Anti-Dumping

PC WIRE STRAND AVAILABILITY AT RISK

Guest article authored by David Craven, an expert on AD/CVD matters and Martindale-Hubbell A-V rated attorney, who serves Diaz Trade Law clients in an Of Counsel capacity.

Do you use, or are you planning to use PC Wire Strand?

PC Wire Strand is a critical raw material used in the production of pre-stressed concrete. The availability of such a product is now at serious risk, which would make producing pre-stressed concrete difficult and expensive. A trade action has just been filed,  seeking to impose anti-dumping and countervailing duties on imports from fifteen countries (Argentina, Columbia, Egypt, Indonesia, Italy, Malaysia, Netherlands, Saudi Arabia, South Africa, Spain, Taiwan, Tunisia, Turkey, Ukraine and the United Arab Emirates). This investigation is being conducted in parallel by two separate Federal Agencies; The International Trade Commission which decides whether the U.S. industry is being injured by the imports and the U.S. Department of Commerce which decides the amount of any duties.

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Are YOU on the List?

On May 31, CBP announced it will be giving away money! There is an application process, and only certain companies are qualified to request it. Read on to see if it’s YOU!

HAVE YOU Been Affected by The Continuance of Anti-Dumping and Subsidy Offset?

The list of domestic producers that have been personally affected were sent to the U.S International Trade Commission (USITC) and can be found on the federal register as well. The list indicates who is potentially eligible to receive an offset.

However, although your name may not be on the list, it does not necessarily mean that your company has not been affected. Any individual or company who may have purchased any portion of the operating assets of an affected domestic producer, a successor to an affected domestic producer, or an entity that otherwise previously received distribution may be jointly and severally liable for the return of any over payments. Therefore, for domestic producers who are not on the USITC list but believe they are eligible for a CDSOA distribution under one or more anti-dumping and/or countervailing duty cases are required, as are all potential claimants that expressly appear on the list, to properly file their certifications within 60 days after May 31, 2018. Certifications that are not filed within 60 days and/or fail to sufficiently establish a basis for eligibility will be summarily denied. […]

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