citizens of the Commonwealth and indeed superior to that of many of their own citizens’. This is too complicated to explain here in detail. Suffice it to say that, while a single category of citizenship would remain, rights of entry would distinguish between ‘belongers’ and ‘non-belongers’. ‘Belongers’ – mainly English, Scottish and Welsh, but also others with passports issued in the UK – would be able to enter, while those whose passports were issued through governors-general could be refused leave to land. Some categories – not the Irish – would also require an employment voucher. In dealing with the details of administration, it was said that ‘the Canadian, for example’ would be likely to be ‘waved through’, while ‘the Coloured West Indian’ could be expected to be ‘questioned closely’. Thus, while British citizens were to be differentiated according to the status of their passports, the Irish would not need one at all or, if they ever did, they could enter using one issued by another state altogether. Discussion ranged across many other issues of concern to both sides, including the idea that, while the British expected to be accused of racism, they would not expect the Irish to put up a façade of neutrality at ports of entry as between different types of ‘non-belongers’. In summarising the meeting, British officials noted that this ‘possible cause of much controversy’ would be more so ‘in Britain rather than here’ because it was not the tradition of ‘coloured’ people to travel to Ireland from Britain. Irish officials told Mr Chin-Chen that ‘he could take it’ that ‘the Irish Government would be most anxious not only to preserve
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the existing rights of Irish citizens but to preserve the present arrangement for unrestricted travel’. It was agreed that the initiative now lay on the Irish side and that outstanding issues would be ‘carried out through diplomatic channels’. In the meantime, while controversy raged in Britain, the political and diplomatic story, to which I referred earlier, took its course and it was not until February 1962 that the discussion with Mr Chin-Chen was revisited formally at the highest level of government in Ireland.18 Then, the Minister for External Affairs, with the concurrence of the Minister for Justice, extensively briefed colleagues about events and internal consideration of Irish interests. He asked for Cabinet approval for:
• the creation of a system to control entry of all aliens except UK ‘belongers’;
• a definition of ‘belonging’ stricter than that in the British Bill – based on birth in the UK or, if unacceptable to the British, retention of the right to exclude those who ‘might create a problem here’;
• special treatment for Commonwealth countries which had by tradition enjoyed exemption and which gave similar treatment to Irish nationals;
• further talks with British officials to establish agreement on the ‘preservation of the “common travel” area’. His requests were agreed to on 9 February 1962 after further discussions with British officials. 19 Consideration of Irish interests and the resolution of departmental differences of opinion about them having been attended to, the government decided on 26 June to issue an Order restricting the entry of Commonwealth citizens to Ireland according to rules that were compatible with the preservation of the Common Travel Area.20 The Irish had told the British that they might have to legislate because the law did not entitle them to distinguish between different types of Commonwealth citizens. But, in the event, being able to effect change through an Order meant that the government could reassure the Dáil that it had not been forced to legislate by decisions in the British Parliament. The British, too, were pleased that the Irish were able to do it this way, the Home Secretary telling the Irish Ambassador in London ‘how deeply appreciative he [was] of the cooperative manner in which the Irish Government [had] handled this whole question’; with ‘wisdom and restraint’, and ‘avoid[ing] any possibility of intrigue between us’. 21 He was ‘particularly pleased that we had been able to effect the necessary
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arrangements by Order without resorting to legislation and in this context he paid a tribute to the skill of our lawyers’. 22 The years 1961–2 set the basis for continuing regulatory adaptations and operational co-operation until the present. It is necessary now to turn to the conditions under which that close relationship might ever be reconsidered.
The value of the Common Travel Area and the conditions under which priorities could change The volume of passenger traffic on cross-Channel routes, to which the Common Travel Area applies, is much higher than that between Ireland and the European continent. 23 Between 1978 and 1995, estimated visits by Irish residents via cross-Channel routes rose from about 0.83 million to almost 1.71 million and, possibly, 3 million in 1997. In contrast, estimated visits using continental routes were much less numerous, rising in the same period from 0.28 million to 0.69 and possibly 0.8 million. With respect to inward visits to Ireland, the cross-Channel estimates amount to 1.32 million in 1978, 3.19 million in 1995 and probably about the same in 1997. The continental estimates for the same period are about 0.18 million rising to 0.79 and possibly 0.8 million. Inward visits by residents of Great Britain rose from about 1.19 million in 1984 to 2.34 in 1995 and visits by continental residents rose from about 0.30 million to 1.09 million in the same period. These figures include visits made for business purposes as well as other reasons. It is worth noting that the abolition of internal EU frontiers stems as much from the costs incurred in moving goods and services as from the rights of individual citizens to move without hindrance. The UK is still Ireland’s largest export market and Ireland is still very high amongst countries to which the UK exports. 24 Trends are moving, but the current pattern and balance of trade suggest that a lack of formalities on cross-Channel sea routes and north–south land routes must be more valuable to the two countries than the elimination of them between both and the Continent. Equally, the interrelationship of labour markets in the two states means – though this is changing – that, for employers and employees, control-free travel between the two islands is likely to be more significant than a similar convenience between Ireland and the Continent. 25 The figures do not enable us to compare how Irish and UK nationals, travelling for business or other purposes, benefit from the absence of
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controls since they are based on route or residence, not nationality. But, without going into detail, it can be inferred from electoral and census data and other sources that the individual interests of nationals of both countries are still well served by the Common Travel Area. 26 The scope of individual interests still served by it raises the question of whether they could ever be rivalled by a strategic interest leading Ireland to use its right to end its ‘opt outs’ from the Amsterdam Treaty. Never? The first possibility is that geopolitical and ideological factors which Ireland and the UK have in common may make it very unlikely that either state would ever prefer the full set of EU arrangements to their own bilateral ones. Even if these concerns were more strongly felt in the UK than in Ireland, it would be in Ireland’s interest to continue to take account of them in the absence of new pragmatic interests (see later sections), not least because of Northern Ireland, whatever its future (also discussed later). Here, it is necessary to note EU definitions of internal and external frontiers.27 Internal borders are common land border, airports for internal flights within the zone of freedom, and seaports for regular trans-shipment from other ports in the zone, but not those outside. External frontiers are land border with non-EU states, sea borders, and airports and seaports that are not internal. The UK and Ireland are often contrasted with Luxembourg in that the former – leaving aside Northern Ireland – are both entirely surrounded by external frontiers while the latter has only internal border. Other states fall in between, having some external frontiers, but also very long land borders in common. Though the significance of sea-bound borders can be questioned (see below on a UK volte-face), Great Britain’s being an island is still crucial to the outlooks of UK governments. The British conception of its interest in maintaining checks relates to security, sovereignty, effectiveness and liberty. A deep cross-party consensus that sovereignty is still coterminous with controlling borders, together with ideas about how best to control terrorism, makes checks on persons inescapable.28 With those as ‘givens’, Great Britain still enjoys a natural advantage in administering checks effectively, ‘our island geography means that there is a natural channelling of immigration into a limited number of ports, so it is sensible and efficient to do routine checks there’. 29 British policy makers consider ‘that the minor inconvenience of a frontier check’ enabling immigration officers to verify those with a right
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to land (EU nationals) and to identify those for whom landing is subject to permission ‘is preferable to a system of internal controls which would inevitably be more intrusive and which might also be perceived as having a negative impact on community relations’.30 The idea that a check is a minor inconvenience is consistent with the view of a recent Irish Minister for Justice (see below on asylum seeking). The principal reason for avoiding internal controls reflects a conception of liberty, shared in the UK and Ireland, which has given rise to traditions of minimal surveillance by the state of the movement of persons on lawful, private business. The secondary reason probably stems from bitter experience in the UK of alleged discriminatory denials of liberty in the use of the so-called ‘sus’ laws. Retaining checks means that both states can also avoid introducing identity cards, which Irish and British governments, contrary to some evidence (see below on a UK volte-face), believe are widely disliked by both populations. 31 It is also possible that a shared conception of liberty is bolstered by greater trust between the Irish and British than between either of them and their more recent partners. It would hardly be surprising if 75 years of experience did not make each state confident of the other’s determination to make their system work, reinforced by having in common, though differently expressed, cultural and strategic senses of ‘island exceptionalism’. The public British position is that it does not lack confidence in the effectiveness of the Schengen external border system 32 – that is, in the flanking measures that safeguard against the risks of lifting checks within the EU. Nevertheless, British officials acquiesced in the Irish negotiating lead at Amsterdam and thus accepted a position justified by a desire to protect a system that was much older and demonstrably effective.33 Ireland’s successful strategy of securing similar ‘opt outs’, but couched distinctively, reflects not the need to avoid any whiff of neocolonialism, but its modern European interests. The distancing statements may also indicate that the pragmatic interests, which once needed the protection of reliable bilateral co-operation, are shifting. These are now considered. Trends in travel The beginnings of one possible change can be seen in travel patterns. Although Irish visits overseas are still predominantly to Great Britain (at least in the first instance), the gap between cross-Channel and continental visits seems to be narrowing slightly. If, as the ferry companies believe, a substantial proportion of passengers to Great Britain consists
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of ‘landbridgers’ travelling onwards to the Continent, the gap would be a good deal narrower. If figures for inward visits are anything to go by, up to one half of cross-Channel passengers could be added to outward visitors to the Continent. The closer the gap becomes, the more the balance of convenience of control-free travel might be thought to shift towards continental routes. The closing of the gap is more evident in connection with inward visits to Ireland by both routes and by residents of Great Britain and the Continent. It should be borne in mind again that up to one half of crossChannel passengers may be continental residents. Here, there may be implications for the exchequer and the economy. Between 1984 and 1994, estimated expenditure by visitors arriving via cross-Channel routes fell and that of those arriving from the Continent rose by about 6 per cent. The comparable change for visitors normally resident in Great Britain and those resident on the Continent was, respectively, a fall and rise of 15 per cent.34 Trends in trade As in the case of visits, while Ireland’s trade with the UK remains absolutely more important than with any other single country, trends indicate that removing border formalities elsewhere may become more important than maintaining their absence in partnership with the UK. Between 1972 and 1995, the share of Irish exports which went to the UK fell from 61.5 per cent to 26 per cent, while the share of its exports which went to the EU as a whole rose from 18 per cent to 48 per cent. Imports from the UK dropped from 51.5 per cent of total imports to 37 per cent and remained about the same, 23 and 22 per cent, from the EU as a whole. 35
Adverse developments in reciprocal rights in the UK and Ireland’s need to attract a wider range of immigrants As noted in the introduction, the areas of free movement both between these islands and in the EU are accompanied by positive measures which facilitate freedom to move, including employment rights and policy co-operation. Ironically, while UK compliance in 1996 with EC law extended employment rights (subject to Article 48(4) exemptions), to Irish nationals in Northern Ireland, it reduced access to some categories of public service employment in Great Britain. The nationality restriction is being used in the UK in a wider range of occupations than had been thought, hitherto, to be capable of justification under Article 48(4). Two cases were brought to the Northern Irish courts. They were
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both brought by Irish nationals, one a successive applicant for two posts of Chief Fire Officer and Deputy Chief Fire Officer, the other for a recurring temporary post of Revenue Officer. On 19 March 1999, the Court of Appeal upheld the original rulings. Lord Chief Justice Carswell extensively reviewed the European Court of Justice jurisprudence in his own ruling and did not refer the case to it.36 The nationality restriction is applied to, among other posts, court ushers in England and senior water quality officers in Wales. A case involving the former and another Irish national has resulted in an announcement that the 1996 regulations may be repealed, but it is also reported that powers to decide on a caseby-case basis may be given to ministers and that this ‘could result in even more posts being reserved’.37 Should considerable difficulty emerge in obtaining public service employment in the UK, this may add to the positive pull of ‘the Celtic tiger’ in attracting return migration. Almost half of the recent inflow to Ireland consists of Irish nationals and most of these are returning from the UK. 38 However, that also means that half the inflow is from elsewhere and not Irish. As in the case of Irish returnees, the biggest proportion of the non-Irish inflow comprises people who are well educated and, therefore, meet the needs of the labour market.39 The Irish electoral register indicates that there are 4563 non-UK EU citizens registered to vote – about one-quarter of British voters, noted above, in Ireland. The more that the British labour market is no more open to Irish nationals than to other EU or European Economic Area (EEA) nationals, and the more that the labour market in Ireland both attracts return migrants and is ‘Europeanised’, the more sensible it might become to ‘Europeanise’ free movement arrangements. Indeed, the Governor of the Bank of Ireland, Mr Howard Kilroy, recently drew attention to a serious labour shortage which, in his view, could be filled only by a change in immigration policy and a more positive approach to asylum seekers. 40 Major employers’ associations and unions have called for asylum seekers to be allowed to take paid employment and it seems – probably for humanitarian as much as instrumental reasons – that 70 per cent of the public think so too.41 On the other hand, a negative view of asylum seeking could also lead to a questioning of the CTA (Common Travel Area). Asylum seekers and illegal immigration To those who are opposed to the cultural diversification of Ireland or responsible for dealing with would-be immigrants, the value of the CTA might be diminished if it no longer served the purpose of keeping
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Ireland homogeneous while allowing the ‘odium’ of excluding the vulnerable to fall to the UK. Both asylum seeking and illegal immigration into Ireland have risen during the 1990s and there are claims that asylum seeking is being used to short-circuit the procedures for lawful immigration. There are an estimated 2000 illegal immigrants42 and 6500 asylum seekers, the numbers of the latter being low by EU standards but having risen dramatically per year, from 32 in 1992 to 3883 in 1998.43 This impinges on the CTA in two ways, one of which restricts – or restricted – the freedom of nationals covered by it, the other revealing its flanking measures to be irrelevant to a new situation. In 1997, the Minister for Justice, Nora Owen, gave immigration officers leave to make random checks upon people entering Ireland from the north and from Great Britain. Briefing notes on the operation of this Order between June and November suggest that checks were unobtrusive and nationals entitled to benefit from their absence would experience little inconvenience44 – similar to the British view noted earlier. The public suspicion was that those most likely to be questioned were those whose appearance might be taken as meaning that they were neither British nor Irish. 45 Anecdotal evidence does suggest that checks may have operated more to the detriment of black Irish and British nationals than others. The checks resulted in the detection of almost 1000 persons seeking to enter illegally. 46 Since 1997, checks and allegations of discrimination have dropped off, partly as a result of greater alertness by the authorities to racial stereotyping.47 More significantly, perhaps, is the judgement that illegal immigrants and asylum seekers more often arrive in Ireland directly from the Continent and, therefore, are not detectable under the CTA’s flanking measures. Irish and British interests in co-ordinated immigration policies at the ‘outer perimeter’ were partly inspired by the necessity – from both states’ point of view – of not having checks (except during security crises) on north–south passengers. If that constraint were to disappear, so, too, would one motivation for the CTA.
Reunification of Ireland The Belfast Agreement undertakes that, should a majority in Northern Ireland peacefully reveal a preference for the reunification of Ireland, the British government would legislate accordingly. In the meantime, the governments and parties concerned have agreed to create institutions reflecting the two senses of national identity in Northern Ireland and making the border even less inhibiting than it was to lawful, private
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and civil interaction – and even more a reason for interstate co-operation. So long as that is the solution to the disputed territory, it seems impossible that Ireland could adopt a European policy that might result in British checks on routine travellers (leaving aside security matters) – though, it seems, that the northern strategy was of less concern to negotiators than the scope of individual freedoms on the east–west axis. 48 On the other hand, while unlikely, it is arguable that Ireland could subscribe fully to Amsterdam while the UK did not and still have an open border between north and south, though not on the east–west axis. 49 Systematic checks at Northern Irish airports and seaports, which assured the British that no unauthorised person could enter Great Britain, could co-exist with none on the border. A person who had entered Ireland via an EU route and had moved to Northern Ireland, but who would not have been admitted to the UK at a port in Great Britain, would be refused leave to board. If not arrested, he or she would have no choice but to return to Ireland or to live illegally, without rights and at the risk of discovery, in Northern Ireland. However, such an arrangement probably would be unpalatable to residents of Northern Ireland. Already, the operation of the British Prevention of Terrorism Act 1975 means that travel within a single jurisdiction is more controlled than travel between two jurisdictions. Travellers are more likely to be asked for identification between Belfast and London (and even more so at some other ports of entry in Britain) than between Dublin and London. It is hard to envisage that there would be any greater public sympathy now than there was in 1950 for systematic checks on all travellers, especially among those who identify themselves as British, but also, perhaps, among those who define themselves as Irish but accept the current legitimacy of the state within which they live. This might suggest that, only in the event of Northern Ireland rejoining Ireland, could the CTA be superseded by EU arrangements. Even then, however, there could be difficulties. It has been observed that the cleverness of the Belfast Agreement is that it provides for the nationalist minority in Northern Ireland the same protections that unionists could expect should they find themselves a minority in Ireland.50 Should a united Ireland arrive, it would become necessary for its government ‘to observe the Britishness of the unionist community’ and Ireland would still ‘be inextricably linked to the constituent parts of the neighbouring island through the British – Irish Council’. 51 In such circumstances, it might continue to be difficult to consider ending the tradition of control-free movement between the two islands.
