Venice Commission: Anti-Corruption Bureau’s Independence Insufficient in Current Design

In its opinion of December 15-16, 2023, on Georgia’s anti-corruption legislation, which focuses on the provisions added to the Anti-Corruption Law in November 2022, the Venice Commission states: “The current institutional design does not provide for a sufficient degree of independence of the Anti-Corruption Bureau (ACB)”.

The Venice Commission considers that ACB’s competences to oversee the financing of political parties and monitor asset and interest declarations of high-level officials require additional safeguards to be included in the Law. The Commission highlights the fact that the power to appoint and dismiss the head of the ACB is largely in the hands of the Prime Minister and considers this “particularly problematic”.

Noting that the November 2022 amendments to Georgia’s anti-corruption law aimed at institutional strengthening of anti-corruption activities and the fight against corruption in order to fulfill one of the European Commission’s priorities, the Commission however refrains refrains from assessing EU criteria compliance. The Venice Commission says, nevertheless that “bringing various preventive anti-corruption functions together in the ACB falls short of the stated aim of rigorously addressing high-level corruption.”

The Opinion stresses that “independence with an adequate level of structural and operational autonomy, involving legal and institutional arrangements to prevent political or other influence is considered a fundamental requirement for specialized anti-corruption bodies.”

The Venice Commission finds that “the current institutional design does not provide for a sufficient degree of independence of the ACB and considers that its competences to oversee the financing of political parties and monitor asset and interest declarations of high-level officials require additional safeguards to be included in the Law.”

To boost ACB independence, political neutrality, and public trust, the Venice Commission recommends the following:

It is furthermore recommended to revise certain other elements of the November 2022
provisions, in particular:

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