Tag: oil and gas sector

Sanctions on Russia: Getting the Facts Right

20240314 Sanctions on Russia Image 03

The important strategic role that sanctions play in the efforts to constrain Russia’s geopolitical ambitions and end its brutal war on Ukraine is often questioned and diminished in the public debate. This policy brief, authored by a collective of experts from various countries, shares insights on the complexities surrounding the use of sanctions against Russia, in light of its illegal aggression towards Ukraine. The aim is to facilitate a public discussion based on facts and reduce the risk that the debate falls prey to the information war.

Sanctions are a pivotal component in the array of strategies deployed to address the threat posed by Russia to the rule-based international order. Contrary to views minimizing their impact, evidence and research suggest that sanctions, particularly those targeting Russian energy exports, have significantly affected Russia’s macroeconomic stability [1,2,3]. Between 2022 and 2023, merchandise exports fell by 28 percent, the trade surplus decreased by 62 percent, and the current account surplus dropped by 79 percent (see the Bank of Russia’s external sector statistics here). Although 2022 represents an extraordinarily high baseline due to the delayed impacts from energy sanctions, the $190 billion decrease in foreign currency inflows during this time has already made a significant difference for Russia. This amount is equivalent to about two years of Russia’s current military spending, or around 10 percent of Russia’s yearly GDP, depending on the figures. Our estimates suggest that Russia’s losses due to the oil price cap and import embargo alone amount to several percent of its GDP [3,4]. These losses have contributed to the ruble’s continued weakness and have forced Russian authorities to sharply increase interest rates, which will have painful ripple effects throughout the economy in the coming months and years. Furthermore, the international sanctions coalition’s freezing of about $300 billion of the Bank of Russia’s reserves has significantly curtailed the central bank’s ability to manage the Russian economy in this era of war and sanctions.

Sanctions Enforcement

Addressing the enforcement of sanctions, it is crucial to acknowledge the extensive and continuous work undertaken by governments, think tanks, and the private sector to identify and close loopholes that facilitate sanctions evasion. Suggesting that such efforts are futile, often with arguments that lack solid evidence, potentially undermines these contributions, and furthermore provides (perhaps unintended) support to those advocating for a dismantling of the sanctions regime. We do not deny that several key aspects are facing challenges, from the oil price cap to export controls on military and dual-use goods. However, the path forward is to step up efforts and strengthen the implementation and enforcement – not to abandon the strategy altogether. Yes, Russia’s shadow fleet threatens the fundamental mechanism of the oil sanctions and, namely its reliance on Western services [4,5,6]. However, recent actions by the U.S. Treasury Department have shown that the sanctioning coalition can in fact weaken Russia’s ability to work around the energy sanctions. Specifically, the approach to designate (i.e., sanction) individual tankers has effectively removed them from the Russian oil trade. More vessels could be targeted in a similar way to gradually step-up the pressure on Russia [7]. While Russia continues to have access to many products identified as critical for the military industry (for instance semiconductors) [8], it has been shown that Russia pays significant mark-ups for these goods to compensate for the many layers of intermediaries involved in circumvention schemes. Sanctions, even when imperfect, thus still work as trade barriers. In addition to existing efforts and undertakings, companies which help Russia evade export controls can be sanctioned, even when registered in countries outside of the sanctioning coalition. Furthermore, compliance efforts within, and against, western companies, who remain extremely important for Russia, can be stepped up.

The Russian Economy

Many recent newspaper articles have been centered around the theme of Russia’s surprisingly resilient economy. We find these articles to generally be superficial and missing a key point: Russia is transitioning to a war economy, driven by massive and unsustainable public spending. In 2024, military spending is projected to boost Russia’s GDP growth by at least 2.5 percentage points, driven by a planned $100 billion in defense expenditures [9]. However, seeing this for what it is, namely war-spending, raises significant concerns about the sustainability of this growth, as it eats into existing reserves and crowds out investments in areas with a larger long-term growth potential. The massive spending also feeds inflation in consumer prices and wages, in particular as private investment levels are low and the labor market is short on competent labor. This puts pressure on monetary policy causing the central bank to increase interest rates even further, to compensate for the overly stimulating fiscal policy.

Further, it is important to bear in mind that, beyond this stimulus, the Russian economy is characterised by fundamental weaknesses. Russia has for many years dealt with anaemic growth due to low productivity gains and unfavourable demographics. Since the first round of sanctions was imposed on Russia, following its illegal annexation of Crimea in 2014, growth has hovered at around 1 percent per year on average – abysmal for an emerging market with catch-up potential. More recently, current sanctions and war expenditures have made Russia dramatically underperform compared to other oil-exporting countries [10]. Moreover, none of the normal (non-war related) growth fundamentals is likely to improve. Rather, the military aggression and the ensuing sanctions have made things worse. Hundreds of thousands of Russians have been killed or wounded in the war; many more have left the country to either escape the Putin regime or mobilization. Those leaving are often the younger and better educated, worsening the already dire demographic situation, and reinforcing the labor market inefficiencies. Additionally, with the country largely cut off from the world’s most important financial markets, investments in the Russian economy are completely insufficient [11].

As a result, Russia will be increasingly dependent on fossil fuel extraction and exports, a strategy that holds limited promise as considerations related to climate change continue to gain importance. With the loss of the European market, either due to sanctions or Putin’s failed attempt to weaponize gas flows to Europe, Russia finds itself dependent on a limited number of buyers for its oil and gas. Such dependency compels Russia to accept painful discounts and increases its exposure to market risks and price fluctuations [12].

The Cost of Sanctions

Sanctions have not been without costs for the countries imposing them. Nonetheless, the sanctioning countries are in a much better position than Russia. Any sanction strategy is necessarily a tradeoff between maximizing the sanctioned country’s economic loss while minimizing the loss to the sanctioning countries [9], but there are at least two qualifications to bear in mind. The first is that some sanctions imply very low losses – if any – while others may carry limited short term losses but longer term gains. This includes the oil-price cap that allows many importing countries to buy Russian oil at a discount [3], and policies to reduce energy demand, which squeezes Russia’s oil-income [13]. These policies may also initially hurt sanctioning countries, but in the long term facilitate an investment in energy self-sufficiency. Similarly, trade sanctions also imply some protection of one’s own industry, meaning that such sanctions may in fact bring benefits to the sanctioning countries – at least in the short run. The second qualification is that, in cases where sanctions do imply a cost to the sanctioning countries, the question is what cost is reasonable. Russia’s economy is many times smaller than, for instance, the EU’s economy. This gives the EU a strategic advantage akin to that in Texas hold’em poker: going dollar for dollar and euro for euro, Russia is bound to go bankrupt. Currently, Russia allocates a significantly larger portion of its GDP to its war machine than most sanctioning countries spend on their defense. That alone suggests sanctioning countries may want to go beyond dollar for dollar as it is cheaper to stop Russia economically today than on a future battlefield. This points to the bigger question: what would be the future cost of not sanctioning Russia today? Many accredit the weak response from the West to the annexation of Crimea in 2014 as part of the explanation behind Putin’s decision to pursue the current full-scale invasion of Ukraine. Similarly, an unwillingness to bear limited costs today may entail much more substantial costs tomorrow.

When discussing the cost of sanctions, one must also take into account Russia’s counter moves and whether they are credible [14]. Often, they are not [3, 15]. Fear-inducing platitudes, such that China and Russia will reshape the global financial system to insulate themselves from the West’s economic statecraft tools, circulate broadly. We do not deny that these countries are undertaking measures in this direction, but it is much harder to do so in practice than in political speeches. For instance, moving away from the U.S. dollar (and the Euro) in international trade (aside from in bilateral trade relations that are roughly balanced) is highly challenging. In such a trade, conducted without the U.S. dollar, one side of the bargain will end up with a large amount of currency that it does not need and cannot exchange, at scale, for hard currency. As long as a transaction is conducted in U.S. dollar, the U.S. financial system is involved via corresponding accounts, and the threat of secondary sanctions remains powerful. We have seen examples of this in recent months, following President Biden’s executive order on December 22, 2023.

