SlideShare une entreprise Scribd logo
1  sur  5
Télécharger pour lire hors ligne
Review of the
                                                                                                                        Simeon Djankov
                                                                                                                        and Peter Ladegaard


Dutch Administrative
                                                                                                                        The World Bank Group




Simplification Programme
Introduction
This note is a progress assessment of the Dutch government’s recent regulatory reform ini-
tiatives. The assessment is carried out in light of the World Bank Group’s 2007 examination
of The Netherlands’ 2003–2007 Administrative Burdens Reduction Programme. It is based on
documentation provided by the Dutch Government’s Regulatory Reform Group as well as in-
terviews with Dutch officials in July and September 2008.



Major findings of the 2007 review                                                2. Broadening the regulatory reform focus from
                                                                                    a focus on administrative burdens towards the
The World Bank Group’s 2007 review concluded                                        broader impacts of regulation, and building on a
that the Dutch regulatory reform programme was the                                  strengthened system for Regulatory Impact As-
world’s leader. Based on an innovative design—a 25%                                 sessment (RIA) to integrate assessments of newly-
target reduction in regulatory costs, a link between                                proposed regulations;
regulatory reforms and the budget cycle, and the es-
tablishment of ACTAL (the Dutch Advisory Board                                   3. Setting a new 25% target for reduction in regula-
on Administrative Burden) as an independent watch-                                  tory costs by 2011. The new target would cover
dog of the reforms—the program was well under way                                   both information and direct compliance costs, in
to reduce administrative burdens on businesses by the                               the latter addressing the major regulatory con-
targeted 4 billion Euro. The review also identified a                               straints faced by businesses. A new baseline mea-
number of important challenges and critical steps nec-                              surement of regulatory costs going beyond admin-
essary for the Dutch government to take to remain a                                 istrative burden reductions would benefit from the
world leader in regulatory reform.1 Recommendations                                 advanced lessons of other countries;
focused on the following areas of improvement:
                                                                                 4. Using business surveys as a measurement tool in
1. Institutional consolidation and strengthen-                                      addition to the Standard Cost Model. Such sur-
   ing by bringing together miscellaneous regula-                                   veys could identify the biggest annoyance costs
   tory simplification units under a single entity,                                 perceived by businesses, as well as be used to
   and by strengthening the voice of businesses in                                  benchmark changes in perceptions as a result of
   ACTAL and IPAL;                                                                  reforms;



1
    For the full report and recommendations, see http://www.doingbusiness.org/features BurdenReductionProgramme.aspx.



                                                                                                                                          u
v      Review oF the Dutch ADministRAtive simPliFicAtion PRogRAmme




5. Significantly expanding and reorienting com-                                          isterial Steering Committee on Regulatory Pres-
   munication efforts. Dedicated communications                                          sure headed by the Prime Minister. Actal has been
   staff within IPAL are needed to present messages                                      re-established as a statutory body with both regu-
   to the public and ensure that businesses know how                                     latory review and advisory functions; the newly-
   to take advantage of the reforms; as well as to learn                                 appointed Wientjes Business Advisory Commit-
   from businesses on what else can be done or needs                                     tee of private sector representatives offers feedback
   to be done differently;                                                               on the Government’s regulatory reform initiatives.
                                                                                         (This action, together with the action below, get
6. Improving data quality, transparency and acces-                                       an A+ in terms of addressing the first issue identi-
   sibility to compliance cost measurements. New                                         fied by our 2007 report)
   measures could include: a central database, clear
   links from aggregated burdens to specific regula-                                •	 A shift towards other regulatory impacts includ-
   tory obligations, and public access to cost data and                                ing through a systematic attention to regulatory
   measurements.                                                                       “annoyance costs” and separate monitoring of en-
                                                                                       terprise perceptions; through the review of com-
Recent Regulatory Reform Initiatives                                                   pliance costs of the 30 most problematic laws as
                                                                                       seen from the businesses’ perspective; and through
The release of the WBG report coincided with the po-                                   the new focus on the quality of regulatory ser-
litical election cycle and with associated preparations of                             vices and transactions provided by public agencies.
a new coalition agreement. Announced on 17 February                                    (This action gets an A- in addressing the second
2007, the Coalition Agreement of the Balkenende IV                                     recommendation of our 2007 report)
Government set out a number of high-level priorities
for the continued efforts to reduce regulatory burdens                              •	 New administrative burden reduction targets, to be
for businesses.2 A subsequent White Paper ( July 2007)                                 achieved by 2011: The Government has announced
expanded and elaborated on these commitments.3 Ma-                                     a number of new 25% burden reduction targets to
jor new initiatives to-date include:                                                   be achieved for i) administrative burdens (net); and
                                                                                       ii) burdens associated with government inspections,
•	 Creation of the Regulatory Reform Group and                                         Furthermore burdens associated with applying for
   strengthening of Actal. The RRG integrates the                                      government grants will be reduced “substantially”. In
   former project unit, IPAL (Ministry of Finance),                                    addition, the government has reached an agreement
   with three separate units previously dealing with                                   with the association of local governments on a 25%
   different aspects of regulatory impacts on busi-                                    reduction for local governments.4 (This action gets
   nesses in the Ministry of Economic Affairs. Lo-                                     an A in terms of addressing the third recommenda-
   cated in Ministry of Finance, the group reports                                     tion of our 2007 report. One caveat is that the mul-
   to the Secretaries of State for Finance and for                                     tiplicity of targets may create confusion—see below
   Economic Affairs. The group reports biannually                                      how the Regulatory Reform group has come up with
   to Parliament and on an ad-hoc basis to a Min-                                      a dashboard measure to fix this.)

2
    see http://www.government.nl/government/coalition_agreement#internelink5
3
    “Action Plan Reduction Red tape for Businesses the netherlands 2007-2011” published by the Regulatory Reform group, see http://www.ez.nl/dsresource?
    objectid=159422&type=PDF
4
    As part of the overall 25 % target on administrative burdens the Dutch government also identifies measures to be included in the eu commission target to
    reduce administrative burdens at the eu level with 25%.
simeon DjAnkov AnD PeteR lADegAARD — the woRlD BAnk gRouP   w


•	 Implementation of business surveys, to gauge            dates for new business regulation (twice yearly), and
   annoyance costs and identify greatest perceived         on-line compliance support to businesses.
   obstacles for business. (This action gets an A+ in
   terms of addressing the fourth issue identified by      By the end of 2007, according to official data pre-
   our 2007 report. This is a difficult exercise and       sented by the Dutch Government to Parliament, ad-
   the speed with which it has been implemented in         ministrative burdens had been reduced by 23.9% from
   the Netherlands is impressive. There will likely be     2003 to 2007 as measured against the 2003 baseline.
   some need to adjust the surveys once they have
   been tried once.)                                       Further Assessment of Initiatives