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If, even in the best of constitutional circumstances, this were so, the trends (noted earlier) in pragmatic interests would have to be very strong to justify a break with Britain over free movement in the EU. The onus of persuasion would shift from that of the 1920s, Ireland now having to convince Britain that ‘it was in their interests to maintain a common approach’ on a continental basis. A volte-face by the UK? In present circumstances, the UK has no more of an interest than Ireland in causing the adverse impact on lawful north–south traffic that would be occasioned by the ending of the CTA with nothing in its place. Thus, if the CTA were to go, or be modified, it seems likely that this would happen only in the context of a new British orientation towards EU border policy. So far, Irish policy makers have calculated that the UK would not be able, or want, to maintain its resistance to Economic and Monetary Union. But the same could not be said about the lifting of border checks. The factors discussed about in the ‘Never?’ section lie behind insistence by British officials at Amsterdam to their Irish counterparts that nothing on this point would change with a new government. But it is not out of the question to think of the UK dropping its resistance to lifting identity checks on EU routes. Despite ideology about borders and interior controls, it is in the pragmatic interests of the UK, as much as any other member state, to remove impediments to the movement of goods and services. If its patterns of trade and traffic were to move significantly in the same direction as those noted in respect of Ireland, British interests would also turn more towards the Continent. Experience of seeing the large volume of Schengen acquis being brought into the Treaty of Amsterdam may encourage a reconsideration of how best to promote pragmatic interests which, in turn, might impinge upon ideological preconceptions. On the one hand, the significance of sea borders may begin to be questioned, at least in terms of persons if not goods. A large proportion of internal and external traffic is not handled at seaports. Air traffic arrives inside borders and passengers could be landing in almost any airport from anywhere. Paris could be a first point of entry by EU or non-EU citizens in transit for the UK and Ireland or Luxembourg. Paris might receive visitors who first landed in London. On the other hand, while the Channel Tunnel is, to the authorities, like a seaport in bringing all travellers conveniently to a single point of entry, it may be softening the traditional sharpness of the popular psychological separation of
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Great Britain from the Continent. To the ordinary traveller, the existence of the rail link may reduce the sense that journeys to Brussels from London and Amsterdam are so different from one another. In addition, the Channel is breached or bridged by links between south-eastern England and northern France under an INTERREG (inter-regional) programme – aimed at what are called contiguous (despite, in this case, the sea) regions in different states. The volume of traffic at ports which are not seaports and the possible blurring of the Channel as a cleavage can be set in the context of the UK’s claim that it does trust the Schengen external border system. Indeed, the EU flanking measures are converging to a strict standard of impregnability. Civil liberties and human rights groups are deeply concerned that the opening of internal frontiers is being accompanied by increasingly restrictive immigration policies which ‘securitise’ the issue and reinforce the perception that ‘third country’ entrants are ‘undesirable’. 52 If both the CTA and the EU system rest on freedom for ‘the desirable’ and ‘high fences’ for anyone else, it is difficult to see how it can be maintained that one is acceptable, but the other not. There is, however, the objection that the UK, like Ireland, has a different attitude to interior controls. This may be becoming less of a constraint in both the UK and Ireland. There seems to be less public antipathy to identity cards than British and Irish politicians believe. Irish voters have been shown to have ‘sophisticated views’, a majority (albeit small) of people accepting the idea of compulsory identity cards for purposes of access so long as they are not used by public authorities to share information about them.53 The early political years of the present British Home Secretary were spent in a civil liberties milieu where identity cards were suspected of facilitating invasions of personal privacy by the state, making it easier for the authorities to concentrate in one document information gained through a variety of unchecked surveillance methods. 54 Since then, however, a difference of opinion has emerged, along the lines of the Irish survey.55
Conclusions The history of close co-operation between the two states over travel between them without checks, co-ordinated immigration policy on the ‘outer perimeter’, and reciprocal rights all suggest that no UK government would end the CTA, either in itself or because of a reorientation towards the EU, without consulting the Irish government. Given the ties of history, economics and kinship, it may also be feasible that some
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rights for Irish nationals in the UK, extra to those available under the EU, could be maintained – and vice versa. Rights are not withdrawn in the UK at the break from the Commonwealth. It seems reasonable, therefore, to expect that they could be allowed to remain in the much less traumatic rift of an end to the CTA to enable both states to participate in something else. Though, as noted, Irish access to public sector employment has been downwardly standardised with that available to EU nationals, voting rights are stronger, now in both countries, than elsewhere in the EU. If, in the unlikely event that the UK decided unilaterally to end the CTA, the suggestion that such an action would highlight Ireland’s twofold dependence could be turned on its head. It could be seen as an opportunity for Irish arrangements to reflect fully its European strategy and changing pragmatic interests in travel, trade and the labour market. This, after all, is similar to what happened when the UK sought to renegotiate its terms of EC membership and held a referendum in 1975 on whether to remain a member or to withdraw. It was pointed out in one of the seminars held in 1998 by the Institute of European Affairs to mark 25 years of Ireland’s membership of the EU, that Ireland’s trade with Britain had made it seem inevitable that, if the UK decided to join, Ireland would have to do so too – albeit a constraint on choice that was sweetened by the prospect of new opportunities. After just 18 months of actual membership, there was no question of Ireland’s considering that it would have to withdraw if the UK did so as a result of unsuccessful renegotiations. Whether a solution to competition between a pair of free movement arrangements is found in continued bilateral co-operation or the integration of the systems, one thing is now unambiguous. It has been argued in this chapter that it is a misplaced view to see the CTA as a symptom of dependency – since Ireland always pursued its own CTA interests even under the difficult circumstances of unequal power or status. It did so again, weighing the balance between bilateral and multilateral freedom of movement. No such misunderstanding is now sustainable. The two states had different outlooks to accession to the then EEC and have approached the EU distinctively. Whereas difficulties arising from ‘island exceptionalism’ are often seen by the British as reasons for fundamental opposition, to Irish governments they are obstacles to be circumvented. 56 From the bilateral point of view, the EU has provided a context for the maturing of Irish–British relations which has contributed so greatly to co-operation over Northern Ireland. Not even in that corner
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of the island does the UK retain a ‘selfish strategic or economic interest’.57 Perhaps the unprecedented address to the Oireachtas in November 1998 by the British Prime Minister and Irish responses to him personify the relationship of interdependence, not dependence, in which future discussion of common or divergent interests in the CTA will take place.
Acknowledgements The author greatly appreciates the opportunity given to her to carry out the research upon which this paper draws and the generosity of many people. In particular, she would like to thank the Policy Institute at Trinity College Dublin for appointing her to a Visiting Research Fellowship, the Political Science Department for allowing her to stay on after the conclusion of the Fellowship and the staff of both for their conviviality; the Department of Justice, Equality and Law Reform for facilitating her research and sponsoring the eventual publication of the Blue Paper, members of other Irish government departments willing to be interviewed; staff in the National Archives and other government agencies for help with access to documents and data; academics and Irish and British practitioners who were willing to comment on her preliminary accounts of the findings; and the Queen’s University of Belfast, especially the School of Politics, for granting leave of absence in order to take up the opportunity provided by Trinity College Dublin. If, despite so much help, mistakes and misinterpretations remain, these are entirely the fault of the author.
Notes 1. Jennifer Brown, ‘Ireland and the Development of European Co-operation in Justice and Home Affairs’, MA thesis, Department of European Political and Administrative Studies, College of Europe, Bruges (1998) p. 48. 2. Ibid., p. 5; Noel Dorr, ‘The Communitarisation of Schengen and the Position of Ireland’, paper presented at Conference of the Irish European Law Forum, Dublin, 5 September 1998; Bobby McDonagh, Original Sin in a Brave New World: An Account of the Negotiation of the Treaty of Amsterdam (Dublin: Institute of European Affairs, 1998) pp. 167–82; implied in Treaty of Amsterdam White Paper, Pn 4931 (Dublin: Stationery Office), Chs 5–10, especially pp. 48–9, 50–1 on ‘feasibility’ of retaining the CTA and its value. 3. In 1950 it was noted that: The two islands were treated as one unit for immigration control. We undertook [my emphasis] not to admit here any alien ‘blacklisted’ by the
142 Elizabeth Meehan British and the British undertook [my emphasis] to exclude aliens ‘blacklisted’ by us. (Department of Justice, Memorandum for the Government: American Citizens – Proposal to Exempt from Restrictions of Alien Order, 1946, 3 July 1950, D/T, S11512B)
4. 5. 6. 7. 8. 9.
10. 11. 12.
13. 14. 15. 16.
Documents relating to the proposal in 1952 to resurrect the arrangement use the word ‘understanding’ (Department of Justice, File Note, Immigration Control – Cooperation with the British, 15 February 1952, D/T S15273A; Immigration Control – Proposed Arrangement for Co-operation Between the British Home Office and the Department of Justice, 27 February 1952, D/T S15273A). Communication to the author from the Department of Justice, Equality and Law Reform, February 1999. Eunan O’Halpin, Defending Ireland: The Irish State and Its Enemies (Oxford: Oxford University Press, 1999) Chs 2–5. Communication to the author from the Department of Justice, Equality and Law Reform, February 1999. O’Halpin, op. cit., Chs 2 and 4. Ibid., Ch. 2. These include: Merchant Shipping Act 1947; Politage Act 1913, as operated by subsequent by-laws; Road Transport Act 1935; Control of Manufactures Act 1932 and 1934; Control of Imports Act 1934 and Control of Imports (Amendment) Act 1937; Agricultural Produce (Cereals) Act 1933; Air Navigation and Transport Act 1936; Air Navigation (General) Regulations 1930; Industrial and Commercial Property (Protection) Act 1927 as amended by the Industrial and Commercial Property (Protection) (Amendment) Act 1929. These were listed in 1953 during preparation of new nationality and citizenship legislation because their ‘subjects and conditions’ were detrimental to ‘Six Counties persons’ (Legislation Administered by the Department of Industry and Commerce Which Imposes on Six Counties Persons Any Disabilities Which Might be Regarded as Inconsistent with the Constitution or Existing Nationality and Citizenship Law, undated, D/T S13707A. Communication to the author from the Department of Justice, Equality and Law Reform, February 1999. Department of Justice, File Note, Immigration Control – Cooperation with the British, 15 February 1952, D/T S15273A. Department of Justice, Immigration Control – Proposed Arrangement for Co-operation Between the British Home Office and the Department of Justice, 27 February 1952, D/T S15273A. Extract from Cabinet Minutes, item 6, 29 February 1952, D/T S15273A. See note 12. Communication to the author from the Department of Justice, Equality and Law Reform, February 1999. At initial exploratory discussions, the British official referred to the two countries being ‘an area of “common travel”’ (Department of Justice, Meeting with Mr Chin-Chen, British Home Office, Summary, 20 October 1961, D/T S15273B). A little later, a proposed British statement about the Irish position vis-à-vis the Commonwealth Immigrants Bill said:
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The two countries operate a common travel area [my emphasis] for obvious geographical reasons and this arrangement requires uniformity in the control of immigration to each country from third countries.
17.
18. 19.
20. 21.
22.
23. 24.
25. 26.
The Taoiseach, Sean Lemass, was briefed that ‘it seems that the expression “common travel area” is well known and frequently used in the context of immigration control’ (file notes, 11 December 1961, D/T S15273B). Department of Justice, Meeting with Mr Chin-Chen, British Home Office, Summary, 20 October 1961, and covering Letter from Minister for Justice, Charles Haughey, to the Taoiseach, Sean Lemass, 20 October 1961, D/T S15273B. Department of External Affairs, Memorandum for the Government, Control of Alien Immigration into Ireland, 7 February 1962, D/T S15273B. Both Cabinet approval and accounts of consequent follow-up actions and meetings are summarised in: Department of Justice, Memorandum for the Government, Control of Alien Immigration into Ireland, 25 June 1962, D/T S15273B. Extracts from Cabinet Minutes, items 1 and 2, 26 June 1962, D/T S15273B. Letter from the Secretary, Department of External Affairs, to the Secretary, Department of the Taoiseach, with extracts from a report by the Irish Ambassador in London, 5 July 1962, D/T S15273. The Order, so satisfactory to all concerned, did not deal with matters relating to the European Economic Communities, nor did it have reason to do so, the British and Irish applications being only in the pipeline and, in any case, eventually turned down. But the relationship between the two policy areas was discussed in the Legal Committee on EEC Problems, whose members were representatives of the Attorney-General’s Office and the Departments of External Affairs, Justice and Finance. In June 1962, the Department of Justice briefed colleagues on the then current legal situation and the impending Order for Britain. Among other issues, they noted that the nationals of one potential EC member state – the UK – and, because of other Orders, some non-member states would have greater freedoms that the six founding states. It was suggested that further use of the 1935 and 1946 measures on aliens and exemptions could ensure compliance with Article 7 (on non-discrimination and freedom of movement) of the Treaty of Rome. Some controls over aliens who were nationals of EEC member states would still be possible through the Treaty’s provisions in respect of the maintenance of public order, public security and public health. Legal Committee on EEC Problems, Memorandum of Representatives of the Department of Justice, Article 7 of Treaty of Rome, June 1962, DFA CM/1511. Statistical Bulletins (Dublin: Central Statistical Office). Garret FitzGerald, Paul Gillespie and Ronan Fanning, ‘Britain: a Crisis of Identity’, in Paul Gillespie (ed.), Britain’s European Question: The Issues for Ireland (Dublin: Institute of European Affairs, 1996), pp. 9, 23. Alan Barrett, ‘Irish Migration: Causes, Characteristics and Consequences’, Discussion Paper no. 97, Institute for the Study of Labour (IZA) (Bonn, 1999). Electorial register, a summary of which, showing the numbers of different nationalities registered to vote, was provided to the author by the Department of the Environment, Franchise Division; Census data cited by John Jackson,
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27. 28.
29.
30. 31. 32. 33. 34. 35. 36. 37. 38.
39. 40. 41. 42. 43. 44.
The Irish in Britain (London: Routledge and Kegan Paul, 1963), pp. 187–8 and in FitzGerald et al., op. cit., p. 8. Brown, op. cit., pp. 18–19. Brown quotes former and current Home Secretaries. Kenneth Baker’s view was that conflict over the maintenance of national frontier controls ‘will be the ultimate test of “who governs?” – the national or the supranational state’. Jack Straw has said that ‘our position has always been that the issues of border controls and immigration policy must be for the UK alone to determine’ and that the ‘inevitable results’ of having to lift controls would be that ‘Britain would be required to introduce identity cards’ (ibid., pp. 7, 39). Dorr also notes the strength of British convictions, regardless of which party is in government, op. cit. The author heard a junior minister explain reluctance to relinquish checks by reference to the psyche of ‘this island nation of ours’. This almost Shakespearean outlook is a little puzzling in one who originates from the ‘other island’, albeit the north! Letter to author from UK Immigration and Nationality Directorate, Home Office, 1 February 1999. Geography, however, may also facilitate the circulation of undesirable traffic, long, deserted coastlines providing too much opportunity for the illegal entry of persons and goods. This problem would exist whether or not Ireland and the UK were in the EU fold and, in any case, its resolution would be helped rather than hindered by the police co-operation aspects of Amsterdam. And, indeed, the British government ‘is fully committed to EU cooperation’ in these spheres and, where it ‘is compatible with’ retaining frontier checks, ‘it might be interested in participating in Schengen measures relating to police and customs cooperation’ (ibid.). The government has, indeed, sought to do this. Ibid. Brown, op. cit. Letter to the author from UK Immigration and Nationality Directorate, Home Office, 1 February 1999. Interview in Department of Foreign Affairs, 1998. Statistical Bulletin, September 1991, tables 1, 2, p. 438; Statistical Bulletin, June 1996, tables 1, 2, p. 329 (Dublin: Central Statistical Office). FitzGerald et al., op. cit., p. 23. Lord Chief Justice Carswell, Judgment in applications by Edward Michael O’Boyle and Suzanne Plunkett (Belfast: Court of Appeal in Northern Ireland). Irish Times, 22 March 1999. Alan Barrett and Fergal Trace, ‘Who is Coming Back? The Educational Profile of Returning Migrants in the 1990s’, Irish Banking Review, Summer 1998, pp. 38–51, especially pp. 42–3. Ibid. Irish Times, 11 February 1999. Sunday Independent, 14 March 1999. Brown, op. cit., p. 28. Irish Times, 23 January 1999. Communication to the author from the Department of Justice, Equality and Law Reform, February 1999.