One of Many Tools

Finally, we and other proponents of sanctions do not view them as a panacea, or an alternative to the essential military and financial support that Ukraine requires. Rather, we maintain that sanctions are a critical component of a multi-pronged strategy aimed at halting Putin’s unlawful and aggressive war against Ukraine, a war that threatens not only Ukraine, but peace, liberty, and prosperity across Europe. The necessity for sanctions becomes clear when considering the alternative: a Russian regime with access to $300 billion in the central bank’s reserves, the ability to earn billions more from fossil fuel exports, and to freely acquire advanced Western technology for its military operations against Ukrainian civilians. In fact, the less successful the economic statecraft measures are, the greater the need for military and financial aid to Ukraine becomes, alongside broader indirect costs such as increased defense spending, higher interest rates, and inflation in sanctioning countries. A case in point is the West’s provision of vital – yet expensive – air defense systems to Ukraine, required to counteract Russian missiles and drones, which in turn are enabled by access to Western technology. Abandoning sanctions would only exacerbate this type of challenges.

Conclusion

The discourse on sanctions against Russia necessitates a nuanced understanding of their role within the context of the broader strategy against Russia. It is critical to understand that shallow statements and misinformed opinions become part of the information war, and that the effectiveness of sanctions also depends on all stakeholders’ perceptions about the sanctioning regime’s effectiveness and long run sustainability. Supporting Ukraine in its struggle against the Russian aggression is not a matter of choosing between material support and sanctions; rather, Ukraine’s allies must employ all available tools to ensure Ukraine’s victory. While sanctions alone are not a cure-all, they are indispensable in the concerted effort to support Ukraine and restore peace and stability in the region. The way forward is thus to make the sanctions even more effective and to strengthen the enforcement, not to abandon them.

References

[1] “Russia Chartbook”. KSE Institute, February 2024

[2] “One year of sanctions: Russia’s oil export revenues cut by EUR 34 bn”. Center for Research on Energy and Clean Air, December 2023

[3] “The Price Cap on Russian Oil: A Quantitative Analysis”. Wachtmeister, H., Gars, J. and Spiro, D, July 2023

[4] Spiro, D. Gars, J, and Wachtmeister, H. (2023). “The effects of an EU import and shipping embargo on Russian oil income,” mimeo

[5] “Energy Sanctions: Four Key Steps to Constrain Russia in 2024 and Beyond”. International Working Group on Russian Sanctions & KSE Institute, February 2024

[6] “Tracking the impacts of G7 & EU’s sanctions on Russian oil”. Center for Research on Energy and Clean Air

[7] “Russia Oil Tracker”. KSE Institute, February 2024

[8] “Challenges of Export Controls Enforcement: How Russia Continues to Import Components for Its Military Production”. International Working Group on Russian Sanctions & KSE Institute, January 2024

[9] “Russia Plans Huge Defense Spending Hike in 2024 as War Drags”. Bloomberg, September 2023

[10] “Sanctions and Russia’s War: Limiting Putin’s Capabilities”. U.S. Department of the Treasury, December 2023

[11] “World Investment Report 2023”. UNCTAD

[12] “Russia-China energy relations since 24 February: Consequences and options for Europe”. Swedish Institute of International Affairs, June 2023

[13] Gars, J., Spiro, D. and Wachtmeister, H. (2022). “The effect of European fuel-tax cuts on the oil income of Russia”. Nature Energy, 7(10), pp.989-997

[14] Spiro, D. (2023). “Economic Warfare”. Available at SSRN 4445359

[15] Gars, J., Spiro, D. and Wachtmeister, H., (2023). “Were Russia’s threats of reduced oil exports credible?”. Working paper

Disclaimer: Opinions expressed in policy briefs and other publications are those of the authors; they do not necessarily reflect those of the FREE Network and its research institutes.

How to Undermine Russia’s War Capacity: Insights from Development Day 2023

Image from SITE Development Day conference

As Russia’s full-scale invasion of Ukraine continues, the future of the country is challenged by wavering Western financial and military support and weak implementation of the sanction’s regime. At the same time, Russia fights an information war, affecting sentiments for Western powers and values across the world. With these challenges in mind, the Stockholm Institute for Transition Economics (SITE) invited researchers and stakeholders to the 2023 Development Day Conference to discuss how to undermine Russia’s capacity to wage war. This policy brief shortly summarizes the featured presentations and discussions.

Holes in the Net of Sanctions

In one of the conference’s initial presentations Aage Borchgrevink (see list at the end of the brief for all presenters’ titles and affiliations) painted a rather dark picture of the current sanctions’ situation. According to Borchgrevink, Europe continuously exports war-critical goods to Russia either via neighboring countries (through re-rerouting), or by tampering with goods’ declaration forms. This claim was supported by Benjamin Hilgenstock who not only showed that technology from multinational companies is found in Russian military equipment but also illustrated (Figure 1) the challenges to export control that come from lengthy production and logistics chains and the various jurisdictions this entails.

Figure 1. Trade flows of war-critical goods, Q1-Q3, 2023.

Source: Benjamin Hilgenstock, Kyiv School of Economics Institute.

Offering a central Asian perspective, Eric Livny highlighted how several of the region’s economies have been booming since the enforcement of sanctions against Russia. According to Livny, European exports to Central Asian countries have in many cases skyrocketed (German exports to the Kyrgyzs Republic have for instance increased by 1000 percent since the invasion), just like exports from Central Asian countries to Russia. Further, most of the export increase from central Asian countries to Russia consists of manufactured goods (such as telephones and computers), machinery and transport equipment – some of which are critical for Russia’s war efforts. Russia has evidently made a major pivot towards Asia, Livny concluded.

This narrative was seconded by Michael Koch, Director at the Swedish National Board of Trade, who pointed to data indicating that several European countries have increased their trade with Russia’s neighboring countries in the wake of the decreased direct exports to Russia. It should be noted, though, that data presented by Borchgrevink showed that the increase in trade from neighboring countries to Russia was substantially smaller than the drop in direct trade with Russia from Europe. This suggests that sanctions still have a substantial impact, albeit smaller than its potential.

According to Koch, a key question is how to make companies more responsible for their business? This was a key theme in the discussion that followed. Offering a Swedish government perspective, Håkan Jevrell emphasized the upcoming adoption of a twelfth sanctions package in the EU, and the importance of previous adopted sanctions’ packages. Jevrell also continued by highlighting the urgency of deferring sanctions circumvention – including analyzing the effect of current sanctions. In the subsequent panel Jevrell, alongside Adrian Sadikovic, Anders Leissner, and Nataliia Shapoval keyed in on sanctions circumvention. The panel discussion brought up the challenges associated with typically complicated sanctions legislation and company ownership structures, urging for more streamlined regulation. Another aspect discussed related to the importance of enforcement of sanctions regulation and the fact that we are yet to see any rulings in relation to sanctions jurisdiction. The panelists agreed that the latter is crucial to deter sanctions violations and to legitimize sanctions and reduce Russian government revenues. Although sanctions have not yet worked as well as hoped for, they still have a bite, (for instance, oil sanctions have decreased Russian oil revenues by 30 percent).

Reducing Russia’s Government Revenues

As was emphasized throughout the conference, fossil fuel export revenues form the backbone of the Russian economy, ultimately allowing for the continuation of the war. Accounting for 40 percent of the federal budget, Russian fossil fuels are currently mainly exported to China and India. However, as presented by Petras Katinas, the EU has since the invasion on the 24th of February, paid 182 billion EUR to Russia for oil and gas imports despite the sanctions. In his presentation, Katinas also highlighted the fact that Liquified Natural Gas (LNG) imports for EU have in fact increased since the invasion – due to sanctions not being in place. The EU/G7 imposed price cap on Russian oil at $60 per barrel was initially effective in reducing Russian export revenues, but its effectiveness has over time being eroded through the emergence of a Russia controlled shadow fleet of tankers and sales documentation fraud. In order to further reduce the Russian government’s income from fossil fuels, Katinas concluded that the whitewashing of Russian oil (i.e., third countries import crude oil, refine it and sell it to sanctioning countries) must be halted, and the price cap on Russian oil needs to be lowered from the current $60 to $30 per barrel.

