Summary
LDCs and all ACP countries who have in place Economic Partnership Agreements with the EU now have in place arrangements which will roll over existing DFQF access to the UK market. However the future value of this rolled over DFQF access will be determined by the MFN tariff regime which the UK government will apply either under a no-deal Brexit or at the end of any agreed transition period in UK/EU trade relations. While the UK government announced a ‘development friendly’ temporary no-deal Brexit tariff schedule in March 2019 (with this being slightly revised in October 2019), a full scale review of the UKs temporary MFN tariff schedule is planned from January 2020, with this involving a two month period of public consultations. Following on from this review it is anticipated the UK government will make an announcement on the long term MFN tariffs it plans to apply. It is only at this point that the future value of the rolled over DFQF access granted ACP countries will finally be known. The preferential duty free access rolled over for preferred ACP partner countries adds nothing to the competitive position of ACP exporters if all other competing suppliers also enjoy duty free access as a result of the elimination of MFN duties. Read more “Continued Duty Free Quota Free Access to UK Market Secured but the MFN Issue Looms”
Category: Sugar
The reduction of EU sugar prices and scheduled abolition of EU sugar production quotas have and will continue to transform the market conditions faced by ACP sugar exporters to the EU. Under the impact of EU sugar sector reforms prices on sugar markets served by ACP sugar exporters are likely to be increasingly volatile. In addition the consolidation and internationalisation of European sugar companies which EU reforms have given rise to are having important effects on patterns of ACP-EU sugar trade. Intensified competition on EU sugar markets is bringing into question the financial sustainability of the full-time raw cane sugar refiners who traditionally refined ACP raw sugar exports. The final stages of EU sugar sector reforms will carry particularly profound consequences for smallholder sugar cane farmers in ACP countries. Close attention will ned to be paid to strengthen the regulatory framework for the functioning of ACP-EU sugar supply chains. This will need to include the development of new revenue sharing formulas which allow independent sugar cane growers to gain a share of revenues from the new products increasingly manufactured from sugar cane.
The challenges faced in ACP-EU sugar sector relations will be further complicated by the impending departure of the UK from the EU.
Read more.
Making Sense of Brexit What Does the Current Confusion Mean for ACP Agro-food Sectors
Summary
Despite a Parliamentary vote approving in principle the revised Withdrawal Agreement concluded between the UK and EU, efforts to ram the Withdrawal Bill through Parliament with minimum discussion and no amendments failed. This means uncertainty over the outcome of the Brexit process remains. While an extension to the article 50 process no looks inevitable, a ‘hard Brexit’ or even a ‘no-deal Brexit’ still looks most likely, with a ‘soft Brexit’ requiring a general Election which would result in a new government being installed which was committed to remaining in the EU customs union and single market. Despite having secured continued DFQF access to the UK market in the event of a ‘no deal Brexit’ ACP exporters will still need to address a range of issues if exports to the UK are not to be disrupted under either a ‘hard Brexit’ or a ‘no-deal Brexit’. A further extension of the article 50 period could provide time for ACP exporters to prepare to deal with potentially trade disruptive challenges, but this will require pro-active engagement from the concerned ACP exporters during the breathing space a further extension will provide. Read more “Making Sense of Brexit What Does the Current Confusion Mean for ACP Agro-food Sectors”
The EU-Mercosur Agreement Part 2: EU Sectoral Impacts and Implications for the ACP
Summary
The main products of concern to ACP countries where quota restricted duty free access is to be phased in for Mercosur exporters are sugar; ethanol; beef; poultry meat; and rice. The TRQ granted for sugar will reduce the margins of tariff preference enjoyed by ACP sugar exporters on EU27 markets and intensify price pressure on ACP sugar suppliers. It will make supplying the EU27 market increasingly difficulty for all but the most competitive ACP sugar exporters, unless some form of quality differentiated offering is on sale. In contrast the TRQ for ethanol is likely to have little impact on current ACP exports which are marginal. The TRQ for beef could generate increased competition on beef market components which Namibian exporters are increasingly targeting, although further investment in quality based product differentiation could serve to insulate Namibian exporters from any adverse price effects. In the poultry meat sector the new TRQ could serve to further fuel the growth in EU exports of frozen poultry parts to African market. In the rice sector given the relatively small size of the TRQ granted to Mercosur exporters it is unclear to what extent this poses a threat to ACP rice exporters in Guyana and Suriname. Read more “The EU-Mercosur Agreement Part 2: EU Sectoral Impacts and Implications for the ACP”
How Will ABF’s Sugar Sector Strategy Affect UK Import Demand for Sugar from Particular ACP Countries?
