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The Overseas Private Investment Corporation (OPIC), a wholly owned U.S. government corporation, is referred to as the U.S. development finance institution (DFI). It provides political risk insurance, project and investment funds financing, and other services to promote U.S. direct investment in developing countries and emerging economies that will have a development impact. It operates under the foreign policy guidance of the Secretary of State. OPIC's governing legislation is the Foreign Assistance Act of 1961, as amended (22 U.S.C. §2191 et seq.).
Congress periodically has extended OPIC's authority to conduct its programs. Over the past several years, Congress has extended OPIC's authority through appropriations law, most recently through April 28, 2017 (FY2017 further continuing resolution, P.L. 114-254). The last multi-year, stand-alone reauthorization took place in 2003 with legislation extending OPIC's authority until September 30, 2007 (P.L. 108-158). Congress also has appropriations, oversight, and other legislative responsibilities related to OPIC.
OPIC's programs are intended to promote U.S. private investment in developing countries by mitigating risks, such as political risks (including currency inconvertibility, expropriation, and political violence). Its financing and insurance are backed by the full faith and credit of the U.S. government. Congress places statutory requirements on OPIC's activities, such as those related to the economic and environmental impacts of projects. OPIC support is available in over 160 countries around the world and across a range of economic sectors. According to OPIC, it extended $4.4 billion in financing and insurance commitments in FY2015. OPIC also reported a record high total exposure of nearly $20 billion at the end of that year. OPIC estimates that since its inception in 1974, it has contributed to about $80 billion in U.S. exports and supported over 280,000 U.S. jobs.
The international context in which OPIC operates has evolved. Foreign direct investment (FDI) flows have overtaken official development assistance (ODA) flows as a primary source of external financing to developing countries. DFIs are playing a more active role in supporting private sector capital flows to developing countries. The composition of DFI players, historically dominated by developed countries, also has evolved, with emerging markets such as China becoming more prominent.
OPIC states that it operates on a "self-sustaining basis," using its own revenues, which include user fees and interest from U.S. Treasury securities. Congress annually sets in legislation OPIC's maximum spending levels for its administrative and program expenses. The FY2016 appropriations act provided $62.8 million for OPIC's administrative expenses to carry out its credit and insurance programs and a transfer of $20 million from its noncredit account for credit program costs. In FY2016, OPIC had a staff of 289 full-time equivalents (estimate).
OPIC presents a number of possible issues for Congress, a key one being whether to renew OPIC's authority and, if so, under what terms. Supporters highlight OPIC's role in filling gaps in private sector investment financing and political risk insurance and helping to level the playing field for U.S. businesses vis-à-vis foreign competitors, while critics argue that OPIC is a form of "corporate welfare," with the private sector better suited to conduct such services, and question OPIC's development benefits. Other issues include OPIC's financial product offerings, policies, activity composition, and organizational structure.
The Overseas Private Investment Corporation (OPIC) is a whollyThe Overseas Private Investment Corporation (OPIC) is a wholly-owned U.S. government corporation that seeks to promote economic growth in less developed economies through the mobilization of private capital, in support of U.S. foreign policy goals.1 It is often referred to as the U.S. government's development finance institution (DFI).2
OPIC's enabling legislation is the Foreign Assistance Act of 1961 (P.L. 87-195), as amended.3 The Foreign Assistance Act provides OPIC with authority to conduct its activities for a renewable period of time.4 The latest multi-year, standalone reauthorization of OPIC was in legislation passed in 2003 (P.L. 108-158) that extended OPIC's authority until September 30, 2007. (see Appendix A).4 Over the past several years, Congress has renewed OPIC's authority through the appropriations process (i.e., essentially through a "reauthorization waiver"). Most recently, the FY2015 appropriations act (§7073(b) of P.L. 113-235) extends OPIC's authority to conduct its credit and insurance programs until September 30, 2015.5
The Foreign Assistance Act directs OPIC to, "mobilize and facilitate the participation of United States private capital and skills in the economic and social development of less developed countries and areas, and countries in transition from nonmarket to market economies ... under the policy guidance of the Secretary of State."65 OPIC works to fulfill its mandate by providing political risk insurance, project and investment funds financing, and other services to promote U.S. direct investment oveseasoverseas. Its services are intended to mitigate the risks affecting U.S. international investment, such as political risks (including currency inconvertibility, expropriation, and political violence), for U.S. firms making qualified investments overseas.76 OPIC characterizes itself as "demand-driven," providing services based on user interest. OPIC's activities may support U.S. exports, and it is involved in U.S. trade promotion interagency processes and initiatives.87
Congress does not approve individual OPIC projects, but has authorization, appropriations, oversight, and other legislative responsibilities related to the agency and its activities. Congress authorizes OPIC's ability to conduct its credit and insurance programs for a period of time that it chooses; can amend or change its governing legislation as it deems appropriate; and approves an annual appropriation for OPIC that sets an upper limit on the agency's administrative and program expenses, which are covered by OPIC's own funds. The Senate confirms presidential appointments to OPIC's Board of Directors and to the OPIC positions of president and executive vice president. The 114115th Congress may take up a number of issues related to OPIC, chief of which could be whether to renew OPIC's authority and, if so, under what terms. Congress also may examine OPIC's financial product offerings, policies, activity composition, and organizational structure, among other issues.
This report is structured into three parts: (1) OPIC background; (2) international context for development finance; and (3) key issues for Congress related to OPIC.
Created under the Foreign Assistance Act of 1961 (P.L. 87-195) as amended, OPIC was established in 1969 andThe U.S. government's role in overseas investment financing predates the formal establishment of OPIC. The Foreign Assistance Act of 1961 (P.L. 87-195) authorized the President to issue investment guarantees to support economic development overseas until June 30, 1964. Annual Foreign Assistance Acts for 1964-1968 extended this authority on a single-year basis.
Then, in the Foreign Assistance Act of 1969 (P.L. 91-175), Congress established OPIC in law, authorizing it until June 30, 1974. OPIC began operations in 1971 as a development finance institution amid an atmosphere of congressional disillusionment overall with U.S. aid programs, especially large infrastructure projects.8 In his first message to Congress on aid, President Nixon recommended the creation of OPIC to assume the investment guaranty and promotion functions that were being conducted by the U.S. Agency for International Development (USAID). President Nixon also directed that OPIC would provide "businesslike management of investment incentives" to contribute to the economic and social progress of developing nations.9
In creating OPIC, the Nixon Administration indicated that it was not attempting to end official U.S. foreign assistance, because "private capital and technical assistance cannot substitute for government assistance programs," a combination that can provide "official aid on the one hand, and private investment and technical assistance on the other." Private investment activities, however, were meant to complement the official assistance programs and, thereby, multiply the benefits of both. In addition, market-oriented private investment was viewed as an antidote to the government-oriented aid projects that were considered by some to be costly and inefficient. OPIC was created as a first step in the eventual overhaul of the entire U.S. aid program. In 1973, this overhaul was completed, as the United States largely abandoned infrastructure building and other large capital projects in favor of humanitarian aid to meet basic human needs.10
Authorization Status
Historical Trends
During 1961-2007, Congress extended OPIC's authority on numerous occasions on a multi-year basis, generally ranging from two to four years. On some occasions, Congress extended OPIC's authority for a shorter period during this time frame. (See Appendix A for authorization legislation for the 1961-2007 time frame.)
Extensions of OPIC's authority occurred in various forms, but appear to have had substantially the same effect of allowing OPIC to continue operating. Some extensions were through laws specifically listed in the "Amendments" section to 22 U.S.C. §2195 (thus amending the Foreign Assistance Act). These included extensions in OPIC-specific legislation, legislation focused on foreign affairs or international trade more broadly, and appropriations legislation. Other extensions, particularly in more recent years, took the form of authorization "waivers" (as characterized by OPIC) in appropriations acts that allowed OPIC's functions to remain in effect but did not amend OPIC's sunset date in the Foreign Assistance Act. There appear to be a few "gaps" in legislation extending OPIC's sunset date, such as in 1981, 1985, and 1992. These possible gaps in authority appear to have been for a few weeks to a few months. Unlike the gap in 2008 (noted above), it is not clear whether these possible gaps affected OPIC's authority to conduct its functions. OPIC operates on a renewable basis under the Foreign Assistance Act of 1961, as amended (22 U.S.C. §2191 et seq.). The Foreign Assistance Act includes a provision authorizing OPIC to perform certain functions until its sunset date, which Congress has periodically extended. That provision, in 22 U.S.C. §2195(a)(2), currently states, "The authority of subsections (a), (b), and (c) of section 2194 of this title [political risk insurance, loan guarantees, and direct loans, respectively] shall continue until September 30, 2007." This sunset date reflects the last extension of OPIC's authority on a multi-year basis; the OPIC Amendments Act of 2003 (P.L. 108-158) extended OPIC's authority for nearly four years until September 30, 2007. Since 2007, OPIC generally has continued operating based on extensions of its authority in appropriations law, which OPIC has characterized as authorization "waivers."11 (One exception was a six-month period in 2008 when its authority lapsed.)12 These "waivers" have occurred through consolidated appropriations acts and continuing resolutions (CRs). For instance, Section 7061(b) of the FY2016 Consolidated Appropriations Act extended OPIC's authority until September 30, 2016; it stated, "Notwithstanding section 235(a)(2) of the Foreign Assistance Act of 1961, the authority of subsections (a) through (c) of section 234 of such Act shall remain in effect until September 30, 2016" (P.L. 114-113). FY2017 CRs subsequently extended OPIC's authority, most recently through April 28, 2017. as the United States largely abandoned infrastructure building and other large capital projects in favor of humanitarian aid to meet basic human needs.10
OPIC categorizes its operations into three main programs—insurance, finance, and investment funds—that are intended to promote U.S. private investment in less developed countries by mitigating risks, such as political risks, for U.S. firms making qualified investment overseas. OPIC's authority to guarantee and insure U.S. investments abroad is backed by the full faith and credit of the U.S. government and OPIC's own financial resources. OPIC provides financing and insurance coverage of up to $250 million per project.