In his research presentation, Daniel Spiro also focused on oil sanctions targeted towards Russia – what he referred to as the “Energy-economic warfare”. According to Spiro, the sanctions regime should aim at minimizing Russia’s revenues, while at the same time minimizing sanctioning countries’ own costs, keeping in mind that the enemy (i.e. Russia) will act in the exact same way. The sanctions on Russian oil pushes Russia to sell oil to China and India and the effects from this are two-fold: firstly, selling to China and India rather than to the EU implies longer shipping routes and secondly, China and India both get a stronger bargaining position for the price they pay for the Russian oil. As such, the profit margins for Russia have decreased due to the price cap and the longer routes, while India and China are winners – buying at low prices. Considering the potential countermoves, Spiro – much like Katinas – emphasized the need to take control of the tanker market, including insurance, sales and repairs. While the oil price cap has proven potential to be an effective sanction, it has to be coupled with an embargo on LNG and preferrable halted access for Russian ships into European ports – potentially shutting down the Danish strait – Spiro concluded.

Chloé Le Coq presented work on Russian nuclear energy, another energy market where Russia is a dominant player. Russia is currently supplying 12 percent of the United States’ uranium, and accounting for as much as 70 percent on the European market. On top of this, several European countries have Russian-built reactors. While the nuclear-related revenues for Russia today are quite small, the associated political and economic influence is much more prominent. The Russian nuclear energy agency, Rosatom, is building reactors in several countries, locking in technology and offering loans (e.g., Bangladesh has a 20-year commitment in which Rosatom lends 70 percent of the production cost). In this way Russia exerts political influence on the rest of the world. Le Coq argued that energy sanctions should not only be about reducing today’s revenues but also about reducing Russian political and economic influence in the long run.

The notion of choke points for Russian vessels, for instance in the Danish strait, was discussed also in the following panel comprising of Yuliia Pavytska, Iikka Korhonen, Aage Borchgrevink, and Lars Schmidt. The panelists largely agreed that while choke points are potentially a good idea, the focus should be on ensuring that existing sanctions are enforced – noting that sanctions don’t work overnight and the need to avoid sanctions fatigue. Further, the panel discussed the fact that although fossil fuels account for a large chunk of federal revenues, a substantial part of the Russian budget come from profit taxes as well as windfall taxes on select companies, and that Russian state-owned companies should in some form be targeted by sanctions in the future. In line with the previous discussion, the panelists also emphasized the importance of getting banks and companies to cooperate when it comes to sanctions and stay out of the Russian market. Aage Borchgrevink highlighted that for companies to adhere to sanctions legislation they could potentially be criminally charged if they are found violating the sanctions, as it can accrue to human rights violations. For instance, if companies’ parts are used for war crimes, these companies may also be part of such war crimes. As such, sanctions can be regarded as a human rights instrument and companies committing sanctions violations can be prosecuted under criminal law.

Frozen Assets and Disinformation

The topic of Russian influence was discussed also in the conference’s last panel, composed of Anders Ahnlid, Kata Fredheim, Torbjörn Becker, Martin Kragh, and Andrii Plakhotniuk. The panelists discussed Russia’s strong presence on social media platforms and how Russia is posting propaganda at a speed unmet by legislators and left unchecked by tech companies. The strategic narrative televised by Russia claims that Ukraine is not a democracy, and that corruption is rampant – despite the major anti-corruption reforms undertaken since 2014. If the facts are not set straight, the propaganda risks undermining popular support for Ukraine, playing into the hands of Russia. Further, the panelists also discussed the aspect of frozen assets and how the these can be used for rebuilding Ukraine. Thinking long-term, the aim is to modify international law, allowing for confiscation, as there are currently about 200 billion EUR in Russian state-owned assets and about 20 billion EUR worth of private-owned assets, currently frozen.

The panel discussion resonated also in the presentation by Vladyslav Vlasiuk who gave an account of the Ukrainian government’s perspective of the situation. Vlasiuk, much like other speakers, pointed out sanctions as one of the main avenues to stop Russia’s continued war, while also emphasizing the need for research to ensure the implications from sanctions are analyzed and subsequently presented to the public and policy makers alike. Understanding the effects of the sanctions on both Russia’s and the sanctioning countries’ economies is crucial to ensure sustained support for the sanction’s regime, Vlasiuk emphasized.

Joining on video-link from Kyiv, Tymofiy Mylovanov, rounded off the conference by again emphasizing the need for continued pressure on Russia in forms of sanctions and sanctions compliance. According to Mylovanov, the Russian narrative off Ukraine struggling must be countered as the truth is rather that Ukraine is holding up with well-trained troops and high morale. However, Mylovanov continued, future funding of Ukraine’s efforts against Russia must be ensured – reminding the audience how Russia poses a threat not only to Ukraine, but to Europe and the world.

Concluding Remarks

The Russian attack on Ukraine is military and deadly, but the wider attack on the liberal world order, through cyber-attacks, migration flows, propaganda, and disinformation, must also be combatted. As discussed throughout the conference, sanctions have the potential for success, but it hinges on the beliefs and the compliance of citizens, companies, and governments around the world. To have sanctions deliver on their long-term potential it is key to include not only more countries but also the banking sector, and to instill a principled behavior among companies – having them refrain from trading with Russia. Varying degrees of enforcement undermine sanctions compliant countries and companies, ultimately making sanctions less effective. Thus, prosecuting those who breach or purposedly evade sanctions should be a top priority, as well as imposing control over the global tanker market, to regain the initial bite of the oil price cap. Lastly, it is crucial that the global community does not forget about Ukraine in the presence of other conflicts and competing agendas. And to ensure success for Ukraine we need to restrain the Russian war effort through stronger enforcement of sanctions, and by winning the information war.

List of Participants

Anders Ahnlid, Director General at the National Board of Trade
Aage Borchgrevink, Senior Advisor at The Norwegian Helsinki Committee
Torbjörn Becker, Director at the Stockholm Institute of Transition Economics
Chloé Le Coq, Professor of Economics, University of Paris-Panthéon-Assas, Economics and Law Research Center (CRED)
Benjamin Hilgenstock, Senior Economist at Kyiv School of Economics Institute
Håkan Jevrell, State Secretary to the Minister for International Development Cooperation and Foreign Trade
Michael Koch, Director at Swedish National Board of Trade
Iikka Korhonen, Head of the Bank of Finland Institute for Emerging Economies (BOFIT)
Martin Kragh, Deputy Centre Director at Stockholm Centre for Eastern European Studies (SCEEUS)
Eric Livny, Lead Regional Economist for Central Asia at European Bank for Reconstruction and Development (EBRD)
Anders Leissner, Lawyer and Expert on sanctions at Advokatfirman Vinge
Tymofiy Mylovanov, President of the Kyiv School of Economics
Vladyslav Vlasiuk, Sanctions Advisor to the Office of the President of Ukraine
Nataliia Shapoval, Chairman of the Kyiv School of Economics Institute
Yuliia Pavytska, Manager of the Sanctions Programme at KSE Institute
Andrii Plakhotniuk, Ambassador Extraordinary and Plenipotentiary of Ukraine to the Kingdom of Sweden
Daniel Spiro, Associate Professor, Uppsala University
Adrian Sadikovic, Journalist at Dagens Nyheter
Kata Fredheim, Executive Vice President of Partnership and Strategy and Associate Professor at SSE Riga
Lars Schmidt, Director and Sanctions Coordinator at the Ministry for Foreign Affairs, Sweden

Disclaimer: Opinions expressed in policy briefs and other publications are those of the authors; they do not necessarily reflect those of the FREE Network and its research institutes.

Risks of Russian Business Ownership in Georgia

Image of Tbilisi at night representing risks of Russian business ownership in Georgia

This policy brief addresses risks tied to Russian business ownership in Georgia. The concentration of this ownership in critical sectors such as electricity and communications makes Georgia vulnerable to risks of political influence, corruption, economic manipulation, espionage, sabotage, and sanctions evasion. To minimize these risks, it is recommended to establish a Foreign Direct Investment (FDI) screening mechanism for Russia-originating investments, acknowledge the risks in national security documents, and implement a critical infrastructure reform.

Russia exerts substantial influence over Georgia. First and foremost, Russia has annexed 20 percent of Georgia’s internationally recognized territories of Abkhazia and South Ossetia. Further, it employs a variety of hybrid methods to disrupt the Georgian society including disinformation, support for pro-Russian parties and media, trade restrictions, transportation blockades, sabotage incidents, and countless more. These tactics aim to hinder Georgia’s development, weaken the country’s statehood, and negatively affect pro-Western public sentiments (Seskuria, 2021 and Kavtaradze, 2023).