•	 New communication strategy in place. This is a          Despite the new government’s enunciated commit-
   welcome and much needed addition to the reform          ment to the regulatory simplification agenda, the first
   programme. Until recently, the communication ef-        several months of the new program were character-
   forts were unimaginative and with little chance to      ized by some degree of uncertainty about the pro-
   reach the intended audience. New channels of com-       gram’ viability. This had in part to do with transitions
   munication have been opened, through mass media,        at the political level, with a growing feeling of reform
   and the creation of business spokespeople will un-      fatigue among some of the directly involved officials,
   doubtedly be very valuable. A word of caution: ex-      and with the practical difficulties associated with the
   perience in other countries suggests that the results   reorientation of the reform agenda.
   of the new communication strategy are only likely to
   be seen in six months to a year after implementation    In the following months, however, the program gained
   starts. Hence, management may exercise patience         momentum and a number of critical milestones were
   in seeing benefits from this significant investment.    reached (see Recent Regulatory Reform Initiatives),
   (This action gets an A in terms of addressing the       which put the program on track for achieving the
   fifth recommendation of our 2007 report.)               set targets, and for continuing to be the leading and
                                                           (now) most innovative regulatory reform program in
•	 Improvements in data quality and method-                the world. Overall, the Dutch Government has car-
   ologies, including through a new baseline mea-          ried through a remarkable restructuring and strength-
   surement of all administrative compliance costs         ening of the Regulatory Reform Program with a series
   (numbers publicly available); through the gradual       of bold moves to upgrade the Government’s regula-
   development of a new methodology to measure             tory reform agenda.
   “substantive” compliance costs, and through busi-
   ness surveys enabling a better mapping of busi-         The most critical factors now in place include the in-
   nesses’ regulatory reform concerns and priorities.      stitutional consolidation and strengthening of the pro-
   (Still too early to judge the success of this initia-   gram through the RRG, Actal, the Wientjes Commit-
   tive, which addresses the sixth recommendation in       tee, and continued high level political oversight under
   the 2007 report, as the benchmark measurements          the Prime Minister’s auspices. The Program remains
   have only recently become available.)                   focused on results with a number of clear targets and
                                                           strong monitoring mechanism linked to budget cycle.
In addition, a number of other reform initiatives have     The first round of ministries’ identification of simpli-
been launched, such as a more systematic use of the        fication measures bode well for an achievement of the
silence-is-consent rule, common commencement               new reduction target.
x      Review oF the Dutch ADministRAtive simPliFicAtion PRogRAmme




The gradual shift of the regulatory reform agenda                              to be commenced as soon as actual results have been
away from burden reduction and cost cutting towards                            achieved.5 Most of the communication will be chan-
annoyance factors, impacts as perceived by the pri-                            neled through the ‘antwoordvoorbedrijven.nl’ Web
vate sector, and a more broad-based regulatory impact                          site. This digital front office will become the hub of all
perspective also marks a critical turning point. This                          communications addressing the business community.
shift is essential for the continued development of
regulatory reforms in the Netherlands, and should be
continuously broadened towards a regulatory quality                            5. Further Evolution of the
agenda with a balanced and comprehensive apprecia-                                Reform Program
tion of regulation as tool to achieve policy objectives.
A new feature of the program is its communication                              As in other broad-based Regulatory Reform Pro-
strategy. The business community, both companies                               grams, there will be further need to adapt and de-
and individual entrepreneurs, forms the primary tar-                           velop. Some of the issues that may come up for con-
get group. The communication objectives are:                                   sideration include:

•	 Knowledge: Businesses should know that regula-                              •	 Multiplicity of targets. Both from a monitoring
   tory burden and service levels are being addressed,                            and communication perspective, it can be difficult
   that the government is aware of the effect they have,                          to follow 6-8 quantitative regulatory reform tar-
   and that companies are able to complain about reg-                             gets. Merging and consolidating targets may not
   ulations which are seen as inappropriate, irrelevant                           be possible due to their incompatibility (different
   or having a disproportionately high regulatory bur-                            sources of data). Efforts under way to develop an
   den. Sector organizations should be aware of the                               easy-to-communicate scoreboard comprising de-
   ongoing process to reduce regulatory burden.                                   velopments on all targets are a priority.

•	 Attitude: Businesses can acquire a positive view of                         •	 Development of RIA. One important building
   the government’s efforts to reduce regulatory bur-                             bloc of an advanced regulatory management sys-
   den and to improve service.                                                    tem, currently not fully in place in the Netherlands,
                                                                                  is the establishment of an integrated RIA system.
•	 Behavior: Businesses should cooperate with the                                 There is little evidence that the development/evo-
   government to support the efforts to reduce regu-                              lution of a RIA system is at a level comparable
   latory burden and to improve service.                                          with many of the other high-quality institutional
                                                                                  and procedural measures in place to improve regu-
The overall objective of this communication is to in-                             latory quality in the Netherlands.
crease the ‘visibility’ of the reduced regulatory burden.
In order to achieve the desired degree of visibility, there                    •	 Acknowledge performers. Apart from duty and
must also be a tangible message. The communication                                political priorities, there are currently no measures
strategy therefore provides for information activities                            in place to incentivize agencies and individual gov-



5
    the communication campaign was tested in october 2008, and in november the radio commercials and advertisements in newspapers have commenced.
simeon DjAnkov AnD PeteR lADegAARD — the woRlD BAnk gRouP   y


   ernment officials to deliver on the reform agenda.         ogy” of the reforms. A progressive reform agenda
   Internalization of reform incentives through (or           might be easier to keep alive over the long term
   part of ) performance contracts for officials and          is the message and impacts are more “positive”.
   agencies could be considered.                              Substantially, there are clear limits to how far the
                                                              Netherlands, a highly developed and well-gov-
The Dutch tradition of a detailed and thoroughly ne-          erned economy, can push regulatory cost cutting
gotiated coalition agreement guiding the entire policy        as a comparative advantage. In stead there should
cycle puts limitations on the extent to which ongoing         be stronger and more convincing benefits in pro-
programs can be adapted mid way through the gov-              moting the Dutch Regulatory System as provid-
ernment’s tenure. With this in mind, it is important          ing predictability, transparency, low risks, as well
at an early stage to consider new components and              as low costs for entrepreneurs and investors.
ideas to guide considerations about the next Regula-
tory Reform Program.                                      •	 When the communication initiative yields first re-
                                                             sults, likely in the spring of 2009, there needs to
Going forward, the following aspect may be consid-           be an evaluation on what segments of the target
ered in the continued evolution of the Netherlands’          group are reached and with what effect. This may
Regulatory Reform Program:                                   necessitate further innovations. The communica-
                                                             tion programme is likely to be mature by 2010, in
•	 Begin to gradually shift the political rhetoric and       time for considering what role it can play in the
   policy focus from “cost cutting” to “benefits”. This      next reform cycle. n
   would not only mark a useful change in “phraseol-