While private sector markets exist for financing and insuring U.S. direct investment overseas, there may be gaps in them due to "market failures" such as imperfect information, barriers to entry, risk levels, and financial crises. OPIC's primary objective in operating its programs is to promote economic development in low-income countries by supporting investment in projects, economic sectors, regions, and countries that are underserved by private markets; and mobilizing private investment in countries with viable project environments, but low credit ratings. For example, individual firms may attach more risk to investing in developing economies due to imperfect information and, thus, be unwilling to commit resources to investments in the least developed countries without risk mitigation by OPIC through its financing and insurance support.11programs.13
OPIC provides political risk insurance to safeguard investments against certain political risks involved in investing in developing countries in three broad areas:
OPIC's political risk insurance is available to U.S. citizens, U.S. firms, or to the foreign subsidiaries of U.S. firms as long as the foreign subsidiary is at least 95% owned by a U.S. citizen. According to OPIC, such insurance is available for investments in new ventures or in expansions of existing enterprises, and can cover equity investments, parent company and third party loans and loan guarantees, technical assistance agreements, cross-border leases, assigned inventory or equipment, and other forms of investment.12
OPIC's investment financing program operates like an investment bank, customizing and structuring a complete package for individual projects in countries where conventional financing institutions often are unwilling or unable to lend on a basis that is competitively advantageous for investors. OPIC provides financing to investors through direct loans and loan guarantees of up to $50 million for up to 20 years. It has specific programs for small- and medium-sized enterprises (SMEs). Most OPIC financing for a "non-financial" industry project (e.g., energy, manufacturing, transportation) is used to cover capital costs, such as facility construction or leasehold improvements, equipment, and design and engineering services associated with establishing or expanding a project. For a financial industry project, OPIC financing is used to fundmay provide financing to support lending capacity expansion, such as for microfinance, small- and medium-sized enterprise (SME) lending, or mortgage lending, by a financial services provider.13
To obtain OPIC financing, the venture must be commercially and financially sound and have some portion of U.S. ownership. Projects may be wholly owned by U.S. companies, foreign subsidiaries of U.S. companies, or joint ventures involving local companies and U.S. sponsored firms. In the case of a joint venture involving existing firms, the U.S. investor generally is expected to own at least 25% of the equity of the project. For new ventures, financing may be equal to 50% of the total project cost; a larger share is possible for certain projects.
The amount of OPIC's participation may vary taking into consideration financial risks and benefits. In general, OPIC will not support more than 75% of the total investment. OPIC provides financing to investors through two major programs: direct loans and loan guarantees.
As part of its emphasis on U.S. small business investors, OPIC established the Enterprise Development Network (EDN) in June 2007. Under the EDN, OPIC collaborates with participating financial intermediaries to expand access of small businesses to OPIC-supported products and services.14
Investment funds are privately owned and managed sources of capital that make direct equity investments in portfolio companies in new, expanding, or privatizing companies in developing or emerging markets. OPIC supports these funds through financing to supplement the equity that the funds privately raise. In most instances, OPIC provides up to one-third of the fund's total capital, and receives debt returns on its investment. OPIC takes a senior creditor position.
OPIC supports these funds in situations where U.S. firms either cannot allocate or cannot raise sufficient capital to start or expand their businesses overseas. OPIC solicits these funds through a competitive "Call for Proposals" process that seeks investment funds focusing on the agency's development priorities, particularly in areas where investments have been difficult to obtain. OPIC uses the "Call for Proposals" process to select fund managers with private equity investment capability and experience. OPIC-supported investment funds cover a range of economic sectors, including financial services, insurance, housing, renewable energy, and information technology.1518
OPIC approved its first investment fund in 1987.1619 The investment funds program has been restructured periodically, such as in 2002, leading to the incorporation of the competitive selection process through the "Call for Proposals" (discussed above).1720
OPIC conducts outreach to raise awareness of its programs and services for U.S. investors. For instance, OPIC offers workshops and seminars as part of its Expanding Horizons program to address concerns over political risks in emerging markets and share information about its programs and resources to support overseas investment. Expanding Horizons includes a focus on supporting U.S. small businesses in expanding to overseas markets.1821
Congress does not approve individual OPIC projects, but sets forth specific statutory requirements for OPIC in the Foreign Assistance Act of 1961 (22 U.S.C. §2191 et seq.), as amended. OPIC also has various policy requirements for its support (see Table 1).
OPIC investment support falls outside of the international rules of the OECD Arrangement on Officially Supported Export Credits (the Arrangement)—which establishes guidelines for member countries' export credit agencies (ECAs), such as the Export-Import Bank of the United States (Ex-Im Bank).1922 The Arrangement establishes limitations on terms and conditions of ECAs, including on minimum interest rates, maximum repayment terms, notification procedures, and reporting requirements for government-supported export credit activity that is directly tied to exports.2023 Among other things, the Arrangement does not apply to investment support not directly linked or tied to procurement from the United States.21 As such,24 Although OPIC's activities are considered to fall outside of the OECD Arrangement (though, they nevertheless may contribute to U.S. exports).
Requirement |
Description |
Statutory Basis |
||
OVERALL |
||||
Mandate |
OPIC's mandate is "[t]o mobilize and facilitate the participation of United States private capital and skills in the economic and social development of less developed countries and areas, and countries in transition from nonmarket to market economies, thereby complementing the development assistance objectives of the United States... under the foreign policy guidance of the Secretary of State." |
22 U.S.C. §2191 |
||
Repayment |
OPIC is directed to operate "on a self-sustaining basis, taking into account in its financing operations the economic and financial soundness of projects[.]" |
22 U.S.C. §2191(a) |
||
TRANSACTION-SPECIFIC |
||||
U.S. Connection |
According to OPIC, projects that it supports must have "meaningful involvement" by a U.S. citizen or business. OPIC's enabling legislation defines the term "eligible investor," and its policies provide further specifications. |
22 U.S.C. §2198(c) |
||
Economic Impact |
In determining whether to provide support, OPIC shall "be guided by the economic and social impact and benefits" of the project, and seek to support "those developmental projects having positive trade benefits for the United States[.]" OPIC must decline support if it determines that overseas investment may reduce employment in the United States, either because the U.S. firm shifts part of its production abroad, or because output from overseas investment will be shipped to the United States and "reduce substantially the positive trade benefits" of the investment. |
22 U.S.C. §2191(1); |
||
Environmental Impact |
OPIC generally is barred from participating in projects that pose an "unreasonable or major environmental health, or safety, hazard...." The Board of Directors cannot vote in favor of any project likely to have "significant adverse environmental impacts that are sensitive, diverse, or unprecedented" unless at least 60 days before the date of the vote, an environmental impact assessment of the project is conducted and made publicly available. |
22 U.S.C. §2191(n); |
||
Worker Rights |
Projects can be implemented only in countries that currently have, or are taking steps to adopt and implement, laws that uphold internationally recognized worker rights. A national economic interest determination waiver is possible by the President of the United States. |
22 U.S.C. §2191a(a) |
||
Human Rights |
OPIC is required to take into account in conducting its programs in a country, in consultation with the Secretary of State, "all available information about observance of and respect for human rights and fundamental freedoms in such country and the effect the operation of such programs will have on human rights and fundamental freedoms in such country." |
|
||
Small Business |
To the "maximum degree possible consistent with its purposes," OPIC must give preferential consideration to projects involving U.S. small business and to increase the proportion of projects significantly involving U.S. small business to at least 30% of certain of its activity. |
22 U.S.C. §2191(e) |
||
Additionality |
It is OPIC policy that its activities should complement, rather than compete with, the private sector, i.e., transactions that would otherwise be impossible or unlikely without its support. |
|||
FOCUS AREAS AND LIMITATIONS |
||||
Less Developed Countries OPIC must give preferential consideration to investment projects in less developed countries and restrict its support in other higher-income countries. However, OPIC, based on legislative history, interprets the statutory requirement as allowing it to support projects in higher income countries that are highly developmental, focus on underserved areas or populations, or support U.S. small business. 22 U.S.C. §2191(2) |
FY2010 appropriations language directed OPIC to "issue a report, not later than 180 days after December 16, 2009, highlighting its substantial commitment to invest in renewable and other clean energy technologies and plans to significantly reduce greenhouse gas emissions from its portfolio," with the proviso that "such commitment shall include implementing a revised climate change mitigation plan to reduce greenhouse gas emissions associated with projects and sub-projects in the agency's portfolio as of June 30, 2008 by at least 30 percent over a 10-year period and by at least 50 percent over a 15-year period." (See "Coal-fired Power Plants" section immediately below.) |
P.L. 111-117, §7079(b); 22 U.S.C. §2191b |
||
Coal-fired Power Plants |
|
P.L. 113-235, 7086(4)(A)-(B)) |
||
Sub-Saharan Africa |
The Board of Directors is directed to take "prompt measures" to increase OPIC programs and financial commitments in sub-Saharan Africa. |
22 U.S.C. §2193(e) |
||
Country Restrictions |
|
|||
Sectoral and Product Restrictions |
OPIC has "categorically prohibited sectors" based on economic, environmental, and other policy, e.g., projects established as a result of reducing or terminating U.S.-based operations. |
Source: CRS analysis of OPIC's enabling legislation (22 U.S.C. §2191 et seq.), as well as OPIC website and publications.
Notes: Descriptions provide summaries of the requirements and may not be comprehensive.
The statutory limit on the total contingent liability ("portfolio exposure") for OPIC's financing and insurance is $29 billion.2225 In FY2014FY2015, OPIC's portfolio had a total exposure of nearly $20$18 billion, distributed across financial products andgeographic regions (see Figure 1 and TableFigure 2).23
The composition of OPIC's portfolio by financial product type has evolved; in earlier years, political risk insurance constituted the larger share of the portfolio, while in more recent years, investment financing constitutes the larger share. For example, in FY2000, OPIC's total portfolio of $16.8 billion was composed of 59% in political risk insurance and 41% in investment financing.24 In contrast, in FY2014, OPIC's total portfolio of $18 billion was composed of 17% in political risk insurance and 83% in investment financing.25
Source: CRS, based on OPIC FY2015 data.
