Country | Company | TARIC additional code | |
---|---|---|---|
Australia | Leading Synthetics Pty Ltd | 66 | |
Novapex Australia Pty Ltd | 128 | ||
All other companies | 128 | ||
PRC | Sinopec Yizheng Chemical Fibre Company Ltd | 184 | |
Changzhou Worldbest Radici Co. Ltd | 0 | ||
Jiangyin Xingye Plastic Co. Ltd | 157 | ||
Far Eastern Industries Shanghai Ltd | 22 | ||
Yuhua Polyester Co. Ltd. of Zhuhai | 184 | ||
Jiangyin Chengsheng New Packing Material Co., Ltd | 45 | ||
Guangdong Kaiping Polyester Enterprises Group Co. and Guangdong Kaiping Chunhui Co. Ltd | 184 | ||
Yibin Wuliangye Group Push Co. Ltd (Sichuan) and Yibin Wuliangye Group Import & Export Co. Ltd (Sichuan) | 184 | ||
Hubei Changfeng Chemical Fibres Industry Co. Ltd | 151 | ||
All other companies | 184 | ||
Pakistan | Gatron (Industries) Ltd | 0 | |
Novatex Ltd | 0 | ||
All other companies | 0 |
Council Regulation (EC) No 1467/2004 of 13 August 2004 imposing a definitive anti-dumping duty and collecting definitively the provisional duty imposed on imports of polyethylene terephthalate originating in Australia, the People's Republic of China and terminating the anti-dumping proceeding concerning imports of polyethylene terephthalate originating in Pakistan and releasing the amounts secured by way of the provisional duties imposed
Modified by
- Council Regulation (EC) No 2167/2005of 20 December 2005amending Regulation (EC) No 1467/2004 imposing definitive anti-dumping duties on imports of polyethylene terephtalate (PET) originating, inter alia, in the People’s Republic of China, 305R2167, December 28, 2005
Leading Synthetics Pty Ltd: 7,8 % Novapex Australia Pty Ltd: 15,9 % Residual dumping margin: 15,9 %
Changzhou Worldbest Radici Co. Ltd | 0 % |
Far Eastern Industries Shanghai Ltd | |
Jiangyin Xingye Plastic Co. Ltd | |
Hubei Changfeng Chemical Fibres Industry Co. Ltd |
1999 | 2000 | 2001 | 2002 | IP | |
---|---|---|---|---|---|
PRC | 144 | 20 | |||
Market share (%) | 0 % | 0 % | |||
Australia | 0 | 0 | |||
Market share (%) | 0 % | 0 % | |||
Total countries concerned | 144 | 20 | |||
Market share (%) | 0 % | 0 % |
Australia: 9,5 % to 13,8 %, PRC: 10,49 % to 14,09 %.
prices of imports of the product concerned originating in Australia decreased from EUR 868/tonne in 2002 to EUR 838/tonne during the IP, or by – 3,4 %, prices of imports of the product concerned originating in the PRC increased from EUR 788/tonne in 2002 to EUR 825/tonne during the IP, or by + 4,5 %.
the cost of PET for mineral and spring water producers represented approximately 30 % of their manufacturing costs (see recital 198 in the provisional Regulation), the cost of PET at the level of the end-consumer only represented 3 cents, or 6-10 % of the retail price (see recital 199 in the provisional Regulation), a 10 % increase in the price of PET would entail a possible maximum price increase of 0,6 % to 1 % at the level of end-consumer if all the costs are passed on. This increase was not considered significant in the provisional Regulation because it could either be absorbed by the downstream industry or passed on to retailers or end-consumers (see recital 202 of the provisional Regulation).
the interest of the small and medium-sized preform/ bottle converters had not been duly taken into account. They claimed that the price increases resulting from the imposition of measures could not be passed on to soft drink producers but had to be absorbed by preform/bottle converters, which would negatively affect the financial stability for small and medium-sized preform/bottle converters, the Commission had overstated the retail price for a bottle of mineral water in the provisional Regulation, thereby underestimating how significant the cost of PET is for a bottle of mineral water. Rather than 6-10 % of the retail price, as the Commission indicated, the group claimed that the cost of PET was around 20 % of the retail price. Hence, the group claimed that the Commission had underestimated the impact that increases of the costs for PET had on the downstream industry, the risk for outsourcing from the European Community had not sufficiently been considered.
Country | Company | Injury elimination margin | Dumping margin | Anti-dumping duty rate | Proposed anti-dumping duty |
---|---|---|---|---|---|
Australia | Leading Synthetics Pty Ltd | EUR 66/t | |||
Novapex Australia Pty Ltd | EUR 128/t | ||||
All other companies | EUR 128/t | ||||
PRC | Sinopec Yizheng Chemical Fibre Company Ltd | EUR 184/t | |||
Changzhou Worldbest Radici Co. Ltd | 0 % | 0 % | EUR 0/t | ||
Jiangyin Xingye Plastic Co. Ltd | EUR 157/t | ||||
Far Eastern Industries Shanghai Ltd | EUR 22/t | ||||
Yuhua Polyester Co. Ltd. of Zhuhai | EUR 184/t | ||||
Guangdong Kaiping Polyester Enterprises Group Co. and Guangdong Kaiping Chunhui Co. Ltd | EUR 184/t | ||||
Yibin Wuliangye Group Push Co. Ltd. (Sichuan) and Yibin Wuliangye Group Import & Export Co. Ltd (Sichuan) | EUR 184/t | ||||
Hubei Changfeng Chemical Fibres Industry Co. Ltd | EUR 151/t | ||||
All other companies | EUR 184/t | ||||
Pakistan | Gatron (Industries) Ltd | 0 % | 0 % | EUR 0/t | |
Novatex Ltd | 0 % | 0 % | EUR 0/t | ||
All other companies | 0 % | 0 % | EUR 0/t |
Country | Company | Corrected provisional anti-dumping duty | TARIC additional code | |
---|---|---|---|---|
PRC | Yuhua Polyester Co. Ltd of Zhuhai | 188 | 183 | |
Guangdong Kaiping Polyester Enterprises Group Co. and Guangdong Kaiping Chunhui Co. Ltd | 191 | 183 |
1. the name and function of the official of the company which has issued the commercial invoice; 2. the following declaration: "I, the undersigned, certify that the [volume] of polyethylene terephthalate sold for export to the European Community covered by this invoice was manufactured by [company name and address] [TARIC additional code] in [country]; I declare that the information provided in this invoice is complete and correct."; 3. Date and signature.
1. the heading "COMMERCIAL INVOICE ACCOMPANYING GOODS SUBJECT TO AN UNDERTAKING"; 2. the name of the company referred to in Article 2, issuing the commercial invoice; 3. the commercial invoice number; 4. the date of issue of the commercial invoice; 5. the TARIC additional code under which the goods on the invoice are to be customs cleared at the Community frontier; 6. the exact description of the goods, including: the product code number (PCN), CN code, quantity (in tonnes);
7. the description of the terms of the sale, including: price per tonne, the applicable payment terms, the applicable delivery terms, total discounts and rebates;
8. the name of the company acting as an importer to which the invoice is issued directly by the company; 9. the name of the official of the company that has issued the commercial invoice and the following signed declaration: "I, the undersigned, certify that the sale for direct export to the European Community of the goods covered by this invoice is being made within the scope and under the terms of the undertaking offered by [company name and address], [TARIC additional code], and accepted by the European Commission through Decision 2004/600/EC. I declare that the information provided in this invoice is complete and correct."