Posted by Clif Burns at 6:01 pm on May 13, 2010
Category: Cuba Sanctions
Washington-based trade group Specialty Steel Industry of North America 
("SSINA") marched up to Capitol Hill today to gripe to the House Ways 
and Means Committee about Cuban nickel being surreptitiously imported 
into the United States in violation of the U.S. embargo against Cuba 
after a detour to China. Granted section 515.204 of the Cuban Assets 
Control Regulations prohibits the importation into the United States of 
any merchandise that "is made or derived in whole or in part of any 
article which is the growth, produce or manufacture of Cuba." Cuba is 
the ninth-largest producer of nickel in the world (not the largest, as 
SSINA erroneously claimed in its presentation). Most of it goes to China 
and some of it may well be coming back into the United States from China 
as stainless steel products or NiMH batteries.
SSINA faulted the Office of Foreign Assets Control ("OFAC") for not 
adequately enforcing the nickel embargo against Cuba, and it suggested 
that OFAC should have China certify that stainless steel products 
imported to the United States do not contain Cuban-origin nickel — as if 
that were possible for Chinese manufacturers to certify and as if, even 
if it were possible, the Chinese would tell the truth.
The SSINA presentation also made a big deal of previous certification 
arrangements by the United States with some of our European allies, but 
it failed to tell the whole story about those arrangements. Yes, the 
U.S. did previously get France, Italy and others to agree to certify 
that stainless steel products contained no nickel from Cuba. But that 
was between 1981 and 1984. Since then, European Union Council Regulation 
2271/96 would forbid E.U. exporters of stainless steel from making a 
certification that their products did not contain any Cuban-origin parts 
or materials.
SSINA accuses OFAC of neglecting its enforcement obligations without 
mentioning that OFAC has indeed penalized U.S. subsidiaries of Chinese 
companies investing in Cuban nickel production. In 2008, OFAC fined 
Minxia Non-Ferrous Metals, Inc. for just that. This seems a more 
sensible enforcement strategy than SSINA's proposed certification scheme.
But, as you might have already suspected, notwithstanding SSINA's 
huffing and puffing about the moral imperative behind the Cuba embargo, 
the trade group's real interest has little to do with U.S. foreign 
policy and everything to do with Chinese competition. After all, the 
alleged competitive disadvantage of U.S. producers who can't buy Cuban 
nickel could be solved tomorrow by lifting the embargo, something SSINA 
doesn't even whisper as a possible solution to its issues. Rather, it 
seems the Cuba issue is a convenient excuse to look for ways to burden 
or ban Chinese imports of stainless steel, and lifting the embargo 
wouldn't accomplish that.
 
 
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