the u.s. lacey act: overview and recent developments caitlin clarke world resources institute

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The U.S. Lacey Act: Overview and Recent Developments Caitlin Clarke World Resources Institute

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The U.S. Lacey Act:Overview and Recent Developments

Caitlin ClarkeWorld Resources Institute

Outcomes of Presentation

• Review of the Lacey Act• Current developments• What is the Forest Legality Alliance?

The Lacey Act Amendments of 2008

•Fact-based, demand-side policy•No trade in illegally sourced

forest products• No entry without declaration

form• No false claims

Representative John F. Lacey (R-IA)Source: Food, Conservation and Energy Act of 2008, Section 8204. Prevention of Illegal Logging Practices.

The Lacey Act Amendments of 2008

Why a U.S. law? Why the Lacey Act?• A clear need existed for demand-side measures in

consumer markets• Level the playing field for law-abiding companies• The Lacey Act has a long history as a successful wildlife

and fish anti-trafficking statute• The Lacey Act sends a strong market signal, yet is a

flexible and business-friendly model

Dispelling common misperceptions about the Lacey Act• The import ban on illegal goods is effective now and for

all products. The phase-in schedule concerns only the declaration requirement.

• There are no documents or processes that can be used as “get-out-of-jail free” cards. Only actual legality counts.

• The entire supply chain is at risk for prosecution, not just importers.

Two necessary components of a Lacey Act violation1. An underlying violation of a state, foreign, or

tribal law that protects or manages plants and/or derivative products occurs.

2. The tainted good obtained through violation of such a law is traded in the United States. The Lacey Act regulates trade, not logging.

Declaration requirement• Requires scientific species name,

country of harvest, volume, and value

• Does not require information on legality or “chain of custody”

• Does not establish standards or require verification by government or a third party

* Timing reflects increase in wood processing and/or complexity of composition. “HTS” refers to Harmonized Tariff Schedule. Source: Federal Register, Vol. 74, No. 169, September 2, 2009.

Lacey Act plant provisions signed into law.

Underlying prohibition on trade in illegal wood in effect.

Declarations begin for headings of HTS 44: sawn timber, logs, fuel wood, tool handles, joinery, etc.

Declarations begin for headings of HTS 44: charcoal, frames, kitchenware, statuettes, caskets

Declarations begin for HTS 82, 92, 93, 94, 95, 97: including musical instruments, sporting, equipment, chairs

May 22, 2008

May 1, 2009

April 1, 2010

Wood pulp

Paper

Newsprint

Furniture

Fall 2010 and beyond

Oct 1, 2009

Declaration requirement phase-in schedule

Products not in declaration schedule are still covered by Lacey

Schedule of criminal and civil penalties

What is “due care”?Due care means:

that degree of care which a reasonably prudent person would exercise under the same or similar circumstances.

Due care is applied:differently to different categories of persons with varying degrees of knowledge or responsibility.

Due care is not:simply about obtaining documents. Rather, it is a flexible concept that continues to develop in the U.S. legal system.

Outcomes of Presentation

• Review of the Lacey Act• Current developments• What is the Forest Legality Alliance?

Legislative and Regulatory Updates• In November, the Administration will provide a report to

Congress on implementation of the Lacey Act amendments, as mandated by the Food, Conservation and Energy Act of 2008.

• In June, a coalition of 57 stakeholders, including NGOs and industry leaders representing importers and domestic producers, released a second consensus statement of recommendations, designed to assist the Administration as it prepares this report to Congress.

Private sector response to Lacey• The Lacey Act has reshaped the U.S. wood products industry

and exporters’ business practices – the industry generally supports the intent of the Act but has concerns about its implementation

• Awareness of the Lacey Act is high, and has been moving up the supply chain from importers to retailers of forest products

• Concerns about complying with the Lacey Act focus on understanding “due care,” rather than on completing new paperwork

“Three years ago, only a few companies were concerned about [illegal logging]. And now, everyone who is serious about exporting to the U.S. or the EU is.” – Intermediary

“Our association wants to avoid illegal logging and market our products in the U.S., and for us, working with the Lacey Act is not a problem.” – Exporter

“I would want to know the list of questions I need to ask back through the supply chain so that I can sleep at night and know that I am fine.” – Intermediary

“The risk assessment tools, and a definition of what ‘due care’ looks like, that is needed, and that would make things easier.” – Importer/Retailer

Perspectives from the supply chain

Public enforcement actions to date• Gibson Guitar Corp., famed U.S. musical instruments manufacturer• Raided Nov. 2009 as part of an investigation into the use of illegally logged wood from Madagascar• Major shock to U.S. wood products industry• Investigation ongoing; current developments not yet public

• U.S. Dept. of the Interior v. Three Pallets of Tropical Hardwood, a small business case in which the U.S. seized a shipment of imported hardwoods from Peru• Found that importer “did not do all he could within his power to comply with regulations and ensure that the shipment was authorized” – in essence, a failure of “due care”

Outcomes of Presentation

• Review of the Lacey Act• Current developments• What is the Forest Legality Alliance?

The Forest Legality Alliance

• A clearinghouse for disseminating information and resources

• Legality-only focused • No auditing, certification or

verification of membership • A creator of appropriate tools to fill

risk assessment and policy knowledge gaps

• A platform for consensus and collaboration

• Build awareness of forest legality issues and support supply chain efforts to deliver legal wood and paper products

• Develop tools to help all parts of supply chains

• Conduct feasibility demonstration studies

Background and goals Activities

The Forest Legality Alliance

www.forestlegality.org

Thank You

Caitlin Clarke – [email protected]