Commission Implementing Regulation (EU) 2019/1688 of 8 October 2019 imposing a definitive anti-dumping duty and definitively collecting the provisional duty imposed on imports of mixtures of urea and ammonium nitrate originating in Russia, Trinidad and Tobago and the United States of America
(a) the WTO incompatibility of the cost adjustment made; (b) no existence of distortions on the price of natural gas in Russia. According to the interested parties the natural gas price in Russia reflects normal market conditions; (c) a wrong methodology in the adjustment, as in the view of the interested parties the adjustment, if any, should be applied only to the gas price without its related transportation costs and with a different calculation of the mark-up for additional charges; (d) the application of the adjustment also to purchases from domestic suppliers independent from Gazprom; (e) the appropriateness of the Waidhaus price as the benchmark used for the adjustment.
(a) the unit of measurement of the volume of natural gas used in Waidhaus pricing is million British Thermal Units (mmBtu). After comments on the provisional disclosure the conversion rate was changed to 1 mmBtu = 31,899 cubic metres; (b) the transport cost adjustment was changed, taking into account actual transport costs paid by the Russian producers in Russia. However, for the adjustment of the costs of transport from Waidhaus back to the Russian border, the Commission used the figures provided in the complaint; the figures in the Brattle Report were not considered to be more accurate because they referred to sources using data collected before the investigation period. The transport costs from the Russian border to the respective Russian gas fields where the exporting producers sourced their natural gas is based upon the regulated tariffWaidhaus is the Russian-German gas price reference, an assembly of different pipelines from Russia to Germany, reflecting the CIF German frontier price. ;ФЕДЕРАЛЬНАЯ СЛУЖБА ПО ТАРИФАМ ПРИКАЗ, от 8 июня 2015 года N 216-э/1, Об утверждении тарифов на услуги по транспортировке газа по магистральным газопроводам ОАО "Газпром", входящим в Единую систему газоснабжения, для независимых организаций (с изменениями на 14 февраля 2018 года), (Federal Tariff Service Order of 8 June 2015 No 216-e/1 On approval of tariffs for gas transportation services through gas pipelines of PJSC Gazprom included in the Unified Gas Supply System, for independent organizations (with amendments of14 February 2018 ).http://docs.cntd.ru/document/420282257. (c) the 15 % distribution mark-up used in the provisional calculations was revised downwards, ranging between 1 to 5 %. All costs other than the cost of gas and transport costs (including transmission) were considered for the calculation of the mark-up. The actual additional charges of the gas purchases during the investigation period were used as much as possible and, where data was missing, a reasonable estimate was used, as explained in the company specific disclosures. The Commission rejected the claim of Eurochem that no domestic mark-up should apply as no mark-up is taken into consideration on the Russian export price of gas, because the calculation of the regulated export price does not account for such costs and no further evidence for the existence of such mark-up is provided;ФЕДЕРАЛЬНАЯ СЛУЖБА ПО ТАРИФАМ ПРИКАЗ от 9 июля 2014 г. N 1142-э ОБ УТВЕРЖДЕНИИ ПОЛОЖЕНИЯ ОБ ОПРЕДЕЛЕНИИ ФОРМУЛЫ ЦЕНЫ ГАЗА, (Federal Tariff Service Order of 9 July 2014 No 1142-e ON THE APPROVAL OF THE PROVISION FOR THE DETERMINATION OF THE GAS PRICE FORMULA)available at http://www.gazprom.com/f/posts/98/377922/prikaz_1142-e.pdf (last viewed 31 July 2019 ).(d) the request for deduction of the 30 % export tax from the benchmark price was rejected – this tax is one of the measures that has created a distortion of the natural gas market in Russia, so it is reasonable to assume that the domestic price of gas would be at least 30 % higher but for the export tax. As it is part of the cost of the gas of Russian origin on the Union market, it is as such a part of the basic benchmark price; (e) the claim concerning the exchange rate used in the calculation of transport adjustment was accepted and calculations were amended accordingly; (f) the request to adjust for German network charges is found not to be relevant as the Waidhaus price is at the level of CIF at the border of Germany (and thus such price does not take into account any German network charges).
Company | Definitive dumping margin |
---|---|
Acron Group | 31,9 % |
Eurochem Group | 20,0 % |
All other companies | 31,9 % |
Company | Definitive dumping margin |
---|---|
Methanol Holdings (Trinidad) Limited | 55,8 % |
All other companies | 55,8 % |
Company | Definitive dumping margin |
---|---|
CF Industries Holdings, Inc. | 37,3 % |
All other companies | 37,3 % |
2015 | 2016 | 2017 | IP |
---|---|---|---|
Country | Company | Dumping margin (%) | Underselling margin (%) |
---|---|---|---|
Trinidad and Tobago | Methanol Holdings (Trinidad) Limited | 55,8 | 16,2 |
Trinidad and Tobago | All other companies | 55,8 | 16,2 |
United States of America | CF Industries Holdings, Inc. | 37,3 | 23,9 |
United States of America | All other companies | 37,3 | 23,9 |
Country | Company | Dumping margin (%) | Underselling margin (%) |
---|---|---|---|
Russia | PJSC Acron | 31,9 | 13,7 |
Russia | Joint Stock Company "Azot" | 20,0 | 16,3 |
Russia | Joint Stock Company "Nevinnomyssky Azot" | 20,0 | 16,3 |
Russia | All other companies | 31,9 | 16,3 |
(a) the fact that as a result of these distortive measures the price of gas on the Russian market is significantly lower as compared to prices in the representative international markets, (b) the fact that the cost of natural gas represented more than 17 % of the cost of production of the product concerned.
(1) either the measures identified were not the type of distortions listed in Article 7(2a); (2) or they were not of a nature that would affect the price of the raw material.
Country | Company | Dumping margin (%) | Injury margin (%) | Definitive duty rate (%) | Definitive fixed duty rate — EUR per tonne |
---|---|---|---|---|---|
Russia | PJSC Acron | 31,9 | 31,9 | 31,9 | 42,47 |
Russia | Joint Stock Company "Azot" | 20,0 | 20,0 | 20,0 | 27,77 |
Russia | Joint Stock Company "Nevinnomyssky Azot" | 20,0 | 20,0 | 20,0 | 27,77 |
Russia | All other companies | 31,9 | 31,9 | 31,9 | 42,47 |
Trinidad and Tobago | Methanol Holdings (Trinidad) Limited | 55,8 | 16,2 | 16,2 | 22,24 |
Trinidad and Tobago | All other companies | 55,8 | 16,2 | 16,2 | 22,24 |
United States of America | CF Industries Holdings, Inc. | 37,3 | 23,9 | 23,9 | 29,48 |
United States of America | All other companies | 37,3 | 23,9 | 23,9 | 29,48 |
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