The Water Quality Association (WQA) is writing to support the request for exclusion from tariffs of HTS 3902900050 by SUEZ Water Technologies & Solutions posted on January 7, 2019. These products are critical to the companys ability to provide end-users with safe, reliable and cost-effective water filtration products that have been appropriately certified. The increased prices that will inevitably result from higher tariffs will place an additional burden on these end-users, many of whom have severely restricted budgets. Higher prices for these critical products will also further exacerbate the marketing of counterfeit products by unscrupulous suppliers who prey on consumers quests for lower prices, often through internet sites. For all these reasons, WQA strongly supports the exclusion request by SUEZ Water Technologies & Solutions
Section 301-China Investigation: The Exclusion Process for the $16BN List
Activity
The Water Quality Association filed 6 comments on this docket between Oct 23, 2018 and Jan 10, 2019. 2 other organizations filed here. The comment window closed 2518d ago.
What The Water Quality Association filed (6)
The Water Quality Association (WQA) is writing to support the request for exclusion from tariffs of HTS 3914006000 (Ion-exchangers based on polymers of headings 3901 to 3913, in primary forms, nesoi) by Purolite Corporation posted on October 4, 2018. These products are critical to the companys ability to provide end-users with safe, reliable water filtration products that have been appropriately certified. The end-users include schools, municipalities and households who need reliable access to safe drinking water to ensure personal and community public health and safety. The increased prices that will inevitably result from higher tariffs will place an additional burden on these end-users, many of whom have severely restricted budgets. Higher prices for these critical products will also further exacerbate the marketing of counterfeit products by unscrupulous suppliers who prey on consumers quests for lower prices, often through internet sites. For all these reasons, WQA strongly supports the exclusion request by Purolite Corporation.
The Water Quality Association (WQA) is writing to support the request for exclusion from tariffs of HTS 3914006000 (Ion-exchangers based on polymers of headings 3901 to 3913, in primary forms, nesoi) by Purolite Corporation posted on October 4, 2018. These products are critical to the companys ability to provide end-users with safe, reliable water filtration products that have been appropriately certified. The end-users include schools, municipalities and households who need reliable access to safe drinking water to ensure personal and community public health and safety. The increased prices that will inevitably result from higher tariffs will place an additional burden on these end-users, many of whom have severely restricted budgets. Higher prices for these critical products will also further exacerbate the marketing of counterfeit products by unscrupulous suppliers who prey on consumers quests for lower prices, often through internet sites. For all these reasons, WQA strongly supports the exclusion request by Purolite Corporation.
The Water Quality Association (WQA) is writing to support the request for exclusion from tariffs of HTS 3914006000 (Ion-exchangers based on polymers of headings 3901 to 3913, in primary forms, nesoi) by Purolite Corporation posted on October 4, 2018. These products are critical to the companys ability to provide end-users with safe, reliable water filtration products that have been appropriately certified. The end-users include schools, municipalities and households who need reliable access to safe drinking water to ensure personal and community public health and safety. The increased prices that will inevitably result from higher tariffs will place an additional burden on these end-users, many of whom have severely restricted budgets. Higher prices for these critical products will also further exacerbate the marketing of counterfeit products by unscrupulous suppliers who prey on consumers quests for lower prices, often through internet sites. For all these reasons, WQA strongly supports the exclusion request by Purolite Corporation.
The Water Quality Association (WQA) is writing to support the request for exclusion from tariffs of HTS 3914006000 (Ion-exchangers based on polymers of headings 3901 to 3913, in primary forms, nesoi) by Purolite Corporation posted on October 4, 2018. These products are critical to the companys ability to provide end-users with safe, reliable water filtration products that have been appropriately certified. The end-users include schools, municipalities and households who need reliable access to safe drinking water to ensure personal and community public health and safety. The increased prices that will inevitably result from higher tariffs will place an additional burden on these end-users, many of whom have severely restricted budgets. Higher prices for these critical products will also further exacerbate the marketing of counterfeit products by unscrupulous suppliers who prey on consumers quests for lower prices, often through internet sites. For all these reasons, WQA strongly supports the exclusion request by Purolite Corporation.
The Water Quality Association (WQA) is writing to support the request for exclusion from tariffs of HTS 3914006000 (Ion-exchangers based on polymers of headings 3901 to 3913, in primary forms, nesoi) by Purolite Corporation posted on October 4, 2018. These products are critical to the companys ability to provide end-users with safe, reliable water filtration products that have been appropriately certified. The end-users include schools, municipalities and households who need reliable access to safe drinking water to ensure personal and community public health and safety. The increased prices that will inevitably result from higher tariffs will place an additional burden on these end-users, many of whom have severely restricted budgets. Higher prices for these critical products will also further exacerbate the marketing of counterfeit products by unscrupulous suppliers who prey on consumers quests for lower prices, often through internet sites. For all these reasons, WQA strongly supports the exclusion request by Purolite Corporation.
Abstract
Lead Attorneys: Arthur Tsao and Megan Grimball
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