首页    期刊浏览 2024年11月08日 星期五
登录注册

文章基本信息

  • 标题:The Divergent Corporate Governance Standards and the Need for Universally Acceptable Governance Practices
  • 本地全文:下载
  • 作者:Syeedun Nisa ; Khurshid Anwar Warsi
  • 期刊名称:Asian Social Science
  • 印刷版ISSN:1911-2017
  • 电子版ISSN:1911-2025
  • 出版年度:2008
  • 卷号:4
  • 期号:9
  • 页码:128
  • DOI:10.5539/ass.v4n9p128
  • 出版社:Canadian Center of Science and Education
  • 摘要:Corporate governance mechanisms differ from organization to organization and from countries to countries. The governance mechanism in each organization is shaped by its own objective (vision, mission) & political, economic, legal and social history of a country. The governance practices adopted in any organization reflect mindset of top management and value systems adopted in that organization over a long period of time. For most of the organization the corporate governance standards did not evolve and emerge through a natural business process. It has been a forced adoption because of the requirement of legal compliance within a particular country or to confirm industry standard. Hence different organizations have set the code of corporate governance in their own way. In view of this, a pertinent question arises as to whether it is possible to have a set of universally acceptable corporate governance standards. Whether a standard corporate norms can be established at global level. As today, companies are not confined to one country only. They have crossed the borders and have presence in many countries. In such scenario, there is definitely a need of universally acceptable governance standard to be followed by each organization or firm. Since the mid-1990s, there has been much talk of the convergence of corporate governance systems to Anglo-American standards, and several trends have pointed in this direction. Comparative research in the field of Corporate governance has emphasized that Anglo-American corporate governance is characterized by low ownership concentration, one-tier boards and shareholder value norms, whereas high levels of insider ownership, two-tier boards and stakeholder concerns are more characteristic of continental Europe.
    The objective of the paper is to discuss the issues like - whether companies should follow an Anglo-American model or European model and why the convergence of corporate governance standards is required in the globalized world. This paper also discusses that in such a divergent world, is it actually possible to have universal corporate governance norms, which would be uniformly followed by all the countries of the world.
国家哲学社会科学文献中心版权所有