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45. See Brown, who, in quoting from the press, notes the expression, people who do not meet ‘normal criteria’ – a standard which gave rise to the public suspicion noted in the following sentences (op. cit., p. 29). 46. Communication to the author from the Department of Justice, Equality and Law Reform, February 1999. 47. Interview in Department of Justice, 1998. 48. Interview in Department of Foreign Affairs, 1998. 49. It will be interesting to see how the member states of the Nordic Passport Union intend to integrate (through law and, presumably, airport design) their own systems of unchecked entry with that of the EU. This will be even more complicated than would be the case in Ireland and the UK. The Nordic Union includes two non-EU states (one pro- and the other anti-EU, but both having observer status under the Schengen Agreement) and Denmark, being a Schengen signatory, but having negotiated an ‘opt out’ to protect its view that such matters should be intergovernmental. Communication to the author from the Nordic Institute in Finland, February 1999. 50. Brendan O’Leary, ‘The Magic Number is 64’, The Times Higher Education Supplement, 22 May 1998. 51. Conor Gearty, quoted by Roy Foster, ‘Ulster Chooses Life’, Independent on Sunday, 24 May 1998. 52. Dora Kostakopoulou, ‘Is there an Alternative to “Schengenland”?’, Political Studies, 46, 5 (1998), pp. 886–902, especially pp. 888–91. 53. Commissioner for Data Protection, Eighth Annual Report of the Data Protection Commissioner, 1996 (Dublin, 1996), presented to each House of the Oireachtas pursuant to section 14 of the Data Protection Act (1988). 54. Patricia Hewitt, now a parliamentary colleague of the Home Secretary, Jack Straw, then General Secretary of the National Council of Civil Liberties, wrote about such surveillance, several times citing Jack Straw’s concerns about the police. Patricia Hewitt, The Abuse of Power: Civil Liberties in the United Kingdom (Oxford: Martin Robertson, 1982). 55. Perhaps it should be noted here that Irish and British nationals resident on the Continent seem to become accustomed to identity cards – at least those whom the author meets on research visits. Sometimes the author has been told that they are even happy with them since they facilitate access and, insofar as they may be a means of control through information, they are so explicitly, unlike social security cards or driving licences. 56. Suggested by a former member of the Department of Foreign Affairs. 57. Whitbread Speech by Secretary of State for Northern Ireland, Peter Brooke, 9 November 1990.
8 Gendering Migration: the Case of Southern Europe1 Floya Anthias
Introduction: new migrations and gender It is now generally acknowledged that mainstream approaches to migration, of both the liberal and Marxist varieties, have tended to be gender blind and have failed to consider the role of the family and social networks in the migration process (Buijs 1993; Brah 1996). Women, however, have been particularly affected by transnational global processes and are an increasingly important component of new migrations, especially to Southern Europe. Whilst some have cast doubt on the extent of feminisation, on the basis of official figures (Zlotnik 1995), others (Anderson and Phizacklea 1997) argue that there are large numbers of undocumented women who are testimonies to an increasingly feminised migrant workforce. There are at least 6.4 million women in Europe who are not full citizens of the countries where they live. It is estimated that there are more than 1 million migrant domestic workers in Europe (Lutz 1997). Indeed, more than 14 million non-nationals constitute second-class citizens in what has been termed ‘Fortress Europe’ (Lutz et al. 1995). As Buijs (1993: 1) states: Women were invisible in studies on migration and when they did emerge tended to do so within the category of dependants on men. Women still remain largely invisible in the literature (for exceptions see, amongst others, Buijs 1993; Lutz et al. 1995; Indra 1999) on transnational population movements. In this chapter, I will explore some of the issues involved in gendering migration processes and, more substantively, the feminisation of migration within new migration processes, particularly as they relate to Southern Europe. 146
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The idea of migration as a male phenomenon has been seriously questioned in the last 15 years or so by the focus on women migrants making independent choices or taking the initiative for their own families (for example, Phizacklea 1983; Anthias 1992; Buijs 1993; Lutz et al. 1995; Indra 1999). Gender is a relational concept as well as a central organising principle of social relations (Anthias 1998a; Indra 1999). Within most approaches to women in migration, there has been a tendency to treat gender as additive and to reduce it to looking at women migrants. However, gendering migration is not just a question of recognising the proportions of women migrants or their economic and social roles. It is also important to consider the role of gender processes and discourses as well as identities in the migration and settlement process. Moreover, there are two sets of gender relations to consider with ethnic and migrant women: those within their own society/group and those within the dominant group in the state (see Anthias 1992, 1998a and 1998b). The focus on feminisation not only needs to be done within this context (which includes the differential positioning of men) and practice, but must also pay attention to ‘difference’ and to ethnicity/ nation/racism, relating to social positioning in terms of migration, racialisation and class subordination. In other words, the use of the gender category must avoid homogenising women’s experiences and practices and must be undertaken in relation to how gender intersects with other social divisions, such as ethnicity, ‘race’ and class (Anthias and Yuval Davis 1983, 1992). Indeed, there is a diversity of experiences and positionings of men and women in the migration process. The issue of gendering transnational movements can be understood at two different levels. At the first level of analysis, it requires a consideration of the ways in which men and women are inserted into the social relations of the country of settlement, within their own selfdefined ‘communities’ and within transnational networks. Such a concern may be also able to address the extent to which the cultural and structural shifts involved for such women produce more emancipatory and liberating experiences and help to fight entrenched systems of gender subordination (or not). However, this focus on the distinctive experiences of women as transnational actors is only one level of analysis. The other level of analysis relates to an exploration of how gendered relations are constitutive of the positionalities of the groups themselves, paying attention to class and other differences within the group and to different locations and trajectories. Such an analysis will consider the ways in which gender relations will enable a group to occupy certain economic niches, for example, or to dynamically reproduce, in a selective
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way, the cultural, symbolic and material relations it lives within. Here gender lies at the very heart of the social order.
Transnationalism, globalisation and exclusion Whilst the bulk of the literature produced in Europe on migration has been on post-war migration to Western Europe, more recently the focus has shifted to refugees and undocumented migrants (see Koser 1997). The most important tendency, however, is the shift away from a migration problematic altogether with the permanent settlement of populations that Western Europe has experienced. This tendency is characterised by a focus on incorporation and exclusion in the receiving countries and has tended to take a problem-orientated approach. In Britain, in particular, the ‘race relations’ and ethnic studies problematic have dominated the field (see Anthias 1982, 1992; Miles 1989). Even more recently, a concern with identity, with new ethnicities, with difference and diversity has characterised debates in the area (see Anthias and Yuval Davis 1992). Theories of diasporisation and of new diaspora social forms, including consciousness, have emerged (Cohen 1997; Anthias 1998b).2 The issue of gender has become an increasingly relevant issue (Anthias 1983, 1992; Phizacklea 1983; Brah 1996; Anderson and Phizacklea 1997) as is the role that women play in the reproduction of the ethnic boundary (Anthias and Yuval Davis 1989; Charles and Hintjens 1998; Wilford and Miller 1998). Discussion on diaspora populations, hybridity and transnationalism (see Hall 1990; Gilroy 1993; Cohen 1997; Anthias 1998b) has been particlarly important. Transnational social spaces mean that the problematic of assimilation and ethnic pluralism may not be adequate. Whilst the assimilation problematic posits the potential disappearance of a migrant population, the newer ethnic pluralism problematic found in multiculturalist discourse (see Anthias and Yuval Davis 1992) posits the reproduction of ethnic culture. Both of these positions are no longer sustainable, given that transnational processes involve border crossings where migrants have complex relations to different locales and form new and different communities. Such forms of transnationalism cannot be adequately theorised deploying the notion of diaspora, since they are not confined to established settler communities denoted by this term (Anthias 1998b). Transnational processes include migrant networks involving social, symbolic and material ties between homelands, destinations and relations between destinations. Transnationalism is centred in two or more national spaces; this is found particularly in the case of Filipino maids, for example.
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Transnational population movements may be seen as part of the globalising tendencies in the modern world (Walters 1995). Appadurai’s (1990: 297) conception of the ethnoscape provides one way of understanding the movement of people: By ethnoscape, I mean the landscape of persons who constitute the shifting world in which we live; tourists, immigrants, refugees, exiles, guest-workers, and other moving groups and persons. Globalisation challenges social scientific analysis with changing forms of governance and political participation, changing identities, values, allegiances. These have a profound effect on social life and our understanding of it, with serious implications for the future of democracy, citizenship, nationalism (Eisenstein 1997). Some categories have emerged excluded from society, through new technology and new flexible employment patterns. Many of the most affected by these processes are women. This is partly because the drive to attain greater flexibility in employment practices has encouraged casualised employment practices and especially the feminisation of migration. Globalisation has both positive and potentially negative outcomes from the point of view of democratisation and equalisation. Although globalised economic structures potentially break national borders, as well as established gender/patriarchal ones, which may be regarded as positive, they cannot ensure equal status and respect for all groups and may reinforce them in new ways. The state/welfare system has become dominated by increasing privatisation, undermining the welfare states of liberal democratic societies and inhibiting the development of welfare regimes in Southern Europe. Moreover, privatisation and free markets are redefining the relationship between the state and their economies, families and public life and political and cultural life (Eisenstein 1997). This is likely to reinforce divisions between rich and poor nations, on the one hand, and between different categories of people within them, on the other. Moreover, although globalisation may lead to the reconfiguration of ethnic boundaries, which has the potential to undermine nationalism and chauvinism, the nation-state form is far from being supplanted. Nation states are still the determinants of juridical, social and cultural citizenship (Turner 1990) (despite exceptions such as the European Court of Human Rights), and the ethno-national project remains central. The borders of the nation state are still policed against undesirable others in formal and informal ways through migration controls, racism and
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the desire for the integration and management of minorities within (in the present phase of multiculturalism) while excluding others, on the outside and the inside (such as Gypsies). Many nation states wish to retain the ethnic identity of their diaspora populations and encourage their reproduction as well as their return to the homeland (unrecognisable for those who were born outside it), a home no longer ‘a home’ or a place where they may feel ‘at home’. Whilst it may be the case that globalism, as an ideology, demands one culture which can be shared (what has been termed a global village), the issue is raised about what aspects of which cultures become shared. For example, in the more limited notion of a European culture, there is a particular construction of ‘Europe’ as Christian and white, which entails the notion of ‘Europe’ excluding Third World migrants and Muslims. Whilst freedom of movement and trade have made boundaries between one European Union country and another less important, in practice this is reserved for majority ethnic group members who have full citizenship. For many Third World and other migrants this process means that they need to carry additional identification, with passport controls at airports reinforced to exclude non-Europeans (Anthias and Yuval Davis 1992). Being Black or obviously foreign is an impediment to movement as racialised minorities within Europe may be targeted because of the growing ideology of Europeanism/whiteness (Lutz et al. 1995). Moreover, there are different layers of citizenship and residence/work permits for different groups and there is inequality both between the countries of the European Union and between Western Europe and Southern Europe. Therefore, in practice, privatisation and exclusionary nation-state citizenships sit alongside differential border controls in the management of movements of population within Appadurai’s ethnoscape. Nation states have always had ethnic ‘outsiders’ or minorities within, who have demanded recognition of their practices. Within Eastern Europe, for example in Latvia, Romanians are excluded from eligibility for citizenship. In ex-Yugoslavia, ethnic cleansing has been particularly horrendous. However, ‘ethnic cleansing’ may be a relatively new term but an old experience emanating from ethnic fundamentalisms and racisms. The European framework provides different instances of ethnic and racist practices: racism and hostility in Spain and Greece towards migrants from Tunisia (see Daly and Barot 1999) and Albania (Lazaridis 1999; Psimmenos 2000); in Germany and the Netherlands the Turks have been targets of racist hostility but more recently Romanians and Poles in Germany have been the subject of neo-Nazi attacks; in France,
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target populations increasingly are Muslims and Jews; in Britain there has been a growth of anti-Muslim racism (see Modood 1996). Such processes are essentially gendered (see Anthias and Yuval Davis 1992; Brah 1996; Lutz et al. 1995).
New migrations to Southern Europe Hand in hand with debates on diaspora, arising out of fairly long-term transnational movements, there has been a resurgence of interest in migration (see King 1997; Koser and Lutz 1997), partly as a response to the growth of migration to Southern Europe. A geographical location involving long and vulnerable coastlines with many islands and mountainous borders which are difficult to police, as well as the growth of the casual and informal economic sector along with segmented labour markets, have all contributed to growing migration to the region. Since the early 1990s, Italy, Spain, Greece, Portugal and Cyprus have emerged as sending countries from being traditionally countries which exported migrants. They have become receivers of relatively large numbers of migrants (both poverty migrants and highly qualified experts) and of refugees from non-European countries (see Anthias and Lazaridis 1999). Italy has around 1 million migrants, Spain has over 0.75 million (around half from the Third World) and Greece has an estimated 0.5 million migrants, half from Albania and the rest a mix from Eastern Europe and Third World countries (Anthias and Lazaridis 1999). Many of these are undocumented. The estimate is that there are around 30 000 legal migrants in Cyprus with another 10 000 who have entered illegally (Anthias 2000). These are estimates only because of the vast number of undocumented who are not included in the official statistics. Sending countries include Eritrea, Somalia, Sri Lanka, Tunisia, Algeria, Morocco and many parts of Latin America and south-east Asia. Since the late 1980s, there have been large-scale migration flows from Eastern and Central Europe. Within these countries internal developments linked also to a colonial past have been contributing factors: unemployment, ethnic conflict, civil war, political repression and urban blight are some of the factors. Certainly, it is possible to argue that new migration, particularly to Southern Europe, challenges traditional migration theory on a number of counts. The prototype migrant actor within these is seen to be a male who is economically motivated, either choosing to migrate, or being subject to the vicissitudes of capitalist production (see Anthias 2000). Moreover, such migration is seen as one-way, involving either a journey from or a return to a particular locale.
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Little attempt has been made to link these locales in terms of what now has become known as transnationalism (see Cohen 1997; Faist 1998). The paradigms used to explain earlier forms of migration, with their focus on economic migrants from poorer sectors of their communities (primarily men or families led by men) can no longer yield a fruitful conceptual basis for understanding migration today. Such migration is more diverse, includes large numbers of educated people from the old Eastern bloc (Rudolph and Hillman 1997), involves large numbers of undocumented migrants, and a large number are women. The increasing diversity of the people on the move is linked to the disintegration of Eastern Europe and crisis in various world economies. This is particularly the case with regard to the more educated and ‘brain drain’ migrants. Large numbers of economic migrants have to come in as undocumented since the modern economies do not formally want them within their territories, despite needing them; this is particularly the case in Greece, for example, with its large informal and unregulated sector. In addition a large part of this migration is made up of women who migrate on their own, being involved in what can be termed a solo migration project. The diversity of these new forms of migration has therefore gone hand in hand with feminisation. In one sense it is not difficult to gender new transnational migrations, such as those to Southern Europe, in the sense of attending to the distinctive positions and roles of men and women. Unlike earlier migrations which were, paradigmatically, predominantly male (although women on their own have always migrated also), much migration today is female, particularly migration from the Philippines, Sri Lanka and Latin America. Such new migration has added impetus to the discussion of ethnic diversity and diasporisation that has characterised recent debates in the area of migration and ethnic and ‘race’ studies. Although ethnic pluralism exists in all societies to a greater or lesser extent, the phenomena of migration, as well as diasporisation (see Cohen 1997), produce ethnic diversity in new ways. Nation-state formation usually involves the domination by one group, usually the larger or the most powerful economically, over other groups and the hegemony of its ‘world view’ and its conception of boundaries of belonging. Migration can be seen as important in terms of testing the boundaries of ‘who belongs to the community’ or the nation. Moreover, migration from outside Europe tests the boundaries of inclusion and exclusion within Europe itself. Critiques of multiculturalism have shown that the hegemonic culture will decide when, how and who gets to be constructed as belonging to ‘the multicultural’ nation and therefore some subjects within national
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boundaries have the important power to manage the national space whilst others become objects of this exercise. Of course, this power will be subject to contestation and the domain of what constitutes the boundaries of the multicultural nation will be open to negotiation.