Factors that may also increase Georgia’s economic dependency on Russia concern trade relationships, remittances, increased economic activity driven by the most recent influx of Russian migrants, and private business ownership by Russian entities or citizens (Babych, 2023 and Transparency International Georgia, 2023). This policy brief assesses and systematizes the risks associated with Russian private business ownership in Georgia.

Sectoral Overview of Russian Business Ovnership

Russian business ownership is significant in Georgia. Recent research from the Institute for Development of Freedom of Information (IDFI) has addressed Russian capital accumulation across eight sectors of the Georgian economy: electricity, oil and gas, communications, banking, mining and mineral waters, construction, tourism, and transportation. Of the eight sectors considered by IDFI, Russian business ownership is most visible in Georgia’s electricity sector, followed by oil and natural gas, communications, and mining and mineral waters industries. In the remaining four sectors considered by IDFI, a low to non-existent level of influence was observed (IDFI, 2023).

Figure 1. Overview of Russian Ownership in the Georgian Economy as of June 2023.

Source: IDFI, 2023.

There are several reasons for concern regarding the concentration and distribution of Russian business ownership in the Georgian economy.

First, it is crucial to keep Russia’s history as a hostile state actor in mind. Foreign business ownership is not a threat in itself; However, it may pose a threat if businesses are under control or influence of a state that is hostile to the country in question (see Larson and Marchik, 2006). Business ownership has been a powerful tool for the Kremlin, allowing Russia to influence various countries and raising concerns that such type of foreign ownership might negatively affect national security of the host country (Conley et al., 2016). Similar concerns have become imperative amidst Russia’s full-scale war in Ukraine (as, for instance, reflected in Guidance of the European Commission to member states concerning Russian foreign acquisitions).

Further, Russian business ownership in Georgia is particularly threatening due to the ownership concentration within sectors of critical significance for the overall security and economic resilience of the country. While there is no definition of critical infrastructure or related sectors in Georgia, at least two sectors (energy and communications) correspond to critical sectors, according to international standards (see for instance the list of critical infrastructure sectors for the European Union, Germany, Canada and Australia). Such sectors are inherently susceptible to a range of internal and external threats (a description of threats related to critical infrastructure can be found here). Intentional disruptions to critical infrastructure operations might initiate a chain reaction and paralyze the supply of essential services. This can, in turn, trigger major threats to the social, economic, and ecological security and the defense capacity of a state.

Georgia’s Exposure to Risks

Identifying and assessing the specific dimensions of Georgia’s exposure to risks related to Russian business ownership provides a useful foundation for designing policy responses. This brief identifies six distinct threats in this regard.

Political Influence

Russia’s business and political interests are closely intertwined, making it challenging to differentiate their respective motives. This interconnectedness can act as a channel for exerting political influence in Georgia. Russians that have ownership stakes in Georgian industries (e.g. within electricity, communications, oil and gas, mining and mineral waters) have political ties with the Russian ruling elite facing Western sanctions, or are facing sanctions themselves. For instance, Mikhail Fridman, who owns up to 50 percent of the mineral water company IDS Borjomi, is sanctioned for supporting Russia’s war in Ukraine. Such interlacing raises concerns about indirect Russian influence in Georgia, potentially undermining Georgia’s Western aspirations.

Export of Corrupt Practices

The presence of notable Russian businesses in Georgia poses a significant threat in terms of it nurturing corrupt practices. Concerns include “revolving door” incidents (movement of upper-level public officials into high-level private-sector jobs, or vice versa), tax evasion, and exploitation of the public procurement system.  For instance, Transparency International Georgia (2023) identified a “revolving door” incident concerning the Russian company Inter RAO Georgia LLC, involved in electricity trading, and its regulator, the Georgian state-owned Electricity Market Operator JSC (ESCO). One day after Inter RAO Georgia LLC was registered, the director of ESCO took a managerial position within Inter RAO Georgia LLC. Furthermore, tax evasion inquiries involving Russian-owned companies have been documented in the region, particularly in Armenia, further highlighting corruption risks. We argue that such corrupt practices might harm the business environment and deter future international investments.

Economic Manipulation

A heavy concentration of foreign ownership in critical sectors like energy and telecommunications, also poses a risk of manipulation of economic instruments such as prices. The significant Russian ownership in Armenia’s gas distribution network exemplifies this threat. In fact, Russia utilized a price manipulation strategy for gas prices when Armenia declared its EU aspirations. Prices were then reduced after Armenia joined the Eurasian Economic Union (Terzyan, 2018).

Espionage

Russian-owned businesses within Georgia’s critical sectors also pose espionage risks, including economic and cyber espionage. Owners of such businesses may transfer sensitive information to Russian intelligence agencies, potentially undermining critical infrastructure operations. As an example, in 2022, a Swedish business owner in electronic trading and former Russian resident, was indicted with transferring secret economic information to Russia. Russian cyber-espionage is also known to be used for worldwide disinformation campaigns impacting public opinion and election results, compromising democratic processes.

Sabotage

The presence of Russian-owned businesses in Georgia raises the risk of sabotage and incapacitation of critical assets. Russia has a history of using sabotage to harm other countries, such as when they disrupted Georgia’s energy supply in 2006 and the recent Kakhovka Dam destruction in Ukraine (which had far-reaching consequences, incurring environmental damages, and posing a threat to nuclear plants). These incidents demonstrate the risk of cascading effects, potentially affecting power supply, businesses, and locations strategically important to Georgia’s security.

Sanctions and Sanction Evasion

Russian-owned businesses in Georgia face risks due to Western sanctions as they could be targeted by sanctions or used to evade them. Recent cases, like with IDS Borjomi (as previously outlined) and VTB Bank Georgia – companies affected by Western sanctions given their Russian connections – highlight Georgia’s economic vulnerability in this regard. Industries where these businesses operate play a significant role in Georgia’s economy and job market, and instabilities within such sectors could entail social and political concerns. There’s also a risk that these businesses could help Russia bypass sanctions and gain access to sensitive goods and technologies, going against Georgia’s support for international sanctions against Russia. It is crucial to prevent such sanctions-associated risks for the Georgian economy.

Assessing the Risks

To operationalize the above detailed risks, we conducted interviews with Georgian field experts within security, economics, and energy. The risk assessment highlights political influence through Russian ownership in Georgian businesses as the foremost concern, followed by risks of corruption, risks related to sanctions, espionage, economic manipulation, and sabotage. We asked the experts to assess the severity level for each identified risk and notably, all identified risks carry a high severity level.

Recommendations

Considering the concerns detailed in the previous sections, we argue that Russia poses a threat in the Georgian context. Given the scale and concentration of Russian ownership within critical sectors and infrastructure, a dedicated policy regime might be required to improve regulation and minimize the associated risks. Three recommendations could be efficient in this regard, as outlined below.

Study the Impact of Adopting a Foreign Direct Investment Screening Mechanism

To effectively address ownership-related threats, it’s essential to modify existing investment policies. One approach is to introduce a FDI screening mechanism with specific functionalities. Several jurisdictions implement mechanisms with similar features (see a recent report by UNCTAD for further details). Usually, such mechanisms target FDI’s that have security implications. A dedicated screening authority overviews investment that might be of concern for national security and after assessment, an investment might be approved or suspended. In Georgia, a key consideration for designing such tool includes whether it should selectively target investments from countries like Russia or apply to all incoming FDI. Additionally, there’s a choice between screening all investments or focusing on those concerning critical sectors and infrastructure. Evaluating the investment volume, possibly screening only FDI’s exceeding a predefined monetary value, is also a vital aspect to consider. However, it’s important to acknowledge that FDI screening mechanisms are costly. Therefore, this brief suggests a thorough cost and benefit analysis prior to implementing a FDI screening regime in Georgia.

Consider Russian Ownership-related Threats in the National Security Documents

Several national-level documents address security policy in Georgia, with the National Security Concept – outlining security directions – being a foundational one. Currently, these concepts do not specifically address Russian business ownership-related threats. When designing an FDI screening mechanism, however, acknowledging various risks related to Russian business ownership must be aligned with fundamental national security documents.

