Multicultural Odysseys Navigating the New International Politics of Diversity Will Kymlieka and a multicultural state acknowie^, — - to minority/non-dominant groups by these policies of assimilation _u exclusion, and manifests a willingness to offer some sort of remedy or rectification for them. These three interconnected ideas-repudiating the idea of the state belonging to the dominant group; replacing assimilationist and exclu sionary nation-building policies with policies of recognition and accom modation; and acknowledging historic injustice and offering amends f0 it—are common to virtually all real-world struggles for 'multiculturalism' as exclu- for Varieties of Liberal Multiculturalism These points of commonality are very abstract, and as soon as we look at the details of specific countries, enormous differences emerge. The precise way in which minority groups wish to be recognized and accommodated, or to have their historic injustices amended, varies greatly from country to country, as well as between different minorities within a single countrv. It would be impossible to provide a comprehensive overview of the different forms that multiculturalism can take, but for the purposes of illustration, let me focus on three general trends within Western democ- racies. (a) Indigenous peoples The first trend concerns the treatment of indigenous peoples, such as the Indians and Inuit in Canada, the Aboriginal peoples of Australia, the Maori of New Zealand, the Sami of Scandinavia, the Inuit of Greenland, and Indian tribes in the United States. In the past, all of these countries had the same goal and expectation that indigenous peoples would eventually disappear as distinct communities, as a result of dying out, or intermarriage, or assimilation. A number of policies were adopted to speed up this process, such as stripping indigenous peoples of their lands, restricting the practice of their traditional cultures, languages, and religions, and undermining their institutions of self-government.4 4 For the similarities and differences in policies of Aboriginal assimilation across the New World settler states, see Armitage 1995. 66 __The Forms of Liberal Multiculturalism However, there has been a dramatic reversal in these policies, starting in the early 1970s. Today, all of the countries I just mentioned accept, at least in principle, the idea that indigenous peoples will exist into the indefinite future as distinct societies within the larger country, and that they must have the land claims, cultural rights, and self-government rights, needed to sustain themselves as distinct societies. Consider the constitutional affirmation of Aboriginal rights in the 1982 Canadian Constitution, along with the establishment of a land claims commission and the signing of new treaties; the revival of treaty rights through the Treaty of Waitangi in New Zealand; the recognition of land rights for Aboriginal Australians in the Mabo decision; the creation of Sami Parliaments in Scandinavia, the evolution of 'Home Rule' for the Inuit of Greenland; and the laws and court cases upholding self-determination rights for American Indian tribes. In all of these countries there is a gradual but real process of decolonization taking place, as indigenous peoples regain rights regarding their lands, legal norms, and self-government (Havemann 1999). I will call this a shift towards a more 'multicultural' approach, although this term is not typically used by indigenous peoples themselves, who prefer the terminology of self-determination, treaty rights, and aborig-inality or indigeneity, for reasons explored in Chapter 7. My colleague Keith Banting and I have developed a 'Multiculturalism Policy Index' which attempts to measure the extent of the shift (Banting and Kymlicka 2006). We first came up with a list of specific policies which can be taken as emblematic or representative of the new multicultural approach. In the case of indigenous peoples, this list includes the following nine policies: (1) recognition of land rights/title; (2) recognition of self-government rights; (3) upholding historic treaties and/or signing new treaties; (4) recognition of cultural rights (language, hunting/fishing); (5) recognition of customary law; (6) guarantees of representation/consultation in the central government; (7) constitutional or legislative affirmation of the distinct status of indigenous peoples; (8) support/ratification for international instalments on indigenous rights; (9) affirmative action for the members of indigenous communities. 