Gendered migration to Southern Europe The migrant population is heterogeneous, characterised by ethnic and gender segmentation in terms of labour market participation. These changes have been accompanied by an increase in employment amongst indigenous women and an increase in demand for domestic and sex-related services. Many migrants are women, coming in as domestic maids or as ‘cabaret’ artists to take part in the flourishing sex industry. Women are usually found in the lowest levels of the employment hierarchy in the service industry (maids, nurses, entertainers in the sex industry, and cleaners in the tourist industry). Women migrants come either for economic reasons or to flee political repression. Many come on a solo migration project (for example Somalians in Italy and Filipinas everywhere) but some enter as part of the family reunification process or accompany their men (for example Moroccans, Tunisians). Both find themselves in a strongly gendered labour market, where they take up precarious, insecure jobs in areas where illegal economic activities flourish, jobs rejected by Southern Europeans themselves, like domestic work, sex and ‘entertainment’ industries. Many of these women are on short-term contracts or are undocumented, subjected to the vagaries of their employers. Much recent work (Anderson and Phizacklea 1997; Anthias and Lazaridis 2000), in fact, points to the diversity of experiences and positionings of men and women in the migration process. However, the discourse and practice of ‘otherness’ on the basis of racism and ethnicity defines the otherness of migrant women, where the European woman serves as the ideal woman. Whilst some migrant women are pathologised as victims (for example domestic maids from Sri Lanka), others are desired for their supposed submissive, nurturing natures (mail-order brides from the Philippines) and others for their exotic beauty and as fitting better into Western lifestyles (for example Russian women). According to Helma Lutz (1997), Muslim women, on the other hand, are regarded as the ‘other other’, thus representing a dichotomy with the Western European model of womanhood. The empirical picture of women in migration that has emerged, therefore, shows the diversity of social positioning entailed. Whilst
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there are class and ethnic differences amongst women migrants and different countries of origin and destination provide heterogeneous contexts, we can nonetheless say that women do not migrate primarily as dependents or for family reunification. Instead, women migrants are more often than not a main source of family support and see their role in terms of a family strategy (Anthias and Lazaridis 2000). However, it is necessary to look beyond merely economic processes for understanding the position of migrant women and to attend to ethnic and national boundaries. Whilst nationalism, as Benedict Anderson (1983) notes, constructs imagined communities with a sense of belonging, it also requires an ‘other’ from which it can imagine itself as separate. The migrant ‘other’ is gendered as well as racialised and classed. Gender is a significant component of ethnic landscapes. Cultural groups, nations, ethnic groups are imagined as woman (Anthias and Yuval Davis 1989) and women are particular objects of national and ethnic discourses and policies in terms of the biological reproduction of the group/nation, its social and cultural reproduction and its symbolic figuration. In addition women are active participants in economic processes and are particular political actors, playing often specific roles within the nation. It is necessary to incorporate women as active agents and to focus on the different ways in which they manage the migration process. Women and men, as social actors, are located at the intersection of their country of origin and country of destination, since they are economic and ethnic subjects within both locales. A contextual and situational analysis is needed therefore. Moreover, the importance of transnational connections requires us to look beyond the interaction between countries of origin and destination towards wider migratory networks within different regions and territories (Anderson and Phizacklea 1997). Migrant women have strong transnational family links and major responsibilities for providing for families left in the homeland. The role of the state is central in understanding women’s position. This entails more than looking at legal rules or social provision, although these are of fundamental importance. The public/private divide, both structured by and reflected within state practices, with the relegation of women to the private space of the home and the family have been extensively critiqued by feminists (Lister 1997). In the receiving countries, the personal lives and experiences of women are socially constructed as private. For example, experiences of women migrants in rape and ‘trafficking’ (Campani 1997) are treated as private, although women who are discovered to be working illegally in the sex trade, or who enter illegally as refugees, may be punished if this comes to the
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attention of the police. Rape and other forms of sexual abuse become explained as products of individual pathology rather than emanating from social processes of gender hierarchy and subordination (what some feminists have called ‘patriarchal structures’). Women migrants and gendered work There is no doubt that economic incorporation into particular sectors of the economy provides an important context for understanding the position of migrant women, albeit in a heterogeneous manner. Women migrants provide the flexibility that global capital needs. Approximately two-thirds of all part-time and temporary workers are women (Eisenstein 1997). Women fill particular functions in the labour market, being cheap and flexible labour for the service sectors and, in some countries, small/light manufacturing industries. They are located within a secondary, service-orientated or hidden labour market which is divided into male and female jobs and reproduces an ethnically and gender divided primary labour market. Moreover, ethnic/migrant groups can use women as an economic resource. For example, the use of family labour was a pattern found within many migrant groups in the post-war period in Western Europe (Anthias 1983; Ward and Jenkins 1984). In terms of the economic role of migrant women in Southern Europe, whilst there is a diversity in the form of female participation, there is a concentration in the service sector, particularly domestic service, and within the sex or leisure industry. Moreover, many women are either illegal entrants or do not have legal status as individuals and their legality is dependent on the permits held by employers. This places them under the control of their employer and potentially and actually leads to super-exploitation and other forms of abuse (see also Anderson and Phizacklea 1997). The undocumented nature of much migration is therefore important in structuring its relation to the market, in terms of the hidden or private economies within the service sector, the household (as in domestic service) and the sex industry. This raises the issue of the ways in which being deprived of rights of entry and settlement as well as broader rights of citizenship are central reasons for the forms of domination faced by migrant men and women. Domestic maids The use of foreign domestic servants, many of whom live in, constitutes a significant growth industry in Southern Europe. Sri Lanka, the Philippines, Albania and Latin America are favoured countries for this form of
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female labour migration. Southern Europe has increasing numbers of working women, many of whom are mothers. The inadequacy of state provision for the care of the very young and the elderly, or the inability of the state to actually provide those services, has resulted in a massively increased demand for domestic workers. Local women with more disposable family incomes turn to poorer women, many of them migrant women, to take on the domestic role and responsibilities traditionally associated with women’s role in the private sphere. Few domestic maids have a migration status separate from their work entitlement on entry as domestic workers and therefore are vulnerable; if they leave their employer they could be deported. Some of these women are undocumented, which makes them particularly vulnerable and exploitable. Lack of formal regulation and personal rights deprives them of any way of countering potential forms of abuse and may trap them in unhappy and at times dangerous dependencies on the families that employ them. Often their employers will complain loudly of the presence of too many foreigners in their country and yet happily employ a foreigner in their own home because they are cheap (Anderson and Phizacklea 1997). The multiple domestic tasks such maids are given ‘as part of the family’ mean the extension of the subordinate role of women as unpaid family workers to paid family workers. The expectations that families place on the wife and mother now are transferred onto the domestic maid, but without the potential emotional and other rewards and the reciprocities involved in family structures. Women from poorer countries such as Eritrea, Sri Lanka, Albania and the Philippines are subjected to oppression by women from more affluent countries. This problematises the view that the source of women’s oppression is men and shows how power relations exist not only between men and women but also amongst women. This supports the view that many of the gains indigenous women have made may depend on the exploitation of other women from poorer countries in the international division of labour. It also shows the importance of state processes in the facilitation of subordination within the employer/employee relationship. This is an important instance of how differential labour market incorporation can be divisive for women. While many women of the majority improve their position, it may be at the expense of migrant women. Moreover, this pattern reproduces traditional family arrangements where women remain responsible for the domestic sphere, even though they work. The employment of maids facilitates changes in the female participation of indigenous women whose reliance on the family
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(for example their mother and other unpaid female kin) can no longer be guaranteed. Women migrants also often bear the responsibility for supporting their families back home and are an important familial resource. They thus carry the ‘burden of reproduction’ for their families and for its survival in the homeland or in the society of migration. Changing class relations and the importance of material display also mean maids are part of status symbolism in many societies such as Greece, Italy, Spain and Cyprus. Sex-related migration There has also been a growth of the entertainment industry linked to sexual services such as in cabaret, dancing, massage parlours and so on. Whilst the feminisation of flows to Southern Europe is linked to changes in women’s employment, with the restructuring of labour markets towards the service sector (see King 1997), the sex industry is also linked to continuing traditional maintenance of the family for local women (Campani 1997; Vassiliadou 1999). Prostitution, in fact, is hidden by some of these activities and has become very lucrative, sometimes for co-ethnic employers or pimps. Whilst traditionally such women tended to come from south-east Asia and Africa, today it is women from Eastern Europe and the former Soviet Union who are increasingly used in this way, being preferred as well as being available with the collapse of Eastern Europe. The traffic in women in the sex industry is largely illegal and undocumented. Where women are not illegal entrants, they may be documented as cabaret artistes and musicians, as in the case of Cyprus (Anthias 2000). Many women are promised jobs in clubs, but find themselves forced into prostitution on arrival (Psimmenos 2000). If they are illegal entrants, any attempt to avoid prostitution could lead to deportation (Campani 1997). This shows how the illegality of many women, and the fact that the abuse they face may be defined as stemming from the private realm of relations with men, means that they can not be protected by the state. Migrant women and the ethnic boundary There is much evidence that women are central transmitters of ethnic culture: they reproduce the culture and tradition of the group and its religious and familial structures and ideologies. They reproduce the group biologically and are used as symbols of the nation or ethnic group. They are important as ‘mothers’ of patriots and represent the nation (see Anthias and Yuval Davis 1989 for an analysis). For example, in both Bosnia and in Cyprus, the rape of women involved the project
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of forcing them to bear the children of the enemy and being violated as mothers of the national enemy. Migration can be seen in the context of the reproduction of national identity and the boundaries of belonging, both for the receiving countries (where it may lead to ethnic exclusion and racism), and the sending countries (where it may lead to a concern with retaining the ethnic bonds of migrants with their countries of origin). These processes are not given or static; they change around specific economic and political conditions. Gender processes may be regarded as important in understanding how nationhood and belongingness are retained, and reconstituted, particularly through the role of women as ethnic actors (see Anthias and Yuval Davis 1989; Walby 1994). However, it could be argued that women often function as objects of discursive practices and social relations whereas men are constructed generally as its active agents. For example, Wetherall and Potter (1992) argue that men are given the authentic voice to represent their communities (see also Anthias and Yuval Davis 1992). It is not surprising that women as biological reproducers of the nation play a central role, given the importance that ideas of ‘blood’ and ‘common origin’ have for constructing ethnic and national collectivities. The importance of this for the formation of nations, however, varies. For example, the German nation is based on ideas of essential ‘volknation’ and ‘true’ Germans decided by blood and family. Other nations, such as France, are constituted by ideas of common culture, whilst the notion of civic virtue best characterises Switzerland and Belgium, where several ethnic groups constitute a nation, and arguably Italy (Trantafyllidou 1997). Societies like those of the United States, Canada, South Africa and Australia are largely what may be termed White Settler Societies (Stasiulis and Yuval Davis 1995) and contain several ethnicities; nationhood is constructed out of the acceptance of the political reality of the nation and identification with its future. This could be seen in terms of the importance of ‘collective destiny’ rather than origin, and common parameters regarding cultural, political and legal rules. But this may exclude those who are seen as not being able to share in this; Aboriginals in Australia are a case in point. In all societies, women of different groups are encouraged to reproduce the nation differentially and some are encouraged to ‘grow and flourish’ while others are seen as undesirable. For example, in many Western societies ethnic minority women’s fertility may be seen as a threat to the nation, involving demographic and nationalist policing and ideologies, and the use of Depo-Provera and sterilisation techniques
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against some (Anthias and Yuval Davis 1992). Indigenous mothers who give birth to many children (termed ‘polytechna’ mothers in Cyprus) may be rewarded whilst migrants and their descendants in this situation may be subjected to policies and discourses of inferiorisation. Although women are members of collectivities they are subjected to different rules and will experience them differently. As well as functioning as biological reproducers, and state policies being geared to different women in these terms, women also reproduce the nation culturally. Women may be seen as targets and agents of national acculturation. The education of women becomes a key dimension in producing loyal citizens. As Karakasidou (1996) points out, the education of women in Greek language and tradition was central after the incorporation into Greece in 1913 of the countryside in Thrace, in order to make women suitable mothers. She quotes as an example a 1924 report to the Governor General of Macedonia (as it was called), the Superintendent of the Florina Educational district, who maintained that it ‘was imperative to educate women and very young children who spoke no Greek’. He warned that children would come to harm if they lived in a foreign-speaking home environment (1996: 104). Kandiyoti (1989), on the other hand, shows how the modernisation project of Turkey, at both political and cultural levels, used the emancipation of women as a strategic tool. She also argues that because the domestic sphere represents the continuation of tradition, it becomes most subject to state discourses under situations of political change (Kandiyoti 1991). Women are also symbolic of the nation; modesty and motherhood are key elements of this, as in the French Patria and in the symbol of Cyprus as a martyred mother mourning for her loss (Anthias 1989). In Nicaragua, the revolution was symbolised by a woman carrying a baby in one hand and a gun in the other (Charles and Hintjens 1998: 4). Those women who are regarded outside the national collectivity, unable to reproduce or symbolise it, may face particular forms of racism and exclusion. Racism against women intersects with sexism to produce particular forms of exclusion differently against different ethnic and class groups. Filipino maids may experience it differently to ‘porn’ trade and ‘brain drain’ migrants from Eastern Europe. However, to locate women at the intersection between economic and ethnic processes is not enough, and it is important to consider them as active agents and in terms of their links to social networks, households and families. In the next part of the chapter, I will look at some of the issues that need to be added to the concerns I have outlined above with regard to economic and ethnic processes, drawing on a range of literature.
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Women as social agents Some attempts to gender migration have tended to overemphasise the role of structures and constraints and at times have produced an impression that women are victims of circumstance. However, women are not only passive receivers of social processes. Women’s agency can be explored in terms of household strategies and the formation of social networks (see Anthias and Lazaridis 2000). Nor are the links between migration and gender relations always negative. Many approaches to women and migration examine the extent to which migration may serve to counter patriarchal forms of social control (Buijs 1993). This relates both to women’s social power and to the relationships between men and women, what may be regarded (albeit heavily criticised) as the public and private social realms. Literature on these issues has not come up with simple answers to the effects that transnationalism and migration have on women. Thomas Faist (1998: 228), writing about Turkish migrants in Germany, says: while communal reciprocity undoubtedly furthered the economic success of Alihan residents, it also cemented gender relations controlled by patriarchs of extended families . . . relatively immobile women, most of whom stayed behind in Turkey, shouldered the transnational life style of Alihan men. This example is one where men have been the main actors in the transnational sphere. However, with women migrating, there may be changes in the distribution of power in the family: for example, there is some evidence that the new economic and social responsibilities of Filipino women serves to give them a more powerful role in their families (Campani 1997; Ribas 2000). Bhachu (1985) refers to the transformative powers of migration on Asian women. In the case of Filipino and East European migration, this may involve women running away from their allotted place, in the same way that Walker (1990) notes in the case of South African women. Also, migration needs to take into account women’s hopes, their concerns with the remaking of homes, the effects of individual circumstances, the growth of independence, the pleasure as well as the pain in the crossing of boundaries (quoted both in Buijs 1993 and in Anthias and Lazaridis 2000). The multifaceted and complex nature of women’s position does not permit us to see migration in simple terms as either leading always to a loss or always to a gain in social status.
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Issues of ‘difference’ and diversity are now central dimensions for all feminist research as well as research on ethnicity and racism. The differences between Filipino women who are predominantly Catholic, and Somalian, Sri Lankan and Albanian women who are Muslims, are important. The former not only tend to have a higher income than the latter (Anderson and Phizacklea 1997), they are additionally regarded as more desirable domestic workers. However, irrespective of differences, most women suffer by being divided from their families and being compelled to live in an isolated nuclear family unit imposed by Western norms. Moreover, they shoulder the responsibility for supporting their families back home, a common feature of the burden placed on migrant women. The multiple forms of oppression that migrant women face has often been noted (Phizacklea 1983; Anthias 1993). This is found in a particularly extreme way in Psimmenos’ study of Albanian young women in the sex industry of Athens (Psimmenos 2000). Most of these prostitutes are Albanian minors who suffer both physical and psychological abuse. Independent wage labour has a strong impact on the opening up of choices for women, although in practice socially learnt constraints may limit the exercise of these choices (Anthias 1992). However, even with such changes in economic power, there may be pressure to maintain customs of the group: the desire, or pressure, to marry husbands or brides from the homeland is quoted as an example of the retention of cultural traditions in Buijs (1993). Some of the forms of agency may be contradictory, therefore. Migration sometimes indicates a willingness to cross class boundaries in a downward direction. This is the case for some Russian or Bulgarian women with university degrees working in Greece and Cyprus as cabaret artistes or as domestic cleaners and waitresses (Anthias 2000). Escriva (2000) shows how many domestic maids have experienced downward social mobility with migration, since many are highly educated and have university diplomas. Despite this, most of the women she researched saw the migration experience as positive because of improved welfare provision and educational opportunities for themselves and their children. As Atsuko Matsuoko and John Sorenson say, talking about Eritrean women in Canada (1999: 238): the redefinition of gender roles among the diaspora population most certainly were shaped by practical constraints that led to the loss of economic control over the household by some men, more financial independence for some women, legal prohibitions against formerly
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accepted practices, the absence of other family members and alternative media images. It has also been argued that Iranian migrant and refugee women have greater opportunities of finding jobs and this ‘provides women with the feeling of self’ (Ahmadi 1997: 3). Hollands, writing about refugees in the Netherlands (1996: 120), suggests: Refugee men tend to refer to the past in which they were something, whereas women refer to the present and future where they might become something. Moreover, Bhattacharjee (1997) has seen the sites of family, ethnicity and nation as sites of gendered struggle where women challenge the status quo. This might imply that such challenges are most effective in the migration setting when the institutional apparatus for specific patriarchal controls via these forms is absent. Indra (1999) also suggests the potential for feminist transnational alliances. In other words, there are possibilities for escaping oppressive social codes and a basis for solidarity with other women. Such processes, however, can go hand in hand with the persistence, albeit in a transformed way, of gendered social relations that serve to subordinate women, as well as racialised social relations. Assumptions that the migration of women leads to more egalitarianism, as a general principle (given the discussion above, and the predominance of domestic work and sex-related activities in migrant women’s lives), may be questioned, therefore.