Foster the Adoption of a Critical Infrastructural Reform

To successfully implement a FDI screening mechanism unified, nationwide agreement on the legal foundations for identifying and safeguarding critical infrastructure is needed. The current concept for critical infrastructure reform in Georgia envisages a definition of critical infrastructure and an implementation of an FDI screening mechanism. We therefore recommend implementing this reform in the country.

Conclusion

This policy brief has identified six distinct risks related to Russian business ownership in several sectors of the Georgian economy, such as energy, communications, oil and natural gas, and mining and mineral waters. Even though Georgia does not have a unified definition of critical infrastructure, assets concentrated in these sectors are regarded as critical according to international standards. Considering Russia’s track record of hostility and bearing in mind threats related to foreign business ownership by malign states, this brief suggests regulating Russian business ownership in Georgia by introducing a FDI screening instrument. To operationalize this recommendation, it is further recommended to consider Russian business ownership-related threats in Georgia’s fundamental security documents and to foster critical infrastructural reform in the country.

References

Disclaimer: Opinions expressed in policy briefs and other publications are those of the authors; they do not necessarily reflect those of the FREE Network and its research institutes.

The EU Import Bill and Russian Energy Sanctions

20220428 Image of Gazprom office in Russia representing Russian Energy Sanctions

Since the beginning of the Russia-Ukraine war, the West has been contemplating sanctions on Russian oil and gas imports. For the EU, this plan poses a significant challenge due to the long-existing sizable dependency on Russian energy. In this brief, we outline the possible effects of banning Russian oil and gas on the energy import bill across the EU. While the effects of such a ban will go beyond a direct increase in the import costs of oil and gas, our estimates provide a useful reference point in discussing the impact of such sanctions on the EU. Our estimates suggest that the relative increase in the import costs in the case of an oil embargo would be more evenly spread across the Member States, than in the case of a natural gas ban. This parity makes an EU-wide Russian oil embargo a more straightforward sanction policy. In turn, a full replacement of Russian gas imports across the EU – due to either a gas embargo or retaliation from Russia in response to an oil ban – is likely to require some kind of solidarity mechanism.

Introduction

Since the beginning of the Russian invasion of Ukraine, the West has been discussing the idea of sanctioning the aggressor by banning Russian energy imports. The motivation is quite straightforward. In 2021, Russian oil and gas exports constituted 49% of Russian goods exports or 14 % of Russian GDP, and the Western world (in particular, the European Union) is the main recipient of these exports. Banning Russian oil and gas export would, thus, lead to heavy pressure on the Russian economy.

The discussion has been quite heated. The US actually implemented a ban on Russian oil and gas in early March 2022, but this gesture has been largely seen as relatively symbolic, as the US dependency on Russian energy imports is quite limited. EU politicians have voiced different opinions about the feasibility of Russian energy sanctions. While some advocate an immediate ban, others argue for a more gradual decrease in imports or even for continuing imports effectively in a business-as-usual fashion. While the EC has announced plans to cut down the consumption of Russian gas by two-thirds in 2022 and mentioned the implementation of “some form of oil embargo” as part of their 6th sanction package, there is still no consensus across the EU. Sanctions on Russian oil and gas imports have not been implemented in the EU by the time of writing this brief.

The main reason for this hesitation is the extent to which Russia remains the main energy supplier. In 2020, 39% of gas and 36% of oil and oil products in the EU were imported from Russia, and the feasibility and consequences of replacing these with alternative supplies are debatable. Since the beginning of the war academics, international organizations and consultancies have offered a variety of analytical materials on the feasibility and implications of such energy sanctions (see e.g., Bachmann et al. 2022. Chepeliev et al, 2022, Fulwood et al., 2022, Guriev and Itskhoki, 2022, Hilgenstock and Ribakova, 2022, IEA, 2022, RYSTAD 2002a,b, Stehn, 2022 to name just a few).

This brief contributes to these estimates by discussing how a Russian oil and gas ban could affect the energy import bill across individual EU countries. We start by providing details on the EU’s dependency on Russian oil and gas imports. We then proceed to access the scope of the costs that a ban on Russian energy could imply for the EU energy sector. We conclude with a discussion about the feasibility of political agreement on such sanctions.

Import Dependency and Dependency on Russian Energy Across the EU

The two primary channels through which a Russian energy ban would affect the vulnerability of an EU country are the dependency on Russian oil and gas, and the overall energy import dependency. The former matters since a ban would imply an immediate necessity to replace missing volumes of energy. This would lead to an increase in energy prices widely across markets, thereby signifying the importance of the latter channel, the overall import dependency.

Figures 1 and 2 depict the dependency on Russian oil and gas across the EU member states. In Figure 1, the dependency is measured as a ratio of Russian energy imports to the gross available energy for each energy type separately – crude oil, oil and oil products, and natural gas. However, this measure may not reflect the importance of the respective energy type in a country’s energy portfolio. For example, in Finland, Russian gas imports constitute 67% of gross available natural gas. However, natural gas is less than 7% of the country’s energy mix, thus the overall effect of Russian gas on the Finnish energy sector and economy is rather limited. To account for this, Figure 2 offers an overview of the contribution of Russian energy imports to the cumulative energy portfolio across the EU.

Both figures show that there is a large variation both in terms of the contribution of individual energy types and in terms of overall dependency on Russian fuels. For example, the latter is almost negligible for Cyprus and well over 50% for Lithuania (however, Figure 2 accounts for re-exports and, thus, overestimates the role of Russian energy imports for Lithuanian domestic available energy in 2020.

Figure 1. Share of Russian energy imports in gross available energy, by fuel, 2020.

Note: Gross available energy indicates the overall available energy supply on the territory of the country. It is defined as Gross available energy = Primary production + Recovered and recycled products + Imports – Exports + Change in stock. . In several EU member states natural gas transit may be included in the imports. As a result, the high share of Russian energy may reflect not only imports for consumption but also for transit, as well as fuels for refinement and further export (e.g. oil products in Estonia (cut at Figure 1, 285%), Lithuania (cut at Figure 1, 201%), Slovakia and Finland). Austrian data on natural gas imports from Russia are confidential and not represented in the diagram. Denmark and Croatia did not report Russian gas imports data for 2020 to Eurostat. Source: Eurostat

Figure 2. Share of Russian energy imports in total gross available energy, 2020. Source: Eurostat

Note: See Figure 1. Source: Eurostat

While the above data summarizes the EU dependency on Russian energy imports in volume terms, it is also useful to have a sense of the costs of this dependency. As we are not aware of any source that has accurate data on the value of imports across the EU states, we construct a back-of-the-envelope assessment of the costs of Russian energy imports to the EU in 2021 using the available trade data for 2021 and the allocation of imports across the EU Member States for 2020 (see Appendix 1 for more details). Admittedly, these estimates only account for the differences in prices of energy imports from Russia vs. other suppliers; it does not capture e.g., the difference in prices of Russian gas across the Member States. Still, they offer useful insight into the scope of these expenses, in levels (Figure 3) and the share of GDP (Figure 4).

The results suggest that, while the expenses are quite sizable – e.g., the total value of Russian fossil energy imports to the EU in 2021 exceeds 110 bln EUR, – they correspond to around 0.7% of European GDP. Again, there is variation across the Member States, but in most cases – effectively all cases that do not account for re-export – the share of Russian energy imports is below 2% of GDP.

Figure 3. Value of Russian fossil energy imports, bln EUR, 2021.

Source: Eurostat, GazpromExport, Central Bank of Russia, author’s own calculations, see Appendix 1.

Figure 4. Share of oil, oil products and gas imports in GDP, 2021.

Source: Eurostat, GazpromExport, Central Bank of Russia, author’s own calculations, see Appendix 1.

Figure 4 also touches upon the second source of vulnerability towards a ban on Russian energy, mentioned at the beginning of this section. It depicts not only the value of Russian oil and gas imports as a percent of GDP but the overall dependency on imports of oil and gas as a share of GDP. The larger this dependency is, the bigger is the impact of an increase in energy prices for a country. Figure 4 not only confirms the abovementioned variation across the Member States but also shows that some countries with little-to-moderate direct dependency on Russian oil and gas – e.g., Portugal or Spain, – are still likely to experience a sizable negative shock to their energy expenses due to the market price increase.