67 Making Sense of Liberal Multiculturalism We then attempted to identify which of these policies were in force in which Western democracies in the period 1980 to 2000, and 0n that basis placed countries in one of three categories: those that had decisively shifted towards a multicultural approach, by adopting six or more of the nine policies; those that had made a more modest but still significant shift, by adopting between three and five of the nine policies; and those that had barely shifted in this direction, if at all, with two or fewer of these policies. Of the nine Western democracies with indigenous peoples, we concluded that four could be categorized as strongly multicultural (Canada, Denmark, New Zealand, United States), three were modestly multicultural (Australia, Finland, Norway), and only two had barely shifted (Japan, Sweden).5 This is admittedly a rather crude way of trying to measure the extent to which Western democracies have adopted a more multicultural approach regarding indigenous peoples, but it does give some indication of a widespread if uneven trend. (b) Substate/minority nationalisms The second trend concerns the treatment of substate 'national' groups, such as the Quebecois in Canada, the Scots and Welsh in Britain, the Catalans and Basques in Spain, the Flemish in Belgium, the German-speaking minority in South Tyrol in Italy, and Puerto Rico in the United States.6 In all of these cases, we find a regionally concentrated group that conceives of itself as a nation within a larger state, and mobilizes behind nationalist political parties to achieve recognition of its nationhood, either in the form of an independent state or through territorial autonomy within the larger state. In the past, all of the above-mentioned countries have attempted to suppress expressions of substate nationalism. To have a regional group with a sense of distinct nationhood was seen as a threat to the state, putting into question the state's legitimate right to rule all of its territory and population. Various efforts were made to erode any sense of distinct nationhood, often using the same tools that were used against indigenous peoples—for example, restricting minority language rights, abolishing traditional forms of 5 For further details of how we assigned these scores, and the complications involved, see Banting and Kymlicka 2006: chap. 2. 6 The French and Italian minorities in Switzerland could also be considered here, although some commentators dispute whether they display a 'national' (or 'nationalist') consciousness. hJS™^-i, inS°»ar 35 th6y have not disPlaVed such a national consciousness, it's partly mnwnl ^ V1 y every other national minority in the West) they did not need to staim S.™ r° lmeS m °rder to achieve territorial autonomy and official language S^th^^1"1?011 mum™S™te™ not been part of their initial terms of entry noUtiSl mSSiSi ' iUSpCCt that t0° would have developed the sort of nationalist political mobilization that we see elsewhere in the West J^^ofLiberal Multkult uralism regional self-government, and encouraging members of the domimm group to settle in the minority group's homeland in an effort to outnum ber the minority even in its traditional territory. However, there has been a dramatic reversal in the way Western coun tries deal with substate nationalisms. Today, all of the countries I haveTust mentioned have accepted the principle that substate national identities will endure into the indefinite future, and that their sense of nationhood and nationalist aspirations must be accommodated in some way or other This accommodation has typically taken the form of what we can call 'multination and multilingual federalism': that is, creating a federal or quasi-federal subunit in which the minority group forms a local majority, and can thereby exercise meaningful forms of self-government.7 Moreover, the group's language is typically recognized as an official state language, at least within their federal subunit, and perhaps throughout the country as a whole. At the beginning of the twentieth century, only Switzerland and Canada had adopted this combination of territorial autonomy and official language status for substate national groups. Since then, however, virtually all Western democracies that contain sizeable substate nationalist movements have moved in this direction. The list includes the adoption of autonomy for the Swedish-speaking Aland Islands in Finland after World War I, autonomy for South Tyrol and Puerto Rico after World War II, federal autonomy for Catalonia and the Basque Country in Spain in the 1970s, for Flanders in the 1980s, and most recently devolution for Scotland and Wales in the 1990s. Indeed, if we restrict our focus to sizeable and territorially concentrated national minorities, this trend is now essentially universal in the West. All groups over 250,000 that have demonstrated a desire for territorial 7 In Spain, Belgium, Canada, and Switzerland, territorial autonomy for national minorities was achieved through a federalizing of the state, so as to create a federal subunit that was minated by the national minority. The United Kingdom, by contrast, did not federalize the entire country, but created quasi-federal forms of territorial autonomy for Scotland and Wales. A similar quasi-federal autonomy regime exists for the Swedes in Finland, the Germans in South Tyrol, and for Puerto Rico in the United States. I use the term multination federalism' to cover both federal and quasi-federal forms of autonomy. It is important to distinguish such 'multination' federations from other federal systems where internal subumts are not designed