Contenu connexe

Similaire à World Bank Report Dutch Administrative Burdens 2008

Conference_20130305_Peter Bex
Conference_20130305_Peter BexConference_20130305_Peter Bex
Conference_20130305_Peter BexNordic Innovation
 
Fiscal Consolidation and Policy Reviews
Fiscal Consolidation and Policy ReviewsFiscal Consolidation and Policy Reviews
Fiscal Consolidation and Policy ReviewsJean-Marc Lepain
 
A Reference Model For A Service Oriented Government
A Reference Model For A Service Oriented GovernmentA Reference Model For A Service Oriented Government
A Reference Model For A Service Oriented GovernmentMario Halfhide
 
CAN SOMEONE PLEASE EXPLAIN CARBON ACCOUNTING AND DEFINE WHAT A CARBON LEDGER ...
CAN SOMEONE PLEASE EXPLAIN CARBON ACCOUNTING AND DEFINE WHAT A CARBON LEDGER ...CAN SOMEONE PLEASE EXPLAIN CARBON ACCOUNTING AND DEFINE WHAT A CARBON LEDGER ...
CAN SOMEONE PLEASE EXPLAIN CARBON ACCOUNTING AND DEFINE WHAT A CARBON LEDGER ...Workiva
 
Implementing the One-for-One Rule: Background, Mechanics, Results and Lessons
Implementing the One-for-One Rule: Background, Mechanics, Results and Lessons Implementing the One-for-One Rule: Background, Mechanics, Results and Lessons
Implementing the One-for-One Rule: Background, Mechanics, Results and Lessons OECD Governance
 
The Cash Basis Ipsas An Alternative View
The Cash Basis Ipsas An Alternative ViewThe Cash Basis Ipsas An Alternative View
The Cash Basis Ipsas An Alternative Viewicgfmconference
 
Free balance-wp-towards-budget-2-0
Free balance-wp-towards-budget-2-0 Free balance-wp-towards-budget-2-0
Free balance-wp-towards-budget-2-0 FreeBalance
 
Concept note for updating yemen pfm action plan
Concept note for updating yemen pfm action planConcept note for updating yemen pfm action plan
Concept note for updating yemen pfm action planJean-Marc Lepain
 
Emerging issues - CPA congress 2014
Emerging issues -  CPA congress 2014Emerging issues -  CPA congress 2014
Emerging issues - CPA congress 2014Synergy
 
The presidents-framework-for-business-tax-reform-an-update-04-04-2016
The presidents-framework-for-business-tax-reform-an-update-04-04-2016The presidents-framework-for-business-tax-reform-an-update-04-04-2016
The presidents-framework-for-business-tax-reform-an-update-04-04-2016Dr Dev Kambhampati
 
Turnbull-guidance-October-2005
Turnbull-guidance-October-2005Turnbull-guidance-October-2005
Turnbull-guidance-October-2005Khaldoun Abualulla
 
Risk Analysis in Audit Plannig.doc
Risk Analysis in Audit Plannig.docRisk Analysis in Audit Plannig.doc
Risk Analysis in Audit Plannig.docNeerajOjha17
 
Italy's Tax Administration: OECD Review of Institutional and Organisational A...
Italy's Tax Administration: OECD Review of Institutional and Organisational A...Italy's Tax Administration: OECD Review of Institutional and Organisational A...
Italy's Tax Administration: OECD Review of Institutional and Organisational A...OECDtax
 
More with less 1st chapter marr
More with less 1st chapter   marrMore with less 1st chapter   marr
More with less 1st chapter marrmvlsbs
 

Similaire à World Bank Report Dutch Administrative Burdens 2008 (20)

Conference_20130305_Peter Bex
Conference_20130305_Peter BexConference_20130305_Peter Bex
Conference_20130305_Peter Bex
 
Fiscal Consolidation and Policy Reviews
Fiscal Consolidation and Policy ReviewsFiscal Consolidation and Policy Reviews
Fiscal Consolidation and Policy Reviews
 
A Reference Model For A Service Oriented Government
A Reference Model For A Service Oriented GovernmentA Reference Model For A Service Oriented Government
A Reference Model For A Service Oriented Government
 
CAN SOMEONE PLEASE EXPLAIN CARBON ACCOUNTING AND DEFINE WHAT A CARBON LEDGER ...
CAN SOMEONE PLEASE EXPLAIN CARBON ACCOUNTING AND DEFINE WHAT A CARBON LEDGER ...CAN SOMEONE PLEASE EXPLAIN CARBON ACCOUNTING AND DEFINE WHAT A CARBON LEDGER ...
CAN SOMEONE PLEASE EXPLAIN CARBON ACCOUNTING AND DEFINE WHAT A CARBON LEDGER ...
 
Accounting for Uncertainty in Income Taxes
Accounting for Uncertainty in Income TaxesAccounting for Uncertainty in Income Taxes
Accounting for Uncertainty in Income Taxes
 
Iamtax
IamtaxIamtax
Iamtax
 
Iamtax
IamtaxIamtax
Iamtax
 
Implementing the One-for-One Rule: Background, Mechanics, Results and Lessons
Implementing the One-for-One Rule: Background, Mechanics, Results and Lessons Implementing the One-for-One Rule: Background, Mechanics, Results and Lessons
Implementing the One-for-One Rule: Background, Mechanics, Results and Lessons
 
The Cash Basis Ipsas An Alternative View
The Cash Basis Ipsas An Alternative ViewThe Cash Basis Ipsas An Alternative View
The Cash Basis Ipsas An Alternative View
 
20081121 por-02
20081121 por-0220081121 por-02
20081121 por-02
 
Free balance-wp-towards-budget-2-0
Free balance-wp-towards-budget-2-0 Free balance-wp-towards-budget-2-0
Free balance-wp-towards-budget-2-0
 
Managing performance
Managing performanceManaging performance
Managing performance
 
Concept note for updating yemen pfm action plan
Concept note for updating yemen pfm action planConcept note for updating yemen pfm action plan
Concept note for updating yemen pfm action plan
 
Emerging issues - CPA congress 2014
Emerging issues -  CPA congress 2014Emerging issues -  CPA congress 2014
Emerging issues - CPA congress 2014
 
Managing benefits at the DVLA
Managing benefits at the DVLAManaging benefits at the DVLA
Managing benefits at the DVLA
 
The presidents-framework-for-business-tax-reform-an-update-04-04-2016
The presidents-framework-for-business-tax-reform-an-update-04-04-2016The presidents-framework-for-business-tax-reform-an-update-04-04-2016
The presidents-framework-for-business-tax-reform-an-update-04-04-2016
 
Turnbull-guidance-October-2005
Turnbull-guidance-October-2005Turnbull-guidance-October-2005
Turnbull-guidance-October-2005
 
Risk Analysis in Audit Plannig.doc
Risk Analysis in Audit Plannig.docRisk Analysis in Audit Plannig.doc
Risk Analysis in Audit Plannig.doc
 
Italy's Tax Administration: OECD Review of Institutional and Organisational A...
Italy's Tax Administration: OECD Review of Institutional and Organisational A...Italy's Tax Administration: OECD Review of Institutional and Organisational A...
Italy's Tax Administration: OECD Review of Institutional and Organisational A...
 