Importantly, these figures give only a very rough representation of the potential damage that a ban on Russian energy imports may cause to the EU economies. Two EU Member States with a comparable dependency could react to the shortage of Russian gas in very different ways, depending on a variety of other factors – the extent and scalability of domestic production, diversification of their remaining energy portfolio in terms of energy suppliers and types of oil the economy relies on (e.g., light vs. heavy), energy infrastructure (e.g., LNG regasification facilities or storage), consumption structure, etc. Le Coq and Paltseva (2009, 2012) discuss in detail some of these factors, and the possibilities to account for them. However, for the sake of simplicity, in this brief we focus on the (volume- and value-based) measures of dependency.

Potential Costs of Russian Energy Import Ban

In this section, we discuss the potential implications of banning imports of Russian oil and gas on the costs of fossil energy imports in the EU. We offer a few historical parallels in order to assess the potential scope of the price reaction to such a ban. Furthermore, we proceed to provide estimates of the costs of oil and gas imports across the EU Member States, would such sanctions be implemented.

Oil Imports Ban

We start with a potential ban on Russian oil and oil product imports. To put things in perspective, it might be useful to present some numbers. According to the IEA, Russia recently surpassed Saudi Arabia as the world’s largest oil and oil products exporter. In December 2021, global Russian crude and oil product exports constituted 7.8 million barrels per day (mb/d), with exports of crude oil and condensate at 5 mb/d. Out of the total 7.8 mb/d, exports to OECD countries constituted 5.6 mb/d, with crude oil exports amounting to 3.9 mb/d. Assuming that the size of the global oil market in 2021 returns to its pre-pandemic 2019 level (the actual data for 2021 global oil consumption is not available yet), Russian crude oil exports to the OECD constitute 8.6% of global crude exports. The corresponding figure for oil products is 6.8% (BP, 2021).

So, what would happen if the developed world – which for the purpose of this analysis we proxy by OECD – bans Russian oil exports? In the recent public discussion, many voices have compared this potential development to the 1973 oil crisis. This crisis was initiated by OAPEC’s – the Arab members of OPEC, – oil embargo on the US in response to their support of Israel during the Yom Kippur War. The OAPEC, the biggest group of oil exporters at the time, completely banned oil exports to the US (and a number of other western countries), and also introduced production restraints that affected the global oil market. The (WTI) oil price during this episode went up by a factor of three (see, e.g, Baumeister and Kilian, 2016).

However, a few important features are likely to differ between the oil crisis of 1973 and the potential impact of the Russian imports ban. First, the net loss of oil supplies during the Arab embargo was around 4.4 mb/d, which at that point constituted around 14% of traded oil (Yergin, 1992). Recall that Russian supplies to OECD are around half of this share. Moreover, it is likely that the ban would not lead to a complete withdrawal of these amounts from the market, but rather to a partial rerouting of Russian oil to Asia and, consequently, a readjustment of world oil trade flows. Second, Yergin (1992) points out that, at the time of the 1973 oil crisis, oil consumption was growing at 7.5% per year, which exacerbated the impact of the embargo. In contrast, the current assessments of oil demand growth are at around 2% per year (IEA, 2022). Third, the energy portfolios are much more diversified now than in 1973, with gas and renewables playing a more substantial role. In the case of an isolated oil imports ban (not extending to gas imports), this would argue in favor of a more moderate price impact. Finally, the oil embargo of 1973 was a never-seen-before episode in the history of the oil market. The uncertainty about future developments has likely contributed to the oil price increase. While there is substantial uncertainty associated with the impact of a Russian oil imports ban, it is arguably lower than in 1973. Based on these considerations, a three-fold oil price increase in the case of a Russian oil export ban seems highly unlikely.

As a possible lower bound of the price impact, one can consider a much more recent price shock brought about by drone attacks on the oil processing facilities Abqaiq and Khurais in Saudi Arabia in 2019. In the initial assessment of the damage, Saudi Arabian authorities stated that the attack decreased the national oil production by 5.7 mb/d – which is more than the total of Russian oil exports to OECD. As a reaction, the intraday oil price went up by 20 %, and the daily oil price by 12%. In two weeks, production and export capacity was almost back to normal and the price returned to pre-shock levels.

Notice that the scale of the daily shortage in this episode exceeds the likely shortage under the Russian imports ban. However, a moderate price reaction, in this case, was clearly driven by expectations for the temporary nature of the shortage, as the damage was to be repaired in a matter of a few weeks, if not days. In comparison, the Russian oil ban is likely to last much longer. In this way, a price increase of 12%, or even 20%, would be an underestimation of the effect of a Russian oil imports ban.

While the above discussion suggests some bounds for the possible price effects of a Russian oil ban, the uncertainty around such price developments is very high.  Figure 5 shows the cost estimates of oil and oil products imports to the EU for two potential price levels – $120/b, and $180/b. Each price would roughly correspond to an increase of 33%, and 100%, respectively, relative to the pre-invasion price of $90/b. In the estimation, we simplistically assume that the price of oil products increases by the same amount as the price of crude oil. We also assume that the missing Russian oil can be replaced by alternatives, such that oil consumption does not change compared to the 2021 level for the lower price scenario and that it decreases by 2% for the high-cost scenario due to the demand adjustments.

Figure 5. Estimated effect of Russian oil ban on oil and gas imports in 2022: value of oil and oil products imports, EUR bln (left axis), and oil import expenses relative to 2021 level (right axis).

Source: Eurostat, GazpromExport, Central Bank of Russia, author’s own calculations, see Footnote 1.

The estimates suggest that the total oil and oil products import costs for the EU would be just above EUR 640 bln for the $120/b price level and EUR 940 bln for the $180/b price level. Furthermore, the costs across the EU Member States would vary greatly depending on the size of the economy and its exposure to oil imports.

This shows that – provided that the Russian oil will be fully replaced but at a higher price – the expected cost of this is in the range of 1.7-1.9 times the 2021 expenses at 120$/b, and 2.5-2.8 times that if the price would be 180$/b. While there is some variation across Member States, mostly driven by the removal of the somewhat cheaper Russian oil from the consumption basket, it is rather limited. Figure 5 also demonstrates that the ban on Russian oil imports is going to affect not only countries that directly depend on Russian oil but also countries with large oil and oil products imports due to the market price effects.

Gas Imports Ban

Now we proceed to discuss the costs of banning Russian gas imports into the EU. While LNG has increased the fungibility of the natural gas market, it remains sizably segmented. Therefore, we concentrate on the effect on the European market.

Russian gas constituted around 39% of the EU gas consumption volumes in 2020, and just below 30% in 2021 due to restricted supply during the second half of the year (McWilliams, Sgaravatti and Zachmann, 2021). It is currently a common understanding that fully substituting 155 Bcm of Russian gas imports in 2021 with imports from other pipeline suppliers, LNG, storage, and increasing domestic production is not feasible in 2022. Different sources have given different estimates on the extent of the resulting shortage, see e.g. Table 1.

Table 1. Alternatives to replace EU imports of Russian natural gas

Source: Rystad Energy (2022a, 2022b), Fulwood et.al (2022), IEA (2022).

As shown in Table 1, the net missing gas consumption ranges between 12% and 22% across different scenarios. As there are no historical episodes in the gas market to which such a development can be compared, it is difficult to assess the potential price reaction. One rough comparison can be made based on the oil market situation during the Arab oil embargo of 1973 discussed above. Then, the net loss of oil constituted about 9% of the oil consumption in “the free world” (Yergin, 1982), even lower than the most optimistic prognosis in Table 1. However, 33 Mcb of Russian gas (or 6% of 2021 the EU’s gas consumption) has already been imported to the EU since the beginning of 2022, making the potential gas shortage quite comparable to the oil shortage of 1973. Subject to all differences between the two shocks, one can, perhaps, still argue that the gas price increase following a ban on Russian gas imports should not exceed three-fold from before the invasion.

It is important to stress here that the EU gas market situation in the case of the Russian gas embargo would be principally different from the oil market one. Due to supply shortage not coverable by the alternative gas sources, a gas embargo would lead not only to a stronger price increase than in the case of oil, but also to significant downward demand adjustments, rationing and, perhaps, even price controls. (This, again, parallels the developments during the 1973 oil crisis). The negative effect of such rationing is not accounted for by the import bill. On the contrary, a shortage of supply would imply lower gas import volumes, biasing the impact on the gas import bill downward. In this way, an import bill reaction to sanctions in the case of natural gas may more strongly underestimate the overall impact on the economy than in the case of oil.

