Company | Anti-dumping duty | TARIC additional code |
---|---|---|
Hebei Jiheng Chemical Co. Limited | A604 | |
Puyang Cleanway Chemicals Limited | A628 | |
Heze Huayi Chemical Co. Limited | A629 | |
Zhucheng Taisheng Chemical Co. Limited | A627 | |
Liaocheng City Zhonglian Industry Co. Ltd | A998 | |
All other companies | A999 |
Commission Implementing Regulation (EU) 2023/2757 of 13 December 2023 imposing a definitive anti-dumping duty on imports of trichloroisocyanuric acid originating in the People’s Republic of China following an expiry review pursuant to Article 11(2) of the Regulation (EU) 2016/1036 of the European Parliament and of the Council
(a) Union producers: Ercros SA, Barcelona, Spain Electroquímica de Hernani, Hernani, Spain.
(b) User: Inquide, Polinyà, Spain.
the product concerned when exported to the Union; the product under review produced and sold by the exporting producers on the domestic market of the PRC; the product under review produced and sold in Mexico, which served as a representative country; the product under review produced and sold by the exporting producers to the rest of the world; and the product under review produced and sold in the Union by the Union industry.
the market in question being served to a significant extent by enterprises which operate under the ownership, control or policy supervision or guidance of the authorities of the exporting country; state presence in firms allowing the state to interfere with respect to prices or costs; public policies or measures discriminating in favour of domestic suppliers or otherwise influencing free market forces; the lack, discriminatory application or inadequate enforcement of bankruptcy, corporate or property laws; wage costs being distorted; access to finance granted by institutions which implement public policy objectives or otherwise not acting independently of the state".
Raw material costs The request mentioned the GOC’s strategy to promote key sectors, such as the one of chemicals, as well as the fact that sectors of organic and inorganics chemicals are characterized by oversupply and a strong encouragement by the State to control production and produce value-added products such as TCCA. Referring back to the Report, the request pointed out the oversupply of chlorine and caustic acid in China and the related GOC’s market interventions. Furthermore, the request noted that the US Department of Commerce found extensive subsidisation of TCCA through provision of raw material that is itself subsidised. Although the DOC Memorandum is dated December 2012, the countervailing duty has been maintained since then on the basis of its findings. According to the applicants, the Chinese policy context also supports the inorganic chemicals’ industry as an industrial sector that the GOC considers critical to China’s overall economic prosperity and social stability. Accordingly, the Guidelines of the 14th FYP for the Petrochemical and Chemical Industry confirms the chloralkali sector as a focus of industrial policy of China aiming at developing cleaner technologies. The request also mentioned sub-central level measures affecting the sector, such as the example of the Yunnan province which is set to "strictly control the new production capacity of urea, ammonium phosphate, calcium carbide, coke, yellow phosphorus, caustic soda, soda ash, polyvinyl chloride and other industries". On this basis, the request concluded that the provision of raw material which is used to produce TCCA in China is, and will be, subject to massive State intervention at all governmental levels, and this substantially distorts the prices of TCCA in China. Energy costs The request recalled the strategic importance of electricity for China and the corresponding significant state presence in the sector. The request referred also to previous investigations by the Commission and the US DOC which found electricity costs being subsidized or otherwise distorted in China. Labour costs The request referred back to the Report, as well as the Commission’s recent investigations which concluded that a system of market-based wages cannot fully develop in the PRC. Correspondingly, the applicants pointed out that there are no reasons to believe that wages costs would not be equally distorted for TCCA. Machinery costs The request explained the existing VAT and tariff exemptions on imported equipment, in conjunction with the fact that production of water treatment chemicals is identified as an encouraged or key industry in a number of GOC’s policies, thereby making also the production of TCCA eligible for the aforementioned exemptions. Financial costs In addition to recalling the Commission’s observations in the Report and in its recent investigations, the requests pointed out that there is exhaustive documentation demonstrating that the GOC considers the chemical industry and in particular the chloralkali sector, the fine chemical sector and the water treatment sector as important sectors in China. In this respect, the request referred to (i) the national 14th FYP which sets as a focus of industrial policy the upgrading the chemical industry, (ii) the Guidelines of the 14 th FYP for the Petrochemical and Chemical Industry, (iii) the Catalogue of Encouraged Industries for Foreign Investment (Edition 2020).Other factors The request noted that further governmental measures in place provide an obvious governmental support and further distortion on the prices of the final industrial products, such as TCCA. Those measures include income tax deductions, government provision of land, as well as various grants, credits, tax rebates etc. from which TCCA producers benefit.
