Theresa May will visit Norway on Tuesday to hold talks with Norwegian Prime Minister Erna Solberg.
The two prime ministers are set to discuss a number of issues, including the United Kingdom’s imminent departure from the European Union, and the current state of Brexit negotiations.
In recent weeks, the suggestion that Britain should replicate Norway’s relationship with the EU has resurfaced, with Conservative MP Nick Boles calling for May to use the so-called Norway model for Britain’s transition period.
Under Boles’ plan — which has been endorsed by MPs like ex-Home Secretary Amber Rudd and influential Tory George Freeman — the UK would copy Norway’s relationship with the EU for a few years after Brexit before entering a new free trade agreement with Brussels. Boles calls it “Norway for now.”
Boles believes that something like the Norway model will unlock Brexit talks which have been at an impasse over the thorny issue of the Northern Irish border for weeks.
Here’s what the Norway model would actually mean in practice.
What is the Norway model?
So, the Norway model includes two key European organisations: The European Free Trade Association (EFTA) and European Economic Area (EEA). Norway, along with Lichtenstein and Iceland, is a member of both.
EFTA is made up of the aforementioned three countries, plus Switzerland. They trade between themselves while the group as a whole has free trade deals with numerous non-EU countries, Canada, Mexico and others.
The EEA, on the other hand, is a collaboration of all EU member states plus three EFTA states: Norway, Lichtenstein, and Iceland. All EEA members — including the EFTA countries — enjoy full access to the European single market.
EEA membership is only available to either EU or EFTA member states. So, under a Norway-style Brexit, Britain would leave the EU, join EFTA, and then become the 31st full member of the EEA.
What are the pros of the Norway-style Brexit?
Being in EFTA-EEA would allow to the UK maintain full access to the single market. This would mean no new non-tariff barriers, and continued single market treatment for services, which account for around 80% of the UK economy.
Most research suggests this would be the least damaging form of Brexit. The government’s own impact assessment found the Norway option would be the least damaging option in terms of economic harm.
And although Britain would retain full single market access, it wouldn’t be forced to sign up to some of the EU’s more contentious policies. It wouldn’t be required to join the EU’s Common Fisheries Policy, for example, which has long been a bugbear for many Brexiteers. It would also be exempt from the Common Agricultural Policy. The European Court of Justice, reviled by most pro-Leave MPs, would have no jurisdiction over Britain.
What about the cons?
Although Britain would finally be free of the ECJ, it would have to answer to the EFTA court, which for most Brexiteers would merely represent another set of unaccountable, interfering foreign judges.
Then there’s the issue of Britain’s influence as an EFTA/EEA country. Under the Norway model, Britain would have full access to the single market but have much less say in shaping its rules than it does now as an EU member.
“Pay with no say” is how critics of the Norway model describe this. Norway does not formally participate in Brussels decision-making but has incorporated around 75% of EU law into its national legislation.
What about immigration?
The elephant in the room here is immigration. The public’s desire to control immigration was arguably the biggest driving force for Brexit, and the UK government has vowed to end the free movement of EU citizens.
EEA members are required to accept the four freedoms, including the free movement of people. Clearly, this would be politically dangerous for any government, and for that reason is probably a non-starter.
There is one way around that. It’s unrealistic — but theoretically possible.
Article 112 of the EEA Agreement allows non-EU member states to opt out of the four freedoms if they are facing serious economic, societal or environmental strain. For example, Lichtenstein used Article 112 to impose controls on the free movement of people, due to concerns over whether a landlocked country of such modest size and resources could cope with big influxes of people. Obviously, Britain is very different from Lichtenstein, and would likely have a much tougher time arguing for an immigration opt-out.
What would it mean for the Irish border?
Perhaps the strongest case for a Norway-style Brexit is that it would go some way to resolving the Irish border dilemma. Boles argues that Britain could remain in a Norway-like state until a new UK-EU free trade agreement which covers the Irish border is ready, making it a replacement for the controversial backstop.
By remaining fully aligned with EU market rules, Britain would avoid a plethora of non-tariff barriers which would otherwise emerge between Northern Ireland and the Republic.
However, a Norway-style relationship wouldn’t provide the whole solution avoiding physical infrastructure on the island of Ireland. In order to also eliminate tariff barriers, Britain would need to be in either the current or a new customs union with the EU after Brexit. Norway is not in a customs union with the EU.
So how likely is a Norway-style Brexit?
Earlier this year, the Brexit committee led by Labour’s Hilary Benn published a report calling for May to use the Norway option has her official backup if she fails to meet key negotiating goals in Brexit talks with the EU.
The idea has gathered momentum in recent weeks as MPs look for ways of unlocking Brexit talks and avoiding a dreaded no deal scenario. The EU has always said the Norway option is available to the UK.
However, there are some practical problems.
Firstly, although EFTA/EEA countries are generally open to the idea of Britain becoming a permanent member of the club, whether they’d accept temporary membership is a different question. Even if they were, it could take up to twelve months for Britain to complete the joining process, while exit day is just five months away at the time of writing.
On top of that is the issue of customs. For a Norway-style model to solve the Irish border problem, it would need to come with a customs union add-on. However, EFTA countries have together signed trade deals with other countries which include customs arrangements. The UK would need to sign up to those, making a customs arrangement with the EU very difficult if not impossible.
Then we have the question of Westminster politics. Would May be able to sell continued acceptance of EU rules and the free movement of MPs to pro-Brexit MPs? Right now, it’s highly unlikely.