Diversity of shareholder stewardship in Asia: Faux convergence

Since the UK adopted the world's first stewardship code in 2010, stewardship codes have proliferated across Asia. Given the UK Code's prominence, it is tempting to assume that every other stewardship code performs the same function as the UK Code. This assumption belies the truth: all thes...

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Main Authors: GOTO, Gen, KOH, Alan K., PUCHNIAK, Dan W.
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Language:English
Published: Institutional Knowledge at Singapore Management University 2020
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Online Access:https://ink.library.smu.edu.sg/sol_research/4000
https://ink.library.smu.edu.sg/context/sol_research/article/5958/viewcontent/Diversity_of_Shareholder_Stewardship_in_Asia__Faux_Convergence.pdf
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spelling sg-smu-ink.sol_research-59582022-11-03T06:23:54Z Diversity of shareholder stewardship in Asia: Faux convergence GOTO, Gen KOH, Alan K. PUCHNIAK, Dan W. Since the UK adopted the world's first stewardship code in 2010, stewardship codes have proliferated across Asia. Given the UK Code's prominence, it is tempting to assume that every other stewardship code performs the same function as the UK Code. This assumption belies the truth: all these codes--regardless of whether they have in fact drawn inspiration from the UK Code--have taken different trajectories due to each adopting its jurisdiction's distinctive institutional and legal context.Using empirical evidence and in-depth case studies of stewardship in Japan and Singapore, this Article reveals how any reception of United Kingdom-style stewardship concepts is only skin deep. Even where the text of stewardship codes in Asia resemble the UK Code in form, their functional impact on corporate governance significantly departs from, or even runs counter to, the intended functions of the UK Code. This Article illustrates how stewardship codes in Asia have been used as a convenient vehicle for local governments and/or market players to achieve their own particular interests through an inexpensive, nonbinding, and malleable vehicle, the formal adoption of which sends a signal of "good corporate governance" to the rest of the world. While such practices explain and contextualize the widespread adoption of stewardship codes in Asia, they also compound the challenge of drawing positive or normative conclusions from this development. The observation advanced in this Article is important as leading corporate governance scholars, prominent international organizations, and market participants, have appeared content to draw such conclusions, unaware that stewardship codes generally do not fulfill a similar function to the UK Code in Asia.This Article concludes by explaining how adopting globally recognized mechanisms of "good corporate governance" at a superficial formal level, and then altering their function to serve local purposes, appears to be a rising trend in corporate governance in Asia (and elsewhere). This phenomenon, which we coin "faux convergence," calls for the reexamination of important and impactful theories about corporate governance convergence. As an initial foray, this Article develops an expanded taxonomy of corporate governance convergence and lays the foundation for future research on "faux convergence." 2020-05-01T07:00:00Z text application/pdf https://ink.library.smu.edu.sg/sol_research/4000 info:doi/10.2139/ssrn.3481543 https://ink.library.smu.edu.sg/context/sol_research/article/5958/viewcontent/Diversity_of_Shareholder_Stewardship_in_Asia__Faux_Convergence.pdf http://creativecommons.org/licenses/by-nc-nd/4.0/ Research Collection Yong Pung How School Of Law eng Institutional Knowledge at Singapore Management University commercial law international trade alaw Asian Studies Comparative and Foreign Law International Trade Law
institution Singapore Management University
building SMU Libraries
continent Asia
country Singapore
Singapore
content_provider SMU Libraries
collection InK@SMU
language English
topic commercial law
international trade alaw
Asian Studies
Comparative and Foreign Law
International Trade Law
spellingShingle commercial law
international trade alaw
Asian Studies
Comparative and Foreign Law
International Trade Law
GOTO, Gen
KOH, Alan K.
PUCHNIAK, Dan W.
Diversity of shareholder stewardship in Asia: Faux convergence
description Since the UK adopted the world's first stewardship code in 2010, stewardship codes have proliferated across Asia. Given the UK Code's prominence, it is tempting to assume that every other stewardship code performs the same function as the UK Code. This assumption belies the truth: all these codes--regardless of whether they have in fact drawn inspiration from the UK Code--have taken different trajectories due to each adopting its jurisdiction's distinctive institutional and legal context.Using empirical evidence and in-depth case studies of stewardship in Japan and Singapore, this Article reveals how any reception of United Kingdom-style stewardship concepts is only skin deep. Even where the text of stewardship codes in Asia resemble the UK Code in form, their functional impact on corporate governance significantly departs from, or even runs counter to, the intended functions of the UK Code. This Article illustrates how stewardship codes in Asia have been used as a convenient vehicle for local governments and/or market players to achieve their own particular interests through an inexpensive, nonbinding, and malleable vehicle, the formal adoption of which sends a signal of "good corporate governance" to the rest of the world. While such practices explain and contextualize the widespread adoption of stewardship codes in Asia, they also compound the challenge of drawing positive or normative conclusions from this development. The observation advanced in this Article is important as leading corporate governance scholars, prominent international organizations, and market participants, have appeared content to draw such conclusions, unaware that stewardship codes generally do not fulfill a similar function to the UK Code in Asia.This Article concludes by explaining how adopting globally recognized mechanisms of "good corporate governance" at a superficial formal level, and then altering their function to serve local purposes, appears to be a rising trend in corporate governance in Asia (and elsewhere). This phenomenon, which we coin "faux convergence," calls for the reexamination of important and impactful theories about corporate governance convergence. As an initial foray, this Article develops an expanded taxonomy of corporate governance convergence and lays the foundation for future research on "faux convergence."
format text
author GOTO, Gen
KOH, Alan K.
PUCHNIAK, Dan W.
author_facet GOTO, Gen
KOH, Alan K.
PUCHNIAK, Dan W.
author_sort GOTO, Gen
title Diversity of shareholder stewardship in Asia: Faux convergence
title_short Diversity of shareholder stewardship in Asia: Faux convergence
title_full Diversity of shareholder stewardship in Asia: Faux convergence
title_fullStr Diversity of shareholder stewardship in Asia: Faux convergence
title_full_unstemmed Diversity of shareholder stewardship in Asia: Faux convergence
title_sort diversity of shareholder stewardship in asia: faux convergence
publisher Institutional Knowledge at Singapore Management University
publishDate 2020
url https://ink.library.smu.edu.sg/sol_research/4000
https://ink.library.smu.edu.sg/context/sol_research/article/5958/viewcontent/Diversity_of_Shareholder_Stewardship_in_Asia__Faux_Convergence.pdf
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