More with less 1st chapter marr
More with less 1st chapter   marrMore with less 1st chapter   marr
More with less 1st chapter marr
 

Plus de Friso de Jong

E-invoicing Yearbook 2017 - Q1
E-invoicing Yearbook 2017 - Q1E-invoicing Yearbook 2017 - Q1
E-invoicing Yearbook 2017 - Q1Friso de Jong
 
Elektronische facturatie binnen heineken
Elektronische facturatie binnen heineken Elektronische facturatie binnen heineken
Elektronische facturatie binnen heineken Friso de Jong
 
Mug 'core' cross industry invoice european message implementation guideline...
Mug   'core' cross industry invoice european message implementation guideline...Mug   'core' cross industry invoice european message implementation guideline...
Mug 'core' cross industry invoice european message implementation guideline...Friso de Jong
 
Electronic invoice processes in europe and enablement of sm es to use them ef...
Electronic invoice processes in europe and enablement of sm es to use them ef...Electronic invoice processes in europe and enablement of sm es to use them ef...
Electronic invoice processes in europe and enablement of sm es to use them ef...Friso de Jong
 
E invoicing action plan, state of play
E invoicing action plan, state of playE invoicing action plan, state of play
E invoicing action plan, state of playFriso de Jong
 
Demonstration compliance toolbox
Demonstration compliance toolboxDemonstration compliance toolbox
Demonstration compliance toolboxFriso de Jong
 
Cwa sustainable compliance guidelines
Cwa sustainable compliance guidelinesCwa sustainable compliance guidelines
Cwa sustainable compliance guidelinesFriso de Jong
 
Code of practice and glossary of terms
Code of practice and glossary of termsCode of practice and glossary of terms
Code of practice and glossary of termsFriso de Jong
 
Awareness and promotion of electronic e invoicing
Awareness and promotion of electronic e invoicingAwareness and promotion of electronic e invoicing
Awareness and promotion of electronic e invoicingFriso de Jong
 
Agenda workshop electronic invoices, phase 3
Agenda workshop electronic invoices, phase 3Agenda workshop electronic invoices, phase 3
Agenda workshop electronic invoices, phase 3Friso de Jong
 
Open meeting work group 3
Open meeting   work group 3Open meeting   work group 3
Open meeting work group 3Friso de Jong
 
E invoicing as accelerator for cross-industry edi
E invoicing as accelerator for cross-industry ediE invoicing as accelerator for cross-industry edi
E invoicing as accelerator for cross-industry ediFriso de Jong
 
Tax-compliant global electronic invoice lifecycle management
Tax-compliant global electronic invoice lifecycle managementTax-compliant global electronic invoice lifecycle management
Tax-compliant global electronic invoice lifecycle managementFriso de Jong
 
Wetsvoorstel implementatie richtlijn factureringsregels
Wetsvoorstel implementatie richtlijn factureringsregelsWetsvoorstel implementatie richtlijn factureringsregels
Wetsvoorstel implementatie richtlijn factureringsregelsFriso de Jong
 
Nader rapport implementatie richtlijn factureringsregels
Nader rapport implementatie richtlijn factureringsregelsNader rapport implementatie richtlijn factureringsregels
Nader rapport implementatie richtlijn factureringsregelsFriso de Jong
 
Memorie van toelichting implementatie richtlijn factureringsregels
Memorie van toelichting implementatie richtlijn factureringsregelsMemorie van toelichting implementatie richtlijn factureringsregels
Memorie van toelichting implementatie richtlijn factureringsregelsFriso de Jong
 
Advies raad van state implementatie richtlijn factureringsregels
Advies raad van state implementatie richtlijn factureringsregelsAdvies raad van state implementatie richtlijn factureringsregels
Advies raad van state implementatie richtlijn factureringsregelsFriso de Jong
 
Ricoh case carante group sep 2011
Ricoh case carante group sep 2011Ricoh case carante group sep 2011
Ricoh case carante group sep 2011Friso de Jong
 
Rules of procedure of the european multi stakeholder forum on electronic invo...
Rules of procedure of the european multi stakeholder forum on electronic invo...Rules of procedure of the european multi stakeholder forum on electronic invo...
Rules of procedure of the european multi stakeholder forum on electronic invo...Friso de Jong
 
Proposal for a work programme of the european multi stakeholder forum on e-in...
Proposal for a work programme of the european multi stakeholder forum on e-in...Proposal for a work programme of the european multi stakeholder forum on e-in...
Proposal for a work programme of the european multi stakeholder forum on e-in...Friso de Jong
 

Plus de Friso de Jong (20)

E-invoicing Yearbook 2017 - Q1
E-invoicing Yearbook 2017 - Q1E-invoicing Yearbook 2017 - Q1
E-invoicing Yearbook 2017 - Q1
 
Elektronische facturatie binnen heineken
Elektronische facturatie binnen heineken Elektronische facturatie binnen heineken
Elektronische facturatie binnen heineken
 
Mug 'core' cross industry invoice european message implementation guideline...
Mug   'core' cross industry invoice european message implementation guideline...Mug   'core' cross industry invoice european message implementation guideline...
Mug 'core' cross industry invoice european message implementation guideline...
 
Electronic invoice processes in europe and enablement of sm es to use them ef...
Electronic invoice processes in europe and enablement of sm es to use them ef...Electronic invoice processes in europe and enablement of sm es to use them ef...
Electronic invoice processes in europe and enablement of sm es to use them ef...
 