Citizenship issues Access to citizenship is a crucial issue relating to the experience of Southern European minorities, including women who are excluded on different terms from full citizenship, and the provision of legal and social rights could resolve some of the difficulties such women face. Citizenship can be defined as sets of rights and responsibilities but these must also be seen in a less narrow way than political rights and include social rights, as incorporated in the classic work of Marshall (1950), which has been the starting point of many feminist critiques and developments of the notion of citizenship (see Lister 1997). Lister and other feminists have argued that Marshall’s idea of citizenship as entailing full membership of the community assumes a homogeneous community: how is the latter to be defined? Who constitutes the membership
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and who defines the boundaries? Who are its representatives? Who are able to speak within it (Anthias and Yuval Davis 1992; Anthias 1997). Moreover, the notion of citizenship in terms of individual rights (still very far off for migrant groups in Southern Europe anyway) raises problems for the attainment of rights for groups who experience ethnic, race or gender discrimination. Perhaps the most central aspect for migrants in the new migrations (given the large numbers of undocumented) is the right to enter or, once having entered, the right to stay. The racialised nature of border restrictions is indicated by the differential rules relating to different categories of individuals on the basis of European membership (the freedom of movement within the European Union), and ethnocentric rules found in many countries. Cypriots and Greeks born abroad, for example, are permitted entry to Cyprus as they are treated as potential members of the nation state. Black nationals in Britain, under specific circumstances, are restricted, on the other hand, through changing patriality rules or the informal policing of borders. The European project of consolidation is dedicated to containing migrant populations as well as reducing the number of people that might eventually have to be recognised as having legal rights to some form of citizenship. Undocumented workers, however, pose no such problems and can be confined to the least desirable and lowest paid jobs within the large unregulated sector of many Southern European countries. Moreover, instead of being encouraged to develop policies of social inclusion for new migrants, such countries are being urged to follow the increasingly powerful European Union, which wants them to secure and control the southern frontiers of Europe. Along with economic exploitation and racism, this situation leads to large numbers of people being subjected to increasingly unacceptable standards of human existence. The legalisation of these workers has begun in some countries but is patchy and uneven. Moreover, the desire on the part of other states to join the EU and the negotiations around entry, for example in the case of Cyprus, is pulling these states in two opposite and contradictory directions. On the one hand, there is the impetus towards the recognition of cultural diversity and the potential this holds for undermining ethnic chauvinisms and nationalisms (for Turkish Cypriot and Greek Cypriot rapprochement, for example in Cyprus); the development of a multicultural society is one side of this. On the other side is the need to develop policies in harmony with the powerful countries of the EU which involve the policing of the borders of Europe against undesirable ‘others’. Many of those
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already in these countries are illegal ‘undesirables’ and yet desired by the economy. Turning a blind eye to these may no longer be possible and threats of deportation and state violence are issues that may very well come to the fore increasingly. However, even if issues of illegality are resolved, there still remain broader issues of citizenship that will need addressing, issues that still remain unresolved within Europe as a whole.
Notes 1. The discussion presented here draws from my chapter ‘Metaphors of Home: Gendering New Migrations to Southern Europe’, in F. Anthias and G. Lazaridis (eds), Gender and Migration in Southern Europe: Women on the Move (Oxford: Berg, 2000). 2. ‘Diaspora’ is generally used to indicate a concern with groupings who have dispersed to a number of locales and maintain a connection with each other and with the ‘homeland’.
References Ahmadi, F. (1997) ‘The Problem of Identity Crisis among Female Iranian Refugees’, paper presented to the 3rd European Feminist Research Conference, University of Coimbra, Portugal, 8–12 July. Anderson, B. (1983) Imagined Communities (London: Verso). Anderson, B. and Phizacklea, A. (1997) Migrant Domestic Workers: A European Perspective (Department of Sociology, University of Leicester). Anthias, F. (1982) ‘Ethnicity and Class among Greek Cypriot Migrants: A Study in the Conceptualisation of Ethnicity’, Ph.D. thesis, University of London. Anthias, F. (1983) ‘Sexual Divisions and Ethnic Adaptation: Greek Cypriot Women in Britain’, in A. Phizacklea (ed.), One-Way Ticket (London: Routledge). Anthias, F. (1989) ‘Women and Nationalism in Cyprus’, in N. Yuval Davis and F. Anthias (eds), Woman, Nation, State (London: Macmillan – now Palgrave). Anthias, F. (1992) Ethnicity, Class, Gender and Migration: Greek Cypriots in Britain (Aldershot: Avebury). Anthias, F. (1993) ‘Gender, Ethnicity and Racialisation in the British Labour Market’, in H. Ludwig and M. Morokvasic (eds), Bridging States and Markets (Berlin: Sigma). Anthias, F. (1997) ‘Antiracism, Multiculturalism and Struggles for a Multicultural Democracy’, in M. Roche and R. van Berkel (eds), European Citizenship and Social Exclusion (Aldershot: Ashgate). Anthias, F. (1998a) ‘Rethinking Social Divisions: Some Notes towards a Theoretical Framework’, Sociological Review, 46, 3: 505–35.
Gendering Migration: Southern Europe 165 Anthias, F. (1998b) ‘Evaluating Diaspora: Beyond Ethnicity?’, Sociology, 32, 3, August. Anthias, F. (2000) ‘Metaphors of Home: Gendering New Migration to Southern Europe’, in F. Anthias and G. Lazaridis (eds), Gender and Migration in Southern Europe: Women on the Move (Oxford: Berg). Anthias, F. and Lazaridis, G. (eds) (1999) Into the Margins: Migration and Social Exclusion in Southern Europe (Aldershot: Ashgate). Anthias, F. and Lazaridis, G. (eds) (2000) Gender and Migration in Southern Europe: Women on the Move (Oxford: Berg). Anthias, F. and Yuval Davis, N. (1983) ‘Contextualising Feminism – Ethnic Gender and Class Divisions’, Feminist Review, 15: 62–75. Anthias, F. and Yuval Davis, N. (1989) ‘Introduction’, in N. Yuval Davis and F. Anthias (eds), Woman, Nation, State (Basingstoke: Macmillan – now Palgrave). Anthias, F. and Yuval Davis, N. (1992) Racialised Boundaries: Race, Nation, Gender, Colour and Class and the Anti-Racist Struggle (London: Routledge). Appadurai, A. (1990) ‘Disjuncture and Difference in Global Culture’, in M. Featherstone (ed.), Global Culture (London: Sage). Bhachu, P. (1985) Twice Migrants (London: Tavistock). Bhattacharjee, A. (1997) ‘The Public/Private Mirage: Mapping Homes and Undomesticating Violence Work in the South Asian Immigrant Community’, in M. Alexander and C. Mohanty (eds), Feminist Genealogies, Colonial Legacies, Democratic Futures (New York: Routledge). Brah, A. (1996) Cartographies of the Diaspora (London: Routledge). Buijs, G. (ed.) (1993) Migrant Women: Crossing Boundaries and Identities (Oxford: Berg). Campani, G. (1997) ‘Immigrant Women in Southern Europe, Social Exclusion and Gender’, paper given to conference on Non-Military Aspects of Security in Southern Europe: Migration, Employment and Labour Market, Santorini, 19–21 September. Castles, S. and Miller, S. (1993) The Age of Migration (London: Macmillan – now Palgrave). Charles, N. and Hintjens, H. (1998) Gender, Ethnicity and Political Ideologies (London: Routledge). Cohen, R. (1997) Global Diasporas: An Introduction (London: University College London Press). Daly, F. and Barot, R. (1999) ‘Economic Migration and Social Exclusion: the Case of Tunisians in Italy in 1980s and 1990s’, in F. Anthias and G. Lazaridis (eds), Into the Margins: Migration and Social Exclusion in Southern Europe (Aldershot: Ashgate). Eisenstein, Z. (1997) ‘Women’s Publics and the Search for New Democracies’, Feminist Review, Special Issue on ‘Citizenship: Pushing the Boundaries’, 57: 140–67. Escriva, A. (2000) ‘The Position and Status of Migrant Women in Spain’, in F. Anthias and G. Lazaridis (eds), Into the Margins: Migration and Social Exclusion in Southern Europe (Aldershot: Ashgate). Faist, T. (1998) ‘Transnational Social Spaces out of International Migration: Evolution, Significance and Future Prospects’, European Journal of Sociology, 39, 2: 213–47.
166 Floya Anthias Gilroy, P. (1993) The Black Atlantic (London: Verso). Hall, S. (1990) ‘Cultural Identity and Diaspora’, in J. Rutherford (ed.), Identity, Community, Cultural Difference (London: Lawrence and Wishart). Hollands, M. (1996) ‘Of Crowbars and other Tools to Tackle Dutch Society’, paper presented to 2nd International Conference on New Migrations in Europe, Utrecht, 18–20 April. Indra, D. (ed.) (1999) Engendering Forced Migration (Oxford: Berghahn). Kandiyoti, D. (1989) ‘Women and the Turkish State: Political Actors or Symbolic Pawns?’, in N. Yuval Davis and F. Anthias (eds), Woman, Nation, State (Basingstoke: Macmillan – now Palgrave). Kandiyoti, D. (ed.) (1991) ‘Introduction’, in Women, Islam and the State (Basingstoke: Macmillan – now Palgrave). Karakasidou, A. (1996) ‘Women of the Family, Women of the Nation’, Women’s Studies International Forum, 19, 1/2: 99–109. King, R. (1997) ‘Southern Europe in the Changing Global Map and Typology of Migration’, paper given to conference on Non-Military Aspects of Security in Southern Europe: Migration, Employment and Labour Market, Santorini, 19–21 September. Koser, K. (1997) ‘Out of the Frying Pan into the Fire: a Case Study of Illegality among Asylum Seekers’, in K. Koser and H. Lutz (eds), The New Migration in Europe: Social Constructions and Social Realities (Basingstoke: Macmillan – now Palgrave). Koser, K. and Lutz, H. (eds) (1997) The New Migration in Europe: Social Constructions and Social Realities (Basingstoke: Macmillan – now Palgrave). Lazaridis, G. (1999) ‘The Helots of the New Millennium: Ethnic-Greek Albanians and “other” Albanians’, in Anthias and Lazaridis (eds) (1999), Into the Margins: Migration and Social Exclusion in Southern Europe. Lister, R. (1997) Citizenship: A Feminist Perspective (London: Macmillan – now Palgrave). Lutz, H. (1997) ‘The Limits of Europeanness: Immigrant Women in Fortress Europe’, Feminist Review, Special Issue on ‘Citizenship: Pushing the Boundaries’, 57–112. Lutz, H., Phoenix, A. and Yuval Davis, N. (eds) (1995) Crossfires (London: Pluto). Marshall, T. H. (1950) Citizenship and Social Class (Cambridge: Cambridge University Press). Matsuoko, A. and Sorenson, J. (1999) ‘Eritrean Canadian Refugee Households as Sites of Gender Renegotiation’, in D. Indra (ed.), Engendering Forced Migration (Oxford: Berghahn). Miles, R. (1989) Racism and Migrant Labour (London: Routledge). Modood, T. (1996) ‘The Changing Context of Race in Britain’, Patterns of Prejudice, 30, 1: 3–42. Phizacklea, A. (ed.) (1983) One-Way Ticket (London: Routledge). Psimmenos, I. (2000) ‘The Making of Periphractic Spaces: the Case of Albanian Undocumented Female Migrants in the Sex Industry of Athens’, in F. Anthias and G. Lazaridis (eds), Into the Margins: Migration and Social Exclusion in Southern Europe (Aldershot: Ashgate). Ribas, N. (2000) ‘Female Birds of Passage: Leaving and Settling in Spain’, in F. Anthias and G. Lazaridis (eds), Into the Margins: Migration and Social Exclusion in Southern Europe (Aldershot: Ashgate).
Gendering Migration: Southern Europe 167 Rudolph, H. and Hillman, F. (1997) ‘The Invisible Hands Need Visible Heads: Managers, Experts and Professionals from Western Countries in Poland’, in K. Koser and H. Lutz (eds), The New Migration in Europe: Social Constructions and Social Realities (Basingstoke: Macmillan – now Palgrave). Stasiulis, D. and Yural Davis, N. (eds) (1995) Unsetting Settler Societies (London: Sage). Trantafyllidou, A. (1997) ‘Racists? Us? Are you joking? The Discourse of Social Exclusion in Greece and Italy’, paper to conference on Non-military Aspects of Security in Southern Europe: Migration, Employment and Labour Market, Santorini, 19–21 September. Turner, B. (1990) ‘The Two Faces of Sociology: Global and National’, in M. Featherstone (ed.), Global Culture (London: Sage). Vassiliadou, M. (1999) ‘A Struggle for Independence: Attitudes and Practices of the Women of Cyprus’, unpublished Ph.D. thesis, University of Kent. Walby, S. (1994) ‘Is Citizenship Gendered?’, Sociology, 28, 2: 379–95. Walby, S. (1997) Gender Transformations (London: Routledge). Walker, A. (1990) Women and Gender in South Africa to 1945 (London: James Currey). Walters, M. (1995) Globalisation (London: Routledge). Ward, R. and Jenkins, R. (eds) (1984) Ethnic Communities in Business (London: Cambridge). Wetherall, M. and Potter, J. (1992) Mapping the Language of Racism (Hampstead: Harvester Wheatsheaf). Wilford, R. and Miller, R. (eds) (1998) Women, Ethnicity and Nationalism (London: Routledge). Zlotnick, H. (1995) ‘The South to North Migration of Women’, International Migration Review, 29, 10: 229–54.
9 Women’s Work and Contemporary Migration Flows Annie Phizacklea
Introduction The large increase in women migrating for reasons of work within and from Asia has been a key factor in propelling women into constituting a majority of contemporary labour migrants (Matsui 1996). Official figures continue to show a higher proportion of men migrating for reasons of work than women (Zlotnik 1995). But as all the regularisation programmes have indicated in Europe over the last ten years, official figures provide a misleading picture. Estimates for Indonesian departures, for example, indicate that the undocumented outnumber the documented by 7 to 1 (Lim and Oishi 1996: 87). Migration has become institutionalised in south-east Asia and, to some extent, the Indian subcontinent, from the state down. As Lim and Oishi argue, without the huge ensemble of recruitment agents, ‘overseas employment promoters, manpower suppliers and a host of other legal and illegal intermediaries, Asian labour migration since the mid-1970s would not have reached such a massive scale’ (1996: 90). Nine out of 10 foreign placements of Asian workers are now handled by recruiters. However, this growth has a number of genderspecific implications. The growth coincided with the increased demand for labour in specifically female-dominated sectors such as domestic work and ‘entertainment’ (Truong 1996). It is argued that because Asian countries now compete against each other for market share they have contributed to the institutionalisation of low wages in these femaledominated sectors (UN Secretariat 1995 quoted in Lim and Oishi 1996). It is also likely that women more than men are making use of these intermediary institutions, particularly those who will facilitate clandestine migration, because women have less access to information relating to migration through established social networks (Lim and Oishi 1996: 90). 168
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This chapter focuses first on some of the ways in which we might look at the role of intermediary institutions in the migration process. In this respect the work of Goss and Lindquist (1995) is particularly useful. Secondly, we will look at some aspects of demand and the processes of supply in domestic and sex work. While a good deal of the analysis will focus on Asian migration, it will not be exclusive as migrant women from Eastern and Central Europe have become an increasingly important labour supply in the European context.