Billions of U.S. Dollars Source: CRS, based on OPIC data. Note: "Investment Finance" includes direct loans, loan guarantees, and investment funds. In FY2015, OPIC made $4.4 billion in new commitments for investment projects. OPIC estimates that the 100 new projects it supported in FY2015 will bring $14.2 billion in new investment in 38 developing or emerging markets and create 20,000 permanent jobs in these host countries over the next five years. In terms of U.S. benefits, OPIC expects that its FY2015 commitments will support, over a five-year period, 401 U.S. jobs through the procurement of $264 million in goods and services from the United States.30 OPIC prioritizes its works based on U.S. foreign policy and development objectives, but is also demand-driven. Value ($ millions) Number Sub-Saharan Africa $1,830 26 Asia and the Pacific $1,050 17 Middle East and North Africa $558 12 Latin America and the Caribbean $423 23 Eastern Europe $144 12 Multiple Regions Not specified 10 Source: OPIC, FY2015 annual report and annual development impact report. Notes: Regional categories vary among the two reports. According to OPIC, the world's poorest countries (e.g., Rwanda, Cambodia, and Haiti) constituted close to half of its financial commitments in FY2015.32 OPIC reported that about one-third of its new FY2015 commitments by number were for projects in low-income countries (33%), the rest being in middle-income countries (46%) and high-income countries (21%)—based on statutorily defined country-income levels for OPIC.33 Regarding prior years, according to GAO, between FY2008 and FY2014, OPIC's new commitments for projects in low per capita income countries constituted about 34% of its total new commitments by number and 25% by value, with the remainder directed middle- and high- per capita income countries (also based on the statutorily defined country-income levels).34 In comparison, a separate study observes that when using World Bank-based classifications of country-income level, on a year-on-year basis for 2000-2014, the share of OPIC's commitments directed to the poorest countries has trended downward, while the share of OPIC's commitments directed toward higher-income countries in the OECD (e.g., Chile, Israel, Mexico, Turkey) has increased, with much of the support focused on renewable energy projects.35 According to the study, the decline in the share of the poorest countries could be attributed to certain "macro-level trends," the existence of fewer low-income countries now than before as countries develop economically, and many of the remaining low-income countries being small, fragile states. OPIC is active in a range of economic sectors. In FY2015, the financial services sector accounted for the largest share (49%) of OPIC projects, with the majority of such projects focused on supporting SME and microfinance institution lending. The second-largest sector for OPIC projects was energy (19%).36 OPIC reported committing close to $1.1 billion for renewable energy projects specifically in FY2015.37 Other sectors in which OPIC is involved include manufacturing, infrastructure, services, agriculture, education, information technology, and health. Examples of OPIC Participation in Administration Foreign Policy Initiatives In response to political change in the MENA region, OPIC pledged $2 billion of financial support to "catalyze private sector development" in the region and an additional $1 billion to support infrastructure and job creation specifically in Egypt.38 As part of these efforts, OPIC, for example, approved $500 million in lending to Egypt and Jordan ($250 million to each country) to support small businesses in those countries.39 Table
Figure 2. Composition of OPIC Portfolio Exposure, FY2015
Commitments of Finance and Insurance Support
2. Composition of OPIC Portfolio Exposure, FY2014
Exposure Category |
Amount ($bn) |
Percent of Total Exposure |
Total Exposure |
$18.0 |
100% |
Program |
||
Financing (Loan, Loan Guarantee, Funds Support) |
$15.0 |
83% |
Political Risk Insurance |
$3.1 |
17% |
Geographic Region |
||
Latin American & the Caribbean |
$5.5 |
30% |
Sub-Saharan Africa |
$3.7 |
20% |
North Africa/Middle East |
$3.3 |
18% |
Eastern Europe & Newly Industrializing States |
$3.0 |
17% |
Asia |
$2.6 |
14% |
Worldwide Funds |
$0.7 |
4% |
|
-$0.6 |
-4% |
Source: CRS, based on data from Annual Management Report of the Overseas Private Investment Corporation for Fiscal Year 2014, p. 9.
Notes: The OPIC publication did not provide exposure composition by economic sector.
a.
According to OPIC's FY2013 annual management report, the insurance stop-loss adjustment "represents the difference between the aggregate coverage amount and OPIC's actual exposure under these contracts."
In FY2014, OPIC provided $2.96 billion in new commitments for investment projects (see Figure 2), which it estimates will support $316 million in U.S. exports over the next five years.26 It also estimates that its FY2014 new commitments are associated with 409 jobs in the United States and 9,000 jobs in the host countries.27 OPIC prioritizes its works based on U.S. foreign policy and development objectives, but is also demand-driven. Activities include the following.28
OPIC participates in broader foreign policy initiatives by the Administration, as illustrated below.
Congress directs OPIC to operate "on a self-sustaining basis, taking into account in its financing operations the economic and financial soundness of projects."4445 OPIC's budget is funded from its offsetting collections, which are derived from the premiums, interest, and fees generated from its insurance and finance services and the accumulated interest generated from the agency's investment in U.S. Treasury securities.4546 Its budget is composed of noncredit and credit accounts, in conformity with the standards set out in the Federal Credit Reform Act of 1990 (FCRA). The noncredit portion relates to OPIC's political risk insurance program, while the credit portion is comprised of OPIC's direct and guaranteed loans. OPIC uses premium income and the interest it accrues from the assets in its noncredit account to fund the direct and indirect expenses in its noncredit and credit accounts.
While OPIC has the authority to spend from its own revenue to cover its operations, Congress and the President set OPIC's maximum spending levels for its administrative and program expenses through the annual appropriations process. FY2015The FY2016 appropriations legislationact provided $62.8 million for OPIC's administrative expenses to carry out its credit and insurance programs and authorized a transfer of $2520 million from OPIC'sits noncredit account for credit program costs. In FY2016, OPIC had a staff of 289 full-time equivalents (estimate) (see Table 3).
Table 3. OPIC Appropriations, FY2011-FY2017 noncredit account for the cost of its credit programs (e.g., the cost of modifying loans) (see Table 3). The President's FY2016 budget requests $83.5 million for OPIC's administrative expenses to carry out its credit and insurance programs and a transfer of $20 million from its noncredit account for credit program costs.
OPIC has a net negative budget authority; its offsets to budget authority have been greater than its appropriations. According to OPIC, it generated $358 million in "deficit reduction" for the U.S. government in FY2014, representing its 37th consecutive year of generating negative outlays.46
OPIC's loan disbursements are financed through two sources: the long-term loan subsidy costs are financed by its collections, and the remaining non-subsidized portion of the loans is financed by borrowings from the Treasury. OPIC finances investment guarantees by issuing certificates of participation in U.S. debt capital markets. OPIC repays the Treasury through collection of loan fees, repayments, and default recoveries. OPIC uses nonbudgetary "financing accounts" to account for credit program cash flow. The subsidy expense for a direct loan or loan guarantee is estimated when it is first disbursed. OPIC reestimates its total subsidy cost at regular intervals based on updated assumptions. Permanent indefinite authority is available to fund any reestimated increase of subsidy costs that occurs after the year in which a loan is disbursed. Reestimated reductions of subsidy costs are returned to the Treasury.47
FY11 |
FY12 |
FY13 a |
FY14 |
FY15 |
FY16 |
FY17 |
|
Noncredit Account: Administrative expenses ($mn) |
|||||||
Amount requested |
$53.9 |
$57.9 |
$60.8 |
$71.8 |
$71.8 |
$83.5 $88.0 |
|
Amount appropriated |
$52.3 |
$54.99 |
$54.99 $62.6 |
$62. |
$62.8 |
--- |
|
Credit Account: Program expenses ($mn) |
|||||||
Amount requested |
$29.0 |
$31.0 |
$31.0 |
$31.0 |
$25.0 |
$20.0 $20.0 |
|
Amount appropriated |
$18.1 |
$25.0 |
$25.0 |
$27.4 |
$25.0 |
--- | |
Staff |
205 |
220 |
229 |
223 |
|
|
Source: Budget of the United States Government, various years, U.S. Government Printing Office, Washington; and appropriations legislation, various years.
Notes:
a.
Data Data for amounts appropriated do not reflect sequestration reduction.
OPIC's loan disbursements are financed through two sources: the long-term loan subsidy costs are financed by its collections, and the remaining non-subsidized portion of the loans is financed by borrowings from the Treasury. OPIC finances investment guarantees by issuing certificates of participation in U.S. debt capital markets. OPIC repays the Treasury through collection of loan fees, repayments, and default recoveries. OPIC uses nonbudgetary "financing accounts" to account for credit program cash flow. The subsidy expense for a direct loan or loan guarantee is estimated when it is first disbursed. OPIC reestimates its total subsidy cost at regular intervals based on updated assumptions. Permanent indefinite authority is available to fund any reestimated increase of subsidy costs that occurs after the year in which a loan is disbursed. Reestimated reductions of subsidy costs are returned to the Treasury.48
OPIC seeks to promote private sector investment in developing and emerging economies through offering financial products that help to mitigate the political and commercial risks of making qualified investments overseas. As such, OPIC faces certain risks in its activities. Congress directs OPIC to "conduct its insurance operations with due regard to the principles of risk management...."4849 OPIC assesses the credit and other risks of proposed transactions; monitors current commitments for risks; and seeks recoveries in instances where it pays or settles valid claims.4950 OPIC also states that it budgets and accounts for risk in its credit portfolio through FCRA. According to OPIC, in FY2014, its credit portfolio had write-offs, net of recoveries, of less than 1%.50 Additionally, OPIC says that it offsets any potential future losses with reserves (comprised of U.S. Treasury securities).51 OPIC's cumulative reserves, which cumulatively totaled $5.56 billion in FY2014.52FY2015.51
In its 4344 years of operations, OPIC reports that it has expended more cash than it collected in two fiscal years.52 Based on its historical record and risk management practices, OPIC recognizes but considers unlikely the possibility, "that a significant credit or insurance event affecting multiple transactions could trigger net losses in [OPIC's] portfolio," resulting in costs exceeding collections in a future fiscal year.53
External financial flows to developing countries come through a number of channels. One is official development assistance (ODA) from foreign governments (e.g., grants, concessional lending).54 Another is private capital flows from foreign companies, including through foreign direct investment (FDI).55 In developing countries, ODA historically was the main source of external financing. Over time, FDI flows have grown relative to ODA flows (see Figure 3).56 In the 1990s, FDI flows began outweighing ODA flows in developing countries, and in 2013, they were more than six times greater. 4).56 Traditionally, FDI largely has flowed from developed countries to developing countries, but emerging markets and developing countries also are becoming significant FDI sources.57
Figure 4. Net Official Development Assistance (ODA) and Foreign Direct Investment (FDI), 1998-2015
Source: CRS, data from OECD and United Nations Conference on Trade and Development (UNCTAD).