a level of economic development similar to the People’s Republic of China. For this purpose, the Commission gives preference to countries with a gross national income similar to China, on the basis of the database of the World Bank ;https://data.worldbank.org/income-level/upper-middle-income production of the product under review in that country ;If there is no production of the product under review in any country with a similar level of economic development, production of a product in the same general category and/or sector of the product under review may be considered. availability of relevant public data; where there is more than one such country, preference shall be given, where appropriate, to countries with an adequate level of social and environmental protection.
Factor of Production | Commodity Code | Applicable unit cost | Unit of measurement | Source of information |
---|---|---|---|---|
Caustic soda | tonnes | GTA | ||
Chlorine | tonnes | USITC | ||
Cyanuric acid | tonnes | USITC | ||
Labour Cost in manufacturing industries | N/A | hours worked | Instituto Nacional de Estadística y Geografía | |
Electricity | N/A | kWh | Comisión Federal de Electricidad | |
Natural gas | N/A | kWh | Comisión Reguladora de Energía |
manufacturing overheads (depreciation and packaging), accounting for 8,5 % for bulk and 25,9 % for tablets of the manufacturing cost, SG&A, other costs (operating income, interest expenses, interest income and foreign exchange loss) accounting for 35 % of COGS, and profits, accounting for 12 % of COGS.
2019 | 2020 | 2021 | Review Investigation period | |
---|---|---|---|---|
Union consumption | [ | [ | [ | [ |
2019 | 2020 | 2021 | Review Investigation period | |
---|---|---|---|---|
Volume of imports from the country concerned (tonnes) | ||||
Market share (%) | [ | [ | [ | [ |
2019 | 2020 | 2021 | Review Investigation period | |
---|---|---|---|---|
China | ||||
(a) the weighted average sales prices of the Union producers charged to unrelated customers on the Union market, adjusted to an ex-works level; and (b) the weighted average import price established on a cost, insurance, freight (CIF) basis, including the anti-dumping duty, with appropriate adjustments for customs duties and post-importation costs.
2019 | 2020 | 2021 | Review Investigation period | |
---|---|---|---|---|
Volume (in tonnes) | ||||
Market share (%) | [ | [ | [ | [ |
Average price (EUR/tonne) | ||||
2019 | 2020 | 2021 | Review Investigation period | |
---|---|---|---|---|
Production volume – | ||||
Production capacity – | ||||
Capacity utilisation – |
2019 | 2020 | 2021 | Review Investigation period | |
---|---|---|---|---|
Total Sales volume on the Union market – | ||||
Market share (%) | [ | [ | [ | [ |
2019 | 2020 | 2021 | Review Investigation period | |
---|---|---|---|---|
Number of employees – | ||||
Productivity (tonne/employee) – |
2019 | 2020 | 2021 | Review Investigation period | |
---|---|---|---|---|
Average unit sales price in the Union – | ||||
Unit cost of production – |
2019 | 2020 | 2021 | Review Investigation period | |
---|---|---|---|---|
Average labour costs per employee – |
2019 | 2020 | 2021 | Review Investigation period | |
---|---|---|---|---|
Closing stocks – | ||||
Closing stocks as a percentage of production – |
2019 | 2020 | 2021 | Review Investigation period | |
---|---|---|---|---|
Profitability of sales in the Union to unrelated customers (%) | [ | [ | [( | [( |
Cash flow – | ||||
Investments – | ||||
Return on investments – |
2019 | 2020 | 2021 | Review Investigation period | |
---|---|---|---|---|
Export volume – | ||||
Average unit price |
2019 | 2020 | 2021 | Review Investigation period | |
---|---|---|---|---|
Profitability total product under review (%) | [ | [ | [( | [ |
China-EU prices/tonne | Undercutting | |
---|---|---|
Q4 2022 | [ | |
Q1 2023 | [ | |
Q2 2023 | [ | |