
Democracy in Latin America
Looking Back Thinking AheadFall 2002
Constitutional Reform
Cindy Skach
You say you?ll
change the constitution,? Beatle John Lennon once wrote. Latin American
countries have long been singing this same tune, often blaming their presidential
constitutions for the cycles of political and economic turbulence of the
past decades. Indeed, presidentialism has not been without fault in many
historical incidents of democratic breakdown in the region.
The alternative to presidentialism most often proposed and discussed by
practitioners and scholars is parliamentarism?a constitutional type
found in stable postwar European democracies, such as the United Kingdom
and Germany. But of late, one very intriguing ?alternative to the
alternative? tends to pop up, as Latin American countries consider
constitutional reform à la française. Argentina,
Venezuela, and Brazil, for example, have all considered the French model
at some point during their democratizations.
Why such attraction to the French model? First, the constitution of the
French Fifth Republic (1958) has been praised for helping France make a
very successful regime transition in the early 1960s. Barely able to pick
up the pieces after the turbulent Fourth Republic, still suffering the pain
of de-colonization, France successfully rediscovered its democracy equilibrium
under a semi-presidential constitution. Within a decade, French political
parties, once unwilling to cooperate and form stable coalitions, began to
coalesce into a workable system with coalitions that supported not only
prime ministers, but also presidents. Given Latin America?s history
of inchoate party systems and presidents without legislative support, the
French about-face is fascinating. Can it be emulated? If the constitution
played a role in this dramatic change, isn?t such a constitution worth
a try in the Americas?
Second, semi-presidentialism appears to be a magnificent institutional compromise.
Why make a drastic switch to parliamentarism? Latin Americans opting for
semi-presidentialism would not have to give up the historically significant
office of the president. They could, it is thought, get the best of both
worlds: all the benefits of parliamentary government, without the radical
change implied by parliamentarism. What a great solution!
Or is it? Looking a bit more closely at its actual structure, one quickly
sees that semi-presidentialism is as awkward as it sounds. It is a constitutional
type that curiously combines elements of both presidentialism and parliamentarism,
and this combination produces conflicting logics. For example, the head
of state in this type is usually a directly elected president with substantial
constitutional powers. This head of state then shares executive power with
a head of government, usually called a prime minister, who is responsible
to the legislature.
Under certain party system conditions, a semi-presidential constitution
combines the most problematic variety of presidential government (the divided
government that Latin America knows well), with the most problematic variety
of parliamentary government (the minority government that plagued much of
the French Fourth Republic). This yields a nightmarish situation that I've
termed divided minority government. In such a scenario, the president
is divided from the legislature (as in the U.S. during Bill Clinton?s
second term), with all the deadlock and conflict that this division implies.
At the same time, the legislature is divided against itself (as in the last
years of the Weimar Republic), and may be utterly unable to support any
government for a sustained period of time. Adding insult to injury, the
president in this variety of semi-presidentialism is usually also divided
against his prime minister (as Jacques Chirac and Lionel Jospin were in
France until recently). These multi-layered, mutually reinforcing political
divisions are institutionally structured; they are a consistent consequence
of the constitution and its interaction with a country?s political
party dynamics.
So, what?s so attractive about that? Let?s continue to the logical
conclusion. Divided minority government is particularly vulnerable to institutional
conflict and, in the extreme, to democratic breakdown. The absence of any
clear majority in the legislature can easily lead to an unstable scenario.
On one hand, legislative coalitions constantly shift, and the government
inevitably reshuffles. On the other hand, there is continuous presidential
intervention and use of reserved powers. We witnessed this vicious circle
in one of the newest semi-presidential countries: Russia. Under Boris Yeltsin,
the greater the legislative immobilism, governmental instability, and cabinet
reshuffling resulting from failed majorities in the Duma, the more institutional
incentives Yeltsin had to dominate the political process and rule by decree.
The real problems with semi-presidentialism start here. A divided minority
government can be a slippery slope to dictatorship: a president who relies
extensively on decrees and ignores the democratically elected legislature
moves the country into a state of hyper-presidentialism, narrowing the decision-making
arena to a small number of hand-picked, non-party technocrats. This technocratization
of cabinets hinders the democratic principles of inclusion and contestation;
it divides the government even further from the legislature; and it cramps
parliamentary responsibility. Sound familiar?
So how did France make it? France?s experience with semi-presidentialism
may have been simply exceptional. France?s party system institutionalized
relatively quickly within the first decade of the Fifth Republic, evidenced
by a steady decline in electoral volatility. Moreover, the strongly majoritarian
electoral system in place since 1958 began to encourage two, center-leaning
majorities in France. The Fifth Republic?s first president, Charles
de Gaulle, gradually became less averse to political parties, and even began
to lean on them for support. Successive presidents of the Fifth Republic
followed suit. These favorable conditions encouraged the coincidental presidential
and legislative majorities that kept France out of divided minority government
for almost the entire Fifth Republic?and made semi-presidentialism
workable.
How likely is it that countries such as Argentina or Venezuela would have
such favorable initial conditions for workable semi-presidentialism? The
track record to date does not look good. Many Latin American democracies
continue to have poorly institutionalized party systems, presidents who
continue to present themselves as standing ?above? political
parties, and proportional representation electoral formula designed to allow
for multiple parties in the legislature. Thus, countries switching to semi-presidentialism
will most likely be born in divided minority government and have a difficult
time emerging from it.
Yet, as John Carey argues in this same issue, perhaps the tide is slowly
changing, as Latin American legislatures become more effective institutions.
Should party systems in the region finally consolidate, and if governmental
crises continue to be resolved through democratic institutions rather than
outside of them, a window of opportunity may open up for constitutional
reform. Only then might countries be advised to move gently away from presidentialism,
de jure, thereby consolidating some of the (still too rare) de
facto parliamentary-like behavior we seem to be witnessing in the region.
Perhaps constitutional change is necessary in Latin America. But the sequencing
of other changes that could support constitutional reform, such as the institutionalization
of political parties, the strengthening of legislatures, and the general
attitude of political elites, should not be ignored. As even John Lennon
cautioned, ?You say you?ll change the constitution. Well, you
know, we all want to change your head.?
Cindy Skachis Assistant Professor of Government at Harvard University. She is currently working on a cross-regional study of the complexity of constitutional performance.