E invoicing action plan, state of play
E invoicing action plan, state of playE invoicing action plan, state of play
E invoicing action plan, state of play
 
Demonstration compliance toolbox
Demonstration compliance toolboxDemonstration compliance toolbox
Demonstration compliance toolbox
 
Cwa sustainable compliance guidelines
Cwa sustainable compliance guidelinesCwa sustainable compliance guidelines
Cwa sustainable compliance guidelines
 
Code of practice and glossary of terms
Code of practice and glossary of termsCode of practice and glossary of terms
Code of practice and glossary of terms
 
Awareness and promotion of electronic e invoicing
Awareness and promotion of electronic e invoicingAwareness and promotion of electronic e invoicing
Awareness and promotion of electronic e invoicing
 
Agenda workshop electronic invoices, phase 3
Agenda workshop electronic invoices, phase 3Agenda workshop electronic invoices, phase 3
Agenda workshop electronic invoices, phase 3
 
Open meeting work group 3
Open meeting   work group 3Open meeting   work group 3
Open meeting work group 3
 
E invoicing as accelerator for cross-industry edi
E invoicing as accelerator for cross-industry ediE invoicing as accelerator for cross-industry edi
E invoicing as accelerator for cross-industry edi
 
Tax-compliant global electronic invoice lifecycle management
Tax-compliant global electronic invoice lifecycle managementTax-compliant global electronic invoice lifecycle management
Tax-compliant global electronic invoice lifecycle management
 
Wetsvoorstel implementatie richtlijn factureringsregels
Wetsvoorstel implementatie richtlijn factureringsregelsWetsvoorstel implementatie richtlijn factureringsregels
Wetsvoorstel implementatie richtlijn factureringsregels
 
Nader rapport implementatie richtlijn factureringsregels
Nader rapport implementatie richtlijn factureringsregelsNader rapport implementatie richtlijn factureringsregels
Nader rapport implementatie richtlijn factureringsregels
 
Memorie van toelichting implementatie richtlijn factureringsregels
Memorie van toelichting implementatie richtlijn factureringsregelsMemorie van toelichting implementatie richtlijn factureringsregels
Memorie van toelichting implementatie richtlijn factureringsregels
 
Advies raad van state implementatie richtlijn factureringsregels
Advies raad van state implementatie richtlijn factureringsregelsAdvies raad van state implementatie richtlijn factureringsregels
Advies raad van state implementatie richtlijn factureringsregels
 
Ricoh case carante group sep 2011
Ricoh case carante group sep 2011Ricoh case carante group sep 2011
Ricoh case carante group sep 2011
 
Rules of procedure of the european multi stakeholder forum on electronic invo...
Rules of procedure of the european multi stakeholder forum on electronic invo...Rules of procedure of the european multi stakeholder forum on electronic invo...
Rules of procedure of the european multi stakeholder forum on electronic invo...
 
Proposal for a work programme of the european multi stakeholder forum on e-in...
Proposal for a work programme of the european multi stakeholder forum on e-in...Proposal for a work programme of the european multi stakeholder forum on e-in...
Proposal for a work programme of the european multi stakeholder forum on e-in...
 

Dernier

Call Girls Jp Nagar Just Call 👗 7737669865 👗 Top Class Call Girl Service Bang...
Call Girls Jp Nagar Just Call 👗 7737669865 👗 Top Class Call Girl Service Bang...Call Girls Jp Nagar Just Call 👗 7737669865 👗 Top Class Call Girl Service Bang...
Call Girls Jp Nagar Just Call 👗 7737669865 👗 Top Class Call Girl Service Bang...amitlee9823
 
VIP Call Girls In Saharaganj ( Lucknow ) 🔝 8923113531 🔝 Cash Payment (COD) 👒
VIP Call Girls In Saharaganj ( Lucknow  ) 🔝 8923113531 🔝  Cash Payment (COD) 👒VIP Call Girls In Saharaganj ( Lucknow  ) 🔝 8923113531 🔝  Cash Payment (COD) 👒
VIP Call Girls In Saharaganj ( Lucknow ) 🔝 8923113531 🔝 Cash Payment (COD) 👒anilsa9823
 
Mondelez State of Snacking and Future Trends 2023
Mondelez State of Snacking and Future Trends 2023Mondelez State of Snacking and Future Trends 2023
Mondelez State of Snacking and Future Trends 2023Neil Kimberley
 
B.COM Unit – 4 ( CORPORATE SOCIAL RESPONSIBILITY ( CSR ).pptx
B.COM Unit – 4 ( CORPORATE SOCIAL RESPONSIBILITY ( CSR ).pptxB.COM Unit – 4 ( CORPORATE SOCIAL RESPONSIBILITY ( CSR ).pptx
B.COM Unit – 4 ( CORPORATE SOCIAL RESPONSIBILITY ( CSR ).pptxpriyanshujha201
 
Yaroslav Rozhankivskyy: Три складові і три передумови максимальної продуктивн...
Yaroslav Rozhankivskyy: Три складові і три передумови максимальної продуктивн...Yaroslav Rozhankivskyy: Три складові і три передумови максимальної продуктивн...
Yaroslav Rozhankivskyy: Три складові і три передумови максимальної продуктивн...Lviv Startup Club
 
Monthly Social Media Update April 2024 pptx.pptx
Monthly Social Media Update April 2024 pptx.pptxMonthly Social Media Update April 2024 pptx.pptx
Monthly Social Media Update April 2024 pptx.pptxAndy Lambert
 
Lucknow 💋 Escorts in Lucknow - 450+ Call Girl Cash Payment 8923113531 Neha Th...
Lucknow 💋 Escorts in Lucknow - 450+ Call Girl Cash Payment 8923113531 Neha Th...Lucknow 💋 Escorts in Lucknow - 450+ Call Girl Cash Payment 8923113531 Neha Th...
Lucknow 💋 Escorts in Lucknow - 450+ Call Girl Cash Payment 8923113531 Neha Th...anilsa9823
 
Dr. Admir Softic_ presentation_Green Club_ENG.pdf
Dr. Admir Softic_ presentation_Green Club_ENG.pdfDr. Admir Softic_ presentation_Green Club_ENG.pdf
Dr. Admir Softic_ presentation_Green Club_ENG.pdfAdmir Softic
 
Value Proposition canvas- Customer needs and pains
Value Proposition canvas- Customer needs and painsValue Proposition canvas- Customer needs and pains
Value Proposition canvas- Customer needs and painsP&CO
 
Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...
Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...
Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...lizamodels9
 
MONA 98765-12871 CALL GIRLS IN LUDHIANA LUDHIANA CALL GIRL
MONA 98765-12871 CALL GIRLS IN LUDHIANA LUDHIANA CALL GIRLMONA 98765-12871 CALL GIRLS IN LUDHIANA LUDHIANA CALL GIRL
MONA 98765-12871 CALL GIRLS IN LUDHIANA LUDHIANA CALL GIRLSeo
 
John Halpern sued for sexual assault.pdf
John Halpern sued for sexual assault.pdfJohn Halpern sued for sexual assault.pdf
John Halpern sued for sexual assault.pdfAmzadHosen3
 
👉Chandigarh Call Girls 👉9878799926👉Just Call👉Chandigarh Call Girl In Chandiga...
👉Chandigarh Call Girls 👉9878799926👉Just Call👉Chandigarh Call Girl In Chandiga...👉Chandigarh Call Girls 👉9878799926👉Just Call👉Chandigarh Call Girl In Chandiga...
👉Chandigarh Call Girls 👉9878799926👉Just Call👉Chandigarh Call Girl In Chandiga...rajveerescorts2022
 