to enable minority' self-government, such as the continental bruteu >iaiev Germany, Australia, and Brazil. In these countries, none of the subumts was <^W™ enable a national minoritv to exercise self-government over its traditional tern op it would have been possible in the American case. Indeed, in the United boundaries were deliberately drawn in such a way as to prevent the i^oMy ui a ™™ dominated subunit For more on the difference between multination federalism and ome forms of federalism w VvmKrh* ?nni c Making Sen* of UberalMultio^ utonomy now have it in the West, as well as many smaller groups m ma ^German minority in Belgium). s .hen .s the second major trend: a shift from suppressing substate „a or,',Msms to accommodating them through regional autonomy and , -i ,1 language rights. Amongst the Western democracies with sizeable SiSSSSS only France is an exception to this trend in its refusa, to carH autonomy to its main substate nationalist group m Corsica. Even lure however, legislation was recently adopted to accord autonomy to Corsica, although this was struck down by a controversial ruling of the I institutional Court. There are some other potential exceptions. Northern Ireland is difficult to categorize, since Catholics are clearly a national minority, but are not territorially concentrated, and so the model of multination federalism is not available. Even here, however, we see clear movement in the direction of greater recognition of minority nationalism. Northern Ireland has recently adopted a peace agreement that explicitly accords Catholics a number of guarantees in terms of representation, and acknowledges their identification with co-nationals in Ireland. Another complicated case is the Netherlands, where the sizeable Frisian minority lacks territorial autonomy or significant language rights, although this is largely because (virtually alone amongst such sizeable national minorities in the West) the group has not in fact mobilized along nationalist lines to acquire such rights. It is not clear that the Netherlands would reject such claims if clearly supported by most Frisians.8 Amongst Western countries, perhaps the only country that remains strongly and ideologically opposed to the official recognition of substate ' ft is entirely appropriate, from a liberal-democratic point of view, to ensure that minority claims for territorial autonomy are only accepted when they do in fact have genuine support, as reflected for example in consistently high levels of support for politicians or political parties that campaign for it. As the Frisian example shows, not all national minorities are mobilized in this way. National minorities do not enter the world with a fully formed nationalist consciousness: they are constructed by political actors who seek to persuade enough of their members that it makes sense to mobilize politically as a national minority for national goals. In the Frisian case, these attempts to generate a nationalist consciousness amongst the members of a minority have failed. From a historical viewpoint, the Frisians have as much claim to be a distinct 'people' as any other ethnonational group in Europe. Yet attempts by Frisian elites to persuade people of Frisian descent or people living in historic Inesland that they should support nationalist political objectives have repeatedly failed. I Ins is tully acceptable from a liberal point of view. National minorities may have a right to claim territorial autonomy, but they certainly have no duty to do so. Whether or not a national minority claims territorial autonomy should be determined by the wishes of the majority of its members, as shaped and expressed through free democratic debate and contestation. Where this mobilization has been successful, the clear trend in the West has been to accommodate claims for territorial autonomy and official language status. The Forms of Liberal Multicultural ism national groups is Greece, where the once-sizeable Macedonian minority has now been swamped in its traditional homeland. Here again, I call this a shift towards a 'multicultural' approach to substate national groups, although this terminology- is rarely used bv these groups themselves, who prefer the language of nationhood, self-determination, federalism, and power-sharing. To measure the extent of this shift, Banting and 1 identified the following six policies as emblematic of a multicultural approach to substate national groups: (1) federal or quasi-federal territorial autonomy; (2) official language status, either in the region or nationally; (3) guarantees of representation in the central government or on constitutional courts; (4) public funding of minority language universities/schools/media; (5) constitutional or parliamentary affirmation of 'multinationalism'; (6) according international personality (e.g. allowing the substate region to sit on international bodies, or sign treaties, or have their own Olympic team). Of the eleven Western democracies that contain sizeable national minorities (over 100,000 people), we concluded that eight have moved in this