Moving on For many years an impasse between neo-classical economics-driven accounts and those which drew on a neo-Marxist political economy tradition characterised the theorisation of migration. But, as Truong has argued: ‘At best these two paradigms can incorporate women as a normative category in migration flows, and explain their migration in terms of individual “rational” decisions based on wage differentials (neo-classical), or collective “rational” decisions of households and states based on the interest in remittances (neo-Marxian)’ (Truong 1996: 31). Women migrate for a whole range of structural reasons – poverty, displacement, debt, patriarchal structures in their homeland – which leave them with little freedom for manoeuvre and many other external constraints which they have little control over. But that is not to say that they do not perceive and grasp the opportunity that migration holds out for them as a means of resisting and escaping at least some of what are oppressive structures: the opportunity to financially improve their own and their families’ lives, the opportunity to leave unsatisfactory, perhaps violent marriages and perhaps the opportunity to restore self-respect and justice for themselves and others in the migration setting. If we are to explain an individual’s decision to migrate, then we must combine accounts of structural context (structure seen as both constraining and enabling) with situational, micro-level understandings in a gendered way. Gender roles, ideologies and practices are an integral part of all social structures and face-to-face encounters and impact upon all aspects of transnational population movements. During the latter part of the 1980s there was a definite shift in the literature towards looking at household strategies in migration and the role of social networks. For a long time the household strategy model of migration remained caught within the logic of neo-classical economics with households cast as cosy, rational, decision-making units. But in the early 1990s two excellent gendered accounts of migration were
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published which went some way to debunking the myth of households as cosy, altruistic units. In the work of Grasmuck and Pessar (1991) and Hondagneu-Sotelo (1994), the household is regarded as a central unit in the analysis of migration but viewed from the premise that: ‘The household, as we conceive it, has its own political economy, in which access to power and other valued resources is distributed along gender and generational lines’ (Grasmuck and Pessar 1991: 202). Their empirical research (which presumably falls foul of Portes’ warning against ‘making respondents’ definitions of the situation the ultimate test for theoretical propositions’ (Portes 1997: 816)) points to the hollowness of the assumption that households make collective decisions. Hondagneu-Sotelo concludes: ‘Opening the household “black box” exposes a highly charged political arena where husbands and wives and parents and children may simultaneously express and pursue divergent interests and competing agendas’ (Hondagneu-Sotelo 1994: 95). This conception of the household is unlikely to be applied uncritically to Western societies and is consistent with the ideological tendency in social sciences to romanticise peasant community in the Third World. Somehow, members of Third World households, not burdened by the individualism of Western societies, resolve to cooperate willingly and completely, each according to their capacities, to collectively lift the burden of their poverty. (Goss and Lindquist 1995: 328) But there are other reasons why the household can never be a satisfactory unit of analysis in bridging the gap between micro-level understandings and the structural context within which migration takes place. First, households take many different forms, from the neat nucleated to a vast extended form. Second, households are entrenched within and reflect a whole range of power structures, which are by no means static and uncontested, and the balance of social and economic power may shift quite rapidly. Finally, they are only one part of a number of mid-level institutions which play a part in the migration process. For this reason the role of social networks and other institutions which link individuals across time and space came to be the preferred focus of interest in migration research for many. Boyd argues that: A starting point for research on social networks is that structural factors provide the context within which migration decisions are made by individuals or groups. However, at this microlevel analysis, the
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decision to migrate is influenced by the existence of and participation in social networks, which connect people across space. (Boyd 1989: 645) The main arguments are that social networks comprising households, friends and community ties are crucial for an understanding of settlement patterns, employment and links with the homeland. Once migration begins these networks come to function as causes of migration themselves because they lower the costs and risks of migration and increase the expected returns on migration (Massey et al. 1993). Networks constitute an important resource for migrants who use them to gain employment, housing and so on in the migration setting. Without the existence of these social networks migration involves high costs and risks. Social networks are also central to Hondagneu-Sotelo’s analysis of Mexican migration, where she concludes that: Traditionally, gender relations in the networks have facilitated men’s and constrained women’s migration, but this is changing. While patriarchal practices and rules in families and social networks have persisted, through migration women and men reinterpret normative standards and creatively manipulate the rules of gender. (Hondagneu-Sotelo 1994: 96) The importance of social networks in facilitating migration is therefore well recognised, but their ability to articulate between structure and agency is questioned in another innovative account which draws our attention to the increasingly formalised nature of migration. Goss and Lindquist argue that there is a mid-level concept which ‘articulates’ between various levels of analysis. They call this the ‘migrant institution’ (Goss and Lindquist 1995: 317). Using Giddens’s structuration thesis and applying it to migration from the Philippines, they argue that the key component of recent large-scale international migration, largely neglected in the literature, is the complex of international and national institutions that transcend the boundaries of states and locales, linking employers in the developed or rapidly developing economies with individuals in the furthest peripheries of the Third World. (Goss and Lindquist 1995: 335) All of the recent evidence on women’s migration underlines the increasing importance of such institutions, now that the most remote village is
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connected in a complex but highly efficient manner with work in affluent countries (as we shall see, this is particularly the case in sex and domestic work). Thus Goss and Lindquist argue that: ‘Individuals act strategically within the institution to further their interests, but the capacity for such action is differentially distributed according to knowledge or rules and access to resources, which in turn may be partially determined by their position within other social institutions’ (Goss and Lindquist 1995: 345). Basically they are looking at a situation where the Filipino government since the Marcos days has encouraged migration, but also seeks to control it in a number of ways: in negotiating bilateral agreements, particularly with the Gulf States, by controlling remittances and in theory protecting the rights of workers abroad. Originally it also intended to monopolise international labour migration by cutting out employment agencies but this failed, so it now endeavours to control their activities through licensing (Goss and Lindquist 1995: 338–9). Officially, overseas employers must recruit through licensed recruitment agencies and any subsequent contracts must be approved by the Philippine Overseas Employment Agency (POEA). Thus POEA-recognised recruitment agencies not only get licences, they get preference for contracts received directly by the POEA. But beneath this ‘layer’ there are unofficial brokers and fixers. Unless you have the money to go and stay in Manila, how will you know what the possibilities are for jobs abroad? Fieldwork conducted by Goss and Lindquist in provincial Malinaw indicates that ‘although 18 per cent of returning migrants claim to have obtained overseas employment without employing brokers, none managed without at least informal assistance of this nature’ (Goss and Lindquist 1995: 340). The more institutionalised migration becomes the more fraudulent and corrupt the system becomes. But despite this individuals still seek employment abroad. The authors conclude that: Of course this is an indication of relative deprivation in the country but it is also the result of the selective flow of information through the migrant institution. Institutional agents control knowledge about the risks and disappointments of international migration, but it is obviously in their interest to hide these and to promote the advantages of overseas labour. (Goss and Lindquist 1995: 344) While the notion of migrant institution works well for the case of Filipino and other Asian country migrations (where the process of migration has been to a large extent ‘institutionalised’), we would want to look carefully at the applicability of the notion of migrant institution in other
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situations where migration is far less institutionalised as a process. Nevertheless, the Goss and Lindquist analysis is most certainly an advance in providing an account which can deal with the myriad of agencies and organisations now operating in the ‘business’ of migration and which have played a crucial role in the ‘feminisation’ of labour migration at a global level since the mid-1970s. Massey et al. (1993) also explore the ‘business’ of migration, arguing that because affluent countries have introduced stringent immigration controls, this creates a lucrative economic niche for entrepreneurs and organisations who will facilitate clandestine transnational population movements. Their activities include smuggling across borders, fake papers, arranged marriages and so on. In turn, because these practices create a highly vulnerable underclass of migrants, humanitarian organisations are set up to provide a range of services such as legal advice, shelter, help with obtaining papers. Massey et al. (1993) conclude that these processes lead to a number of hypotheses which are completely different from those that emanate from micro-level decision-making models. They argue that: As organisations develop to support, sustain, and promote international movement, the international flow of migrants becomes more and more institutionalised and independent of the factors that originally caused it . . . . Governments have difficulty controlling migration flows once they have begun because the process of institutionalisation is difficult to regulate. (Massey et al. 1993: 451)
Sex work, domestic work Many migrant women from poor countries, apart from the highly skilled, will find themselves either working in the sex industry or working as a domestic in a private household because this is where the current demand for their services rests. Truong argues that there are three main reasons for this. The first is the withdrawal of state services for the young and the elderly. We would add that, in the case of Southern Europe, these services have never been particularly well developed and the regularisation programmes in Greece, Italy and Spain reflect this. It is an admission of the inadequacy of these services. The second reason is the rapid increase of women in waged work without a commensurate change in attitude towards the traditional division of labour in the home. The third factor is the expansion of the ‘hospitality’ industry and the increased mobility of the male workforce whose needs must be ‘catered’ for. What
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Truong calls ‘sex affective’ services are being increasingly built in to the corporate management apparatus: ‘Once a corporation allows its employees to claim entertainment as business costs, entertainment enters the corporate management system and becomes repeated in different branches and locations’ (Truong 1996: 36). Over the last 20 years we have seen a rapid increase in the sex-related entertainment industry in affluent and newly industrialising countries; in some cases it has become an integral part of the tourist industry in those countries. An estimated 50 000 Thai women work illegally in the Japanese sex industry (Anderson 1997: 16). Another 80 000 Filipino women work in the Japanese sex industry: in both cases the migration of women to Japan grew out of Japanese sex tourism. Now rather than the ‘tourists’ going abroad, the sex workers go to Japan on ‘guest’ visas which last only for three months. ‘Deployment’ costs to agents who set up the work and visas in Japan can be anywhere between US$15 000 and $20 000, which the women will have to pay off and which certainly cannot be paid off during the time span of the visa. Even when women can avoid prostitution as legal ‘guests’, they may be forced into it as indebted overstayers (1997: 28). Similar stories of indebtedness characterise Thai women’s experience of being trafficked to Germany, but it is from Central and Eastern Europe that increased numbers of women are now coming. It is estimated that approximately two-thirds of the 30 000 migrant sex workers in Italy are from Albania. Newspapers in the East openly carry advertisements such as ‘Erotic work. Knowledge of foreign languages an advantage’ or ‘Young girls needed for work in Italy’ (Guardian, 25 April 1997: 10). The same story reports how traffickers were operating openly in Hungary, one trafficker arguing ‘they can get as much in an hour as they would in a month at home’ (ibid.). Poles can enter Germany on three-month tourist or visitor visas, though these visas do not permit them to work. But non-governmental organisations working with Polish women in Berlin report the ease with which sex work can be found. Many of the accounts of sex work are harrowing in the extreme, so why do women get involved? For many there is a high level of deception; recruiters may say that the work on offer is waitressing or domestic work. But Kempadoo argues that this is not always the case:
Sex work is another resource that women rely on to support and shelter themselves and families . . . to buy a plot of land . . . or to more generally improve the quality of life for themselves and kin. The
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amount they can potentially earn in the sex trade on a temporary short-term basis can be an initial pull and can be a retaining force. (Kempadoo 1998: 128) But she goes on to argue that, while all migrant workers are vulnerable to exploitation due to their unfamiliarity with the migration setting, their lack of citizenship rights and their dependency on agents and racism in the migration setting, all of this is worse in the sex trade because of the outlawed nature of prostitution and the moral condemnation of commercial sex (1998: 130). It would be wrong to cast all sex workers as victims, as some will choose sex work over domestic work because it is better paid. But this assumes that the individual has at least some measure of control over the terms upon which they work, and accurate information. Many, including children, have no idea what kind of work the village ‘recruitment agents’ have in mind for them. Psimmenos’ work in Athens with Albanians indicates that the 14- to 16-year-old girls and boys, much favoured for sex work, had all identity papers removed by traffickers once in Greece, who in turn had no use for the children after 17 years of age (Psimmenos 1996). Children who have been intercepted working in the sex trade without documents have in the past simply been deported: in the year 1995–6, over 19 000 people without documents were deported from Greece (SOPEMI 1998: 115). Policing authorities have been slow to recognise that simply ‘bussing out’ undocumented sex workers as ‘undesirable aliens’ is not the solution to trafficking – the traffickers go free and the workers are left unemployed and stigmatised in their home country. The other large growth industry worldwide for migrant women is domestic work. The demand for domestic services worldwide has increased dramatically over the last 10 years (Gregson and Lowe 1994). As the number of dual-earner couples has increased in the affluent countries, so too has the demand for maids, very often a demand which requires the domestic to live with the family. Rather than couples questioning patriarchal household and work structures (such as the ‘man-made’ day) and reorganising domestic labour and childcare on a shared basis, the preferred option has increasingly become one of buying in replacement labour for these chores. Macklin (1994) and Hondagneu-Sotelo (1994) both provide excellent accounts of the demand for undocumented domestic migrant labour in the USA, and research carried out by Anderson in five European countries in 1996 indicates that the practice of employing undocumented migrant women to carry
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out a wide range of domestic tasks is also widespread in Europe (Anderson 2000). Not only are we looking at a situation in Europe of improving educational and employment opportunities for female European Union citizens, we are also looking at a situation of an increasingly ageing population (Walker and Maltby 1997). In Southern Europe welfare services are poorly developed and, whereas in the past women in extended families would have been obliged to care for the elderly, the breakdown of the extended family and the obligations that went with it are leaving a very large gap. Countries such as Italy, Greece and Spain recognise the demand for domestic services in either regularising large numbers of undocumented domestic workers at frequent intervals or actually setting aside a certain quota of work permits every year for this occupation. (In Spain the annual quota of 9000 work permits for domestic workers has historically been used to regularise the position of women already working in Spain in an undocumented status.) There is widespread admission that migrant workers are carrying out work that EU nationals are no longer prepared to do, such as live-in domestic work (SOPEMI 1995: 93). It is, of course, a state of affairs which recognises that there is a two-tier labour market, one for EU nationals and one for nationals of ‘third’ countries who provide cheap and flexible labour power. But examining the social relations which characterise the employment of migrant domestic workers suggests reasons other than purely financial considerations. Domestic service represents the commodification of highly personalised and emotional relationships, yet the employment of a third country national seems to mean for many employers the opportunity to treat the worker with less respect. And, just as in sex work, there is a racial hierarchisation of domestic work, with black women earning less than ‘white’ groups (though in Italy local projects working with sex workers suggest that Albanians are the most exploited). The vast majority of migrant domestics interviewed in Europe suggested that they had no choice but to migrate in search of work; some suggested that this compulsion was more than economic, so that the lines between economic migrant and refugee can be very blurred. Ongoing empirical work by Anderson and Phizacklea1 underlines the extent to which, for the majority of domestics, migration was the only way in which money could be sent back to an extended family at home, a family which in some cases is caring for the migrant’s children. Remittances do constitute an important economic contribution to governments and families alike, but increasingly migrants themselves are saddled with debts to intermediaries. For instance, many women in London and
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other European cities had originally found work through employment agencies who ‘loan’ the women the air fare and the fee and who keep their passport in the migration setting until the ‘loan’ is paid off, which means prolonged absence and vulnerability in the migration setting. Nearly all research carried out in the migrant’s home country indicates that it is not the poorest nor the least well educated that migrate. The very poor are the least likely to have the means to reach large cities as ‘jumping off’ points nor have the access to agents facilitating overseas migration. What this means is that often those who migrate are seriously underemployed (see research carried by LIFE in Rome and Milan 1991).
Fighting back As with sex work, many of the accounts of domestic work are very grim from both a physical and an emotional viewpoint – long hours of arduous work often involving emotionally demanding work with children and the elderly. But again it would be wrong to paint a picture of the migrant domestic worker as victim. It is vital also to look at the migratory experience as a process of empowerment in a number of ways. Most women are able to send home remittances and most will work towards improving their situation, particularly to regularise their legal status. On 23 July 1998 the UK government announced that it intended to regularise the position of migrant domestic workers who entered under certain immigration conditions and who had become overstayers due to no fault of their own. Specifically those conditions related to a concession introduced by the Thatcher government in 1980 which allowed foreign employers to bring in their domestic workers with them, but which tied those workers irrevocably to those same employers – they had no immigration or employment status of their own. The research currently being carried out by Anderson and Phizacklea indicates that the system was widely abused, with one agency alone handling over 4000 reported cases of imprisonment, physical and sexual abuse as well as widespread under- and non-payment of workers by their employers. Workers’ usual means of redress was simply to run away from the abusive employer, which immediately altered the conditions under which they were admitted and many, through no fault of their own, became overstayers. In short they joined the ranks of undocumented workers in the UK. But being granted permission to regularise is only the first step in what has become an intricate, expensive and lengthy process for thousands of workers in London. But each step is also a process of empowerment. When asked ‘What are you most looking forward to when regularised?’,
178 Annie Phizacklea
one worker responded, ‘not feeling panic when I see a policeman’. Yet many women have already had to pluck up courage and report their passports as ‘missing’ (meaning their original employer refuses to give them back their passport) to the police before their embassy will even consider issuing them with a new passport, the second step towards regularisation. They must provide evidence of employment from employers who are often extremely reluctant to admit to the employment of a domestic worker. The obstacles are many, but tackling each hurdle is in itself part of an empowerment process for each individual. No one interviewed so far had ever dreamt the day they left home that they would end up as an overstayer through no fault of their own. Few of them fit cosily into the classic household strategy of migration model which assumes that households make rational decisions about who should migrate in order to maximise household returns. Most informed other members of households of their plans only after detailed arrangements had been made (usually through a recruitment agency for work in the Gulf States if they come from Asia) because, for a range of reasons, they knew there was no alternative but to migrate. Bringing a better life to their families is pre-eminent, sending home money to their families is their priority, but their own aspirations for the future are not just a better paying, legal job but the prospect of moving out of domestic work altogether. For some women a permanent return home is unlikely. They have left a failing or failed marriage and all the shame that comes with that admission in their home country, yet their responsibility to their children’s welfare remains their priority. None of these women are victims in the sense that they ever passively accepted their ‘lot in life’; they left their homes, their families and everything that was familiar to sell their labour on the global market place – and that takes great courage. Why are migrant women preferred as domestic workers and sex workers? The answer is not just about money, that they are cheaper and more easily exploited. There are additional reasons which relate to racialised assumptions about the sexual and domestic nature of migrant women from ‘poor’ countries, which dictate demand and mean that they can be treated differently, treatment which is conditioned by embodied racisms, which cast them as ‘exotic’ or ‘subservient’. We have to look at how different racialised and gendered identities have been constructed over time and how those identities have been changing. There is now a large literature which shows how, for instance, black African women’s identities were both racialised and sexualised in certain ways in the process of colonisation and enslavement. From the earliest travelogues of Africa to the contemporary film and music industry, black women
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are represented in highly sexualised ways. Other enslaved and colonised women were deemed ‘exotic’, but their eroticisation was built on understandings of their being ‘primitive’ and ‘uncivilised’, the ‘other’. White European women were literally ‘put on a pedestal’ in contrast to the alleged physical and moral inferiority of the ‘other’ (Bhattacharyya 1998). The sexualisation of ‘foreign’ women and the embodiment of racism is a crucial piece of the jigsaw in answering the above question, the submissive but erotic ‘other’ who can be treated differently.
