To this day, participation rights in Sweden have been reserved for union members both on the
company level and on the board level, while all employees in companies, which are covered by
respective agreements and laws, have voting rights in Norway. The aim of this article is twofold:
First of all, it traces this difference back in time, using historical evidence from relevant periods of
the 20th century to illuminate how approaches of Swedish and Norwegian unions to representative
worker participation evolved. Through the method of comparison, not only similarities and differences
between the two countries but also continuities within the two union movements become
apparent. It becomes clear that unions of both countries were worried about ?double loyalties?,
but participation was more closely and deliberately linked with membership in Sweden. This in
turn points to the second aim of the article, namely to identify possible reasons for this particular
difference. Why were Swedish unions apparently more worried about ?free riders?? While a final
explanation will not be attempted here, one possible explaining factor is that private capital
concentration was higher in Sweden and that Swedish employer organizations were more powerful.
Swedish unions thus might have used membership requirements with regard to participation
to avoid internal splits and to protect their comparatively high unity and density. This might have
helped them to confront their, in comparison with Norway, better organized adversaries. The main
aim of the article, however, is the first one, namely to give a synthetical, comparative account
of Swedish and Norwegian unions? approaches to representative worker participation during the
20th century, with a main focus on voting rights.
Forfatterbiografi
Katharina Sass, Department of Sociology, University of Bergen