Summary
Under a ‘no-deal’ Brexit while concluding a ‘Continuity Agreement’ with the UK will be essential to preserving duty free-quota free access for non-least developed ACP sugar exporters, the sourcing decisions of Associated British Foods will have an important bearing on which ACP exporters will benefit from the likely increase in UK sugar prices arising from the imposition of standard MFN duties on sugar imports from EU27 countries. Competitive Southern African sugar producers closely associated with the ABF owned Illovo Group will be best placed to take advantage of UK sugar shortages and higher UK sugar prices. For Caribbean and Pacific sugar exporters the sourcing decisions of Tate & Lyle Sugars will be critical, with an important issue being the nature of the contractual arrangements to be set in place to supply sugar to the UK in the new marketing year starting 31st October 2019. Read more “How Will ABF’s Sugar Sector Strategy Affect UK Import Demand for Sugar from Particular ACP Countries?”
UK Resolve to Leave the EU on 31st October With or Without a Deal Strengthened Through New Cabinet Appointments
Summary
Commitments made by Conservative party leadership candidate Boris Johnson to renegotiate the Withdrawal Agreement to remove the Irish ‘back-stop’ and leave the EU on 31st October come what may, have been reiterated in his early statements as Prime Minister. This position is reinforced by the appointment of a cabinet consisting of like-minded ‘hard Brexiteers’. While the EU remains committed to avoiding a ‘no-deal’ Brexit, this now hinges around persuading Prime Minister Johnson the invocation of the ‘backstop’ can be avoided and Prime Minister Johnson then mobilising Parliament behind ratification of the existing Withdrawal Agreement, on the understanding joint action on technical solutions will make the backstop irrelevant. Recent history in this regard is not promising. The EC continues to prepare for a ‘no-deal’ scenario; including how to keep dialogue open in the event of the UK’s ‘no-deal’ departure from the EU on 31st October. Critical to keeping dialogue open will be the UK honouring its financial obligations to the EU, an area where to date Prime Minister Johnson has reiterated his campaign pledge to withhold payment until a new trade framework is agreed. All hope thus lies in either a ‘Boris Back-flip’ before October 31st, on a basis which holds out to EU leaders some prospect of an eventual negotiated arrangement for the UK’s withdrawal or a general election in which an anti-Brexit coalition secures a firm majority.
During his campaign to become leader of the Conservative Party, Prime Minister Johnson committed any government he led to:
- leaving the EU on 31st October, with or without a deal, with the preferred option being having a withdrawal deal in place;
- securing modifications to the Withdrawal Agreement, notably in regard to the Irish ‘backstop’, so as to ensure a deal is in place;
- holding back the UK’s payment of the financial settlement of outstanding obligations to the EU if no agreement has been concluded and there is no prospect of new trade arrangement (1).
As a demonstration of the new governments’ resolve Cabinet members have been required to commit unequivocally to leaving the EU on the 31st October, with those unwilling to make such a commitment leaving or being sacked from the Cabinet. A new wholly ‘hard Brexit’ Cabinet unequivocally committed to leaving the EU on 31st October is now in place to support Prime Minister Johnson in his party election campaign Brexit pledges (2).
Despite the hard line which Prime Minister Johnson has carried over into the new UK government, EU leaders have committed to continuing to seek an agreement to avert a ‘no-deal’ Brexit. Incoming European Commission President Ursula von der Leyen has ascribed a ‘duty’ to both parties to reach an agreement, with this backing up Chancellor Merkels’ resolve to find a way out of the impasse. Ursula von der Leyen has even spoken of the scope for a further extension of the article 50 period, if more time is needed to ensure a Withdrawal Agreement is in place (1).
However EU Chief Negotiator Barnier has clearly stated any constructive discussions with the new UK government to resolve the current impasse will need to be based on cooperation in facilitating ‘the ratification of the Withdrawal Agreement’ (1). Even Chancellor Merkel is insisting ‘the withdrawal agreement is the withdrawal agreement’, with any efforts to manage the Irish border issue needing to be addressed in the accompanying Political Declaration. She does however believe there is a way of managing the border in a way which would mean ‘the backstop will be overwritten’ (3).
