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RVIA Announces New Anti-Dumping Petitions

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The following was released this week from the RV Industry Association in support of the Coalition of American Chassis Manufacturers.

“On July 30, the Coalition of American Chassis Manufacturers filed antidumping (AD) and countervailing duty (CVD) petitions on certain chassis and subassemblies from China. The Coalition consists of Cheetah Chassis Corp., Hercules Enterprise LLC, Pitts Enterprises Inc., Pratt Industries Inc., and Stoughton Trailers LLC.

SCOPE OF THE INVESTIGATION

The merchandise covered by this investigation are chassis and subassemblies thereof, whether finished or unfinished, whether assembled or unassembled, whether coated or uncoated, regardless of the number of axles, designed primarily for use in the carriage of containers, or other payloads (including self-supporting payloads) that can be attached by twistlocks, slide pins or similar attachment devices, for road, marine roll-on/roll-off (RORO) and/or rail transport. Chassis are typically, but are not limited to, rectangular-framed trailers with a suspension and axle system, wheels and tires, brakes, a lighting and electrical system, a coupling for towing behind a truck tractor, and a locking system or systems to secure the shipping container or containers attached to the chassis.

Subject merchandise includes, but is not limited to, the following subassemblies:

Importation of any of these subassemblies, whether assembled or unassembled, constitutes an unfinished chassis for purposes of this investigation.

Subject merchandise also includes chassis, whether finished or unfinished, entered with or for further assembly with components such as, but not limited to: hub and drum assemblies, brake assemblies (either drum or disc), axles, brake chambers, suspensions and suspension components, wheel end components, landing gear legs, spoke or disc wheels, tires, brake control systems, electrical harnesses and lighting systems.

Processing of finished and unfinished chassis and components such as trimming, cutting, grinding, notching, punching, drilling, painting, coating, staining, finishing, assembly, or any other processing either in the country of manufacture of the in-scope product or in a third-party country does not remove the product from the scope.

Inclusion of other components not identified as comprising the finished or unfinished chassis does not remove the product from the scope.

This scope excludes dry van trailers, refrigerated trailers, and flatbed trailers.

The finished and unfinished chassis subject to this investigation are typically classified in the Harmonized Tariff Schedule of the United States (HTSUS) at subheadings: 8716.39.0090 and 8716.90.5060. While the HTSUS subheadings are provided for convenience and customs purposes, the written description of the merchandise under investigation is what is considered during the investigation.

ESTIMATED MARGINS

The Coalition alleges a dumping margin of 211.49 percent. The Coalition alleges significant subsidy margins, although the petition does not quantify the alleged net subsidy margin.

ESTIMATED SCHEDULE OF INVESTIGATION

The following is an estimated schedule of investigations by the U.S. Department of Commerce (DOC) and the U.S. International Trade Commission (ITC):

2020

2021

Jan: Deadline for DOC preliminary AD determinations, if deadline is NOT postponed.

Feb. 25: Deadline for DOC preliminary AD determinations, if deadlines is fully postponed.

July 12: Deadline for DOC final AD and CVD determinations, if all deadlines are fully postponed.

Aug. 26: Deadline for ITC final injury determination, if all DOC deadlines are fully postponed.

MOVING FORWARD

United States AD law imposes special tariffs to counteract imports that are sold in the United States at less than “normal value.” CVD law imposes special tariffs to counteract imports that are sold in the United States with the benefit of foreign government subsidies. For AD/CVD duties to be imposed, the U.S. government must determine not only that dumping and/or subsidies are occurring, but also that there is “material injury” (or threat thereof) by reason of the dumped and/or subsidized imports. Importers are liable for any potential AD/CVD duties imposed. These investigations could impact purchasers by increasing prices and/or decreasing supply of chassis and subassemblies.

Members may hear from ITC as the agency conducts its investigation. Additionally, we will be reaching out to members to explore participation in this investigation and determine how any adverse decision could harm RV Industry Association members and the United States RV industry—especially as the industry works to recover from the lasting effects of COVID-19.

If you have feedback on this investigation or would like to discuss the Association’s participation, please contact Samantha Rocci at srocci@rvia.org.”

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