Conclusions This chapter has attempted to highlight some of the characteristics of contemporary female labour migration. I am acutely aware that it has ignored certain key aspects, for instance, the migration of skilled labour. The ‘new migrations’ of women in the face of stringent immigration controls heavily restrict the opportunities for work, as we have seen many now report that sex work or domestic work are the only channels for employment for those entering affluent countries. Contemporary migration flows therefore continue to paint a picture of increased numbers of affluent women with the citizenship of their country abandoning or refusing to return to jobs, which have traditionally been regarded as the domain of women and correspondingly underpaid and devalued. A report on housing and migrant workers in Europe was published 25 years ago. The author had this to say about migrant women workers: Working women in the community countries eschew employment in domestic and servile jobs in preference for service occupations in which a greater number of openings has become available. There is thus room at the bottom of the ladder for the women immigrants to tackle the ‘women’s work’. (Delcourt 1975: 103) On current evidence it would appear that we could just change the date to 2000.
Note 1. This research is being carried out under the ESRC Transnational Community Initiative: A. Phizacklea and B. Anderson, ‘The Impact of Legal Status and Children on the Transnational Household Strategies of Migrant Domestic Workers’.
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References Anderson, B. (1997) Labour Exchange: Patterns of Migration in Asia (London: Catholic Institute of International Relations). Anderson, B. (2000) Doing the Dirty Work: The Global Politics of Domestic Labour (London: Zed Press). Bhattacharyya, G. (1998) Tales of Dark-skinned Women (London: University College London Press). Boyd, M. (1989) ‘Family and Personal Networks in International Migration: Recent Developments and New Agendas’, International Migration Review, XXIII, 3: 638–70. Castles, Stephen and Miller, Mark (1993) The Age of Migration (Basingstoke: Macmillan – now Palgrave). Collins, P. H. (1990) Black Feminist Thought (London: Collins). Delcourt, J. (1975) The Housing of Migrant Workers: A Case of Social Improvidence? (Brussels: Commission of the European Communities). Giddens, A. (1984) The Constitution of Society (Cambridge: Polity). Goss, J. and Lindquist, B. (1995) ‘Conceptualising International Labor Migration: a Structuration Perspective’, International Migration Review, XXIX, 2: 317–51. Grasmuck, S. and Pessar, P. (1991) Between Two Islands: Dominican International Migration (Berkeley, Cal.: University of California Press). Gregson, N. and Lowe, M. (1994) Servicing the Middle Classes: Class, Gender and Waged Domestic Labour in Contemporary Britain (London: Routledge). Guardian (1997) ‘Field Day for Illegal Hunters’, 25 April, p. 10. Hondagneu-Sotelo, Pierette (1994) Gendered Transitions (Berkeley, Cal.: California University Press). Kempadoo, K. (1998) ‘The Migrant Tightrope: Experiences from the Caribbean’, in K. Kempadoo and J. Doezema (eds), Global Sex Workers (London and New York: Routledge). LIFE (Lega Italo-Filippina Filippini Emigrati) (1991) Filipino Migrant Women in Domestic Work in Italy (Geneva: International Labour Office). Lim, L. L. and Oishi, N. (1996) ‘International Labour Migration of Asian Women: Distinctive Characteristics and Policy Concerns’, Asian and Pacific Migration Journal, 5, 1: 85–116. Macklin, A. (1994) ‘On the Outside Looking In: Foreign Domestic Workers in Canada’, in W. Giles and S. Arat-Koc (eds), Maid in the Market (Halifax: Fernwood Publishing). Massey, D. S. et al. (1993) ‘Theories of International Migration: a Review and Appraisal’, Population and Development Review, 19, 3: 432–66. Matsui, Y. (1996) Women in the New Asia (London: Zed Books). Migration News Sheet (1996/7) June 1996 and January 1997 (Brussels: Migration Policy Group). Morokvasic, Mirjana (1983) ‘Women and Migration: Beyond the Reductionist Outlook’, in A. Phizacklea (ed.), One-Way Ticket: Migration and Female Labour (London: Routledge). Phizacklea, A. (1982) ‘Migrant Women and Wage Labour: the Case of West Indian Women in Britain’, in J. West (ed.), Work, Women and the Labour Market (London: Routledge). Phizacklea, A. (ed.) (1983) One-Way Ticket: Migration and Female Labour (London: Routledge).
Women’s Work and Migration Flows 181 Phizacklea, A. (1994) ‘A Single or Segregated Market?’, in H. Afshar and M. Maynard (eds), The Dynamics of Race and Gender (London: Taylor and Francis). Portes, A. (1997) ‘Immigration Theory for a New Century: Some Problems and Opportunities’, International Migration Review, 31, 4: 799–825. Psimmenos, Iordanis (1996) ‘The Making of Periphractic Spaces: the Case of Albanian Undocumented Immigrants in Athens City’, ECOMER Conference 1996, Utrecht, Netherlands. SOPEMI (1995 and 1998) Continuous Reporting System on Migration (Paris: OECD). Stark, O. (1984) ‘Migration Decision-making: a Review Article’, Journal of Development Economics, 14: 251–9. Todaro, M. (1969) ‘A Model of Labour Migration and Urban Unemployment in Less-Developed Countries’, American Economic Review, 59: 138–48. Truong, Thanh-Dam (1996) ‘Gender, International Migration and Social Reproduction: Implications for Theory, Policy, Research and Networking’, Asian and Pacific Migration Journal, 5, 1: 27–52. Walker, A. and Maltby, T. (1997) Ageing Europe (Buckingham: Open University Press). Zlotnik, H. (1995) ‘The South-to-North Migration of Women’, International Migration Review, 29, 1: 229–54.
Index Abbott, Diane, 116 Africans, gender, 178–9 refugees, 113 slave trade, 2, 12, 72, 100 Albanians, domestic work, 155, 156 Greece, 150, 151, 161 Muslims, 161 sex industry, 161, 174, 175, 176 aliens, civic nationalism, 101 Common Travel Area (CTA), 126, 127, 129 Germany, 110 United Kingdom, 96–7 Anthias, Floya, 8, 146–64 Arnold, Jacques, 111 assimilation, France, 94–5 Germany, 110 transnationalism, 148 United Kingdom, 110 asylum, see also refugees bogus/genuine seekers, 76, 112, 117 civic nationalism, 101 Common Travel Area (CTA), 7, 127, 136 East–West European migration, 51 filtration, 110 Germany, 6, 88–9, 111–20 Ireland, 135, 136 nation states, 109–12 political parties, 114–16, 117–18 racism, 113–14 safe third countries, 110 scapegoats, 6, 120 social welfare, 6, 112–14 United Kingdom, 6, 112–20 Australia, racism, 4, 72 white settlers, 158
Baker, Kenneth, 110 Belgium, 15, 158 Bernstein, Leonard, 73 Bismarck, Otto Fürst von, 85 Blair, Tony, 111, 115 borders, external borders, 132 frontier checks, 132–3, 149 internal, 132 open borders policy, 46 porous see permeable borders sea-bound, 132 brain drain, 60, 159 Bulgarians, 161 Canada, 129, 158, 161 capital, accumulation, 59 depreciation, 60 human see human capital mobility, 60, 62 regional differentials, 60 Central and Eastern European countries, Cold War, 34 European Union (EU), 3, 30–47, 49–64 human capital, 31 Iron Curtain, 3, 34, 43 migration see East–West European migration nationality policies, 51 production technology, 30–1 regional amenities, 40 regional migration pole, 51 social welfare, 30 unemployment rates, 30 citizenship, civic nationalism, 84, 101–2 Common Travel Area (CTA), 129 definition, 162–3 displaced persons, 69 exclusion, 101, 103 182
Index France, 84, 93–6 freedom of movement, 150 gender, 8, 162–4 Germany, 84, 86, 87, 88, 92, 93, 110 immigrants devalued, 78–9 liberalisation, 5 nation states, 149 national frames of reference, 5, 6, 83, 94, 102, 104 naturalisation, 93 post-national citizenship, 102 privileges, 79–80 Southern Europe, 162–5 transnationalism, 80–1, 83, 103–4 United Kingdom, 96–8, 110 universal personhood, 102 civic nationalism, aliens, 101 asylum, 101 citizenship, 84, 101–2 contradictions, 98, 103 ethnic nationalism compared, 83–4, 92, 99 France, 5, 85, 90–6, 100 immigration, 98–9 immigration controls, 99, 100 national identity, 98–9 refugees, 101 United Kingdom, 98, 100 Clarke, Kenneth, 110, 111 Common Travel Area (CTA), aliens, 126, 127, 129 asylum, 7, 127, 136 belongers, 129, 130 Bolshevism, 125, 126 citizenship, 129 Commonwealth citizens, 129, 130 cross-Channel routes, 131, 133–4, 138–9 exclusion, 126 flanking measures, 7, 125, 136 immigration, 7 immigration controls, 126, 128–9 island exceptionalism, 133 labour markets, 131 negotiations, 127–31 neo-colonialism, 7, 124, 125 non-belongers, 129 Northern Ireland, 7, 127, 132, 136–7
183
police co-operation, 127 post-war re-establishment, 127–31 pre-war, 125–6 racism, 128, 129 readmission, 127, 128 reciprocity, positive rights, 126 refugees, 126 strategic significance, 7 Suspect Index, 127 trends in trade, 134 trends in travel, 133–4 understandings, 125, 127 undertakings, 125, 127, 128 visas, 126 Corbyn, Jeremy, 115, 116 Cormack, Patrick, 114 cost of move, see also private costs household production view, 41 human capital view, 38, 39 immigration controls, 5, 73 labour-flow view, 38 psychic see psychic costs costs, immigration controls, 5, 58, 63, 73 regional amenities, 41 urban-related commodities, 42 Cyprus, Cypriots born abroad, 163 domestic work, 157, 161 entertainment industries, 157, 161 European Union (EU), 163 immigration, 151 motherhood, 159 rape, 157 Daly, Vince, 2, 30–47 De Gaulle, Charles, 95 denizens, 101 developing countries, mass migration, 71–2 diaspora, ethnicity, 150, 152 homelands, 150 theories, 148 discrimination, nationalism, 103 United Kingdom, 97, 98 United States, 103
184 Index displaced persons, see also refugees citizenship, 69 Jews, 126 domestic work, see also gendered employment Albanians, 155, 156 Cyprus, 157, 161 demand, 156, 175 employment, 9, 70, 146, 153, 155–7, 161, 175–7 Filipinas, 148, 155, 156, 159 Greece, 157, 161, 176 Italy, 157, 176 racism, 176 remittances, 176, 177, 178 Spain, 157, 176 Sri Lankans, 153, 155, 156 undocumented workers, 175, 176 United Kingdom, 177 work permits, 176 Duncan-Smith, Ian, 111 East–West European migration, see also Central and Eastern European countries asylum, 51 declining flows, 50 determinants, flows, 44, 55–6 economic growth, 59–63 economics of migration, 30–1, 33–46, 49–64 efficiency gains, 42 ethnic conflict, 50–1 factor price equalisation, 53 human capital, 52, 53, 55, 58–9 migration decisions, 44, 55–6 perfectly flexible wages, 52–4 policy debate, 31–2 recent trends, 50–1 repatriation, 50–1 Scandinavia, 51 Second World War, 24 sex industry, 157, 174 short-run economic impact, 51–9 socio-economic characteristics, 43–4 Southern Europe, 151, 157, 161 stylised facts, 33–4 temporary migrants, 51
transit migrants, 51 unemployment rates, 55 wage gap, 49 wage rigidity, 54–5 welfare gains, 44, 56–7 economic exploitation, racism, 8, 9 sex industry, 175 super-exploitation, 155 economic growth, brain drain, 60 capital accumulation, 59 East–West European migration, 59–63 endogenous growth (EG) theory, 59, 60 exogenous technical change, 59 factor mobility, 32–3 human capital, 59–60 long-run growth, 59 low/high productivity areas, 2, 32 new growth theory, 59, 63 quality-ladder model, 61, 62, 64 regional differentials, 60 research and development (R&D), 59, 61–3 stationary communities, 68 winners/losers, 53, 62 economic migrants, gender, 151, 152 political migrants compared, 75–6, 100 education, France, 94 gender, 159, 161 household production, 2, 41 human capital, 39, 59 tastes, 41 elections, asylum, constraints, 114, 116–18 Ireland, 126, 135 emigration, see also migration Germany, 12, 18, 21–2 Ireland, 13, 15, 18, 22–3, 24, 69 Italy, 14, 18, 20–1, 22, 23, 24–5 life cycle, 17, 20 Scandinavia, 12, 20, 23–4 wages rates, 16, 17, 19
Index employment, see also unemployment differentials, 36 disguised, 30, 36 domestic see domestic work entertainment industries, 9, 70, 153, 157, 161 markets see labour markets rights, 134–5 sex see sex industry women see gendered employment employment agencies, gendered employment, 168, 176–7 Philippines, 172 Engholm, Bjorn, 118 entertainment industries, see also sex industry Cyprus, 157, 161 employment, 9, 70, 153, 157, 161 Greece, 161 Eritreans, 151, 156, 161–2 ethnic conflict, East–West European migration, 50–1 neo-Nazism, 32, 113–14, 150 Yugoslavia, 119, 120, 150, 157 ethnic minorities, economic enclaves, 73 Germany, 85 repatriation, 50–1 ethnic nationalism, civic nationalism compared, 83–4, 92, 99 communities of fate, 84 France, 94, 95 Germany, 5, 85–90, 91 ethnicity, collective identity, 101 diaspora, 150, 152 gender, 153, 154, 157–9 Germany, 5, 85–90, 91, 158 mass migration, 72–3 pluralism, 148, 152 United Kingdom, 148 ethnoscape, 149, 150 European Court of Human Rights, 149 European Economic Area (EEA), 135 European Union (EU), candidate states, 51
185
Central and Eastern European countries, 3, 30–47, 49–64 Cyprus, 163 employment rights, 134–5 enlargement, 49–64 external borders, 132 flanking measures, 7, 125, 133 free movement see freedom of movement illegal immigration, 164 immigration controls, 150, 163 immigration policies, 81, 163 internal borders, 132 Ireland, 7, 124, 134, 140 non-citizens, 103 non-Europeans, 103 permeable borders, 6, 116 refugees, 116 Schengen Agreement, 7, 133, 138, 139 sea-bound borders, 132 treaties see Treaty of Amsterdam (1997) Evans, David, 117 exclusion, citizenship, 101, 103 Common Travel Area (CTA), 126 gypsies, 150 Latvia, 150 national identity, 102 nationalism, 83, 101, 103 receiving countries, 148 expulsions, France, 94, 95 illegal immigration, 80 factor price equalisation, East–West European migration, 53 free immigration, 67 families, see also households labour, 155 size, income, 41 strategies, 154, 160 family reunion, gender, 153, 154 legal migration, 70, 77
186 Index feminism, public/private divide, 154–5 transnationalism, 104, 162 flanking measures, 7, 125, 133, 136 foreigners see aliens Fortress Europe, 146 France, assimilation, 94–5 citizenship, 84, 93–6 civic nationalism, 5, 85, 90–6, 100 common culture, 158 Dreyfus affair, 95 education, 94 ethnic nationalism, 94, 95 expulsions, 94, 95 Franco-Prussian War (1870–1), 91, 92, 93, 94 French language, 92, 93 French Revolution, 90, 93, 94, 96 immigration controls, 95, 99 ius sanguinis, 93, 94 ius soli, 93, 94 Jews, 95, 151 military service, 93 national egoism, 91, 101 national frame of reference, 94 new citizenship, 96 non-citizens, 93, 94 racism, 95–6, 98, 150–1 refugees, 94, 95 Third Republic, 91, 92, 93 universalism, 94, 95, 96 freedom of movement, citizenship, 150 CTA see Common Travel Area ethnocentric rules, 163 EU enlargement, 51 Treaty of Amsterdam (1997), 7, 124 frontiers see borders Garnier, Edward, 113 Geissler, Heiner, 115 gender, Africans, 178–9 citizenship, 8, 162–4 economic migrants, 151, 152 education, 159, 161 ethnicity, 153, 154, 157–9 family reunion, 153, 154