direction, five of them strongly, and three of them more modestly. The strongly multicultural countries are Belgium, Canada, Finland, Spain, and Switzerland; the modestly multicultural countries are Italy, the United Kingdom, and the United States, while the three hold-outs are France, Greece, and Japan. Here again, we see a clear trend, but with important variations in its depth or scope. (c) Immigrant groups A third trend concerns the treatment of immigrant groups. Historically, the most important 'countries of immigration' (i.e. Australia, Canada, New Zealand, and the United States) had an assim-ilationist approach to immigration. Immigrants were encouraged and expected to assimilate to the pre-existing society, with the hope that over time they would become indistinguishable from native-born citizens in their speech, dress, recreation, voting patterns, and way of life generally. Any groups that were seen as incapable of this sort of cultural assimilation were prohibited from emigrating in the first place, or from becoming citizens. This was reflected in laws that excluded Africans and Asians from entering these countries of immigration for much of the twentieth century, or from naturalizing. ^^ngi^--------- , f IQfiCK However, we have seen a dramatic change in this S,meH ^ re "elated changes: first, the adoption of £ approach There w immigrants to these countries are 22 If 2^S«n (and often non-Christian) societies; and increasingly from non F ,multicultural' conception of integration "*Si wm visibiy and proudiy «3 -d which accepts an obligation on the part « Sc1itiO«s (like the police, schools, media, museums, etc.) to accommodate these ethnic identities. ThTse ^ofold changes have occurred, to varying degrees in all of the tJIton^ountries of immigration. All of them have shifted from discriminatory to race-neutral admissions and naturalization policies. And all of them have shifted from an assimilationist to a more multicultural conception of integration. There are important differences in how official or formal this shift to multiculturalism has been. In Canada, Australia, and New Zealand, this shift was marked by the declaration of an official multicultural policy by the central government. But even in the United States, we see similar changes on the ground. The United States does not have an official policy of multiculturalism at the federal level, but if we look at lower levels of government, such as states or cities, we often find a broad range of multiculturalism policies. If we look at state-level policies regarding the education curriculum, for example, or city-level policies regarding policing or hospitals, we'll often find that they are indistinguishable from the way provinces and cities in Canada or Australia deal with issues of immigrant ethnocultural diversity. As in Canada, they have their own diversity programmes and/or equity officers. As Nathan Glazer puts it, 'we are all multiculturalists now' (Glazer 1997), although this perhaps understates the considerable variation across cities and states in the US in their commitment to multiculturalism policies.9 Similarly, in Britain, while there is no nation-wide multiculturalism policy, many of the same basic ideas and principles are pursued through their 'race relations' policy.10 All of these countries have accepted 9 See also Joppke 2002, who notes that many countries have accommodated diversity claims without this being 'written on the forehead of the state' (Joppke 2002: 250). Experts in immigration and integration issues have repeatedlv demolished the mythical contrast between the American 'melting pot' and the Canadian 'mosaic', yet the myth endures in the popular imagination. For more on variation in multiculturalism policies at the state level within the United States, see Hero and Preuhs 2006. 10 For the British model of multiculturalism through race relations, see Favell 2001; Commission on the Future of Multi-Ethnic Britain 2000. Rights of entry into Britain maintain a degree of racial bias, as witnessed by the debate about whether 'British subjects' in Hong Kong would have the right to domicile in the UK itself. _____The Forms of Liberal Multiculturalism the same twofold change—adopting race-neutral admissions and naturalization policies, and imposing on public institutions a duty to accommodate immigrant ethnocultural diversity—although the degree and formal recognition of the latter change vary from country to country. This trend applies primarily to countries of immigration—that is, countries which legally admit immigrants as permanent residents and future citizens. Amongst such countries, the main exception to this trend is France, which retains an assimilationist conception of French republican citizenship.11 It is a different story, however, in those countries that do not legally admit immigrants, such as most countries of northern Europe. These countries may well contain large numbers of 'foreigners', in the form of illegal economic migrants, asylum-seekers, or 'guest-workers', but these groups were not admitted as part of a deliberate immigration