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The approximately 30 million Canadians are represented by 301 federal members of Parliament, or about 1 for every 100,000 Canadians of all ages. The approximately 270 million citizens of the United States are represented by 535 elected federal legislators (435 members of the House of Representatives and 100 senators), or about 1 for every 500,000 Americans of all ages. Furthermore, American candidates for senator must campaign over an entire state, while candidates for president must campaign across the entire country. In Canada, however, each meber of Parliament represents a local riding, the vast majority of which are quite small (only in the far north does sparseness of population create large ridings). Urban ridings in Canada sometimes cover only two or three square miles. The approximately 30 million Canadians are represented by 301 federal members of Parliament, or about 1 for every 100,000 Canadians of all ages. The approximately 270 million citizens of the United States are represented by 535 elected federal legislators (435 members of the House of Representatives and 100 senators), or about 1 for every 500,000 Americans of all ages. Furthermore, American candidates for senator must campaign over an entire state, while candidates for president must campaign across the entire country. In Canada, however, each meber of Parliament represents a local riding, the vast majority of which are quite small (only in the far north does sparseness of population create large ridings). Urban ridings in Canada sometimes cover only two or three square miles.


The effects of this difference on federal political financing are enormous. American candidates require much more money than Canadian candidates, and indeed more than candidates in any other industrialized democracy. Canada also has severe limits on campaign spending. As a result campaign contributions are much more important to American candidates, and the potential for influence by large campaign contributors much greater. The effects of this difference on federal political financing are enormous. American candidates require much more money than Canadian candidates, and indeed more than candidates in any other industrialized democracy. Canada also has severe limits on campaign spending. As a result campaign contributions are much more important to American candidates, and the potential for influence by large campaign contributors much greater. The American political dynasty – a family which has either used its wealth to produce generations of influential politicians or become wealthy through politics and produced generations of influential politicians – has no real equivalent in Canada, since great wealth offers fewer electoral advantages.


As a result of this difference Canadians are also able to deal more directly with their elected federal representatives. All members of Parliament maintain constituency offices, and most Canadian city dwellers are only a few minutes away from their member's office. As a result of this difference Canadians are also able to deal more directly with their elected federal representatives. All members of Parliament maintain constituency offices, and most Canadian city dwellers are only a few minutes away from their member's office.

Revision as of 19:05, 7 November 2003

The history of Canada-US relations indicates that much of Canadian politics is defined by reaction to, opposition to, following, or leading US trends. The two North American nations are so similar as to be often indistinguishable to a casual outsider, much as Canadians pride themselves on being somehow different.

Origin of Differences

There are a number of explanations for why Canadian and American politics are different:

American Revolution Approach

Some believe that the differences date to the American Revolution. This view was the dominant one in most of the studies of Canadian history. With the creation of the United States of America, the founders of that nation rejected the British monarchy and the Westminster system. In contrast Canada was created by the British Empire, and thus it chose to emulate the British Government. However, Canada copied some concepts from the US, such as a Senate (which acts more like the British House of Lords), a Supreme Court, and eventually a Constitution which spells out rights and freedoms.

Likewise the origin of the differences between the political polices of Canada and the United States can be traced back to that original divide in 1776. The revolutionaries chose a path of independence, innovation and rejection of class system. Canada chose a path of dependence on the British empire, being largely settled by United Empire Loyalists, many of whom were given generous land entitlements. For example the entire province of Prince Edward Island was partitioned to nobles of the king's choosing, who displaced the original French settlers. Thus while the United States government is meant to represent the people, who are entitled to fundamental rights, Canada's citizens are only permitted to have any rights by the graciousness of the Crown.

The differences between the origins of the two nations is often compared by contrasting the American motto "Life, Liberty, and the Pursuit of Happiness" with the Canadian one "Peace, Order, and Good Government."

Fragment Thesis

The fragment thesis, first advocated by Louis Hartz and later apllied by others to the Canada, argues that a nation's poltical culture is the product of the immigrants who formed that nation. Thus the American poltical tradition originates with those leaving Britain, either because of religious prosecution or to pursue trade and make money. Neither of these groups were keen on powerful government and they were much affected by the writings of British political philosophers John Locke and Thomas Hobbes. By comparison those who founded English Canada were United Empire Loyalists who had lived in the United States but who rejected the democratic system in existance there. French Canada was formed by settlers loyal to an autocratic monarchy and the Catholic Church. Canada thus was originally far more conservative than the US. In later years, however, Canada was a major destination of Eastern European socialists and British Fabians that have given Canada a much stronger leftist bent than the United States.

