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Manufacturers of platforms and ammunition must deal with a list of regulatory and legal challenges. Interview Transcript: Tom Temin And we think of the defense industrial base has strained in terms of capacity to manufacture what’s needed around the world and, you know, missile systems and ammunition and so forth.
Before we dive into the export controls outlook, here is an overview of the current state of politics in Canada, which includes a discussion of the legislative powers that remain while Canadian Parliament is prorogued until March 24, 2025. This data illustrated an increasing share of imports for this particular exporter.
Under the Regulation, all products (including their components) manufactured using forced labour will be banned from being placed or made available on the market in the EU, or exported from the EU. The post EU Forced Labour Regulation adopted and published in the EU Official Journal appeared first on Import and Trade Remedies Blog.
Under the Regulation, all products (including their components) manufactured using forced labour or placed and made available on the market in the EU, or exported from the EU will be banned.
Forced Labour SupplyChains Act The next reporting period under Canada’s supplychain transparency legislation, the SupplyChains Act (SCA), opens on January 1, 2025. A week later, the G7 issued joint guidance on preventing Russian export control and sanctions evasion, which we write about here.
12 Responsible Consumption and Production , calls for a systemic approach and cooperation among all stakeholders along the supplychain to achieve sustainable production and consumption patterns. Prior to the manufacturing bottlenecks, only new equipment would be procured for operational needs. Specifically, SDG 12.7
The project, which was delivered in partnership with Efficio, the leading strategic procurement and supplychain consultancy firm, was focused on STG’s strategic sourcing process as the first stage of a longer term digital transformation. STG is a world leading manufacturer of cigars and traditional pipe tobacco with approx.
From May to August 2023, the Government passed into law novel supplychain transparency legislation and introduced amendments and legislative proposals that are impacting, or will impact, compliance with Canadian customs, export controls, and economic sanctions legislation.
In particular, the Government seeks comments on whether restrictions on the Canadian EV supplychain are required to safeguard net-benefits to Canadians and Canadian national security. In 2022, Canada notably relied on the ICA to order three Chinese companies to divest from Canadian lithium mining companies.
Scope The text of the provisional agreement targets forced labour carried out across the globe by prohibiting companies or individuals from placing or making available on the EU market, or exporting from the EU market, products (including their components) that are made using forced labour.
On Tuesday 5 March 2024, the European Council and European Parliament reached a provisional agreement on the EU Forced Labour Regulation (“ Regulation “), which will prohibit the placing and making available on the EU market, or the export from the EU market, of products made, extracted or harvested using forced labour.
gigawatts “to ensure domestic module manufacturing continues to grow while manufacturers scale production throughout the supplychain.” USTR will prioritize temporary exclusions for solar manufacturing equipment. The current deadline for these submissions is June 4, 2024.
The Regulation applies to a specified list of derived products (set out in its Annex I) that are manufactured from the above commodities including beef, leather, chocolate, furniture, palm-oil derivatives and many paper-based products.
SupplyChain-Related Matters of Note Section 804 prohibits DoD from entering into a contract with any person or entity that has fossil fuel business operations with an entity that is greater than 50% owned by either an authority of the government of the Russian Federation or a fossil fuel company that operates in the Russian Federation.
Aimed at fostering a strong American manufacturing base and creating jobs, domestic-preference policies, unlike those previously mentioned, typically engender broad, bipartisan support leading to tightening existing rules, new rules increasing the domestic content requirement, and heightened scrutiny over BAA waivers.
The defense industrial base roster of companies keeps shrinking, and supplychain snags have become constant. One company or another picking up that particular item and manufacturing it for the military without a bid. All parts of from the repair depots to the manufacturing of munitions, as well as shipyards and the like.
Additionally, USTR invoked its authority to investigate restrictions to US commerce that include the provision of subsidies for the construction of vessels used in the commercial transportation by water of goods between foreign countries and the United States.
Feb 2 FAR Interim Rule Implementation of Federal Acquisition SupplyChain Security Act (FASCA) Orders Send member comments to Ian Bell at ibell@thecgp.org by Fri., These sections cover a litany of issues, which include licensing, export controls, adoption processes, vulnerability and risk assessments, response concepts, and team roles.
Indeed, these provisions may be far more disruptive than requirements imposed by prior year NDAA China provisions that contractors have navigated by reassessing supplychains and increasing due diligence. relationship with Taiwan.
economy— mining, manufacturing, agriculture, fishing, and forestry— as well as natural gas, electricity, construction, and goods competitive with those made in the producing sectors, such as waste and scrap materials.” [8] 86] Hence, supplychain realignment is well underway. .”
Aimed primarily at imports from key trading partners, these tariffs are set to significantly affect a wide array of goods, directly highlighting the impact of US tariffs on UK supplychains. As of 2023, the US was the UKs largest single export market, accounting for approximately 21.7% of total UK exports, valued at 186.7
The year ended with ambitious statements by the governing Liberal Party on proposed legislation to eradicate forced and child labour in Canadian supplychains. This will allow reporting entities to align and streamline public statements regarding supplychain compliance efforts across jurisdictions.
The GCC is the largest exporter to the U.S. exports to the GCC consist of commodities, vehicles, aircraft, mechanical and electrical machinery, phones, and precious and semi-precious stones. The GCC exports to the U.S. market and diversify their supplychain. in the region.
during 2018/2019 and outline strategies for businesses with North American supplychains to navigate potential uncertainty in the first quarter of 2025. announces tariffs on certain steel & aluminum products exported from Canada at rates of 25% and 10% under the authority of section 232 of the Trade Expansion Act.
Revisit their supplychains to determine whether there are opportunities to optimize duty saving through partial or full relocation of manufacturing activities in line with the US substantial transformation test. to remove non-dutiable licensing fee, royalties, marketing fee, and other costs) from the cost of goods.
SupplyChain Disruptions: The highly complex and global nature of pharmaceutical supplychains means that tariffs could cause significant disruptions. Medical Devices Tariffs are also likely to have a significant impact on the medical device industry, which also depends on complex supplychains and offshore manufacturing.
Non-tariff tools : Economic measures are also being used to control the global supplychains of critical minerals or other materials, for which China is a major supplier. Methods include export controls and reforms to export VAT refund rates for certain products, such as batteries, oils, and solar panels. with non-U.S.
In brief Following President Trumps extensive new import tariffs, many companies are grappling with increased costs and supplychain uncertainty. It can be helpful to act sooner rather than later so that all parties in the supplychain have ample notice of changes. Does it list government actions or changes in law?
goods and exporters to the U.S. Consider whether the CBSA’s January 2025 trade compliance priorities and verification priorities target your supplychain and whether compliance lapses put you at risk for unpaid duties/taxes, penalties and interest. exporters and businesses. tariffs and a possible spring election.
and committing to crackdown on Canadian domestic drug manufacturing and announcing a CAD 1.3 The Government of Canada is reported to be preparing aid packages for Canadian importers and exporters impacted by the U.S. exports in response to U.S. billion package to increase border security. The surtaxes target U.S.
Canada’s countermeasures The Canada Tariffs were implemented in a phased approach, despite efforts by the Government of Canada negotiating with the US and committing to crackdown on Canadian domestic drug manufacturing, announcing a CAD 1.3 The timing is unclear. GST is calculated on the duty paid value (e.g.,
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