policy. As it happens, even some of these countries have adopted aspects of a 'multicultural' approach (e.g. Sweden and The Netherlands). But in general, the trend from assimilation to multiculturalism is one that has taken place most strongly within countries of immigration. What are the specific policies that reflect this shift in approach? Banting and I identified the following eight policies as the most common or emblematic forms of immigrant multiculturalism: (1) constitutional, legislative, or parliamentary affirmation of multiculturalism, at the central and/or regional and municipal levels; (2) the adoption of multiculturalism in school curricula;12 (3) the inclusion of ethnic representation/sensitivity in the mandate of public media or media licensing; (4) exemptions from dress-codes, Sunday-closing legislation etc. (either by statute or by court cases); (5) allowing dual citizenship; (6) the funding of ethnic group organizations to support cultural activities; u As evidenced by the refusal to allow Muslim girls to wear headscarves to public school. 12 Not all forms of education that teach about immigrant cultures qualify as multicultural education'. In Germany, for example, special education arrangements were^se: up to the children of Turkish guest-workers with the goal of preparing them to return to then 'home' (even if they were in fact bom in Germany), on the assumption that they Ad no really belong in Germany. This sort of 'preparationist education' ^Jf^Z^sm typically understood as 'multicultural education', and does not count as a ^ policy. As discussed earlier, multiculturalism policies are policies *J^^ accommodate ethnic diversity as a fact of society, not policies that seek to encourage ethnic groups to leave. t hiiintmal education or mother-tongue instruction; ,7, the fundmg of b.hngu,a^ immigrant groups." ,81 affirmative action for disadvantag . a ,n determine which countries had shifted in the £,h,n 7Z«JciT^< ^adopting six or more of direction of these Pol,a«' . adopting three to five of the eight m eight pohcies), or "^f *^ur g tL traditiona. countries of pohcies). By ™ £J j*. some strongly (Australia, Canada, ['TT mlsdy N «Zealand, United States). However, if we Z and others m^2nal immigration countries, the remaining seventeen beyond ^ *^Tf ™^ offer a different picture. Of these, none rS,:ldTongy owaTd mulftculturalism, and only four have made a £fllfS um The Netherlands, Sweden, United Kingdom), while mfvas. ™Sr« essentially resisted the trend (Austria, Denmark, FWand, France/Germany, Greece, Ireland, Italy, Japan, Norway, Portugal, SDain, Switzerland). So the shift to multiculturalism in this context is obviously more contested than in the case of indigenous peoples or substate nationalist groups Whereas the majority of Western countries have made either a decisive or modest shift towards a multicultural approach for the 'old' minorities, the evidence is more mixed for immigrant groups. While there is a clear trend towards a more multicultural approach in the case of »3 Some commentators have suggested including a ninth pollcy-namelv, a policy of admitting large numbers of immigrants as pennanent residents and future citizens. Some people view a pro-immigration policy as itself a form of multk ulturalism policy, on the assumption that only a country that is willing to accommodate diversity would voluntarily admit immigrants as future citizens. However, the link between immigration policy and multiculturalism is complex. Some critics of multiculturalism policies are in fact defenders of more open borders: they are happy with the idea of greater ethnic and racial diversity in the population, but simply oppose any government recognition or accommodation of this diversity through multiculturalism policies. This is a long-standing Mew amongst libertarians. Conversely, in some countries, support for multiculturalism policies is dependent on sharply limiting the number of new immigrants who can take advantage of these policies. This is often said to be the case in Britain. The qiiasi-multiculhiralism policies adopted in the 1970s (under the heading of race relations) were part of a package in whkh the government said to Britons: we will close the door to new immigrants; but we expect you to accept and accommodate the immigrants from the Caribbean and South Asia who have already arrived'. Re-opening the door to immigration was seen as undermining the tenuous support for multiculturalism policies. We see a similar complex relationship between urn Iticulturahsm policies and refugee admission policies. While there is a tendency for pro-multiculturah\m i ountries to have more generous policies on the admission of refugees (Kate 2005), this is not always the case, as witnessed bv the harsh treatment of refugees in Australia, compared with the (formerly) generous openness to refugees in Germany, even though the former is pro-multiculturalism and the latter not. Policies about whether to admit people as immigrants or refugees, and policies about how to accommtxlate them once admitted, raise quite distinct issues. I am focusing on policies that concern the treatment of immigrant groups that alreadv reside in the territory of the state, such as the eight policies listed above. 