Notes: Net official ODA disbursed to all recipients by Development Assistant Committee (DAC) donors and FDI outflows.
Along with the changing international investment landscape, the international development policy landscape has evolved with bilateral and multilateral development financing institutions (DFIs) playing a more active role. DFIs are used here to refer to entities that provide officially backed (or government-backed) support (e.g., through direct loans, loan guarantees, or insurance) for private sector investment in less developed countries.58
It is difficult to find centralized, comprehensive sources of information on DFI activities. Officially backed investment financing activities are outside of the scope of the OECD Arrangement on Officially Supported Export Credits ("the Arrangement"), which includes notification procedures and reporting requirements on activity. Countries vary in terms of how much information they publish on their DFI activities. However, according to available estimates, it appears that DFI support has grown relative to ODA in developing countries. For example, based on an estimate by the
The International Finance Corporation (IFC), using its database, estimated that private sector commitments (not including political risk insurance) by certain international financial institutions to developing countries grew from about $10 billion in 2002 to over $40 billion in 2010.59 A subsequent estimate by the Center for Strategic & International Studies (CSIS), which it said was based on the same set of institutions, pegged that total at about $68 billion in 2013.60
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Source: Adapted by CRS. Net ODA data from Organization for Economic Cooperation and Development (OECD), Development Assistance Committee (DAC) table, "Net ODA from DAC countries from 1950 to 2014," http://www.oecd.org/dac/stats/data.htm. FDI data from United Nations Conference on Trade and Development (UNCTAD), UNCTADstat, FDI flows, http://unctad.org/en/Pages/Statistics.aspx. |
The level of DFI support for the private sector through political risk insurance also may be significant. The Berne Union, an international group of private and state export credit and foreign investment insurers, maintains statistics on political risk insurance provided by its members linked to FDI.61 However, these data may include investment support not related to development finance, given the group's membership. According to the Berne Union, its members' newly underwritten investment insurance transactions reached close to $100 billion in 2014, up from about $66 billion in 2010; and its members' total portfolio of insured investment reached about $238 billion in 2014, up from about $193 billion in 2010$97 billion in 2015.62
While developed countries, such as the United States (through OPIC) and some other G-7 countries, traditionally have been the sources of development finance activities, emerging economies such as China, Brazil, and India also have become significant players in this space. Presently, OPIC has many counterparts internationally (see Table 4 (see Appendix B). The growing number of development finance players and volumes of investment financing have resulted in greater and varied competition for U.S. businesses—competition from firms in both developed countries and fromin emerging economies as they move up the value chain. U.S. companies may seek OPIC assistance to counter the officially backed investment support that their competitors receive. At the same time, from an economic perspective, the role of government-backed financing and its impact on markets is debated.
Development Finance Institutions |
Sponsor |
Bilateral |
|
Overseas Private Investment Corporation (OPIC) |
United States |
Association of European Development Finance Institutions (EDFI) |
|
Belgian Investment Company for Developing Countries (BIO); Belgian Corporation for International Investment (SBI-BMI) |
Belgium |
CDC Group* |
United Kingdom |
Compañía Española de Financiación del Desarrollo (COFIDES) |
Spain |
Entrepreneurial Development Cooperation (DEG) |
Germany |
Finnish Fund for Industrial Cooperation Ltd. (FINNFUND) |
Finland |
The Investment Fund for Developing Countries (IFU) |
Denmark |
Netherlands Development Finance Company (FMO) |
Netherlands |
Norwegian Investment Fund for Developing Countries (Norfund) |
Norway |
Oesterreichische Entwicklungbank AG (OoEB; The Development Bank of Austria) |
Austria |
Société de Promotion et de Participation pour la Coopération Economique (Proparco) |
France |
Swiss Investment Fund for Emerging Markets (SIFEM) |
Switzerland |
Società Italiana per le Imprese all'Estero (SIMEST) |
Italy |
Sociedade para o Financiamento do Desenvolvimento (SOFID) |
Portugal |
Swedfund International AB (Swedfund) |
Sweden |
Japanese Bank for International Cooperation (JBIC) |
Japan |
Export-Import Bank of China; China Export and Credit Insurance Corporation (Sinosure); China Development Bank (CDB) |
China |
Brazilian Development Bank (BNDES) |
Brazil |
Export Credit Guarantee Corporation of India (ECGC) |
India |
Regional |
|
African Development Bank (AfDB); Asian Development Bank (ADB); European Bank for Reconstruction and Development (EBRD); Inter-American Development Bank (IDB) |
|
Multilateral |
|
International Finance Corporation (IFC)**; Multilateral Investment Guaranty Agency (MIGA)** |
Source: CRS compilation from International Finance Corporation (IFC), International Finance Institutions and Development: Private Sector, 2011; Christian Kingombe, Isabella Massa and Dirk Willem te Velde, Comparing Development Institutions Literature Review, Overseas Development Institute, January 20, 2011; Association of European Development Finance Institutions (EDFI) publications; and various other DFI publications and annual reports.
Notes: * CDC (United Kingdom) formerly was Colonial Development Corporation, then Commonwealth Development Corporation.** IFC and MIGA are both part of The World Bank Group.
Below are some general comparisons of OPIC and selected other DFIs; these comparisons are illustrative of the DFI landscape and not comprehensive.
OPIC presents a number of possible issues for Congress, chief of which could be a debate about its reauthorization. As part of the reauthorization process or general oversight of agency, Congress also may examine OPIC's product offerings, policy requirements for supporting projects, activity composition, and organizational structure.
Congress may examine whether to reauthorize OPIC and, if so, the length of time for which to extend its authority and under what terms. In recent years, Members of Congress have introduced various types of bills concerning OPIC's authority (see text box).
Examples of Bills Related to OPIC's Authority Some bills have focused exclusively on extending OPIC's authority. For example, in the 112th Congress, two bills were introduced to reauthorize OPIC through FY2015 (H.R.2762 and S.3627). Other bills have sought to extend OPIC's authority, as well as to make adjustments to OPIC's activity. For instance, in the 111th Congress, S. 705 (Overseas Private Investment Corporation Reauthorization Act of 2009) would have reauthorized OPIC until September 30, 2013. The bill, which was reported out of committee, included provisions related to the transparency and accountability of OPIC's investment funds, OPIC's authority to conduct projects in Iraq, and worker rights. In addition, it included prohibitions on OPIC assistance to entities in countries designated as state sponsors of terrorism. Bills on other policy issues have included a renewal of OPIC's authority. For example, in the 114th Congress, H.R. 2847 and S. 1933 (both entitled Electrify Africa Act of 2015) would increase U.S. government support, including through OPIC, to assist sub-Saharan African countries in increasing electricity access to support economic growth and other goals. The bills, among other things, would extend OPIC's authority until September 30, 2018. The debate over reauthorization also could involve congressional consideration of other outcomes, such as privatizing or terminating the functions of OPIC (see "Organizational Structure" discussion further below). |
Congressional views differ on the economic and foreign policy rationales for OPIC. Congressional views differ on the justifications for and against OPIC.
One issue is the relationship between OPIC and the private sector.7276 Supporters argue that OPIC fills gaps in private sector political risk insurance and financing for investment and helps "level the playing field" for U.S. businesses competing against foreign companies supported by their own DFIs, while critics argue that OPIC distorts the flow of capital and resources away from efficient uses and crowds out viable, private sector alternatives for investment financing and insurance. Those in favor of OPIC also assert that it provides support for projects, markets, and sectors where government-backed financing and insurance can make the most difference (e.g., large-scale, long-term infrastructure projects, investments by small businesses, projects in developing countries, and during financial crises), while those critical of OPIC point out that the majority of U.S. overseas investments occur without OPIC support and question why OPIC should take on risk when the private sector does not want to.
Bills Related to OPIC's Authority Several bills entitled the "Electrify Africa Act of 2015" were introduced in the 114th Congress. The bills aimed to increase U.S. government support, including through OPIC, to assist sub-Saharan African countries in expanding electricity access to support economic growth and other goals. Two of the bills, H.R. 2847 and S. 1933, would have extended OPIC's authority through FY2018. In contrast, S. 2152 did not include any extension of OPIC's authority; this bill became law in February 2016 (P.L. 114-121). Other points of debate
Other issues include the composition of OPIC's activities and its outcomes. Supporters argue that U.S. companies of all sizes benefit from OPIC and that OPIC charges interest, premia, and other fees for its support, while critics contend that OPIC, as a form of government intervention, is "corporate welfare" and that, by dollar value, larger companies are the primary beneficiaries. Supporters note OPIC's risk management practices
, low non-performance and high recovery rates, and contributions to the Treasury and record, while critics express concern about the potential risks that OPIC's activities pose to U.S. taxpayers. Also, supporters argue that OPIC screens projects for "additionality" and that its activities contribute to U.S. jobs and exports, while critics question OPIC's opportunity costs and express concern that OPIC supports companies whose overseas investments may result in the outsourcing of U.S. jobs.