This is likely to be the critical consideration in avoiding a ‘no-deal’ Brexit since as Irelands’ Deputy Prime Minister Simon Coveney has warned ‘If the approach of the new British prime minister is that they’re going to tear up the withdrawal agreement, I think we’re in trouble’. He went on to note how in this context ‘a no-deal departure would not be the fault of the EU…. but would be entirely down to UK political considerations’ (4).
Against this background a number of lines of approach to the current Brexit impasse are being explored in the EU. The first option focusses on finding a wording which will provide a way for Prime Minister Johnson to declare the backstop will never need to be invoked and therefore the UK Parliament should ratify the Withdrawal Agreement. Unfortunately EC officials are not optimistic. ‘Between December 2018 and March 2019, the EU issued three sets of promises outlining speedy work on a future trade deal to avoid the backstop’. Each of these texts was more elaborate, with the final text including a reference to the initiation of ‘joint work on “alternative arrangements” to avoid a backstop’ (5). This however proved insufficient to convince Tory Eurosceptics to vote for the Withdrawal Agreement under a Theresa May led government. EC officials appear to be hoping Prime Minister Johnson’s unbounded enthusiasm and boyish charm will prove sufficient to swing the dial of Parliamentary support behind the ‘Withdrawal Agreement’; based on the personal assurances of the Prime Minister that he would never let the backstop enter into effect and a shared commitment to working out ‘alternative arrangements’.
The second strand of EC thinking on how to avoid a ‘no-deal’ Brexit hinges around the scepticism with which some EC officials view candidate Johnson’s campaign pledges. These officials take the view a Prime Minister Johnson is perfectly capable of a policy ‘back-flip’ on his “do or die” rhetoric around a ‘no-deal’ Brexit on 31st October. These EC officials have been encouraged by efforts by both the House of Commons and House of Lords to prevent any proroguing of Parliament in order to push through a ‘no-deal’ Brexit on 31st October 2019 (6). It is felt this could facilitate such a policy ‘back-flip’ by Prime Minister Johnson come the end of October. This accounts for the continued openness of the EU to an extension of the Article 50 period.
However it needs to be borne in mind that President Macron is concerned that the continued membership of a reluctant UK is not in the interest of the EU. There is a view in Paris that the economic disruptions which a ‘no-deal’ Brexit would give rise to would be such that the UK would rapidly return to the negotiating table. This view is not universal amongst EU member states governments, particularly those such as Ireland and the Netherlands who would be most directly affected by a no-deal departure. In these quarters there are real fears that public opinion in the UK has been stoked to such a fever pitch that a ‘no-deal’ Brexit could give rise to a ‘Dunkirk‘ mentality (7), where the UK turns its back on the EU and seeks to strike out on its own wholly autonomous global trade policy.
This gives rise to the third avenue the EC is exploring namely, intensifying ‘no-deal’ Brexit preparations. This includes work by some EC officials on what can be done to bridge the abyss in EU27/UK relations which would emerge on the back of a ‘no-deal’ Brexit on 31st October 2019. These officials are seeking to work up the basis of a ‘platform for re-engagement on the day the UK leaves which might be used once the dust has settled’. This includes the provisional drafting of a declaration expressing ‘the EU27’s regret at the lack of a deal and offering to re-engage if the UK accepts its financial commitments’ (7).
This strongly suggests any post ‘no-deal’ Brexit reengagement will critically hinge around the UK’s willingness to meet in full its outstanding financial obligations to the EU. Unfortunately this is something Prime Minister Johnson implicitly ruled out in his first public statements as Prime Minister.
These preparations for ‘bridge building’ in the event of a no-deal Brexit on 31st October have been complicated by the recent politicisation of technical discussions around the maintenance of trade flows. Senior Conservatives have sought to down play the negative effects of a ‘no-deal’ Brexit by arguing the economic damage would be mitigated by the series of side deals with the EU which are already in place (8).
This has infuriated the EC which described these claims as ‘pure-rubbish’. The EC maintains the only measures set in place are temporary and unilateral and in no way constitute mini-deals. Just how temporary such arrangements are is illustrated by the fact the emergency freight haulage arrangement in place is scheduled to lapse at the end of December 2019, only two months after any 31st October ‘no-deal’ Brexit (8).
