Cross-posted from The Wardman Wire:
With a new US President this week, the following few weeks are likely to see all sorts of prognostications about the lessons UK political parties and campaigners can and should be drawing.
However, many of the differences between American and British election campaigns are not the result of American campaigners having good ideas the British should copy, but rather are the result of four key legal differences between the two countries.
First – and the only one of the four that gets more than the rarest of rare mentions – is the existence of donation caps in the US. These caps exist at relatively low levels – American can give a maximum of just $2,300 to a Presidential candidate, for example. Although there are ways partially around these caps – such as by donating to not just a Presidential campaign but also the national party of that campaign along with state and local parties – they do stop Michael Ashcroft or Lord Sainsbury style direct financial support. This provides an incentive to find small donors which does not exist in the UK, though it does raise an intriguing question about whether introducing such caps would therefore produce a similar US-style small donor revolution.
Second – in 29 US states, the electoral register indicates whether someone is a Democrat, Republican or some variation of independent (exact rules on this last category vary from state to state). This means that campaigns in those states start with a complete set of voter ID information. Whilst in the UK campaigns put huge efforts into canvassing people to find out which party they tend to support, in the US campaigns have that information from day one in most states.
As a result, canvassing in the US is much more about persuading people. Certainly some of the techniques involved – including matching canvassers up with people with similar outlooks and views, such as getting farmers to canvass other farmers – are eye-catching in their sophistication.
But the apparent backwardness of British campaigns with their emphasis on much more straight forward ‘ask everyone how they are going to vote’ activities isn’t a reflection of a failure to learn. It’s also reflection of a different electoral system.
Third – it’s illegal for campaigns to place leaflets in people’s letterboxes in the US (18 U.S.C. 1725, known as ‘the mailbox restriction’). That doesn’t make delivering leaflets impossible but it does have an impact. It’s a major reason for the popularity of door-hangers (leaflets that go over a door handle) in the US. But it – combined with the geography of the US – is also a reason why the sort of campaign dominated by the volunteer-delivered leaflet is frequent in the UK but so rare in the US. Again, it is the legal details that play a key role in explaining the differences.
Fourth – there is a very different legal and cultural attitude towards data protection in the US and the UK. The idea that a volunteer with only a modicum of vetting or supervision can log in to a website and pull down the names, addresses, political affiliation and host of other personal details about dozens of complete strangers is a key part of the Democrat and Republican efforts to get their grassroots supporters campaigning.
However, it is easy to imagine the problems such an approach would raise in the UK. All the main political parties have data they make available to their campaigners, but they are all rather more circumspect than most US campaigns because of the linked issues of the legal requirements to hold data securely and the potential bad media coverage. This certainly does not mean there is nothing to learn from the US about involving a wide base of helpers in a campaign, but again the legal details are important in explaining some of the differences.
None of these differences, on their own or combined, are a reason to think that lessons can’t be learned from the US elections. But without bearing them in mind, the chances are the lessons drawn will be wrong.



8 Comments
Quite.
Plus, of course, there is an institutional difference. British political parties are membership organisations with a relatively strong, centralised structure.
We need learn nothing from the American system of democracy. If we had anys ense we would look closer to home at some of the federal successes in Europe – most notably Germany.
The sooner people move away from a slavish devotion to the uterly alien American system the better for all of us.
I take the point that there is a lot we don’t want to import from the US, but I alos think there is a lot we could learn from the (apparent) success of the Obama campaign.
A campaign that can get 1,000 students queuing up to vote at 7am must have got something right!
http://www.videothevote.org/video/615/
(We achieved something similar here in Oxford on May 1st 1997 as election day coincided with the traditional May Morning celebrations. We had a crowd of our students handing out flyers with the slogan ‘before you go to bed, go to vote’ and they were queuing up to vote, but not a 1,000 of them!)
No, I can’t accept that we can learn anything from a country in which race remains a crucial issue. For all its faults, this country is simply not as divided as the USA is along so many fault lines, such as the Democrat/Republican one. What are the prospects of a new party emerging in the States and doesn’t that sum up the sterility of their system?
Still, I will happily pay them due credit if they do put aside decades of violence and hatred and elect a black President as it will mark a major change in that country and hopefully herald a period of greater maturity.
Wit, I don’t think anyone’s suggesting we import the American political system. Just some of the methods that American politicians use.
Neil, there were not 1,000 students in that queue, more like 150.
The US system sounds to me absolutely and completely insane. Not being able to leaflet drop? Having a party affiliation on the electoral register?
No thanks!
It’s always interesting (to an anorak like me!) to observe the differences in different countries’ elections, and the “No Leaflets in Letterboxes” legislation in the land that has constitutional protection for the freedom of the press stikes me as bizarre in the extreme. And remember, there is one thing which we do particularly well in the UK – we have numerous local polling stations which are well staffed by competent officials, easy to access and use, and open for a reasonable time. I am shocked at how physically difficult it seems to be for some voters to cast their ballots in the USA.
We have to look at what worked in the US and see if any of it would work for us. A lot of it won’t – some of it might. The use made of online campaigning is one example we should look at.
One key difference that hasn’t been mentioned so far is the role of TV campaign ads, which are crucial in the US but illegal here.
In the UK, electoral administration and counting is done by (mostly) impartial officials. In the US the voting process is overseen by partisans appointed on political grounds. Hence the Democrats reportedly having a team of 5,000 lawyers on hand in Florida to deal with voting issues on the day – I don’t want that here!