From a foreign policy perspective, supporters contend that OPIC's activities, on a demand-driven basis, advance U.S. development and national security interests by contributing to economic development in poor countries, while critics counter that the actual composition of OPIC's activities may not reflect U.S. foreign policy priorities and that the development benefits of OPIC's activities are questionable.
77From an operational standpoint, some argue that OPIC would benefit from multi-year authorizations and "that the potential risk of a lapse undermines the private sector's confidence in OPIC's effectiveness, given that clients and projects require long-term planning and exit horizons."7378 Others argue that shorter extensions may provide opportunity for Congress to weigh in more frequently on OPIC operations through the lawmaking process. Questions may be raised about the extent that yearly renewals of authority through the appropriations process affect OPIC and what issues may be discussed in a broader debate about OPIC's authority.
Congress also may evaluate the impact of a lapse or expiration of OPIC's authority. For instance, OPIC's authority lapsed during April-September 2008. During this period, OPIC was able to disburse funds for already committed projects, but was unable to sign contracts for new projects.7479 This lapse in authority reportedly contributed to a backlog of projects in OPIC's pipeline of, by one estimate, about $2 billion of potential transactions.75
OPIC currently provides political risk insurance, project and investment funds financing through direct loans and loan guarantees, and other services. Of congressional interest may beCongress may consider whether to expandadjust OPIC's product offerings.
. A long-standing topic of debate is whether OPIC should be able to make equity investments in investment funds, in addition to the current debt financing that it provides for such funds.7681 According to OPIC, it currently does not have resources to make limited partnership investments.7782 OPIC's FY2016FY2017 congressional budget justification includes a request for authority to use up to $20 million from its Credit Reform Appropriation and $20 million in transfer authority to invest in private equity funds that serve OPIC's mission.78 Proponents argue that equity authority would enable OPIC to exert greater influence in an investment's strategic goals and economic, social, and governance policies; that foreign counterparts, many of whom have equity authority,7983 may be more likely to partner with OPIC on projects, increasing OPIC's ability to leverage its resources; and that OPIC could use the higher returns generally associated with equity investments to support more projects. Critics may raise concerns about the U.S. government taking an ownership stake in a private enterprise;, the greater resources required for equity investments;, and the greater risks and financial exposure associated withthat equity investments entail.
A. Another point of debate among stakeholders is whether OPIC should have OPIC a consistent ability to provide grants, such as for technical assistance, for the projects that it supports. Those in favor of such proposals contend that providing technical assistance would enhance OPIC's effectiveness in supporting projects.8084 On the other hand, critics contend that providing OPIC with a significant grant function would duplicate the roles of USAID and the TDA in development assistance.
In supporting U.S. private sector investment overseas, OPIC seeks to balance multiple policy objectives, including foreign assistance, development, economic, environmental, and other policy goals. Congress could evaluate how OPIC might prioritize and balance these various objectives.
OPIC's environmental policies on greenhouse gas (GHG) emission reductions (referred to bywhich some stakeholders refer to as a "carbon cap"), in particular, have been the subject of congressional action and vigorous stakeholder debate (see text box). On one hand, such efforts may serve U.S. environmental policy goals and help to improve the sustainability of OPIC's activities. On the other hand, some U.S. businesses argue that the GHG emissions reduction effort can constrain their ability to utilize OPIC support and place them at a competitive disadvantage vis-à-vis foreign firms when competing for international project contracts (e.g., major infrastructure projects in sub-Saharan Africa). Other DFIs generally do not have the same level of policy restrictions that OPIC has, potentially enabling them to support a broader array of energy-related projects. From a development perspective, some argue that the GHG emission reduction effort prevents OPIC from supporting projects likely to have the largest development impact.
OPIC's Environmental Policy Based on FY2010 appropriations
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One area of congressional interest could be whether OPIC's portfolio has an appropriate mix in terms of its development objectives. Some analysts and and is directed sufficiently to those areas in which it may be most needed. Some stakeholders, for example, have expressed concern about what they see as movementOPIC's shift away from projects in sectors commonly viewed as contributing to poverty reduction (e.g., agriculture, infrastructure, and transportation) and toward projects in other sectors where development benefits may be less clear (e.g., finance and hotels). Drivers of such trends may have been environmental policies constraining support for large-scale infrastructure projects, as well as the need to balance financial risks and be self-sustaining. Congressional concern was voiced, for example, about OPIC's support for projects that do not necessarily, on their face, appear to align with OPIC's development mission, such as the construction of a shopping mall in Jordan, expanded billboard advertising in Ukraine, and hotels in Armenia and Georgia.8488 Others may counter that OPIC conducts development impact assessments of proposed projects and monitors the development impact of existing projects; they also may point to the development impacts of projects discussed in OPIC's annual policy reports, for instance in terms of host country employment.85
Another area of congressional interest could be considering opportunities for enhancing OPIC's support for specific geographical regions, countries,areas or sectors that are of U.S. policy priority. For example, some Members, business groups, and other stakeholders assert that there is potential for greater support by OPIC for U.S. investment in Africa. Proposals have included providing additional federal resources to support OPIC investment promotion activity in Africa and/or directing OPIC and other federal agencies to dedicate designated amounts of financing and personnel to foster greater U.S. investment in Africa.86the Electrify Africa Act of 2015 (P.L. 114-121), among other things, directs OPIC to prioritize and expedite its support for power projects in sub-Saharan Africa. On one hand, greater resources may increase capacity to promote investment, but on the other hand, federal agencies' allocation of funds for trade and investment promotion is generally demand-driven. Thus, for example, if U.S. firms do not seek such assistance due to lack of sufficient commercial interest, such funds may not be fully tapped. At the same time, promotion of development finance opportunities by OPIC could motivate U.S. companies to become more engaged.
Congress may wish to examine OPIC's organizational structure and oversight in terms of the agency's effectiveness and efficiency in fulfilling its mandate. What follows are three possible areas of consideration.
OPIC's organizational structure may present possible areas of congressional consideration, including in the following areas.
Reorganization. During the presidential campaign, President-elect Trump proposed to consolidate trade-related agencies and departments into one office called the "American Desk" under the Department of Commerce.90 The general contours of the Trump proposal appear to be reminiscent of President Obama's call for reorganization authority to reorganize and consolidate, into one department, the trade-related functions of OPIC and five other federal entities into one department to streamline the federal government and make it more effective.Author Contact Information
OPIC operates on a renewable basis under the Foreign Assistance Act of 1961, as amended (22 U.S.C. §2191 et seq.). The Foreign Assistance Act includes a provision authorizing OPIC to perform certain functions until its sunset date, which Congress has periodically extended. That provision, in 22 U.S.C. §2195(a)(2), currently states, "The authority of subsections (a), (b), and (c) of section 2194 of this title [political risk insurance, loan guarantees, and direct loans, respectively] shall continue until September 30, 2007."
This sunset date reflects the last extension of OPIC's authority on a multi-year basis; the OPIC Amendments Act of 2003 (P.L. 108-158) extended OPIC's authority for nearly four years until September 30, 2007. Since then, OPIC generally has continued operating based on extensions of its authority in appropriations law, which OPIC has characterized as authorization "waivers."99 (One exception was a six-month period in 2008 when its authority lapsed.)100 These "waivers" have occurred through consolidated appropriations acts and continuing resolutions (CRs). For instance, Section 7061(b) of the FY2016 Consolidated Appropriations Act extended OPIC's authority until September 30, 2016; it stated, "Notwithstanding section 235(a)(2) of the Foreign Assistance Act of 1961, the authority of subsections (a) through (c) of section 234 of such Act shall remain in effect until September 30, 2016" (P.L. 114-113). Most recently, an FY2017 continuing resolution extended OPIC's authority through April 28, 2017 (P.L. 114-254).
Table A-1 provides a list of legislation identified by CRS as creating OPIC and extending its authority during 1961-2007, as well as the associated statutory text and new sunset date. To identify the legislation in this table, CRS examined the notes of Title 22 sections 2194 and 2195 of the U.S. Code, and searched Congress.gov and ProQuest Congressional for additional pieces of legislation extending OPIC's authority. While all efforts were made to ensure the comprehensiveness of this list, the presence of any gaps in authorization legislation should not be regarded as determinative of OPIC's authorization status.During 1961-2007, Congress extended OPIC's authority on numerous occasions on a multi-year basis, generally ranging from two to four years. On some occasions, Congress extended OPIC's authority for a shorter period during this time frame. Extensions of OPIC's authority occurred in various forms, but appear to have had substantially the same effect of allowing OPIC to continue operating. Some extensions were through laws specifically listed in the "Amendments" section to 22 U.S.C. §2195 (thus amending the Foreign Assistance Act). These included extensions in OPIC-specific legislation, legislation focused on foreign affairs or international trade more broadly, and appropriations legislation. Other extensions, particularly in more recent years, took the form of authorization "waivers" (as characterized by OPIC) in appropriations acts that allowed OPIC's functions to remain in effect but did not amend OPIC's sunset date in the Foreign Assistance Act.
In a few instances, there appear to be "gaps" in legislation extending OPIC's sunset date, such as in 1981, 1985, and 1992. These possible gaps in authority appear to have been for a few weeks to a few months. Unlike the gap in 2008 (noted above), CRS has not been able to determine whether these possible gaps affected OPIC's authority to conduct its functions.
Table A-1. OPIC Original Acts and Extensions of Authority, 1961-2007Legislation
Enacted
Sunset Date
September 4, 1961
June 30, 1964
Law authorized President to issue investment guarantees to support economic development overseas, prior to establishment of OPIC.
SEC. 221. GENERAL AUTHORITY.— (a) In order to facilitate and increase the participation of private enterprise in furthering the development of the economic resources and productive capacities of less developed friendly countries and areas, the President is authorized to issue guaranties as provided in subsection (b) of this section of investments in connection with projects, including expansion, modernization, or development of existing enterprises, in any friendly country or area with the government of which the President has agreed to institute the guaranty program. The guaranty program authorized by this title shall be administered under broad criteria, and each project shall be approved by the President.
