The Cost of Playing Defense with Evolving Trade Law
What a Difference a Year Makes
Around this time last year, U.S. Customs & Border Protection (CBP) released their operational guidance for importers subject to the?Uyghur Forced Labor Prevention Act?(UFLPA). Designed to ensure a blanket ban on goods and merchandise sourced from the Xinjiang Uyghur Autonomous Region (XUAR), the collision of international trade policy versus the practicality of ongoing compliance remains a sobering illustration of what keeps Sourcing & Procurement professionals up at night.
Setting aside the alphabet soup of policy acronyms, let’s debunk some of the most common assumptions made over the past year:
1.We definitely don’t do business in Xinjiang. We don’t need to worry about this…
Not so fast. Last year, German researchers using isotope testing found trace amounts of Xinjiang cotton in products from five German apparel brands (including?Adidas, Puma, and Hugo Boss). If anything, this should make everyone in the industry ask:?Who among us is next??After all, as few as?15% of Fashion & Apparel?companies claim to have full information about the raw materials that go into their products. Despite multiple safeguards, the fact remains that many base commodities (e.g., cotton) are combined, blended, and reapportioned multiple times on the long road from farm to factory.
2.?Ok, but the burden of proof’s is on our Tier X suppliers . . . not us, right?
Au contraire. Read the?fine print. The “rebuttal presumption” specifies the importer of record must provide “clear and convincing evidence” that any goods or wares subject to detention/exclusion/seizure were not produced or manufactured (wholly or in part) by forced labor.
3.?Ok, but how can Customs enforce something that we struggle to verify ourselves?
This doesn’t appear to be slowing them down… Based on?new data?released by CBP just last week, over 4,250 shipments totaling $1.4 billion in value have now been subject to review or enforcement action. Nearly 20% of these qualify as Apparel, Footwear, or Textile goods, which is the second most-impacted industry category (behind Electronics). Due to trans-shipment, freight forwarding, and customs brokers employed throughout intermediate destinations, nearly 90% of shipments subject to review or enforcement list Malaysia and Vietnam (not China) as the country of origin.
4.?Ok, but this is specific to the United States?
For now . . . but the?European Parliament?is currently considering a proposal for reciprocal legislation. And historically, that legislative body is not known for a “less is more” regulatory approach to anything.
In summary, the host of intermediaries between suppliers and merchants and the blending of raw materials adds complexity, uncertainty, and volatility to the global trade of key commodities. Moreover, the enforcement actions stemming from the UFLPA adds newfound urgency for supply chain traceability to ensure the provenience of impacted goods.
Measure Twice, Cut Once
The transparency and attribution issues underscored by new legislation are nothing new to the Apparel industry. Previous recalls and/or class-action lawsuits involving “Egyptian,” “Organic,” and “Pima” cotton have led to the development of advanced tracing technologies catering specifically to the needs of Apparel customers, including?DNA-based molecular tagging?of both inputs and finished products.
In addition, several community-based initiatives have gained momentum in recent years. Back in April 2021, the U.S. Cotton Trust Protocol announced a?track-and-trace?pilot using a blockchain platform known for verifying the ESG credential of a supplier’s production sites.?While the scope of this innovation doesn’t address the entire global supply, parallel programs are in development from?leading standards?(Better Cotton, IFOAM, CmiA, USCTP, etc.) add up quickly.
领英推荐
While the digital solutions above demonstrate great promise—testing, implementation, and deployment a global tag/race/test platform for any commodity will take time and concerted community effort to meet the challenge of expanding requirements from public policy initiatives.
Solutions, Not Problems
In the meantime, there are important mitigation steps to cross-check . . . as in, tomorrow. These include:
Written By:?Colin Gilbert, Head of Research Science,?Zero100
Radical Reinvention: Modernizing the Global Supply Chain
Radical Reinvention: Modernizing the Global Supply Chain?is a bi-weekly podcast featuring conversations with the Zero100 team and various industry experts about current supply chain challenges and solutions that accelerate the Zero100 mission: Zero Percent Carbon, 100% Digital supply chains.
On the show we'll hear from academics, activists, business leaders, lawyers, NGOs, policymakers, researchers, scientists – in addition to supply chain pioneers – to help us navigate the road to achieving our mission.
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