Remarks by prominent ‘hard Brexiteers’ who are now in Cabinet to the effect that a ‘no-deal’ Brexit could provide an economic stimulus to the UK economy of ‘in the region of £80 billion’ are not helping the atmosphere for efforts to avoid a no deal Brexit. These comments by Jacob Rees Mogg were described as ‘terrifying’ by the then Chancellor Philip Hammond (9), given the modelling of the Office of Budget Responsibility (OBR) and analysis from the National Institute of Economic and Social Research (NIESR) that a no-deal Brexit would push the UK economy into a serious recession (10). This would be a result of: heightened uncertainty and declining confidence’, which would ‘deter investment’; ‘higher trade barriers with the EU’, which would ‘weigh on domestic and foreign demand’; a sharp fall in ‘the pound and other asset prices’ (11).
In terms of likely immediate developments, the Guardian reports Prime Minister Johnson is planning to ‘visit key EU capitals in early August’. This is felt by EC officials to be a sensible course of action, since it will allow the new Prime Minister to gauge the mood in EU capitals, in a way which will avert any premature confrontation with the EC which could heighten the risks of a ‘no-deal’ Brexit
The G7 meeting in Biarritz at the end of August is being seen as ‘an important stepping stone to finding a mutually advantageous way forward’ within the Brexit process. This it is hoped would be followed by yet another emergency EU Summit in September which would see a deal set in place and the UK depart the EU on 31st October 2019 (7).
Against this background the Brexit Secretary Stephen Barclay has suggested this will lead to a situation where Parliament would then be asked to vote on any new deal achieved’, with the options of
- rejecting the amended deal;
- leaving the EU without a deal;
- revoking Brexit (9).
However according to press reports there is now ‘a growing belief in Brussels that Johnson has no intention of negotiating with the EU, but is instead driving forward with a no-deal exit with the understanding that parliament will block him and it will be necessary to call a general election’ (12). This follows on from Prime Minister Johnson refusing to hold further talks with the EU unless the Withdrawal Agreement and the ‘backstop’ are both on the table for review (13).
Provoking an outright confrontation with the EU May be part of Prime Minister’s Johnson’s strategy, with the resulting parliamentary deadlock and general election allowing him to campaign as the only “True Brit” capable of taking on the evil machinations of Brussels. Since a jingoistic election campaign could then see of the threat of the Brexit Party and see a Johnson led government returned to power with the necessary parliamentary majority to see through the Prime Ministers version of Brexit. However this is a high risk strategy with the possibility of the Brexit Party splitting the pro-Brexit vote and a Labour/Liberal Alliance securing a sufficient majority to halt Brexit altogether.
Comment and Analysis
There remains profound uncertainty over what will happen come the 31st October. This uncertainty is complicating the commercial relations of ACP exporters in their dealings with the UK and EU27. There are 5 principal areas of uncertainty which are of concern to ACP exporters: · uncertainty over the basis for tariff treatment of ACP exports to the UK, given the lapsing of EU trade agreements in regard to the territory of the UK in the event of a ‘no-deal’ Brexit; · uncertainty as to the value of the £ in the immediate post ‘no-deal’ Brexit period given projections of a potential 10% devaluation of the £ against the $ under a ‘no-deal’ scenario; · uncertainty over the specific market conditions which will be created for particular ACP agro-food exports under a ‘no-deal’ Brexit; · uncertainty over the efficiency of UK trade administration arrangements for preferential imports under a ‘no-deal’ Brexit scenario; · uncertainty over the administration arrangements to be applied along triangular supply chains serving the UK market via initial points of landing in EU27 countries, particularly in the floriculture and horticulture sectors. Current Tariff Treatment for Exports to the UK Market
Talks on the ‘rolling over’ of the SADC-EU EPA and bilateral EPAs concluded with individual west African and central African countries into UK only ‘Continuity Agreements’ remain on ongoing. Uncertainty around the prospects for successfully concluding these negotiations primarily affects exporters from Kenya, Ghana, Cote d’Ivoire, Cameroon, Botswana, Namibia, Eswatini (formerly Swaziland), and South Africa. ACP exporters from these countries need to lobby their governments to conclude Continuity Agreements or similar such arrangements which preserve current duty free-quota free access to the UK market from 1st November 2019. However it needs to be recognised that particular challenges face the governments of Kenya, Ghana, Cote d’Ivoire and Cameroon given the partial nature of the EPA process in the East African, West African and Central Africa regions. Concluding ‘Continuity Agreements’ with the UK would further complicate intra-regional trade relations in these regions, with this problem being particularly acute in the East Africa Customs Union, where it could trigger a collapse of this increasingly fragile regional integration initiative.