...Provided further, That this authority shall continue until June 30, 1964.
P.L. 88-633, October 7, 1964
P.L. 89-171, September 6, 1965
P.L. 89-583, September 19, 1966
P.L. 90-137, November 14, 1967
P.L. 90-554, October 8, 1968
June 30, 1971 (Annual Foreign Assistance Acts reauthorized this general authority on a single-year basis, for 1964-1968. The 1968 Act [P.L 90-554] reauthorized until June 30, 1971.)
P.L. 90-554: SEC. 103. (a) Section 221(b) of title III of chapter 2 of part I of the Foreign Assistance Act of 1961, as amended, which relates to general authority for investment guaranties, is amended as follows: ... (C) In the last proviso, strike out "1970" and substitute '1971--.
December 30, 1969
June 30, 1974
Law specifically established OPIC. H. Rept. 91-611 stated: "this bill creates a new Overseas Private Investment Corporation to take over the Agency for International Development's (AID's) present U.S. investment incentive programs and carry out other activities..." (p. 3).
Sec. 235. Issue Authority Direct Investment Fund and Reserves.
(4) The authority of section 234 (a) and (b) shall continue until June 30, 1974.
(On January 19, 1971, the President transferred rights and responsibilities, outlined in the Foreign Assistance Act, to OPIC [Executive Order 11579, January 19, 1971].)
December 17, 1973
December 31, 1974
In section 235(a) (4), strike out "June 30, 1974" and insert in lieu thereof "December 31, 1974[.]"
August 27, 1974
December 31, 1977
(3) In section 235---(A) strike out "1974" in subsection (a)(4) and insert in lieu thereof "1977[.]"
Foreign Assistance and Related Programs Appropriations Act 1978 (P.L. 95-148)
October 31, 1977
September 30, 1978
Title I: For expenses necessary to enable the President to carry out the provisions of the Foreign Assistance Act of 1961, as amended, and for other purposes, to remain available until September 30, 1978, unless otherwise specified herein, as follows: ...
Title II: ... The Overseas Private Investment Corporation is authorized to make such expenditures within the limits of funds available to it and in accordance with law (including not to exceed $10,000 for entertainment allowances), and to make such contracts and commitments without regard to fiscal year limitations as provided by section 104 of the Government Corporation Control Act, as amended (31 U.S.C. 849) as may be necessary in carrying out the program set forth in the budget for the current fiscal year.
April 24, 1978
September 30, 1981
SEC. 4. Section 235 of the Foreign Assistance Act of 1961 is amended—(1) in subsection (a) (2), by striking out ", of which guaranties of credit union investment shall not exceed $1,250,000"; and (2) in subsection (a) (4), by striking out "December 31, 1977" and inserting in lieu thereof "September 30, 1981[.]"
October 16, 1981
September 30, 1985
Sec. 5... (b)(1) Section 235(a)(5) of such Act, as redesignated by subsection (a)(2)(A) of this section, is amended by striking out "September 30, 1981" and inserting in lieu thereof "September 30, 1985[.]"
December 23, 1985
September 30, 1988
Section 235(a)(5) (22 U.S.C. 2195(a)5)) is amended by striking out "1985" and inserting in lieu thereof "1988[.]"
October 1, 1988
September 30, 1992
P.L. 100-461: Sec. 555...That title I of H.R. 5263 as passed by the House of Representatives on September 20, 1988, is hereby enacted into law:
H.R. 5263 (100th Congress, 2nd Session): Sec 107. Extending Issuing Authority. Section 235(a)(6) of the Foreign Assistance Act of 1961 (22 U.S.C. 2195(a)(6)) is amended by striking out "1988" and inserting in lieu thereof "1992[.]"
October 28, 1992
September 30, 1994
SEC. 104. ...(3) TERMINATION OF AUTHORITY.—The authority of subsections (a) and (b) of section 234 shall continue until September 30,1994[.]
Jobs Through Trade Expansion Act of 1994 (P.L. 103-392)
October 22, 1994
September 30, 1996
SEC. 103. EXTENDING ISSUING AUTHORITY. Section 235(a)(3) of the Foreign Assistance Act of 1961 (22 U.S.C. 2195(a)(3)) is amended by striking "1994" and inserting "1996[.]"
Omnibus Consolidated Appropriations Act, 1997 (P.L. 104-208)
September 30, 1996
September 30, 1997
That section 235(a)(3) of the Foreign Assistance Act of 1961 (22 U.S.C. 2195(a)(3)) is amended by striking out ''1996'' and inserting in lieu thereof ''1997[.]''
Continuing Appropriations, 1998 (P.L. 105-46)
September 30, 1997
October 23, 1997
SECTION 101. (a) Such amounts as may be necessary under the authority and conditions provided in the applicable appropriations Act for the fiscal year 1997 for continuing projects or activities including the costs of direct loans and loan guarantees (not otherwise specifically provided for in this joint resolution) which were conducted in the fiscal year 1997 and for which appropriations, funds, or other authority would be available in the following appropriations Acts:
... (6) the Foreign Operations, Export Financing, and Related Programs Appropriations Act, 1998, notwithstanding section 10 of Public Law 91–672 and section 15(a) of the State Department Basic Authorities Act of 1956
... SEC. 106. Unless otherwise provided for in this joint resolution or in the applicable appropriations Act, appropriations and funds made available and authority granted pursuant to this joint resolution shall be available until: (1) enactment into law of an appropriation for any project or activity provided for in this joint resolution; or (2) the enactment into law of the applicable appropriations Act by both Houses without any provision for such project or activity; or (3) October 23, 1997, whichever first occurs.
P.L. 105-64, October 23, 1997
P.L. 105-69, November 9, 1997
P.L. 105-71, November 10, 1997
P.L. 105-84, November 14, 1997
November 26, 1997 (Short-term CRs extended OPIC's authority, ultimately through November 26, 1997.)
P.L. 105-84, enacted on November 14, 1997: That section 106(3) of Public Law 105–46 is further amended by striking ''November 14, 1997'' and inserting in lieu thereof ''November 26, 1997[.]'
Foreign Operations, Export Financing, and Related Programs Appropriations Act, 1998 (P.L. 105-118)
November 26, 1997
September 30, 1999
SEC. 581. (a) IN GENERAL.—Section 235(a) of the Foreign Assistance Act of 1961 (22 U.S.C. 2195(a)) is amended—
(1) by striking paragraphs (1) and (2)(A) and inserting the following: ''(1) INSURANCE AND FINANCING.—(A) The maximum contingent liability outstanding at any one time pursuant to insurance issued under section 234(a), and the amount of financing issued under sections 234(b) and (c), shall not exceed in the aggregate $29,000,000,000.'';
(2) by redesignating paragraph (3) as paragraph (2); and
(3) by amending paragraph (2) (as so redesignated) by striking ''September 30, 1997'' and inserting ''September 30, 1999[.]''
(b) CONFORMING AMENDMENT.—Paragraph (2) of section 235(a) of that Act (22 U.S.C. 2195(a)), as redesignated by subsection (a), is further amended by striking ''(a) and (b)'' and inserting ''(a), (b), and (c)[.]''
Continuing Appropriation for FY 2000 (P.L. 106-62)
September 30, 1999
October 21, 1999
SEC. 106. Unless otherwise provided for in this joint resolution or in the applicable appropriations Act, appropriations and funds made available and authority granted pursuant to this joint resolution shall be available until: (a) enactment into law of an appropriation for any project or activity provided for in this joint resolution; (b) the enactment into law of the applicable appropriations Act by both Houses without any provision for such project or activity; or (c) October 21, 1999, whichever first occurs.
SEC. 117. Notwithstanding section 235(a)(2) of the Foreign Assistance Act of 1961 (22 U.S.C. 2195(a)(2)), the authority of section 234(a) (b) and (c), of the same Act, shall remain in effect during the period of this joint resolution.
Continuing Appropriation for FY 2000 (various CRs, see "Enacted" column)
P.L. 106-75, October 21, 1999
P.L. 106-85, October 29, 1999
P.L. 106-88, November 5, 1999
P.L. 106-94, November 10, 1999
P.L. 106-105, November 18, 1999
P.L. 106-106, November 19, 1999
December 2, 1999 (Short-term CRs extended authority until December 2, 1999.)
P.L. 106-106, enacted on November 19, 1999: Public Law 106–62 is further amended by striking ''November 18, 1999'' in section 106(c) and inserting ''December 2, 1999'', and by striking ''$346,483,754'' in section 119 and inserting ''$755,719,054[.]'.
Consolidated Appropriations Act, 2000 (P.L. 106-113)
November 29, 1999
November 1, 2000
Appendix B: OPIC AUTHORIZATION SEC. 599E. Section 235(a)(2) of the Foreign Assistance Act of 1961 (22 U.S.C. 2195(a)(2)) is amended by striking ''1999'' and inserting ''November 1, 2000[.]'.
December 9, 1999
September 30, 2003
SEC. 2. OPIC ISSUING AUTHORITY. Section 235(a)(2) of the Foreign Assistance Act of 1961 (22 U.S.C. 2195a)(3)) is amended by striking "1999" and inserting "2003[.]"
Continuing Appropriations for FY 2004 (P.L. 108-84)
September 30, 2003
October 31, 2003
SEC. 107. Unless otherwise provided for in this joint resolution or in the applicable appropriations Act, appropriations and funds made available and authority granted pursuant to this joint resolution shall be available until (a) enactment into law of an appropriation for any project or activity provided for in this joint resolution, or (b) the enactment into law of the applicable appropriations Act by both Houses without any provision for such project or activity, or (c) October 31, 2003, whichever first occurs....
...SEC. 115. Notwithstanding section 235(a)(2) of the Foreign Assistance Act of 1961 (22 U.S.C. 2195(a)(2)), the authority of subsections (a) through (c) of section 234 of such Act, shall remain in effect through the date specified in section 107(c) of this joint resolution[.]