Call Girls In Panjim North Goa 9971646499 Genuine Service
Call Girls In Panjim North Goa 9971646499 Genuine ServiceCall Girls In Panjim North Goa 9971646499 Genuine Service
Call Girls In Panjim North Goa 9971646499 Genuine Serviceritikaroy0888
 
Boost the utilization of your HCL environment by reevaluating use cases and f...
Boost the utilization of your HCL environment by reevaluating use cases and f...Boost the utilization of your HCL environment by reevaluating use cases and f...
Boost the utilization of your HCL environment by reevaluating use cases and f...Roland Driesen
 
KYC-Verified Accounts: Helping Companies Handle Challenging Regulatory Enviro...
KYC-Verified Accounts: Helping Companies Handle Challenging Regulatory Enviro...KYC-Verified Accounts: Helping Companies Handle Challenging Regulatory Enviro...
KYC-Verified Accounts: Helping Companies Handle Challenging Regulatory Enviro...Any kyc Account
 
7.pdf This presentation captures many uses and the significance of the number...
7.pdf This presentation captures many uses and the significance of the number...7.pdf This presentation captures many uses and the significance of the number...
7.pdf This presentation captures many uses and the significance of the number...Paul Menig
 
Call Girls Electronic City Just Call 👗 7737669865 👗 Top Class Call Girl Servi...
Call Girls Electronic City Just Call 👗 7737669865 👗 Top Class Call Girl Servi...Call Girls Electronic City Just Call 👗 7737669865 👗 Top Class Call Girl Servi...
Call Girls Electronic City Just Call 👗 7737669865 👗 Top Class Call Girl Servi...amitlee9823
 

Dernier (20)

Call Girls Jp Nagar Just Call 👗 7737669865 👗 Top Class Call Girl Service Bang...
Call Girls Jp Nagar Just Call 👗 7737669865 👗 Top Class Call Girl Service Bang...Call Girls Jp Nagar Just Call 👗 7737669865 👗 Top Class Call Girl Service Bang...
Call Girls Jp Nagar Just Call 👗 7737669865 👗 Top Class Call Girl Service Bang...
 
VIP Call Girls In Saharaganj ( Lucknow ) 🔝 8923113531 🔝 Cash Payment (COD) 👒
VIP Call Girls In Saharaganj ( Lucknow  ) 🔝 8923113531 🔝  Cash Payment (COD) 👒VIP Call Girls In Saharaganj ( Lucknow  ) 🔝 8923113531 🔝  Cash Payment (COD) 👒
VIP Call Girls In Saharaganj ( Lucknow ) 🔝 8923113531 🔝 Cash Payment (COD) 👒
 
Mondelez State of Snacking and Future Trends 2023
Mondelez State of Snacking and Future Trends 2023Mondelez State of Snacking and Future Trends 2023
Mondelez State of Snacking and Future Trends 2023
 
B.COM Unit – 4 ( CORPORATE SOCIAL RESPONSIBILITY ( CSR ).pptx
B.COM Unit – 4 ( CORPORATE SOCIAL RESPONSIBILITY ( CSR ).pptxB.COM Unit – 4 ( CORPORATE SOCIAL RESPONSIBILITY ( CSR ).pptx
B.COM Unit – 4 ( CORPORATE SOCIAL RESPONSIBILITY ( CSR ).pptx
 
Yaroslav Rozhankivskyy: Три складові і три передумови максимальної продуктивн...
Yaroslav Rozhankivskyy: Три складові і три передумови максимальної продуктивн...Yaroslav Rozhankivskyy: Три складові і три передумови максимальної продуктивн...
Yaroslav Rozhankivskyy: Три складові і три передумови максимальної продуктивн...
 
Monthly Social Media Update April 2024 pptx.pptx
Monthly Social Media Update April 2024 pptx.pptxMonthly Social Media Update April 2024 pptx.pptx
Monthly Social Media Update April 2024 pptx.pptx
 
Lucknow 💋 Escorts in Lucknow - 450+ Call Girl Cash Payment 8923113531 Neha Th...
Lucknow 💋 Escorts in Lucknow - 450+ Call Girl Cash Payment 8923113531 Neha Th...Lucknow 💋 Escorts in Lucknow - 450+ Call Girl Cash Payment 8923113531 Neha Th...
Lucknow 💋 Escorts in Lucknow - 450+ Call Girl Cash Payment 8923113531 Neha Th...
 
Dr. Admir Softic_ presentation_Green Club_ENG.pdf
Dr. Admir Softic_ presentation_Green Club_ENG.pdfDr. Admir Softic_ presentation_Green Club_ENG.pdf
Dr. Admir Softic_ presentation_Green Club_ENG.pdf
 
Value Proposition canvas- Customer needs and pains
Value Proposition canvas- Customer needs and painsValue Proposition canvas- Customer needs and pains
Value Proposition canvas- Customer needs and pains
 
Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...
Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...
Russian Call Girls In Gurgaon ❤️8448577510 ⊹Best Escorts Service In 24/7 Delh...
 
MONA 98765-12871 CALL GIRLS IN LUDHIANA LUDHIANA CALL GIRL
MONA 98765-12871 CALL GIRLS IN LUDHIANA LUDHIANA CALL GIRLMONA 98765-12871 CALL GIRLS IN LUDHIANA LUDHIANA CALL GIRL
MONA 98765-12871 CALL GIRLS IN LUDHIANA LUDHIANA CALL GIRL
 
John Halpern sued for sexual assault.pdf
John Halpern sued for sexual assault.pdfJohn Halpern sued for sexual assault.pdf
John Halpern sued for sexual assault.pdf
 
unwanted pregnancy Kit [+918133066128] Abortion Pills IN Dubai UAE Abudhabi
unwanted pregnancy Kit [+918133066128] Abortion Pills IN Dubai UAE Abudhabiunwanted pregnancy Kit [+918133066128] Abortion Pills IN Dubai UAE Abudhabi
unwanted pregnancy Kit [+918133066128] Abortion Pills IN Dubai UAE Abudhabi
 
👉Chandigarh Call Girls 👉9878799926👉Just Call👉Chandigarh Call Girl In Chandiga...
👉Chandigarh Call Girls 👉9878799926👉Just Call👉Chandigarh Call Girl In Chandiga...👉Chandigarh Call Girls 👉9878799926👉Just Call👉Chandigarh Call Girl In Chandiga...
👉Chandigarh Call Girls 👉9878799926👉Just Call👉Chandigarh Call Girl In Chandiga...
 