74 ,_The Forms of Liberal Multiculturalism the traditional New World countries of immigration, it has been largely rejected elsewhere, and there are several high-profile cases of a 'retreat from multiculturalism, to which I will return in the next chapter. In one sense, it should not be surprising that the idea of multiculturalism for migrant communities has not taken root outside the traditional countries of immigration. After all, the idea of adopting a multicultural conception of citizenship presupposes that the newcomers are in fact 'citizens', rather than simply 'guests', 'visitors', or 'foreigners'. Yet this is precisely what was contested in many countries of continental Europe, until recently. As I noted earlier, post-war migrants in Europe were not typically admitted as permanent residents and future citizens under an explicit immigration policy. Rather, they entered under a variety of other guises. Some migrants entered a country illegally (e.g. North Africans in Italy), others as asylum-seekers (e.g. Kosovars in Switzerland), and yet others as students or 'guest-workers' who renewed (or overstayed) their initial visa (e.g. Turks in Germany). When they entered the country, these people were not conceived of as future citizens, or even as long-term residents, and indeed they would not have been allowed to enter in the first place if they had been seen as permanent residents and future citizens. However, whatever the initial expectations and official rules, they have settled more or less permanently. In principle, and to some extent in practice, some of these migrants may face the threat of deportation if they are detected by the authorities, or if they are convicted of a crime. But they nonetheless form sizeable communities in certain countries, engage in some form of employment, legal or illegal, and marry and form families. Borrowing a term from Ancient Greece, Walzer calls these groups 'metics'—that is, de facto long-term residents who are nonetheless excluded from the polis (Walzer 1983). The issue of adopting multiculturalism can barely arise until such groups move out of the category of temporary foreigners and move into the category of permanent residents and citizens,14 which is indeed what many of these groups have sought. But this has not been an easy transition to make. Some countries have no established process or infrastructure for integrating immigrants, and so resist accepting that they are now de facto 'countries of immigration'. Moreover, many of these metics have As I noted in n. 12, a form of pseudo-multiculturalism has sometimes been adopted for metics, on the assumption that encouraging the members of a group to maintain their language and culture will make it more likely they will return to their country of origin. But this 'preparationist' form of multiculturalism is the antithesis of the idea of multicultural citizenship developed in the traditional countries of immigration. 75 -r the countrv (.illegal immigrants), or are seen Hther Mo*" thrU* Ul 0 r.tum to their country ot origin (student,, ^-workers, asylum-^e. ^ tradition of acceptlng newcomers unship. Moreover. ctjunW ^ yiew a„ foreigners as po^ are often more xenophODk. k or simp,y as unaltera51y ^ vmntv threats, or as^ ^ Switzerland are the best-knowr, In these countries, ot wn ^ ^ try tQ integrate metics into ewmplcs, the official poi T ^ them tQ ,eave the COUntry, either ,he nation.! i0mmUW^'taTy return. In short, the hope was that if through expulsion °*J so tnat they only had a precarious lega! metics were denied ciu ^ tM repeatediy that their ^ status within * of lib*r„l M _ if they had initially arrived as legal immigrants and „~ ,„ ,!,<■ immigrant path to integration. In some c ,vs 1 U> MKm h.,s been revised in a more 'multicultural1 dinvn «°tytl011 pr,H,AS ncnt case, declaring 2006 to be The Year of Mult,",,! * ' pn>mi this remains uncommon outside the traditional m!«.^iralWni a,,houK»» countries of immigration. Three Key Features of Liberal Multkulturalism In relation to indigenous peoples, substate national groups, and immi grants, then, there has been a shift away from historic policies of assimilation or exclusion towards a more multicultural approach that recognizes and accommodates diversity. As we will see in Part HI, each of these trends has, to varying degrees, shaped emerging international norms-most strongly in the case of indigenous peoples, more modestly regarding substate national groups, and quite minimally for immigrant groups. Various aspects of this shift will be explored throughout the volume, but for our immediate purposes, three points are worth highlighting, in order to forestall misunderstandings—first, about the different categories of minorities; second, about the content of the rights that are accorded to these minorities; and third, about the relationship between multicultur-alism and nation-building. First, as this brief survey suggests, liberal multiculturalism