Continuing Appropriations for FY 2004 (various CRs, see "Enacted" column)
P.L. 108-104, October 31, 2003
P.L. 108-107, November 7, 2003
P.L. 108-135, November 22, 2003
January 31, 2004 (In three additional CRs, authority was extended successively to January 31, 2004.)
P.L. 108-135, enacted on November 22, 2003: That Public Law 108–84 is amended by striking the date specified in section 107(c) and inserting ''January 31, 2004[.]''
December 3, 2003
SEC. 2. ISSUING AUTHORITY. Section 235(a)(2) of the Foreign Assistance Act of 1961 (22 U.S.C. 2195(a)(2)) is amended by striking "November 1, 2000"' and inserting "2007[.]"
Source: CRS, based on searches of Congress.gov, ProQuest Congressional, and Title 22 of the U.S. Code.
Notes: To identify the legislation in this table, CRS examined the notes of Title 22 sections 2194 and 2195 of the U.S. Code, and searched Congress.gov and ProQuest Congressional for additional pieces of legislation extending OPIC's authority. While all efforts were made to ensure the comprehensiveness of this list, the presence of any gaps in authorization legislation should not be regarded as determinative of OPIC's authorization status.
a. The Amendment Notes of the 2000 edition of the U.S. Code (1/6/2003), for section 2195(a)(2) of Title 22 explain: "Subsec. (a)(2). Pub. L. 106–158, which directed the amendment of par. (2) by substituting "2003" for "1999" could not be executed because "1999" did not appear in text subsequent to amendment by Pub. L. 106–113. See below ...Pub. L. 106–113, which directed amendment of par. (2) by substituting "November 1, 2000" for "1999", was executed by making the substitution for "September 30, 1999", to reflect the probable intent of Congress." Appendix B. Illustrative DFIs Table B-1. Selected Development Finance Institutions (DFIs)Development Finance Institutions
Sponsor
Bilateral
Overseas Private Investment Corporation (OPIC)
United States
Association of European Development Finance Institutions (EDFI)
Belgian Investment Company for Developing Countries (BIO); Belgian Corporation for International Investment (SBI-BMI)
Belgium
CDC Group*
United Kingdom
Compañía Española de Financiación del Desarrollo (COFIDES)
Spain
Entrepreneurial Development Cooperation (DEG)
Germany
Finnish Fund for Industrial Cooperation Ltd. (FINNFUND)
Finland
The Investment Fund for Developing Countries (IFU)
Denmark
Netherlands Development Finance Company (FMO)
Netherlands
Norwegian Investment Fund for Developing Countries (Norfund)
Norway
Oesterreichische Entwicklungbank AG (OoEB; The Development Bank of Austria)
Austria
Société de Promotion et de Participation pour la Coopération Economique (Proparco)
France
Swiss Investment Fund for Emerging Markets (SIFEM)
Switzerland
Società Italiana per le Imprese all'Estero (SIMEST)
Italy
Sociedade para o Financiamento do Desenvolvimento (SOFID)
Portugal
Swedfund International AB (Swedfund)
Sweden
Japanese Bank for International Cooperation (JBIC)
Japan
Export-Import Bank of China; China Export and Credit Insurance Corporation (Sinosure); China Development Bank (CDB)
China
Brazilian Development Bank (BNDES)
Brazil
Export Credit Guarantee Corporation of India (ECGC)
India
Regional
African Development Bank (AfDB); Asian Development Bank (ADB); European Bank for Reconstruction and Development (EBRD); Inter-American Development Bank (IDB)
Multilateral
International Finance Corporation (IFC)**; Multilateral Investment Guaranty Agency (MIGA)**
Source: CRS compilation from International Finance Corporation (IFC), International Finance Institutions and Development: Private Sector, 2011; Christian Kingombe, Isabella Massa and Dirk Willem te Velde, Comparing Development Institutions Literature Review, Overseas Development Institute, January 20, 2011; Association of European Development Finance Institutions (EDFI) publications; and various other DFI publications and annual reports.
Notes: * CDC (United Kingdom) formerly was Colonial Development Corporation, then Commonwealth Development Corporation.** IFC and MIGA are both part of The World Bank Group.Author Contact Information
Acknowledgments
The author is grateful to Keigh E. Hammond, for her invaluable contributions in researching and compiling OPIC authorization legislation in Appendix A.
1. |
For additional information, see OPIC's website: http://www.opic.gov/. |
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2. |
As used in this report, the term DFI refers to an entity that provides officially backed (or government-backed) support (e.g., through direct loans, loan guarantees, or insurance) for private sector investment in developing countries. Development finance also can take place by other means that do not directly involve supporting the private sector. For example, the World Bank Group's International Bank for Reconstruction and Development (IBRD) and International Development Association (IDA) provide financial support to middle- and/or low-income governments for development purposes. For more information, see CRS Report R41170, Multilateral Development Banks: Overview and Issues for Congress, by |
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3. |
22 U.S.C. §2191 et seq. |
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4. |
22 U.S.C. §2195(a)(2). | |||||
5. | §7073(b) of the FY2015 appropriations act (P.L. 113-235) states, "Notwithstanding section 235(a)(2) of the Foreign Assistance Act of 1961 [which states the expiration date for OPIC's authority], the authority of subsections (a) through (c) of section 234 of such Act [i.e., investment insurance, investment guarantees, and direct insurance] shall remain in effect until September 30, 2015." |
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22 U.S.C. §2191. |
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U.S. Congress, House Committee on Foreign Affairs, Subcommittee on Terrorism, Nonproliferation, and Trade, Testimony by Elizabeth Littlefield, President and CEO, OPIC, Hearing on "Trade Promotion Agencies and U.S. Foreign Policy," 114th Cong., 1st sess., May 19, 2015. |
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For example, OPIC |
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9. |
Public Papers of the Presidents: Richard Nixon, Washington, U.S. Government Printing Office, 1969, p. 412. |
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10. |
More generally, U.S. foreign assistance continues to evolve. See CRS Report R40213, Foreign Aid: An Introduction to U.S. Programs and Policy, by |
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11. |
See, for example, OPIC, FY2017 Congressional Budget Justification, p. 17.
In 2008, OPIC's authority expired for about six months (April-September 2008), during which time OPIC was able to disburse funds for already committed projects, but unable to sign contracts for new projects. See OPIC, FY2009 Congressional Budget Justification, p. iii. |
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22 U.S.C. §2197(f). See also, OPIC, "Political Risk Insurance: Extent of Coverage," https://www.opic.gov/what-we-offer/political-risk-insurance/extent-of-coverage. |
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OPIC, " | ||||||
14. |
OPIC, "Enterprise Development Network," http://www.opic.gov/doing-business/edn. |
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16.
|
|
OPIC, "Financial Products," https://www.opic.gov/what-we-offer/financial-products. 17.
|
|
OPIC, "U.S. Connect Requirements for OPIC-Supported Projects," fact sheet, January 2016. |
OPIC, "Investment Funds," http://www.opic.gov/what-we-offer/investment-funds. |
|
U.S. General Accounting Office (now General Accountability Office, GAO), Overseas Investment: The Overseas Private Investment Corporation's Investment Funds Program, GAO/NSIAD-00-159BR, May 2000 |
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Ibid. |
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OPIC, "Expanding Horizons," http://www.opic.gov/media-connections/events-speakers/expanding-horizons. |
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According to the OECD, an ECA is an "agency in a creditor country that provides insurance, guarantees, or loans for the export of goods and services." ECA activities may be in low-income countries but generally do not have development-related objectives, although they may have a development impact. See Kaori Miyamoto and Kim Biousse, Official Support for Private Sector Participation in Developing Country Infrastructure, OECD, OECD Development Co-operation Working Papers No. 19, 2014, p. 16 |
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The role of the OECD Arrangement is to help "level the playing field" so that decisions to purchase goods and services are based on price and quality, rather than financing terms. See CRS Report R43671, Export-Import Bank |
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Ex-Im Bank, Report the U.S. Congress on Export Credit Competition and the Export-Import Bank of the United States, for the period January 1, 2014 through December 31, 2014, June 2015, p. 7 |
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22 U.S.C. §2195(a). |
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OPIC |
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|
OPIC, "Why Political Risk Insurance is Critical to the Global Economy," OPIC blog, February 23, 2016. 29.
|
|
OPIC 2015 Annual Report, p. 30. Investment financing reflects combination of investment funds and finance. 30.
|
|
OPIC, Annual Report on Development Impact, Fiscal Year 2015, pp. 2-3, 16. |
CRS calculation based on data in OPIC 2000 Annual Report, pp. 33-34, https://www.opic.gov/sites/default/files/docs/00_AnnualReport.pdf. |
25. |
CRS calculation based on data in Annual Management Report of the Overseas Private Investment Corporation for Fiscal Year 2014, p. 9. |
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26. |
OPIC 2014 Annual Report, p. 4; and OPIC, Congressional Budget Justification – Fiscal Year 2016, p. 15, https://www.opic.gov/sites/default/files/files/20150309-opic-cbj-final.pdf. |
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27. |
OPIC, Congressional Budget Justification – Fiscal Year 2016, p. 15; and OPIC 2014 Annual Report, p. 5. |
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28. |
Discussion draws from OPIC annual reports, congressional budget justifications, and press releases. |
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According to OPIC, "[f]rom time to time, statutory and policy constraints may limit the availability of OPIC programs in certain countries, or countries where programs were previously unavailable may become eligible." For example, OPIC suspended its programs in China following the 1989 crackdown on Tiananmen Square protestors. Department of State, |
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OPIC |
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|
OPIC 2015 Annual Report, p. 7. Section 231 of the FAA of 1961, as amended (U.S.C. §2191(2)), defines low-income countries as those with per capita incomes (gross national product, GNP) of $984 or less in 1986 dollars. OPIC considers middle-income countries as those with per capita GNP of $984 to $4,268 in 1986 dollars, and high-income countries as those with per capita GNP above $4,268 in 1986 dollars. 34.