Mifty kit IN Salmiya (+918133066128) Abortion pills IN Salmiyah Cytotec pills
Mifty kit IN Salmiya (+918133066128) Abortion pills IN Salmiyah Cytotec pillsMifty kit IN Salmiya (+918133066128) Abortion pills IN Salmiyah Cytotec pills
Mifty kit IN Salmiya (+918133066128) Abortion pills IN Salmiyah Cytotec pills
 
Call Girls In Panjim North Goa 9971646499 Genuine Service
Call Girls In Panjim North Goa 9971646499 Genuine ServiceCall Girls In Panjim North Goa 9971646499 Genuine Service
Call Girls In Panjim North Goa 9971646499 Genuine Service
 
Boost the utilization of your HCL environment by reevaluating use cases and f...
Boost the utilization of your HCL environment by reevaluating use cases and f...Boost the utilization of your HCL environment by reevaluating use cases and f...
Boost the utilization of your HCL environment by reevaluating use cases and f...
 
KYC-Verified Accounts: Helping Companies Handle Challenging Regulatory Enviro...
KYC-Verified Accounts: Helping Companies Handle Challenging Regulatory Enviro...KYC-Verified Accounts: Helping Companies Handle Challenging Regulatory Enviro...
KYC-Verified Accounts: Helping Companies Handle Challenging Regulatory Enviro...
 
7.pdf This presentation captures many uses and the significance of the number...
7.pdf This presentation captures many uses and the significance of the number...7.pdf This presentation captures many uses and the significance of the number...
7.pdf This presentation captures many uses and the significance of the number...
 
Call Girls Electronic City Just Call 👗 7737669865 👗 Top Class Call Girl Servi...
Call Girls Electronic City Just Call 👗 7737669865 👗 Top Class Call Girl Servi...Call Girls Electronic City Just Call 👗 7737669865 👗 Top Class Call Girl Servi...
Call Girls Electronic City Just Call 👗 7737669865 👗 Top Class Call Girl Servi...
 

