We, the undersigned
African civil society organizations, working on and interested
in extractive sector issues have decided not to officially participate
in the IFC consultative process for Africa, held on November 29
and 30, 2004 in Nairobi, Kenya because of insufficient time and
information on the process.
In September this
year (2004) African Civil Society organisations, together with
their colleagues from around the world, sent a letter to the IFC
raising fundamental concerns and proposals about the proposed
consultation process. The response from IFC to the concerns and
proposals was so inadequate that it did not address the majority
of the fundamental flaws associated with the process. Among the
issues raised in the letter was the need for a more transparent,
informative, and inclusive process.
Again, African
civil society organisations and their colleagues participating
in the annual meetings of the World Bank Group/International Monetary
Fund (WBG/IMF) in October 2004 in Washington DC, USA, wrote a
statement to the IFC requesting it to give the process "more
time, more outreach, more translation, more information and more
engagement than the current process allows". To date we have
yet to receive any concrete response from IFC to this request.
Unfortunately the
IFC chose to ignore these proposals and is rushing the process
over many right holders. We observe with grave concern that even
for the Africa regional consultative process on November 29th
and 30th, 2004, there is clearly an inadequate timeframe for consultation
among various right holder groups, inadequate spread of background
information materials, and total lack of clarity on their outreach
and feedback strategy on the consultation in Africa.
Much as we are
desirous for any review that will ensure accountability and transparency
in the IFC environmental and safeguard policies, we find it extremely
difficult to spend time, energy, and resources to participate
in a process that is not transparent. We cannot participate from
an informed position without the essential information, and also
without an understanding of the rules of engagement. We believe
that the IFC could have improved upon the process by:
a. Giving sufficient
and adequate timeframe for consultation by various right holder
groups including civil society groups in the continent.
b. Defining clearly
to participating organisations, its outreach and feedback strategies
for the consultation
c. Making available
in advance in the public domain various background documents,
particularly a concept note that spells out clearly areas to be
reviewed, the reasons for the review, and the procedure to be
followed.
Our long experience
working with communities affected by extractive projects, including
those supported by the World Bank Group, has shown that large
scale extractive sector investments by the World Bank Group, and
in particular the IFC, have done little to contribute to poverty
reduction through sustainable development on the continent. To
the contrary, these investments have contributed significantly
to the destruction of community livelihood sources, human rights
violations and abuse of power, created social conflicts and systemic
corruption, degraded the diversity of the environment and undermined
democracy in many respects. The final report of the World Bank
Group sponsored Extractive Industries Review affirmed this. (See
http://www.worldbank.org/ogmc/)
And it is precisely so because the framework for the Bank’s involvement
in Africa’s extractives has been inadequate and unbalanced to
meet the developmental priorities and needs of the people and
communities.
We noted also with
concern that the existing environmental and social safeguard policies
of the IFC have been decidedly weak to protect community rights,
the environment, and ensure development effectiveness.
The existing policies
lack definitive criteria for measuring impacts and decision-making
process that allow IFC to determine adequate compliance by companies,
and also fair and equitable benefits by communities. The IFC has
been suffering from serious and systemic problems with implementation
of its already weak environmental and social safeguard policies.
It is therefore not surprising that IFC supported projects are
among the most controversial and contested projects in Africa.
The Bulyanhulu mines in Tanzania and the Tchad-Cameroun pipeline
project are but clear examples.
It is in view of
the foregoing that we would welcome any review that seeks to correct
the fundamental imbalances inherent in extractive sector activity
in Africa, by adopting extractive sector policy frameworks that
protect the interests and rights of communities, and promote environmental
diversity and national development.
We believe that
this can be achieved through a policy formulating process that
is transparent, informative and inclusive. The IFC chose the contrary
in its review process. We feel strongly that by this choice, IFC
has subordinated public interest to corporate interest, and we
feel obliged to spend our time, energy and resources in alternative
important endeavours, rather than participating in a process whose
outcome is already pre-determined.
Endorsed by:
1.
Third World Network-Africa (TWN-Africa), Ghana
2.
Friends of the Earth, Ghana
3.
Centre for Public Interest Law (CEPIL), Ghana
4.
Wassa Association of Communities Affected by Mining (WACAM), Ghana
5.
Green Earth Organization, Ghana
6.
ABANTU for Development, Ghana
7.
Friends Of The Nation, Ghana
8.
Environmental Rights Action (ERA)/ Friends of the Earth, Nigeria
9.
African Citizens Development Foundation (ACDF), Nigeria
10.
National Union of Ogoni Students International (NUOS Int’l) of
the Movement for the Survival of the Ogoni People (MOSOP), Nigeria
11.
Nigeria Network of NGOs (NNNGO), Nigeria
12.
Citizens for a Better Environment (CBE), Zambia
13.
Lawyers’ Environmental Action Team (LEAT), Tanzania
14.
Yonge Nawe Environmental Action Group, Swaziland
15.
Highlands Church Solidarity and Action Centre, Lesotho
16.
CIVICUS: World Alliance for Citizen Participation, South Africa
17.
groundwork/Friends of the Earth, South Africa
18.
Environmental Justice Networking Forum (EJNF), South Africa
19.
IMF & World Bank Wanted For Fraud Campaign
20.
Planet Survey Environnement et Développement Durable (PSEDD),Cameroon
21.
Centre for Human Rights and Rehabilitation (CHRR), Malawi
22.
Malawi Economic Justice Network (MEJN), Malawi
23.
KAMOTA Amédée et Kalimba Zéphyrin, Rwanda
24.
CAURWA ( Communauté des Autochtones Rwandais), Rwanda
25.
CENADEP (Centre National D’Affaire un Development et a la Participation
Populaire), Congo DR
26.
Livaningo (Forum for a Bettter Environment), Mozambique
27.
GreenDev. (Reserach Group in Economic, Environment and Development),
Madagascar
28.
Network Movement for Justice and Development, Sierra Leone
29.
MWENGO, Zimbabwe