Laurentian Thesis

The Laurentian thesis ascribes the differences between Canada and the United States to a period much earlier than the revolution. It argues that the differences are based on differing trade patterns. While the US's trade in its early years ran almost entirely north-south along the eastern seaboard, Canadian trade patterns ran east-west along the St. Lawrence River. This thesis was advocated by Donald Creighton. This dependence on one river lead to the domination of Canada by Ontario and Quebec and the peripheralization of the Maritimes and the West.

Religious Thesis

The religious thesis ascribes the differences between Canadian and American political cultures to the differing religious make up of the countries. The United States for most of its history was overwhelmingly radical protestant, with most of its people belonging to churches that were evangelical and non-hierachical. In Canada by contrast the Anglican Church dominated English Canada while the Catholic Church dominated in Quebec. Both of these chruches were very hierarchical leading to Canada's long standing predisposition to deference towards authority. The lack of an evangelical tradition also contributed to Canada's strong belief in multiculturalism and multilateralism.

Staples Thesis

The staples thesis, introduced by Harold Innis argues that Canada became a distinct entity based upon the exploitation of certain staples by the Europeans. New France and then Canada until about 1800 was completely dependent upon the fur trade for its existence. Since it was dependent upon exports to Europe no revolutionary zeal took hold there. Innis argues that the broders of the fur trade very closely reflect the borders of modern Canada. The fur trade was eventually superceded by the timber trade and the wheat trade but the close links with Europe remained.

Division of powers

The United States is a federation while Canada is a confederation, though in many ways Canada acts more as a federation in practice. Both countries are divided into a number of governmental sub-units. In Canada these are known as provinces and territories, in the United States they are known quite aptly as states (as well as the District of Columbia). Due to the high amount of centralization in the Canadian system, Canadian provinces are often more greatly controlled by federal government than US States are. Although Canadian provinces are responsible for most of Canada's social safety net, including health care, welfare and education, most provinces rely heavily on federal funds. The provincial educations systems do, however, differ widely, and pedagogical issues are entirely within provincial responsibility.

In the United States the federal government also exerts a great deal of power but because of the checks and balances in the US system this control is often tempered by the different branches. While Canadian provinces follow a common criminal code, US states have many differing laws, creating differences in everything from gun control measures to capital punishment. While each State has its own police force, restricted by law to arrest in another State, many Canadian provinces share a common federal police force (the Royal Canadian Mounted Police). While each State has equal representation regardless of population in the Senate, each Province receives representation based on its population. Like the United States Canadian provinces became as smaller copies of the federal government. Over time, however, all the provinces have eliminated their upper house, and are now all unicameral. Many similarities remain, however. As governors are similar in role to the president, so Canadian premiers are comparable to the prime minister.

Municipal powers

Canadian municipalities have no rights whatsoever, legally, and are 'creatures of the province' in which they are located. They cannot sue nor can they apply moral purchasing standards in defiance of provincial standards. Provinces may merge and divide even cities at will, without consultation, and may ignore results of any referendum at the municipal level. For details of a current controversy, see the Toronto, Ontario article, and a discussion of the 1998 amalgamation.

Special powers of Quebec

Quebec is primarily French-speaking and like Louisiana in the US, follows the Napoleonic civil code with respect to its civil law. Quebec's public pension and social insurance schemes are kept in separate funds from those of the rest of Canada, and are managed by the powerful Caisse de Dépôt fund, which often provides investment capital to Quebec-based businesses that are deemed strategic by its government.

Provincial politics in Quebec tend to revolve on the question of Quebec separation from Canada, to create a new French-speaking nation-state. The large parties (Parti Québécois is separatist, the Quebec Liberal Party is federalist) are divided on the question, and only recently has Quebec politics shown signs of moving away from this polarization.

There is no state in the United States, by contrast, where state politics is so dominated by a party with the goal of separation from the USA. Although Puerto Rico which is a Commonwealth within the United States does share some parallels with the Quebec situation.

Equalization payments

The richer provinces – Ontario, British Columbia and, principally, Alberta – pay what are called 'provincial equalization payments' to the poorer regions, notably Newfoundland, the Maritimes, and the Territories, who are typically quite dependent on such payments. Quebec, Nova Scotia, Manitoba and Saskatchewan are typically not so dependent, nor called upon to contribute much, to the 'have-not provinces'.