While the above argument suggests a higher price increase in the case of a gas embargo in comparison to an oil ban, there is still a lot of uncertainty in forecasting the gas price. Figure 6 depicts the estimates for the natural gas cost across the EU for two potential price levels – EUR 160/Mwh, and EUR 240/Mwh, a two- and three-fold increase relative to the pre-invasion price level of EUR 80/Mwh. Both estimates assume a (moderate) 8% decrease in the demand reflecting the abovementioned supply shortage and demand adjustments. We assume that the shortage is affecting both the importers of Russian gas and those who use other suppliers due to the common gas market in the EU and the use of reverse flow technology – as was the case for Poland which was denied Russian gas on April 27th, 2022 due to not paying for it in Rubles (see Appendix 1 for a discussion of implications of this assumption).

Not surprisingly, the gas import costs increase drastically in comparison to 2021. The total figures for the EU would be just below EUR 680 bln in the two-fold price increase scenario, and exceed 1 trn EUR in the case of a three-fold increase, in contrast to EUR 185 bln in 2021. Again, the largest economies bear the highest costs in absolute value.

When it comes to the relative increase in gas import value, two further observations follow from Figure 6. First, there is a huge variation in the increase in the value of gas imports across the Member States, from no effect in Cyprus which does not import natural gas, to 7.7 times in the case of a price doubling and 11.5 times in the case of a price tripling. Again, this variation originates from the necessity to replace cheaper Russian gas with more expensive gas sources, and the effect is much stronger than for oil. However, just like in the oil case, the states not directly importing Russian gas will still experience a huge negative shock from such a price hike. (Recall also, that the variation of the impact across the Member States is likely underestimated here, as the gas bill does not account for potential rationing which may differentially impact the importers of Russian gas).

Second, the increase in the value of gas imports exceeds the scale of the price increase even for the least affected Member States (excluding Cyprus). This is due to the unprecedented gas price increase during the EU gas crisis that took place between late 2021 and the beginning of 2022. Due to this increase, the pre-invasion gas price in February 2022 was 60% higher than the average gas price in 2021.

Figure 6. Estimated effect of Russian natural gas ban on gas imports in 2022: value of gas imports, EUR bln (left axis), and gas import expenses relative to 2021 level (right axis).

Source: Eurostat, GazpromExport, Central Bank of Russia, author’s own calculations, see Footnote 1.

Conclusions

The above estimates suggest that a ban on Russian oil and gas imports is going to be costly for the EU. While uncertainty is very high concerning the possible energy price increase following such a ban, historical parallels together with the market characteristics suggest that both the price increase and the rise in the value of imports are going to be stronger for natural gas. The resulting increase in the EU-wide import values relative to 2021 ranges from 1.8 to 2.6 times for the considered oil scenarios, and from 3.7 to 5.5 times for the natural gas scenarios.

Unsurprisingly, the most sizable import costs will be faced by the larger EU Member States, as well as those most dependent on oil and gas imports. However, all EU countries are going to be affected due to the market price increase. While the relative rise in the import costs of oil and oil products will be fairly uniformly met across the EU states, the increase in the costs of gas exports will vary greatly, with the largest relative losses faced by the EU states that are currently more exposed to Russian gas imports.

The above figures provide a rough assessment of the potential costs of a Russian fossil fuels ban. The approach does not take into account substitutability between different fuels and resulting cross-effects on prices, which implies that the costs could be both under- and overestimated. It has a very limited and simplistic take on the demand reaction to a price increase, which again may lead to either over- or underestimation of the effect. Neither does it account for the consequences of such price increases on the costs of electricity and implications for the non-energy sector within the economies. The latter may, again, be differentially affected depending on the industrial composition and their relative energy intensity. Another factor to consider is the interconnectivity between the EU economies – for example, an increase in Germany’s energy bill is likely to have a large impact on the entire EU. Moreover, the use of the import bill as a proxy for the overall effect on the economy may have further limitations in the case of supply shortage and rationing. To provide a more precise estimate of the impact of such a ban on the entire economy, for instance on GDP, one would require an extensive and sophisticated model along the lines of the CGE approach, relying on large amounts of data (Bachmann et al. (2022) provide an excellent example of such a study of the effect on Germany). This, however, is beyond the scope of the current assessment.

Still, even this relatively simplistic assessment of import costs of a Russian energy ban offers sufficient food for thought for the discussion of the scale of damage across the EU Member States and the feasibility of oil and gas sanctions. For example, the assessment suggests that an oil ban is likely to yield relative parity across the Member States in terms of the increase in the 2022 oil import bill as compared to the 2021 level. This would imply that, were the EU to decide on a gradual sanctioning of Russian oil and gas, it would be easier to reach an EU-wide agreement on oil sanctions. In turn, moving away from Russian gas – due to either the decision to ban gas imports or retaliation from Russia in response to oil sanctions, -implies very uneven import cost exposure. Thus, to face the challenge of replacing Russian gas imports, the EU would likely need to implement some kind of energy solidarity mechanism.

References

  • Baumeister, C., & Lutz Kilian. (2016). “Forty Years of Oil Price Fluctuations: Why the Price of Oil May Still Surprise Us.” Journal of Economic Perspectives, 30 (1): 139-60.
  • Bachmann, R., D., Baqaee, C., Bayer, M., Kuhn, B., Moll, A., Peichl, K., Pittel & M. Schularick. (2022). “What if? The Economic Effects for Germany of a Stop of Energy Imports from Russia”, ECONtribute Policy Brief 28/2022.
  • BP. (2021). Statistical Review of World Energy
  • Chepeliev, M., T. Hertel and D. van der Mensbrugghe. (2022). “Cutting Russia’s fossil exports: Short-term pain for long-term gain”, VoxEU.org, 9 March.
  • Fulwood, M., Sharples J., & J. Henderson. (2022). ”Ukraine Invasion: What This Means for the European Gas Market”, The Oxford Institute of Energy Studies, March
  • Guriev, S. & O. Itskhoki. (2022). “The Economic Rationale for Oil and Gas Embargo on Putin’s Regime”.
  • IEA. (2022). “A 10-Point Plan to Reduce the European Union’s Reliance on Russian Natural Gas”.
  • Hilgenstock, B. & E. Ribakova. (2022). “Macro Notes – Russia Sanctions: A Possible Energy Embargo”, Institute of International Finance
  • Le Coq, C. & E. Paltseva. (2009). “Measuring the security of external energy supply in the European Union”, Energy Policy 37: 4474-4481.
  • Le Coq, C. & E. Paltseva. (2012). “Assessing Gas Transit Risks: Russia vs. the EU”, Energy Policy, 4: 642-650.
  • McWilliams, B., Sgaravatti G., Tagliapietra S., & Zachmann G. (2022). “Can Europe Survive Painlessly without Russian Gas?”, Bruegel, 27 February.
  • McWilliams, B., Sgaravatti G.,  & Zachmann G. (2021). “European Natural Gas Imports”, Bruegel Datasets
  • Rystad Energy. (2022a). “Energy Impact Report, Russia’s Invasion of Ukraine, public version”, March 2
  • Rystad Energy. (2022b). “Energy Impact Report, Russia’s Invasion of Ukraine, public version”, March 21
  • Stehn, S. J., Ball, S., Durre, A., Radde, S., Schnittker, C., Taddei, F. & Quadr, I. (2022). “The Impact of Gas Shortages on the European Economy”, Goldman Sachs, March
  • Y. Daniel. (1992). The Prize: The Epic Quest for Oil, Money, and Power. New York: Simon and Schuster.

Disclaimer: Opinions expressed in policy briefs and other publications are those of the authors; they do not necessarily reflect those of the FREE Network and its research institutes.