family strategies, 154, 160 gender blindness, 8, 146 gender-neutral analysis, 45 globalisation, 149 household production, 2 illegal immigration, 154 independent choice, 147 legal migration, 70 mass migration, 13–14, 70, 71 moving on, 169–73 multiple oppression, 161 Muslims, 153 national identity, 157–8 non-citizens, 146 otherness, 153 Philippines, 160 private/public space, 154, 160 psychic costs, 2, 41 racism, 159 relational concept, 147 sexual abuse, 154–5, 157–8, 177 social agents, 8, 9, 160–2 social networks, 160 social positioning, 153 solo migration, 153 Southern Europe, 8, 153–62 transnationalism, 154, 160 Turkey, 159 gendered employment, domestic see domestic work employment agencies, 168, 176–7 entertainment industries, 9, 70, 153, 157, 161 family labour, 155 fighting back, 177–9 illegal immigration, 154, 157 incorporation, 155, 156 migration flows, 168–79 migration status, 156 part-time work, 155 passports, 177, 178 power relations, 156 prostitution, 157, 161, 175 sex see sex industry Southern Europe, 155–7 super-exploitation, 155 temporary work, 153, 155 undocumented workers, 8, 148, 153, 156, 157
Index Germany, aliens, 110 assimilation, 110 asylum, 6, 88–9, 111–20 Aussiedler, 88 citizenship, 84, 86, 87, 88, 92, 93, 110 constitutional law, 111 emigration, 12, 18, 21–2 ethnic homogeneity, 88, 158 ethnic minorities, 85 ethnic nationalism, 5, 85–90, 91 Franco-Prussian War (1870–1), 91, 92, 93, 94 Gastarbeiter, 87, 88 German blood, 85, 86 gypsies, 116 Heim ins Reich, 87 heritage tests, 88 immigration controls, 110 Jews, 85, 86 national identity, 110, 158 naturalisation, 70 Nazism, 86, 111 political parties, 89, 114, 115, 116 post-war immigration, 86–7 racism, 88, 111, 113–14, 150 reunification, 88, 113, 116, 117 Romanian migrants, 50, 150 sex industry, 174 social welfare, 112, 113, 114 Turkish migrants, 69, 81, 160 Gerrard, Neil, 116 Ghatak, Subrata, 1–10, 30–47 globalisation, gender, 149 globalism, 150 liberalism, 5 transnationalism, 149 Grant, Bernie, 115 Greece, domestic work, 157, 161, 176 entertainment industries, 161 Greek language, 159 Greeks born abroad, 163 immigration, 150, 151 racism, 150 sex industry, 161, 175
187
gypsies, exclusion, 150 Germany, 116 Harris–Todaro (H–T) model, aggregate migration, 38 assumptions, 3, 37 labour market clearing, 52 unemployment rates, 3–4, 36–7, 52, 55 Hatton, Tim, 1, 2, 11–29, 68, 70, 75 Hicks, Maureen, 117 household production view, commodities, 2 cost of move, 41 education, 2, 41 gender, 2 migration, 2, 41–4 psychic costs, 41 tastes, 41 households, see also families bargaining strength, 45–6 decision-making, 9, 45, 169–70 game theory, 45 mythology, 169–70 political arena, 170 unit of analysis, 170 Howard, Michael, 110 human capital, East–West European migration, 52, 53, 55, 58–9 economic growth, 59–60 education, 39, 59 human capital view, 2, 38–9 migration decision, 14 Poland, 31 human rights, abuse, 101 European Court of Human Rights, 149 non-citizens, 102 United Nations, 4, 67 human trafficking, 154, 174, 175 illegal immigration, see also undocumented workers business of migration, 173 European Union (EU), 164
188 Index illegal immigration – (continued) forcible expulsion, 80 gendered employment, 154, 157 Ireland, 136 legal migration compared, 76–8, 100 overstayers, 177, 178 sex industry, 154, 157 immigration, asylum seekers see asylum cheap labour, 97–8, 100, 176 civic nationalism, 98–9 Common Travel Area (CTA), 7 Cyprus, 151 Greece, 150, 151 Italy, 151 Spain, 150, 151 zero sum game, 100 immigration controls, civic nationalism, 99, 100 Common Travel Area (CTA), 126, 128–9 cost of move, 5, 73 economic justification, 58, 59 European Union (EU), 150, 163 France, 95, 99 frontier checks, 132–3, 149 Germany, 110 internal controls avoided, 133 migration increased, 73 political forces, 77 political parties, 114 racism, 111 selectivity, 99 social costs, 58, 63 sovereignty, 99, 132 Spain, 77–8 technology, 63, 77–8 United Kingdom, 98, 99, 110, 116, 126 United States, 100 imperialism, 97, 100 incorporation, gendered employment, 155, 156 receiving countries, 148 Indonesians, 168 Institute of European Affairs, 140 integration, multiculturalism, 150 International Union for the Scientific Study of Population, 66
Ireland, aliens, 126, 127 asylum, 135, 136 Celtic tiger, 135 common culture, 126 CTA see Common Travel Area elections, 126, 135 emigration, 13, 15, 18, 22–3, 24, 69 European Union (EU), 7, 124, 134, 140 export markets, 131, 134, 140 great famine, 18 illegal immigration, 136 independence, 7, 124 inward visits, 131, 134 Jews, 126 labour shortages, 135 non-citizens, 126 North see Northern Ireland opt-outs, 124, 132, 133 return migrants, 25, 70, 135 reunification, 136–8 Roman Catholics, 23 Italy, domestic work, 157, 176 emigration, 14, 18, 20–1, 22, 23, 24–5 immigration, 151 return migrants, 70 sex industry, 174, 176 ius sanguinis, 92, 93, 94 ius soli, 92, 93, 94 Janman, Tim, 113, 117 Jews, France, 95, 151 Ireland, 126 United Kingdom, 96, 97 Kilroy, Howard, 135 Kohl, Helmut, 117 Krichel, Thomas, 3, 49–64 labour markets, see also employment cheap labour, 97–8, 100, 176 clearing, 52 Common Travel Area (CTA), 131 employment differentials, 36
Index land markets, 40 real wages, 30 unequal treatment, 55 women see gendered employment labour mobility, economic impact, 49–64 efficiency gains, 42–3 labour shortages, domestic work, 156, 175 Ireland, 135 United Kingdom, 97–9 labour-flow view, cost of move, 38 dualistic development theories, 36 market disequilibrium, 35–8 migration, 2, 35–8 real wages, 36 laissez-faire migration, social optimum, 56–9, 63 threats, 99 land markets, labour markets, 40 Lansley, Andrew, 117 Latin America, sending countries, 152, 155 Latvia, exclusion, 150 Lawrence, Stephen, 114 legal migration, family reunion, 70, 77 gender, 70 illegal immigration compared, 76–8, 100 Levine, Paul, 3, 4, 49–64 living costs, regional amenities, 41 McBride, Sean, 128 Maclennan, Robert, 115 Madden, Max, 115, 116 mass migration, agricultural populations, 13, 16, 17, 21, 23 chain migration, 16, 17 cross country differences, 14–18 dangerous dichotomies, 75–8, 100–1 demographic effect, 16, 17 destination choice, 23–5 developing countries, 71–2 economic forces, 11 estimates by country, 73–5 ethnicity, 72–3
189
Europeans, 12–14, 15–18 explanations, 11–28 forced/voluntary, 75, 100–1 friends and relatives effect, 16–17 gender, 13–14, 70, 71 gross rates, 15 historical data, 1, 12–14, 69 identity of migrants, 12–14 innovation and diffusion, 22, 23 legal/illegal, 76–8 life cycle, 17 local variations, 20–3 melting pot, 72 migrant stock, 16, 17, 18, 19, 20 political/economic, 75–6, 100 poverty constraint, 17–18, 22–3 pull forces, 17, 18, 75, 100 push forces, 18, 75, 100 return migrants, 25–6, 70 shocks and cycles, 18–20 slave trade, 2, 12, 72, 100 then and now, 68–75 unemployment rates, 19 volatile rates, 20 wages see wage rates young adults, 13–14 Meehan, Elizabeth, 6–7, 124–44 Mexican migrants, 69, 70, 72, 78, 171 Michelet, Jules, 90, 91, 94 migration as deviance, 66–8 migration decisions, East–West European migration, 44, 55–6 households, 9, 45, 169–70 human capital, 14 private costs, 55 social networks, 170–1 mobility, capital, 60, 62 downward social mobility, 161 efficiency gains, 42–3 factor mobility, 32–3 labour, 42–3 Moroccans, 151, 153 multiculturalism, cultural diversity, 163 ethnic pluralism, 148 hegemonic culture, 152 integration, 150
190 Index multiculturalism – (continued) negotiation, 153 United Kingdom, 110 Muslims, Albanians, 161 gender, 153 racism, 151 Sri Lanka, 161 Napoleon, 93 Napoleon III, 94 nation states, asylum, 109–12 boundaries, 120 citizenship, 149 formation, 152 historical basis, 109 national identity, civic nationalism, 98–9 exclusion, 102 gender, 157–8 Germany, 110, 158 reproduction, 157–8 United Kingdom, 96, 98, 110 nationalism, beyond nationalism, 102–4 civic see civic nationalism discrimination, 103 ethnic see ethnic nationalism exclusion, 83, 101, 103 frames of reference, 5, 6, 83, 94, 102, 104 imagined communities, 154 neo-nationalism, 103 political/cultural, 84 naturalisation, citizenship, 93 Germany, 70 United States, 69–70 Nazism, Germany, 86, 111 neo-Nazism, 32, 113–14, 150 Nellis, Dave, 115 net present value of move, 38–9 Netherlands, the, 150, 162 new growth theory, 59, 63 new investment theory, 55 Nicaragua, 159 Nicholson, Emma, 114
nominal wage rates, urbanisation, 36 non-citizens, aliens see aliens asylum seekers see asylum European Union (EU), 103 France, 93, 94 gender, 146 Ireland, 126 refugees see refugees rights, 102 Nordic states see Scandinavia Northern Ireland, see also Ireland Belfast agreement, 136, 137 Common Travel Area (CTA), 7, 127, 132, 136–7 employment rights, 134–5 open borders policy, welfare gains, 46 option to migrate, 46 option-pricing mechanisms, 47 Owen, Nora, 136 Pareto distribution, 60 passports, 177, 178 permeable borders, see also borders European Union (EU), 6, 116 Scandinavia, 6 United States, 72 Philippines, domestic maids, 148, 155, 156, 159 gender, 160 government intervention, 172 mail-order brides, 153 Overseas Employment Agency (POEA), 172 remittances, 172 Roman Catholics, 161 sending country, 152 solo migration, 153 structuration thesis, 171 Phizacklea, Annie, 9, 168–79 Poland, human capital, 31 political asylum see asylum political migrants see refugees political parties, asylum, 114–16, 117–18 Germany, 89, 114, 115, 116
Index immigration controls, 114 United Kingdom, 114, 115, 116 porous borders see permeable borders private costs, see also cost of move irreversibility, 55 migration decisions, 55 uncertainty, 4 prostitution, 157, 161, 175 psychic benefits, 39, 40 psychic costs, see also cost of move gender, 2, 41 household production view, 41 human capital view, 39 racism, asylum, 113–14 Australia, 4, 72 Common Travel Area (CTA), 128, 129 domestic work, 176 economic exploitation, 8, 9 France, 95–6, 98, 150–1 gender, 159 Germany, 88, 111, 113–14, 150 immigration controls, 111 Muslims, 151 neo-Nazism, 32, 113–14, 150 Spain, 150 United Kingdom, 97, 98, 113–14 United States, 4, 72 rape, 154, 157–8 real wages, see also wage rates equilibrium, 42 flexibility, 43, 57 labour markets, 30 labour-flow view, 36 regional differentials, 36, 37, 38, 40 rural migration, 36, 37 wage-setting, 30, 36 refugees, see also asylum Africans, 113 civic nationalism, 101 Common Travel Area (CTA), 126 displaced persons, 69, 126 European Union (EU), 116
191
forced migration, 75 France, 94, 95 human rights, 101 Kosovo, 119, 120 Kurds, 119 political migrants, 75–6 Second World War, 112 Sinti, 119, 120 world population, 69, 113 regional amenities view, 2, 39–41 regional differentials, capital stock, 60 economic growth, 60 real wages, 36, 37, 38, 40 rental rates, 60 unemployment rates, 38 remittances, domestic work, 176, 177, 178 economic significance, 68 Philippines, 172 Renan, Ernest, 90, 91, 92, 94 repatriation, East–West European migration, 50–1 research and development (R&D), economic growth, 59, 61–3 product quality, 61 return migrants, Ireland, 25, 70, 135 Italy, 70 mass migration, 25–6, 70 Roman Catholics, Ireland, 23 Philippines, 161 Romanians, 50, 150 rural migration, disguised unemployment, 30, 36 real wages, 36, 37 skilled people, 36 urbanisation, 34–5 Russians, 153, 157, 161 Sassoon, Anne Showstack, 1–10 Scandinavia, East–West European migration, 51 emigration, 12, 20, 23–4 permeable borders, 6 Schäuble, Wolfgang, 109 Schengen Agreement, 7, 133, 138, 139 Schuster, Liza, 6, 109–23
192 Index Second World War, East–West European migration, 24 refugees, 112 sex industry, see also gendered employment Albanians, 161, 174, 175, 176 children, 175 co-ethnic employers, 157 East–West European migration, 157, 174 employment, 9, 70, 153, 154, 155, 157, 161, 173–5 exploitation, 175 Filipinas, 174 Germany, 174 Greece, 161, 175 Hungarians, 174 illegal immigration, 154, 157 Italy, 174, 176 Japan, 174 Poles, 174 prostitution, 157, 161, 175 sex affective services, 174 Southern Europe, 153, 155, 157 Thais, 174 tourism, 174 trafficking, 154, 174, 175 undocumented workers, 175 sexual abuse, 154–5, 157–8, 177 Sieyes, Abbé, 90 slave trade, 2, 12, 72, 100 social welfare, asylum, 6, 112–14 fraud, 113 Germany, 112, 113, 114 income support, 55 privatisation, 149 resource crisis, 112–13 Southern Europe, 149, 176 United Kingdom, 112, 113, 114 United States, 77 vouchers, 113 Solms, Hermann Otto, 111 Somalia, 151, 161 South Africa, gender, 160 white settlers, 158 Southern Europe, citizenship, 162–5
East–West European migration, 151, 157, 161 gender, 8, 153–62 gendered employment, 155–7 mass migration, 12, 13, 14 new migrations, 151–3 sending countries, 151 sex industry, 153, 155, 157 social welfare, 149, 176 undocumented workers, 152, 153, 155, 156, 157, 163 sovereignty, immigration controls, 99, 132 Spain, domestic work, 157, 176 immigration, 150, 151 immigration controls, 77–8 mass migration, 15 racism, 150 Spencer, Philip, 5, 83–108 Sri Lanka, domestic maids, 153, 155, 156 Muslims, 161 sending country, 151, 152 Steinbeck, John, 81 Stoiber, Edmund, 110 Sutcliffe, Bob, 4, 5, 66–82 Switzerland, 158 Tebbit, Norman, 110 transnationalism, assimilation, 148 citizenship, 80–1, 83, 103–4 ethnoscape, 149, 150 feminism, 104, 162 gender, 154, 160 globalisation, 149 locales, 152 Treaty of Amsterdam (1997), freedom of movement, 7, 124 negotiations, 124, 133, 138 opt-outs, 124, 132, 133 Tunisians, 150, 151, 153 Turkey, gender, 159 Turkish migrants, 69, 81, 150, 160 undocumented workers, see also illegal immigration
Index domestic work, 175, 176 gendered employment, 8, 148, 153, 156, 157 sex industry, 175 Southern Europe, 152, 153, 155, 156, 157, 163 United States, 175 unemployment, disguised, 30, 36 income support, 55 probability, 3–4, 36–7 unemployment rates, Central and Eastern European countries, 30 East–West European migration, 55 equilibrating mechanism, 55 Harris–Todaro (H–T) model, 3–4, 36–7, 52, 55 mass migration, 19 regional differentials, 38 United Kingdom, aliens, 96–7, 126, 127 assimilation, 110 asylum, 6, 112–20 British subjects, 126, 128 citizenship, 96–8, 110 civic nationalism, 98, 100 CTA see Common Travel Area discrimination, 97, 98 domestic work, 177 employment rights, 134–5 ethnicity, 148 immigration controls, 98, 99, 110, 116, 126 Irish migrants, 97 ius soli, 96, 97 Jews, 96, 97 labour shortages, 97–9 legal migration, 77 multiculturalism, 110 national identity, 96, 98, 110 nationality restriction, 134–5 patriality rules, 163 political parties, 114, 115, 116 racism, 97, 98, 113–14 social welfare, 112, 113, 114
193
United Nations, human rights resolutions, 4 Universal Declaration of Human Rights (1949), 67 United States, discrimination, 103 European migrants, 13–14, 23–4, 69, 77, 100 Hispanic population, 72 immigration controls, 100 legal migration, 77 Mexican migrants, 69, 70, 72, 78, 171 naturalisation, 69–70 permeable borders, 72 racism, 4, 72 social welfare, 77 undocumented workers, 175 white settlers, 158 urban life, shadow prices, 42 urbanisation, nominal wage rates, 36 rural migration, 34–5 visas, 126, 174 wage rates, see also real wages agriculture, 21, 23 destination choice, 24 emigration life cycle, 17 emigration rates, 16, 19 labour-flow view, 35 mass migration, 16, 17, 19, 21, 23, 24 perfect flexibility, 52–4, 56, 57 wage semi-elasticities, 4, 57 welfare gains, critical factors, 46–7 East–West European migration, 44, 56–7 enhancement, 2, 32–3, 44 labour characteristics, 3 open borders policy, 46 wage semi-elasticities, 4, 57 welfare provision see social welfare Wells, Bowen, 114
194 Index Widdecombe, Anne, 112 Wieczorck-Zeul, Heidemarie, 115 Williamson, Jeffrey G., 1, 11, 68, 70 women, employment see gendered employment gender differences see gender
Yugoslavia, Bosnia, 157 ethnic cleansing, 150 Kosovo, 119, 120 rape, 157 Zöpel, Christoph, 115