in the West is highly group-differentiated, or to use the terminology I introduced earlier, it is highly 'targeted'. Liberal multiculturalism guarantees certain generic minority rights to all ethnocultural groups, but it also elaborates a number of targeted categories of minority rights. The precise categories differ from country to country, but they typically fall into the same basic pattern. The most common distinction is between 'old' minorities, who were settled on their territory prior to it becoming part of a larger independent country, and 'new' minorities, who were admitted to a country as immigrants after it achieved legal independence. But within the category of 'old' minorities, a further distinction is typically drawn between 'indigenous' groups and other historic minorities, often called 'national minorities' or 'nationalities'. We see this basic threefold pattern in several Western democracies. Finland, for example, accords different rights to the Sami, as an indigenous people, than to the Swedes, who are a traditional cross-border national minority, and both of these 'old minorities' have a different set of minority rights from those of 'new minorities' established through recent 77 ^otiM^f!^!^^—---—- ,A dkOii<*ih" the rights of the ****** ^ SitniUfty. Dmma ^ the (cross.l>order) German national |mlll ,n Greenland from the nR ^ ^ from the rights of new ^ rtumirity. and d^mgu^es of ^ indigenous Aborigina| grants -ada from those of the historic French ^pte, (Indians. Inuit, a (Quebec) whoSe presence predated the colonial settlers of New' ^ and distinguishes both of these old British colonization ol no, ^ accorded to ethnic groups formed minority trom the mum ^ ^ United states indigenous Indian by immigration to the cou 7^ m hisloric Spanish colonial tribrs have a diffe"^7onquered by the Americans in 1898, and both settlement ^JJJJ^^j from the legal status accorded to immigrant Hml" P°m .1 entries have all three types of ethnocultural diver-'* ;untrH.s can be advancing along one track, while retreating along another. It is quite surprising how little interaction or spillover there is between these different policy tracks. And when the various struggles tor mul-ticulturalism do interact, they are as likely to conflict as to cooperate Immigrants, national minorities, and indigenous peoples may all seek to challenge their historic subordination to the dominant group, but they don't necessarily support each other's struggles. Immigrants may not instinctively support demands by indigenous peoples and substate national groups for greater self-government, and these historic minorities in turn may not instinctively support demands by immigrant groups for multicultural citizenship (Medda-Windischer 2004). Liberal multicultur-alism as it has evolved in the West is the outcome of multiple struggles by different types of ethnocultural groups, mobilizing along different legal and administrative tracks, and not a single unified struggle in the name of 'diversity'. We cannot hope to understand the theory and practice of liberal multiculturalism without coming to grips with its targeted or group-differentiated character. Any attempt to articulate liberal multiculturalism as if it were purely a matter of generic minority rights is doomed to failure. The logic of liberal multiculturalism cannot be captured in the form 'all minorities have a right to X' or 'all persons belonging to minorities have a right to X'. Different types of minorities have fought for, and gained, different types of minority rights, and this group-differentiated targeting is key both to understanding the challenges involved in adopting liberal multiculturalism and to evaluating its successes and limitations to date. Unfortunately, as we will see in Part III, international organizations, for reasons of both principle and expediency, have had difficulty acknowledging the targeted nature of liberal multiculturalism. society, and nationhood. And the main concepts used in the immigrant track include multiculturalism, citizenship, integration, tolerance, ethnicity, diversity, and inclusion. For a more detailed discussion of the legal and political separation between these tracks or 'silos' in Canada, see Kymlicka 2007. 79 , i want to emphasize concerns the content (>f Ft* «cmw* * " P°,nl h|n Western liberal multk ulturalism. Many lfKminorit> f,«h,s,°,,n;uV|VuUituralism as if it were primarily focus^ „„lir,M-nt..i..n d.