New Restraints on Steel Imports Are Not the Answer.....
1. Because They Do More Harm Than Good
American steel consumers — many thousands of metalworking companies,
manufacturers of machines and conveyances, and others serving diverse
markets — must compete globally, and therefore must have access to steel
that is internationally competitive in quality and price. Restraints on
steel imports deal these steel-using manufacturers a double whammy: (1)
increased raw material costs; and (2) greater competition from abroad
for the products they make. There are more than 50 American workers in
steel-consuming industries for every steelworker. Steel-using jobs are
threatened when trade restrictions cause work to leave the country for
foreign destinations. In fact, a CITAC Foundation study finds that H.R.
808 (which contains quotas on steel imports and a steel surtax) could
cost nine jobs in steel-using industries for every single job it protects
in the steel industry. Also, H.R. 808 would cost American taxpayers $14.5
billion over five years. The cure is worse than the disease.
2. Because They Don't Address the Problem
We need a strong and vigorously competitive domestic steel industry,
but restraints on steel imports will not make U.S. producers stronger
or more competitive. Thirty years of protectionism have amply demonstrated
this. Steel imports are the result, not the
cause, of certain integrated mills' inability to compete
internationally. (The mini-mills are quite profitable and account for
about half of all U.S. steel production.)
3. Because Steel Imports Are Essential
Since domestic steelmakers can supply only about 75-80 percent of the
nation's demand for steel, imports are not optional. They are a necessity
for the well being of our industrial economy. Quality and availability,
as well as price, are reasons why steel is imported. In fact, U.S. steelmakers
themselves import foreign steel, and account for about 30 percent of all
steel imports.
4. Because Adequate Protection Already Exists
Steel is one of America's most protected industries. Antidumping and
countervailing duty laws, created expressly for the steel industry, are
already in place. In fact, more than 50 percent of steel imports are currently
covered by antidumping actions, and nearly every major steel producer
in the world has been sued under these laws. Dumped and otherwise unfairly
traded steel is not the issue. We support the strong enforcement of existing
trade laws. Unfortunately, the harmful new trade restrictions proposed
by the steel industry would affect fairly traded as well as unfairly traded
steel.
5. Because New Trade Restraints Would Threaten America's Relationships
The quota provisions of H.R. 808 are a direct violation of our WTO obligations,
and have already caused concern among many of our trading partners. These
and other arbitrary trade restraints on steel could produce damaging retaliation
by the international community, and threaten future trade agreements,
to the ultimate detriment of American consumers.
CITAC's Solutions:
- Avoid import restrictions — they steal U.S. jobs.
- Give consumers a full voice in the steel policy formulation process.
- Allow unrestricted imports of steel products unavailable from U.S.
suppliers.
- Do not layer steel quotas on top of other types of import restrictions
(e.g., dumping duties).
- Do not force customers to pay steel industry "legacy costs" (pensions
and health care for retired workers).
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