World Bank Report Dutch Administrative Burdens 2008

  • 1. Review of the Simeon Djankov and Peter Ladegaard Dutch Administrative The World Bank Group Simplification Programme Introduction This note is a progress assessment of the Dutch government’s recent regulatory reform ini- tiatives. The assessment is carried out in light of the World Bank Group’s 2007 examination of The Netherlands’ 2003–2007 Administrative Burdens Reduction Programme. It is based on documentation provided by the Dutch Government’s Regulatory Reform Group as well as in- terviews with Dutch officials in July and September 2008. Major findings of the 2007 review 2. Broadening the regulatory reform focus from a focus on administrative burdens towards the The World Bank Group’s 2007 review concluded broader impacts of regulation, and building on a that the Dutch regulatory reform programme was the strengthened system for Regulatory Impact As- world’s leader. Based on an innovative design—a 25% sessment (RIA) to integrate assessments of newly- target reduction in regulatory costs, a link between proposed regulations; regulatory reforms and the budget cycle, and the es- tablishment of ACTAL (the Dutch Advisory Board 3. Setting a new 25% target for reduction in regula- on Administrative Burden) as an independent watch- tory costs by 2011. The new target would cover dog of the reforms—the program was well under way both information and direct compliance costs, in to reduce administrative burdens on businesses by the the latter addressing the major regulatory con- targeted 4 billion Euro. The review also identified a straints faced by businesses. A new baseline mea- number of important challenges and critical steps nec- surement of regulatory costs going beyond admin- essary for the Dutch government to take to remain a istrative burden reductions would benefit from the world leader in regulatory reform.1 Recommendations advanced lessons of other countries; focused on the following areas of improvement: 4. Using business surveys as a measurement tool in 1. Institutional consolidation and strengthen- addition to the Standard Cost Model. Such sur- ing by bringing together miscellaneous regula- veys could identify the biggest annoyance costs tory simplification units under a single entity, perceived by businesses, as well as be used to and by strengthening the voice of businesses in benchmark changes in perceptions as a result of ACTAL and IPAL; reforms; 1 For the full report and recommendations, see http://www.doingbusiness.org/features BurdenReductionProgramme.aspx. u
  • 2. v Review oF the Dutch ADministRAtive simPliFicAtion PRogRAmme 5. Significantly expanding and reorienting com- isterial Steering Committee on Regulatory Pres- munication efforts. Dedicated communications sure headed by the Prime Minister. Actal has been staff within IPAL are needed to present messages re-established as a statutory body with both regu- to the public and ensure that businesses know how latory review and advisory functions; the newly- to take advantage of the reforms; as well as to learn appointed Wientjes Business Advisory Commit- from businesses on what else can be done or needs tee of private sector representatives offers feedback to be done differently; on the Government’s regulatory reform initiatives. (This action, together with the action below, get 6. Improving data quality, transparency and acces- an A+ in terms of addressing the first issue identi- sibility to compliance cost measurements. New fied by our 2007 report) measures could include: a central database, clear links from aggregated burdens to specific regula- • A shift towards other regulatory impacts includ- tory obligations, and public access to cost data and ing through a systematic attention to regulatory measurements. “annoyance costs” and separate monitoring of en- terprise perceptions; through the review of com- Recent Regulatory Reform Initiatives pliance costs of the 30 most problematic laws as seen from the businesses’ perspective; and through The release of the WBG report coincided with the po- the new focus on the quality of regulatory ser- litical election cycle and with associated preparations of vices and transactions provided by public agencies. a new coalition agreement. Announced on 17 February (This action gets an A- in addressing the second 2007, the Coalition Agreement of the Balkenende IV recommendation of our 2007 report) Government set out a number of high-level priorities for the continued efforts to reduce regulatory burdens • New administrative burden reduction targets, to be for businesses.2 A subsequent White Paper ( July 2007) achieved by 2011: The Government has announced expanded and elaborated on these commitments.3 Ma- a number of new 25% burden reduction targets to jor new initiatives to-date include: be achieved for i) administrative burdens (net); and ii) burdens associated with government inspections, • Creation of the Regulatory Reform Group and Furthermore burdens associated with applying for strengthening of Actal. The RRG integrates the government grants will be reduced “substantially”. In former project unit, IPAL (Ministry of Finance), addition, the government has reached an agreement with three separate units previously dealing with with the association of local governments on a 25% different aspects of regulatory impacts on busi- reduction for local governments.4 (This action gets nesses in the Ministry of Economic Affairs. Lo- an A in terms of addressing the third recommenda- cated in Ministry of Finance, the group reports tion of our 2007 report. One caveat is that the mul- to the Secretaries of State for Finance and for tiplicity of targets may create confusion—see below Economic Affairs. The group reports biannually how the Regulatory Reform group has come up with to Parliament and on an ad-hoc basis to a Min- a dashboard measure to fix this.) 2 see http://www.government.nl/government/coalition_agreement#internelink5 3 “Action Plan Reduction Red tape for Businesses the netherlands 2007-2011” published by the Regulatory Reform group, see http://www.ez.nl/dsresource? objectid=159422&type=PDF 4 As part of the overall 25 % target on administrative burdens the Dutch government also identifies measures to be included in the eu commission target to reduce administrative burdens at the eu level with 25%.
  • 3. simeon DjAnkov AnD PeteR lADegAARD — the woRlD BAnk gRouP w • Implementation of business surveys, to gauge dates for new business regulation (twice yearly), and annoyance costs and identify greatest perceived on-line compliance support to businesses. obstacles for business. (This action gets an A+ in terms of addressing the fourth issue identified by By the end of 2007, according to official data pre- our 2007 report. This is a difficult exercise and sented by the Dutch Government to Parliament, ad- the speed with which it has been implemented in ministrative burdens had been reduced by 23.9% from the Netherlands is impressive. There will likely be 2003 to 2007 as measured against the 2003 baseline. some need to adjust the surveys once they have been tried once.) Further Assessment of Initiatives • New communication strategy in place. This is a Despite the new government’s enunciated commit- welcome and much needed addition to the reform ment to the regulatory simplification agenda, the first programme. Until recently, the communication ef- several months of the new program were character- forts were unimaginative and with little chance to ized by some degree of uncertainty about the pro- reach the intended audience. New channels of com- gram’ viability. This had in part to do with transitions munication have been opened, through mass media, at the political level, with a growing feeling of reform and the creation of business spokespeople will un- fatigue among some of the directly involved officials, doubtedly be very valuable. A word of caution: ex- and with the practical difficulties associated with the perience in other countries suggests that the results reorientation of the reform agenda. of the new communication strategy are only likely to be seen in six months to a year after implementation In the following months, however, the program gained starts. Hence, management may exercise patience momentum and a number of critical milestones were in seeing benefits from this significant investment. reached (see Recent Regulatory Reform Initiatives), (This action gets an A in terms of addressing the which put the program on track for achieving the fifth recommendation of our 2007 report.) set targets, and for continuing to be the leading and (now) most innovative regulatory reform program in • Improvements in data quality and method- the world. Overall, the Dutch Government has car- ologies, including through a new baseline mea- ried through a remarkable restructuring and strength- surement of all administrative compliance costs ening of the Regulatory Reform Program with a series (numbers publicly available); through the gradual of bold moves to upgrade the Government’s regula- development of a new methodology to measure tory reform agenda. “substantive” compliance costs, and through busi- ness surveys enabling a better mapping of busi- The most critical factors now in place include the in- nesses’ regulatory reform concerns and priorities. stitutional consolidation and strengthening of the pro- (Still too early to judge the success of this initia- gram through the RRG, Actal, the Wientjes Commit- tive, which addresses the sixth recommendation in tee, and continued high level political oversight under the 2007 report, as the benchmark measurements the Prime Minister’s auspices. The Program remains have only recently become available.) focused on results with a number of clear targets and strong monitoring mechanism linked to budget cycle. In addition, a number of other reform initiatives have The first round of ministries’ identification of simpli- been launched, such as a more systematic use of the fication measures bode well for an achievement of the silence-is-consent rule, common commencement new reduction target.
  • 4. x Review oF the Dutch ADministRAtive simPliFicAtion PRogRAmme The gradual shift of the regulatory reform agenda to be commenced as soon as actual results have been away from burden reduction and cost cutting towards achieved.5 Most of the communication will be chan- annoyance factors, impacts as perceived by the pri- neled through the ‘antwoordvoorbedrijven.nl’ Web vate sector, and a more broad-based regulatory impact site. This digital front office will become the hub of all perspective also marks a critical turning point. This communications addressing the business community. shift is essential for the continued development of regulatory reforms in the Netherlands, and should be continuously broadened towards a regulatory quality 5. Further Evolution of the agenda with a balanced and comprehensive apprecia- Reform Program tion of regulation as tool to achieve policy objectives. A new feature of the program is its communication As in other broad-based Regulatory Reform Pro- strategy. The business community, both companies grams, there will be further need to adapt and de- and individual entrepreneurs, forms the primary tar- velop. Some of the issues that may come up for con- get group. The communication objectives are: sideration include: • Knowledge: Businesses should know that regula- • Multiplicity of targets. Both from a monitoring tory burden and service levels are being addressed, and communication perspective, it can be difficult that the government is aware of the effect they have, to follow 6-8 quantitative regulatory reform tar- and that companies are able to complain about reg- gets. Merging and consolidating targets may not ulations which are seen as inappropriate, irrelevant be possible due to their incompatibility (different or having a disproportionately high regulatory bur- sources of data). Efforts under way to develop an den. Sector organizations should be aware of the easy-to-communicate scoreboard comprising de- ongoing process to reduce regulatory burden. velopments on all targets are a priority. • Attitude: Businesses can acquire a positive view of • Development of RIA. One important building the government’s efforts to reduce regulatory bur- bloc of an advanced regulatory management sys- den and to improve service. tem, currently not fully in place in the Netherlands, is the establishment of an integrated RIA system. • Behavior: Businesses should cooperate with the There is little evidence that the development/evo- government to support the efforts to reduce regu- lution of a RIA system is at a level comparable latory burden and to improve service. with many of the other high-quality institutional and procedural measures in place to improve regu- The overall objective of this communication is to in- latory quality in the Netherlands. crease the ‘visibility’ of the reduced regulatory burden. In order to achieve the desired degree of visibility, there • Acknowledge performers. Apart from duty and must also be a tangible message. The communication political priorities, there are currently no measures strategy therefore provides for information activities in place to incentivize agencies and individual gov- 5 the communication campaign was tested in october 2008, and in november the radio commercials and advertisements in newspapers have commenced.
  • 5. simeon DjAnkov AnD PeteR lADegAARD — the woRlD BAnk gRouP y ernment officials to deliver on the reform agenda. ogy” of the reforms. A progressive reform agenda Internalization of reform incentives through (or might be easier to keep alive over the long term part of ) performance contracts for officials and is the message and impacts are more “positive”. agencies could be considered. Substantially, there are clear limits to how far the Netherlands, a highly developed and well-gov- The Dutch tradition of a detailed and thoroughly ne- erned economy, can push regulatory cost cutting gotiated coalition agreement guiding the entire policy as a comparative advantage. In stead there should cycle puts limitations on the extent to which ongoing be stronger and more convincing benefits in pro- programs can be adapted mid way through the gov- moting the Dutch Regulatory System as provid- ernment’s tenure. With this in mind, it is important ing predictability, transparency, low risks, as well at an early stage to consider new components and as low costs for entrepreneurs and investors. ideas to guide considerations about the next Regula- tory Reform Program. • When the communication initiative yields first re- sults, likely in the spring of 2009, there needs to Going forward, the following aspect may be consid- be an evaluation on what segments of the target ered in the continued evolution of the Netherlands’ group are reached and with what effect. This may Regulatory Reform Program: necessitate further innovations. The communica- tion programme is likely to be mature by 2010, in • Begin to gradually shift the political rhetoric and time for considering what role it can play in the policy focus from “cost cutting” to “benefits”. This next reform cycle. n would not only mark a useful change in “phraseol-