Masterarbeit, 2006
69 Seiten, Note: B
I. INTRODUCTION
II. BOARD STRUCTURES
A. Introduction
B. US Board Structure
1. Introduction
2. Board of Directors
3. The Problem of Effective Corporate Monitoring
a. Enron Corporation
b. WorldCom
c. Remark
4. Reformations by the Sarbanes-Oxley Act 2002
C. New Zealand Board Structure
1. Introduction
2. Board of Directors
3. Non-Executive Officers and Audit Committees
4. Social Responsibility
D. German Board Structure
1. Management Board vs. Supervisory Board
2. Rigid Separation
3. Size of the Supervisory Board
4. Directors’ Appointment
5. Additional Shareholder Rights
6. Remark
III. EVALUATION OF THE TWO-TIER SYSTEM
A. Introduction
B. Prospects
1. Clear Allocation of Responsibilities
2. Fraud Prevention
3. Equilibrium with Stakeholder Interests
C. Negative Aspects
1. Increase in Bureaucracy
2. Unattractive to Top Managers
3. Threat of Power Imbalance
D. Reality Check
1. Introduction
2. Codetermination
3. Banking Background – the Danger of the Insider System
4. Interlocking Director Problem
IV. TWO-TIER SYSTEM IN NZ?
A. Introduction
B. Average Size of New Zealand Companies
C. Codetermination
D. New Zealand Shareholders
E. Interlocking Relationships
F. Remark
V. SUMMARY AND CONCLUDING REMARKS
This study evaluates the viability of adopting a German-style two-tier board system within the New Zealand corporate landscape, considering the country's reliance on unitary boards and its specific market challenges, including a lack of independent internal supervision and weak social responsibility metrics.
3. The Problem of Effective Corporate Monitoring
Corporate collapses caused by executive misconduct and fraud are still mainly a US problem and have not occurred to the same extent in Germany or New Zealand. Many attribute the recent corporate disasters to inefficient corporate monitoring by the board of directors. Chief executive officers have too much power enabling them to minimise supervision by the board. This problem, although a US one on the first sight, has developed to a phenomenon of global interest. US investors influence worldwide markets and the US government pressures other countries, such as New Zealand, to follow their lead in corporate governance regulation. Consequently, legal professionals all around the globe have been busy in analysing the scandals that led to US corporate governance reform endeavours. In order to understand what needs to be reformed in one’s own country, it is necessary to examine the major US scandals that reached world fame, namely Enron and WorldCom.
I. INTRODUCTION: Outlines the rise of global corporate scandals and introduces the comparative study of two-tier versus unitary board structures.
II. BOARD STRUCTURES: Details the fundamental legal differences between the US, New Zealand, and German board frameworks, focusing on the separation of power and stakeholder interests.
III. EVALUATION OF THE TWO-TIER SYSTEM: Analyzes the theoretical benefits and practical pitfalls of the German two-tier model, including bureaucracy and power imbalances.
IV. TWO-TIER SYSTEM IN NZ?: Discusses the potential for implementing the two-tier system in New Zealand and concludes that the model is likely unsuitable due to the size and specific structure of New Zealand companies.
V. SUMMARY AND CONCLUDING REMARKS: Reaffirms the author’s conclusion that New Zealand should retain its unitary system and seek alternative methods to improve independent supervision.
Corporate Governance, Two-Tier System, Unitary Board, New Zealand Company Law, German Aktiengesetz, Codetermination, Sarbanes-Oxley Act, Supervisory Board, Management Board, Stakeholder Interests, Shareholder Primacy, Corporate Monitoring, Board Independence, Insider System, Outsider System.
The work examines whether the German two-tier board system, which emphasizes a strict separation between management and supervisory functions, serves as an effective model for improving corporate governance in New Zealand.
The research covers legal frameworks for corporate oversight, the impact of recent US corporate scandals, the structural differences between Civil Law and Common Law systems, and the pros and cons of stakeholder-inclusive versus market-driven governance.
The central question is whether New Zealand should adopt a two-tier board system to address the perceived lack of independent internal supervision and weak social responsibility in its current unitary corporate structure.
The author employs a comparative legal analysis, evaluating different national corporate governance models, legal statutes, and scholarly literature to assess the transferability of the two-tier system to the New Zealand context.
The main body investigates board structures in the USA, New Zealand, and Germany, details the mechanics of the German two-tier system, and evaluates its performance against potential negative aspects like increased bureaucracy.
The paper is characterized by terms such as Corporate Governance, Two-Tier System, Codetermination, Board Independence, and Corporate Monitoring.
The author uses the Sarbanes-Oxley Act as an example of a US legislative effort to improve monitoring that, according to the paper, failed to establish 'real' independence for directors, thereby supporting the case for considering alternative, more robust structures.
The author concludes that the two-tier system's complexity and high costs, combined with New Zealand's specific market characteristics, would not effectively provide the independent supervision required, making it an inappropriate solution.
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