|
|
GAO, Overseas Private Investment Corporation: Additional Actions Could Improve Monitoring Processes, GAO-16-64, December 2015, pp. 9-11. |
U.S. Congress, Senate Committee on Foreign Relations, Hearing on Power Africa Initiative, Testimony of Mimi Alemayehou, Executive Vice President, OPIC, 113th Cong., 2nd sess., March 26, 2014; and 2014 OPIC Annual Report, p. 3. |
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32. |
OPIC, Congressional Budget Justification – Fiscal Year 2012, pp. 5-6, https://www.opic.gov/sites/default/files/files/opic-fy12-cbj.pdf. OPIC defines impact investing as "investments in businesses that are designed with the intent to generate positive social and/or environmental impact" and "can include business sectors such as basic needs (food, water, sanitation, housing), basic services (education, health care, clean technology), and financial services (microfinance and small and medium enterprise finance)." |
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33. |
2014 OPIC Annual Report, p. 4. |
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|
Benjamin Leo and Todd Moss, Inside the Portfolio of the Overseas Private Investment Corporation, Center for Global Development (CDG), CGD Policy Paper 81, April 2016, pp. 9-10. 36.
|
OPIC, Annual Report on Development Impact, Fiscal Year 2015, p. 9. The report does not specify whether the sectoral breakdown is by number or value of new commitments. However, past annual development impact reports typically have focused on the number of new commitments. | OPIC, Congressional Budget Justification – Fiscal Year 2016, p. 11. |
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|
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OPIC, "OPIC to Provide Up to $2 Billion for Investment in Middle East and North Africa," press release, March 11, 2011 | ||||||
37. |
|
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OPIC, "OPIC Board Approves $500 Million for Small Business Lending in Egypt and Jordan," press release, July 1, 2011 |
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John Morton, "U.S.-Africa Clean Energy Finance Initiative – Supporting renewable energy to power Africa," OPIC, blog, January 13, 2015 |
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The White House, "Fact Sheet on the U.S.-Asia Pacific Comprehensive Partnership for a Sustainable Energy," press release, November 20, 2012 |
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OPIC, Congressional Budget Justification – Fiscal Year 2016, p. 16. |
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|
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Department of Commerce, "Fact Sheet: Look South Initiative," January 9, 2014 |
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22 U.S.C. §2191(a). |
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Prior to FY1992, OPIC relied exclusively on resources controlled outside the annual appropriations process (fees and interest on Treasury securities) to fund its operations. With federal government credit reform, however, OPIC was required to receive an appropriation based on an estimate of its credit programs (direct loans and guarantees). From 1992 to 1994, OPIC received an appropriation to cover its operations from the General Fund of the U.S. Treasury and reimbursed the amount of that appropriation from its collections. For FY1998 and beyond, OPIC's appropriations language provides OPIC with the authority to spend their own collections, without the need for a General Fund appropriation. |
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|
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OPIC, "Financial Products," https://www.opic.gov/what-we-offer/financial-products/products. See also Annual Management Report of the Overseas Private Investment Corporation for Fiscal Year 2014, pp. 23-26. |
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22 U.S.C. §2191(d). |
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For more information, see OPIC, | ||||||
50. | OPIC, "OPIC Achieves $3 Billion in Commitments for 2014, Catalyzing Billions More, While Supporting American Business Growth in Developing Countries," press release, December 18, 2014, https://www.opic.gov/press-releases/2014/opic-achieves-3-billion-commitments-2014-catalyzing-billions-more-while-supporting-american-business-growth-. |
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51. |
Annual Management Report of the Overseas Private Investment Corporation for Fiscal Year |
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52. |
Ibid. |
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53. |
Ibid. |
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54. |
See OECD, Development Co-operation Directorate (DCD-DAC), http://www.oecd.org/dac/stats/data.htm. |
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55. |
Foreign direct investment (FDI) takes place when a resident (including a company) of one country obtains a lasting interest in, and a degree of influence over the management of, a business enterprise in another country. |
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56. |
Official development assistance (ODA), as defined and reported by the OECD, differs from U.S. government measures of foreign assistance because it excludes all military assistance and assistance to developed countries, among other things. For more information, see CRS Report R40213, Foreign Aid: An Introduction to U.S. Programs and Policy, by |
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57. |
For background, see United Nations Conference on Trade and Development (UNCTAD), World Investment Report |
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58. |
Development finance can take place through other means that do not directly involve supporting the private sector. For example, the World Bank Group's International Bank for Reconstruction and Development (IBRD) and International Development Association (IDA) provide financial support to middle- and/or low-income governments for development purposes. |
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59. |
|
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60. |
Daniel F. Runde and Helen Moser, DFI Finance Increases to One Half of ODA, CSIS, July 13, 2015 |
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61. |
The Berne Union has over 70 member companies (including the Berne Union Prague Club). OPIC and Ex-Im Bank are both members of the Berne Union. For more information, see http://www.berneunion.org/about-the-berne-union/. |
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62. |
Berne Union, Statistics |
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63. |
Entities where investment and export financing functions are combined can variously be called, in some cases, either DFIs or export credit agencies (ECAs). |
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64. |
Ex-Im Bank, Report the U.S. Congress on Export Credit Competition and the Export-Import Bank of the United States, for the period January 1, 2014 through December 31, 2014, June 2015, p. 7 |
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65. |
OPIC, Congressional Budget Justification – Fiscal Year 2016, p. 9. |
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66. |
|
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67. |
Daniel F. Runde et al., Sharing Risk in a World of Danger and Opportunities: Strengthening U.S. Development Finance Capabilities, Center for Strategic and International Studies (CSIS), December 2011 |
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68. |
|
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69. |
Ex-Im Bank, Report to the U.S. Congress on Export Credit Competition and the Export-Import Bank of the United States, for the period January 1, | |||||
70. | EDFI, Investing to Create Jobs, Boost Growth and Fight Poverty, Flagship Report 2016, p. 18. Categories are listed as provided by EDFI. Sabrina Snell, China's Development Finance: Outbound, Inbound, and Future Trends in Financial Statecraft, U.S.-China Economic and Security Commission, December 16, 2015, p. 2. |
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See Appendix 1 of OPIC, Overseas Private Investment Corporation 2012 Strategic Sustainability Plan, November 16, 2012, http://www.opic.gov/sites/default/files/files/OPIC_Strategic_Sustainability_Plan_2012.pdf. |
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|
EDFI, Investing to Create Jobs, Boost Growth and Fight Poverty, Flagship Report 2016, p. 24. 75.
|
|
Sabrina Snell, China's Development Finance: Outbound, Inbound, and Future Trends in Financial Statecraft, U.S.-China Economic and Security Commission, December 16, 2015, p. 2. |
For differing views on OPIC, see, for example |
||
Daniel F. Runde et al., Sharing Risk in a World of Danger and Opportunities: Strengthening U.S. Development Finance Capabilities, CSIS, December 2011, pp. 5-6. |
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OPIC, Congressional Budget Justification – Fiscal Year 2009, p. iii. |
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Daniel F. Runde et al., Sharing Risk in a World of Danger and Opportunities: Strengthening U.S. Development Finance Capabilities, CSIS, December 2011, p. 5. |
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OPIC's enabling legislation provides it authority to establish a four-year pilot program under which it may make equity investments in projects in sub-Saharan Africa and in certain "Caribbean basin" countries (specified in |
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OPIC, Congressional Budget Justification – Fiscal Year |
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78. |
Ibid. |
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OPIC, Congressional Budget Justification – Fiscal Year 2016, p. 9; and U.S. Congress, House Committee on Foreign Affairs, Subcommittee on Terrorism, Nonproliferation, and Trade, Testimony by Elizabeth Littlefield, President and CEO, OPIC, Hearing on "Trade Promotion Agencies and U.S. Foreign Policy," 114th Cong., 1st sess., May 19, 2015, p. 12. |
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For example, see Daniel F. Runde and Ashley Chandler, Making the Case for OPIC, CSIS, May 12, 2011, http://csis.org/publication/making-case-opic; and Benjamin Leo, Todd Moss, and Beth Schwanke, OPIC Unleashed: Strengthening US Tools to Promote Private-Sector Development Overseas, CGD, August 2013. |
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OPIC, OPIC – Environmental and Social Policy Statement, October 15, 2010, p. 26. |
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OPIC's proposed changes are available at |
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|
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"McCaskill Seeks Greater Oversight of OPIC, TDA; Questions Funding Food Chains, Hotels," Bloomberg BNA International Trade Daily, December 13, 2013. |
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For example, see OPIC, Annual Report on Development Impact – Fiscal Year 2013 |
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| ||||||
The White House, Office of the Press Secretary, "Government Reorganization Fact Sheet," press release, January 13, 2012 | ||||||
88. | . President Obama reiterated the proposal in subsequent budget requests. See, for example, OMB, Budget of the United States Government, Fiscal Year |
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For example, see Ben Leo and Todd Moss, Bringing US Development Finance into the 21st Century, Center for Global Development, July 20, 2015 |
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CRS Report R42555, Trade Reorganization: Overview and Issues for Congress, by |
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For example, see J.P. Morgan Securities, Inc., Overseas Private Investment Corporation: Final Report on the Feasibility of Privatization, New York, February 7, 1996, cited in GAO, Overseas Investment: Issues Related to the Overseas Private Investment Corporation's Reauthorization, GAO/NSIAD-97-230, September 1997, p. 24, http://www.gao.gov/archive/1997/ns97230.pdf. |
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For example, see Bryan Riley and Brett D. Schaefer, Time to Privatize OPIC, The Heritage Foundation, May 19, 2014 |
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22 U.S.C. §2199 |
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98.
|
Co-authored by Keigh E. Hammond, Research Librarian. |
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See, for example, 100.
|
In 2008, OPIC's authority expired for about six months (April-September 2008), during which time OPIC was able to disburse funds for already committed projects, but was unable to sign contracts for new projects. See OPIC, FY2009 Congressional Budget Justification, p. iii. |