«_|litlofl, ami hence disconnected from ^ on hMK-s of symbcHM K material resources or political power. |t K jp,d.nx Ihi t,|S,,l,;U,'<,'slvtllill nu.ltKulturalism reflects the pott*s ()f common, loi ex.m.ple, J Gf redistribution',17 or to say that munition' as opt**'1 ' as oppoSed to the 'politics of interests' lt pufMU.s 'the ^>l,,KA();t:tween'recognition' and 'redistribution', 0r IhrtC dist.nct.ons are usefu, for some analytic purposes *M 'urt 11 ** fZdm that liberal multiculturalism as it has evolved in W " \ ric ted to questions of symbolic recognition or iden- 2 W?! ! T ^> Imiamuralism also addresses issues of power and tltv poHtto. ' » , clear in relation to national minorities and "'Mnmn excluded from state symbols and b*** M public sphere, and ex ,nviMble in js culturally stigmatized traders **** ^Zuonuc^V P. 5 2000: 1 ' b. multiculturalism with nation-building mMCI^^^^mU an overarching political identity and loy context, for example, moderate multiculturalism would d l^TZre are many different and legitimate ways of 'being J£ZZ S Bmish ilnot inconsistent with the public expj "and accommodation of other identities induding being Muslim' or 'being Scottish', whereas radical multiculturalism would absolve or discourage minorities from adopting such a pan-ethnic super-ordinate ^isIsn^on between radical and moderate multiculturalism maybe useful for some analytic purposes, but all actually existing forms of multiculturalism in the Western democracies qualify as 'moderate' in Miller's sense, operating to transform rather than repudiate nation-building. No Western democracy has abandoned nation-building policies, whether in the field of official languages, core curricula in schools, citizenship requirements, state symbols, public media, and so on. But these nation-building policies have, to varying extents in different countries, been qualified and transformed by multiculturalism policies. " What we see in the 'real world of liberal democracies', therefore, is a complex dialectic of state nation-building (state demands on minorities) and minority rights (minority demands on the state). The choice 20 Indeed, in the context of substate nationalist groups and indigenous peoples, we can say that multiculturalism has actually multiplied nation building jm t)ec is. By acknowledging the presence of these 'nations within', and according them self-governing powers, liberal multiculturalism enables them to adopt their own (substate) nation building projects, subject to the same limitations and qualifications needed to protect 'internal minorities' within these self-governing territories. For a fuller discussion of how multiculturalism both enables and constrains these nation-building projects, at state and substate levels, see kvmlicka 2001. J^^oMJdera, Multkultura|ism IS not between nationhood and multicultuialism, but between differs, packages of policies that combine the endur.ng aspiralioils ,,ui ,.m tllUlt1, needs tor nation-building with the equally endun„K d,nn(Uk , accommodate diversity.21 ,„ short, liberal muiticulturalism is a more complicated |>hcnonu,1(,n than many people realize. It is not a single principle or policy but m umbrella of highly group-differentiated approaches. And each 'of these approaches is itself multidimensional, incorporating economic politic il and cultural elements in different ways. Each also has its own compter links to policies and practices of nation-building. There is a natural tendency to want to simplify this complexity, and to reduce multicultur.Uism to a single principle or dimension, as if it was all really about, say, 'protecting endangered cultural traditions', or 'validating stigmatized identities', or 'repudiating nationalism'. But we need to avoid these simplifying presuppositions, and to examine in a more open-minded way why these various policies emerged, what they were intended to achieve, and how they are operating in practice. ***** In this chapter, I have tried to outline some of the main forms of liberal muiticulturalism in the West. I have not yet shown that they are 'liberal' in any meaningful sense, beyond the fact that they emerged within the framework of Western liberal democracies. To show this requires examining the nature of the mobilization that gave rise to these reforms, and the actual effects (intended and unintended) of adopting them. That is my goal in the next two chapters. Defenders of these reforms have argued that they are needed to overcome deep-seated forms of exclusion and stigmatization, helping Western democracies to become freer, fairer, more inclusive, and indeed more 21 Far from being inherently mutually contradictory, it might be more accurate to view nation-building and muiticulturalism as providing the legitimating conditions for each other. Were it not for the presence of nation-building policies that potentially harm minorities, many claims for multicultural rights would appear as simply 'privileges' or 'special interests'. Conversely, were it not for the presence of minority rights, many nation-building policies would appear as unjust privileges for the majority. After all, we cannot simply take for granted that it is legitimate for liberal-democratic states to insist on common national languages, education systems, citizenship tests, and so on, and to impose these on minorities. As I discussed earlier, there are certain valid purposes that are promoted by nation-building policies, such as civic solidarity. But it is not legitimate to pursue these goals by assimilating, excluding, or disempowering minorities, or by imposing costs and burdens on groups that are often already disadvantaged. Unless supplemented and constrained by minority rights, state nation-building is likely to be oppressive and unjust. 85