The negotiations of provincial relief, and the draining of human capital (properly individual capital) from poorer provinces to richer ones, are constant concerns of Canadian provincial premiers. In the post-World-War-II period, Atlantic Canada lost many people to Central Canada (especially Ontario), and Western Canada (mostly Alberta in the 1980s oil boom and British Columbia later).

From time to time Canadian premiers have made intolerant remarks about this situation in public. Alberta Premier Ralph Klein once famously offered any unemployed person "a free bus ticket to Vancouver" (to exploit that government's more generous assistance). Ontario Premier Mike Harris once famously referred to Atlantic Canada as "welfare bums". Both reflected underlying resentment of making payments to poorer regions, often voiced by constituents in their generally more politically conservative provinces, who feel they are paying for the social assistance in these other places.

Although these politics of 'have' and 'have-not' states are also present in the United States, there is less subsidy of the latter by the former, and more appreciation of the role 'have-not' states play in providing labor to 'have' states, and in serving in the military.

Political parties

There are five political parties with seats in the Canadian House of Commons, three of which have at times held power at some point in various provinces. Both countries continue to use a first past the post system of electing representatives. This can sometimes work to exaggerate regional differences and interests, whether in the name of Quebec or of the southern "Dixiecrats".

The vote-splitting effect on the Canadian parliamentary system has often resulted in governments that have an absolute majority of representatives elected by far less than half of the overall popular vote, and effectively accountable to no one until the next election. In the United States, by contrast, the election of G. W. Bush in 2000 with slightly less than half of the popular vote is an anomalous effect of the electoral college system. It is far more difficult for third parties or independents to be represented in the United States. This usually requires an exceptional personal popularity, as was the case with Jesse Ventura in Minnesota.

The five Canadian political parties in the federal parliament are:

The rise of the Bloc and decline of the Conservative party very drastically changed the political landscape of Canada. Before that, federal politics were dominated by two parties; the Conservatives and the Liberals.

A consequence of these changes has been that the Liberal Party has tended to move more to the center, and has successfully split the vote between two parties 'on the right' (PCs and the Alliance). Since the Liberals are often referred to colloquially as the 'Grits', this condition of perpetual Liberal control is called 'Grit lock'.

Although the Clinton-era Democrats also moved to dominate the center of the political spectrum in the United States, they did not manage to successfully divide and conquer their opponents. Nonetheless the rise of the Reform Party of H. Ross Perot in 1992, and the rise of the Green Party of the United States in 2000, could both be said to have 'split the vote' and elected a candidate of opposite political views.

In the United States, by contrast, splits in the solidarity of 'the right' and 'the left' have generally been rather temporary, and quickly re-formed by binding together new coalitions, despite a more distinctive and enduring "liberal vs. conservative" culture that tends to make American political culture more dualistic.

Bureaucracy

A key and often unnoted difference between Canada and the United States is the role of professional bureaucrats. In Canada, as in the UK, very few appointed officials lose their jobs during a shift of government even to a new party. While the Prime Minister of Canada has power within his government and over his Supreme Court unknown elsewhere in the developed world (often leading to the comment that "we elect a dictator"), these powers do not extend to the unionized public service.

In the United States, by contrast, over 2500 jobs are direct appointments of the President of the United States, cabinet ministers need not be drawn from elected Members of Congress/Parliament, and "the whole top rank of every federal department is swept away and replaced" with each election. This is very different from the UK public service and Canadian public service situation, and creates very different dynamics, most notably in the conduct of Ministers vs. Secretaries:

A British or Canadian Minister is often in his or her job for a short time, not a specialist in the particular area of government, and must trust his or her Assistant Deputy Minister (only the Deputy being a political appointee) to convey his or her requests to the bureaucracy underneath.

An American Cabinet Secretary always takes one job for the duration of the Administration, unless they are replaced or resign from the government entirely. They have great power to replace their assistants, which extends deep down into the agencies they control, which have no effective unions.

While there are plenty of globally-experienced Americans appointed by each President, they are of course different people, and tend not to be 'insiders' to international institutions, which engage in constant diplomatic and interest group intrigue, requiring constant attention.

Bilingualism in French and English is an absolute and inflexible requirement of Canadian federal politics at the Cabinet level, and of bureaucrats at literally every level. Unilingual politicians are confined to provincial politics. Weak other-language skills among Cabinet Ministers also tend to increase the power of the very fluent bureaucrats, who are responsible for briefing the Ministers and for the translation of documents from one language into another.