Investing, Producing and Paying Taxes Under Weak Property Rights

20220124 Gas Crisis European Energy Image 05

Oil majors often choose to operate in countries with weak property rights. This may appear surprising, since the lack of constraints on governments may create incentives to renege on initial promises with firms and renegotiate tax payments once investments have occurred and, in the worst case, expropriate the firm. In theory, backloading investments, production and tax payments may be used to create self-enforcing agreements which do not depend on legal enforcement. Using a new dataset covering the universe of oil majors’ assets that started production between 1974 and 1999, we indeed show in a recent CEPR Working Paper (Paltseva, Toews, and Troya-Martinez, 2022) that investments, production and tax payments are delayed by two years in countries with weak institutions relative to countries with strong institutions. Extending the dataset back to 1960 and exploiting the transition to a new world oil order where expropriation became easier, allows us to interpret our estimates as causal. In particular, prior to the transition expropriations were not feasible, due to the omnipresent and credible military threat imposed by the oil majors’ countries of origin. As the new order sat in, a new equilibrium emerged, in which expropriations became a feasible option. This transition incited an increase in expropriations and forced firms to adjust to the new reality by backloading contracts.

The Hold-up Problem

In December of 2006, when the oil price was climbing towards new heights, the Guardian reported that the Russian government was about to successfully force Shell into transferring their controlling stake in a huge liquified gas project back into the hands of the government. While officially this was motivated by environmental concerns surrounding the Sakhalin-II project, most observers agreed that this might be considered a textbook example of the hold-up problem faced by oil firms when investing in countries with limited constraints on the executive. At its core, the hold-up problem refers to the idea that the government may renege on the initial promise and appropriate a bigger share of the pie once investments have been made. Obviously, this is not an oil-specific issue and concerns any type of investment in countries with weak property rights. Academics, who worked on resolving these issues, suggest the use of self-enforcing agreements (Thomas and Worrall, 1994). These agreements use future gains from trade (as opposed to third-party enforcement) to incentivize the governments not to expropriate. And while the theoretical literature has prolifically developed over the last 30 years (Ray, 2002), to the best of our knowledge no empirical evidence has been provided on the use and dynamic patterns of self-enforcing backloaded contracts.

Data and Sample

In Paltseva, Toews and Troya-Martinez (2022), we rely on micro-level data on oil and gas projects provided by Rystad Energy, an energy consultancy based in Norway. Its database contains current and historical data on physical, geological and financial features for the universe of oil and gas assets. We focus on the assets owned by the oil majors (BP, Chevron, ConocoPhilips, Eni, ExxonMobile, Shell, and Total) using all assets that started production between 1960 and 1999, leaving us with a total of 3494 assets. An asset represents a production site with at least one well, operated by at least one firm, and with the initial property right being owned by at least one country. Being able to conduct the analysis on the asset level is particularly valuable since it allows us to control for a large number of confounding factors and rule out several alternative explanations of our main finding.

Moreover, there are three advantages of focusing our analysis on the oil and gas sector in general and the oil majors in particular. First, the sunk investments in the development of oil and gas wells are enormous, making the hold-up problem in the oil sector particularly severe. Second, oil majors have been around for many years since all of them were created before WWII. This provides us with a sufficiently long horizon to capture backloading over time. Third, the majors are simultaneously investing in many countries which provides us the necessary cross-sectional variation in institutional quality. To differentiate between countries with weak and strong institutions, we use a specific dimension from the Polity IV dataset measuring the constraints on the executive. The location of all the assets disaggregated by firm as well as a binary distinction in a country’s institutional quality is shown in Figure 1.

Figure 1. Spatial distribution of assets and institutional quality

Note: Location and ownership of assets are provided by Rystad Energy. The executive constraint indicator is taken from Polity IV and we use the median from the period 1950 to 1975 to define whether the country is considered to have strong or weak institutions. The cut-off of 5 implies that roughly 1/3 of the countries are defined as having strong institutions and roughly 50% of all the assets which started operation between 1950 and 2000 are located in countries with weak institutions.

A Stylized Fact

For the empirical analysis, our variables of interest are investment, production and tax payments normalized by the respective asset-specific cumulative sum over a period of 35 years. The resulting cumulative shares are depicted in Figure 2. We focus on physical production which, in addition to being considered the most reliable measure of an asset’s activity, does not require discounting. Real values of investment and tax payment depict a very similar picture. Most importantly, the dashed lines illustrate that 2/3 of cumulative production shares are reached approximately two years earlier in countries with strong institutions, in comparison to countries with weak institutions. The average asset size does not differ significantly between these groups. Such delays are costly for countries with weak institutions. Our back-of-the-envelope calculation suggests that the average country loses around 120 million US$ per year due to the delayed production and the respective tax payments. We confirm that the two-year delay cannot be explained by geographical, geological or financial confounders such as the location of the well, fuel type or contract features.

Figure 2. Years to reach 66% of cumulative flows in 35 years

Note: We use the Epanechnikov kernel with an optimally chosen bandwidth to plot the cumulative production over the 35-year life span of the asset. We group countries into two groups with weak and strong institutions according to Polity IV. This figure contains assets that started producing between 1975 and 1999.

The Transition to a New World Order

To push towards a causal interpretation of the results, we exploit the global transition to a new world oil order. This change affected the probability of expropriations in countries with weak institutions while leaving countries with strong institutions unaffected. In particular, the post-WWII weakening of the OECD members as political and military actors provides a natural experiment of global proportions. Expropriations are first viewed as impossible due to the military threat of British, French and US armies, and then become possible due to a global movement aiming at returning sovereignty over natural resources to the resource-rich economies. In the words of Daniel Yergin (1993): “The postwar petroleum order in the Middle East had been developed and sustained under American-British ascendancy. By the latter half of the 1960s, the power of both nations was in political recession, and that meant the political basis for the petroleum order was also weakening. […] For some in the developing world […] the lessons of Vietnam were […] that the dangers and costs of challenging the United States were less than they had been in the past, certainly nowhere near as high as they had been for Mossadegh, [the Iranian politician challenging UK and US before the coup d’etat in 1953], while the gains could be considerable.” Consequently, the number of expropriations has grown substantially since 1968, marking the transition to a new world order (Figure 3). However, Kobrin (1980) finds that even during the peak of expropriations in 1960-1976, only less than 5 % of all foreign-owned firms in the developing countries were expropriated. We suggest that this is, at least partly, thanks to the use of backloaded self-enforcing contracts.

Figure 3. Transition to a new world order

Note: Data on firm expropriations across all industries from Kobrin (1984).

Indeed, focusing on the years around the transition to the new world oil order, we show that there have not been any differences in investment, production or tax payments dynamics between countries with weak and strong institutions in the early years of the 1960s. But investment, production and the payments of taxes started experiencing significant delays after 1968 in the countries with weak institutions, using countries with strong institutions as a control. Intuitively, the omnipresence of a credible military threat in response to an expropriation served as an effective substitute for strong local formal institutions and eliminated the need for contracts to be self-enforced and backloaded in countries with weak institutions. Once this threat disappeared, contracts had to be self-enforcing and investment, production and tax payments had to be backloaded to decrease the risk of being expropriated by the governments of resource-rich economies. Theoretically, these initial differences in contract backloading between countries with strong and weak institutions should disappear in the long run, because the future gains from trade need to materialize eventually. We confirm empirically that this point is reached on average 20 years after firms start a contractual relationship with a country.

Conclusion

We provide evidence that oil firms seem to backload contracts in countries with weak institutions. We show that such backloading appears in the data during the transition to a new world order since 1968, when firms were in need of a new mechanism to deal with weak property rights and the risk of expropriations. We estimate the cost of such delays to be around 120 US$ per country and year. While this cost is high, it is important to emphasize that in the absence of such backloading, forward-looking CEOs of oil majors would often choose not to invest in the first place, since they would anticipate the severe commitment problems (Cust and Harding, 2020). Thus, as a second-best, the cost of the backloading may be marginal compared to the value added from trade when oil majors are willing to invest in countries with weak institutions and questionable property rights.

References

 

Russia: Increasing Concentration of the Economy and Low Investment

Author: Oleg Shibanov, New Economic School and Corporate University of Sberbank.

The Russian economy became more concentrated in 2014. The new RBC-500 rating shows that the 643 largest companies in Russia produce 77% of the country’s GDP. Moreover, 94% of the net profit of these companies was generated in the oil and gas sector. This is up from 71% in 2013. This increasing concentration appears unstable at times of huge external shocks on commodity prices.