THE%20TECHNICAL%20BARRIERS%20TO%20TRADE%20AGREEMENT - PowerPoint PPT Presentation

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THE%20TECHNICAL%20BARRIERS%20TO%20TRADE%20AGREEMENT

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EXAMPLES OF TECHNICAL BARRIERS TO TRADE one of the main TBT issue at the moment is labelling (see Tuna report) brief overview of marks and rules of origin in the WTO ... – PowerPoint PPT presentation

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Title: THE%20TECHNICAL%20BARRIERS%20TO%20TRADE%20AGREEMENT


1
EXAMPLES OF TECHNICAL BARRIERS TO TRADE
  • one of the main TBT issue at the moment is
    labelling (see Tuna report)
  • brief overview of marks and rules of origin in
    the WTO system (unrelated to TBT)
  • Article IX GATT
  • Agreement on rules of origin
  • TRIPs agreement

2
ARTICLE XI GATT MARKS OF ORIGIN
  • MFN as regards marks requirements
  • balancing consumer protection and trade
    liberalisation (necessity principle)
  • marks must no damage the product
  • no misrepresentation of origin

3
AGREEMENT ON RULES OF ORIGIN
  • long-term harmonization of ROO
  • no unnecessary obstacle to trade
  • Committee on ROO (WTO) and Technical Committee on
    ROO (Customs Cooperation Council)
  • transparency no trade distortion based on
    positive standards reasonable and fair
    administration

4
TRIPs AGREEMENT
  • Article 22 definition of GI
  • prohibition of misrepresentation or unfair
    competition
  • Article 23 additional protection of GI for wines
    and spirits
  • negotiations in the TRIPs Council for the
    establishment of a multilateral system of
    notification and registration

5
GEOGRAPHICAL INDICATIONS
  • no uniform definition
  • it is a type of intellectual property
  • 3 conditions
  • - good/service
  • - origin in an area
  • - quality/reputation linked to geographical origin

6
THE US AND EU SYSTEM FOR GI PROTECTION A
COMPARISON
  • The EU system
  • - sui generis system for GI since 1992
  • - link between the characteristics of the product
    and the place it comes from
  • protected geographical indication
  • protected designation of origin
  • - IP of a community
  • - conditions for registration

7
THE US AND EU SYSTEM (CONTINUED)
  • - scope of the protection
  • - addressees consumer, small farmers and DCs
  • traditional speciality guaranteed
  • The US system
  • - part of the general IP system
  • - trademarks the owner of the mark safeguards
    its interest

8
THE US AND EU SYSTEM (CONTINUED)
  • - rights and resp'ties entrusted to interested
    parties
  • - a TM generally does not refer to a geographical
    area
  • - it is an individual right
  • - advantages economic and administrative
    because the TM system already exists

9
THE US AND EU SYSTEM (CONTINUED)
  • EU system public policy for consumers rights and
    security
  • US system producers' needs, tool for private
    parties to protect competition

10
THE US-TUNA DISPUTE
  • US -Tuna TBT measure about fishing methods
  • tuna fished by setting on dolphins cannot
    receive the dolphin-safe label on the basis of
    a US law
  • the panel says it is a NT violation because this
    rule just works in a part of the Pacific Ocean
  • in the other part setting on dolphins is allowed
    the US imports tuna from there

11
THE US-TUNA DISPUTE
  • the tuna- dolphins association does not always
    exist
  • a dolphin safe label does not always correspond
    to reality because the underlying problem does
    not exist
  • the label does not carry out the function it is
    conceived for informing the consumer!

12
THE US-TUNA DISPUTE
  • likeness analysis focussed on process/production
    method
  • the fishing method is not able to alter the
    competitive relationship
  • consumers preferences are taken into account but
    not enough to make the two products different

13
THE TECHNICAL BARRIERS TO TRADE AGREEMENT
  • main rules
  • non discrimination (MFN and NT)
  • necessity of the measure
  • conformity to international standards
  • soft mutual recognition of other members
    standards
  • longer time limits for LDCs and taking into
    account of their needs

14
THE TECHNICAL BARRIERS TO TRADE AGREEMENT
  • Link to article 2 of the TBT
  • http//www.wto.org/english/docs_e/legal_e/17-tbt_e
    .htm

15
THE SANITARY AND PHYTOSANITARY AGREEMENT
  • Main rules
  • an SPS is a measure used in order to protect
    human, plant of animal life from pests or
    diseases
  • Example risk assessment procedures, quarantine
    treatment, labelling related to food safety,
    inspections

16
THE SANITARY AND PHYTOSANITARY AGREEMENT
  • Relevant articles
  • Article 2 par.1-4
  • Article 3 par.1-4
  • Article 5 par.1,2,3,4,7
  • http//www.wto.org/english/docs_e/legal_e/15sps_01
    _e.htm

17
THE SANITARY AND PHYTOSANITARY AGREEMENT
- States can adopt SPS measures if they comply
with the Agreement - SPS measures are necessary,
based on scientific principles and maintained
only with sufficient scientific evidence - non
discrimination - measures compliant with the SPS
agreement are presumed to be compliant with GATT
article XX b)
18
THE SANITARY AND PHYTOSANITARY AGREEMENT
  • conformity to international standards and
    presumption of conformity to the SPS Agreement
    and the GATT
  • States can pursue a higher level of protection
    than international standards if there is a
    scientific basis
  • mutual recognition of other States standards if
    the exporting member demonstrates that the
    standard is adequate

19
THE SANITARY AND PHYTOSANITARY AGREEMENT
  • SPS measures are based on risk assessment
  • in assessing the risks members must take into
    account economic factors (?!)
  • in setting the level of protection States must
    minimize trade effects
  • coherence in setting the level of protection

20
THE SANITARY AND PHYTOSANITARY AGREEMENT
  • SPS measures are necessary, taking into account
    technical and economic feasibility
  • if scientific evidence is insufficient, members
    can adopt provisional measures and review them in
    a reasonable period of time
  • special consideration for LDCs and longer time
    frames

21
THE SANITARY AND PHYTOSANITARY AGREEMENT
  • Disputes
  • EC hormones import ban of beef from US and
    Canada because of the use of hormones
  • EC GMOs moratorium by the EC on the approval
    and marketing of GMOs
  • one of the main problems is the allocation of the
    burden of proof

22
THE SANITARY AND PHYTOSANITARY AGREEMENT
  • general issues
  • how judges handle scientific uncertainty
  • relationship between WTO system and other norms
    of international law
  • does article 5.7 really make sense?
  • Is WTO the right place where to solve envl/food
    safety disputes?

23
THE SPS AGREEMENT
  • The clove cigarettes report
  • - import ban by the US of clove cigarettes
  • - complaint by Indonesia, main exporter
  • - violation of NT gt likeness analysis
  • - group of comparison menthol cigarettes
  • - they are similar as flavoured cigarettes

24
THE SPS AGREEMENT
  • - menthol cigarettes are not banned violation
    of NT
  • - according to the US heavy consequences because
    many people smoke them
  • - what is the consequence of this report? banning
    all flavoured cigarettes in the US?
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