Centralization of Power

In Canada there are far fewer 'checks and balances' than in the United States. The Prime Minister within Canada has vastly more power than the American president does. Since Canada's legislative and executive branches are fused the Prime Minister dominates both of them. Unlike the US Congress the Prime Minister will always have the largest group of supporters in the House of Commons. Also the Prime Minister keeps very close controls on all members of parliament. In the United States there are often periods of cohabitation where Congress is controlled by a different party than the White House. The president also has very limited control over the members of congress and must often bargain and make deals for support there.

The judicial branch in Canada is also closely controlled by the Prime Minister as they have complete power over the decision as to who becomes a Supreme Court judge. In the US, by contrast, all judicial appointments must be approved by the Senate. Until 1982 the Canadian judicial branch was for less powerful than the US one because Canada had nothing comparable to the US Bill of Rights. However in 1982 under the urging of Prime Minister Pierre Trudeau the Canadian Charter of Rights and Freedoms was added to the constitution giving the courts far more power. However, in Canada's charter there is a notwithstanding Clause, which allows any government to protect a bill from certain areas of the charter.

The centralization of power in Canada has certain benefits and certain liabilities when compared with the American system. A clear line of authority means it is very clear who in government is responsible for any given issue. Unlike in the US the Prime Minister is wholly accountable for the economy, security and other national concerns. The rigid control of Members of Parliament in Canada also serves to reduce corruption and reduce the influence of money in Canadian politics. Unlike American Senators MPs do not need to raise great deals of money, and because they are far less powerful there is far less interest from companies to donate to them. The advantages of the US system include that it is more flexible and more representative as each congressperson can make their own decisions on each issue. This leads to greater regional representation by each party, it also helps discourage the proliferation of third parties which occurs often in Canada.

Size of constituencies

The approximately 30 million Canadians are represented by 301 federal members of Parliament, or about 1 for every 100,000 Canadians of all ages. The approximately 270 million citizens of the United States are represented by 535 elected federal legislators (435 members of the House of Representatives and 100 senators), or about 1 for every 500,000 Americans of all ages. Furthermore, American candidates for senator must campaign over an entire state, while candidates for president must campaign across the entire country. In Canada, however, each meber of Parliament represents a local riding, the vast majority of which are quite small (only in the far north does sparseness of population create large ridings). Urban ridings in Canada sometimes cover only two or three square miles.

The effects of this difference on federal political financing are enormous. American candidates require much more money than Canadian candidates, and indeed more than candidates in any other industrialized democracy. Canada also has severe limits on campaign spending. As a result campaign contributions are much more important to American candidates, and the potential for influence by large campaign contributors much greater. The American political dynasty – a family which has either used its wealth to produce generations of influential politicians or become wealthy through politics and produced generations of influential politicians – has no real equivalent in Canada, since great wealth offers fewer electoral advantages.

As a result of this difference Canadians are also able to deal more directly with their elected federal representatives. All members of Parliament maintain constituency offices, and most Canadian city dwellers are only a few minutes away from their member's office.


To summarize the differences:

  • Canada:
    • Hybrid liberalism civic nature with a strong strand of Tory deference.
    • Regional distinction
    • 2 Party qualified but more recently developed a more multiparty system.
    • Relatively inexpensive election campaigns
    • Post-materialism of 1960s.
    • Oppositional relationship generally except for business links with parties and elites.
    • Fused executive and legislative branches
    • Very powerful Prime Minister
  • United States:
    • Constitutionalism
    • Acceptance of limited state
    • Checks and balances
    • Individualism
    • Civic Culture
    • 2 Party System made up of catch-all parties.
    • Expensive election campaigns
    • Post-materialism and protest in the 1960s

Multilateralism

Canada is committed to the concept of multilateralism and collective security. It is one of the largest backers of the United Nations and supports most international initiatives, such as the Kyoto Protocols, the International Criminal Court, and the International Ban on Land Mines. The United States pursues both unilateral and multilateral policies at different times, depending on what is in their self interest. Many Americans have problems with the United Nations and are unwilling to see their sovereignty impinged on by international organizations. Both Canada and the United States are committed to international economic organizations such as the International Monetary Fund, World Trade Organization and the World Bank.

See also: Politics of Canada, United States Government, Canada-US relations, Canadian provinces and territories, states of the United States of America.