Against this background the UK government needs to be lobbied to: • adopt the same type of Market Access Regulation (MAR) approach which the EU has retained in place for Kenya, with this being extended to Cameroon, Ghana and Cote d’Ivoire so as to minimise frictions within African regional trade integration initiatives, this could be achieved without triggering a WTO challenge; • if, necessary this option should also be applied to imports from Botswana, Lesotho, Namibia, Swaziland, South Africa. The Prospect of a Devaluation of the £ Reviewing the Specific Market Effects of a No-Deal’ Brexit for Particular ACP Exports Similarly if the UK leaves the EU without bilaterally negotiated TRQs for bananas being apportioned between the EU27 and UK market this could increase competition on EU27 banana markets with consequent price depressing effects (although this effect will require careful evaluation). Thus across a range of sector ACP exporters will need to be factoring in the effects of a ‘no-deal’ Brexit on the markets they currently served. Getting to Grips with Trade Administration Issues and the Functioning of Triangular Supply Chains For example, ACP exporters will need to ensure that their existing Economic Operator Registration Identification number (EORI) is still valid once the UK has left the EU. Any EORI’s issued by a customs authority in a EU27 member state will no longer be valid for the UK, while any UK issued EORI will no longer be valid for exports to a EU27 member states. While new EORI number can be secured within 3 days and can be applied for online, ACP exporters will need to ensure these necessary steps have been taken by 31st October if problems are not to arise. This is particularly important since EORI numbers are the basis for the issuing of the Binding Tariff Information (BTI) decisions and Binding Origin Information decisions (BOIs), which set out the tariff to be applied to preferred imports and provide verification of the origin of the import so the preferred duty can be applied to the consignment in question. If this documentation is not in order ACP exporters could have to pay the full MFN tariff. These and other basic trade administration issues will need to be taken up and addressed by ACP exporters. In addition, ACP exporters could usefully seek to ensure they are qualified to attain Authorised Economic Operator (AEO) status so they can have access to ‘fast-track’ customs clearance processes. This privileged treatment will take on increasing significance in the face of the increased demands and system strain under which the UK border control service is likely to be placed in the immediate post Brexit period. Securing AEO status is a lengthy and complex process requiring sustained engagement in ensuring the integrity of the supply chain. Against this background ACP exporters should initiate a process as soon as possible to secure AEO status for the handling of their exports to the UK, as part of broader efforts to ‘Brexit proof’ their export supply chains (see accompanying epamonitoring.net article ‘Can AEO Accreditation Help Assist ACP Exporters Using Triangular Supply Chains in Overcoming Potential Brexit Related Trade Disruptions?’, 1 August 2019). Finally for ACP exporter trading into the UK market along triangular supply chains there is a need to launch discussions with the EU and UK authorities on what cooperation arrangements can be set in place to ensure that trade in products which enjoy the same terms and conditions of duty free-quota free access to both the EU27 and UK markets can continue to flow freely along triangular supply chains. Unfortunately the politicisation of such technical discussions through their categorisation as ‘side deals’ which reduce the economic cost to the UK of a ‘no-deal’ Brexit has made the convening of these necessary trilateral discussions more difficult. Against this background the concerned ACP exporters should encourage their governments to hold separate but parallel discussions with the EU27 and UK authorities to establish what needs to be done on both sides of the new EU27/UK border to allow the continued smooth functioning of these triangular supply chains. |
Sources
(1) Guardian, ‘Brussels greets Boris Johnson victory by rejecting Brexit plans’, 23 July 2019
https://www.theguardian.com/world/2019/jul/23/brussels-greets-boris-johnson-victory-rejecting-brexit-plans
(2) Guardian, ‘Brussels repels Boris Johnson’s quest for new Brexit deal’, 25 July 2019
https://www.theguardian.com/politics/2019/jul/25/brussels-throws-out-boris-johnsons-plans-to-alter-brexit-deal
(3) Guardian, ‘Brussels to offer Boris Johnson extension on no-deal Brexit’, 19 July 2019
https://www.theguardian.com/politics/2019/jul/19/brussels-to-offer-boris-johnson-extension-on-no-deal-brexit
(4) Guardian, ‘Change in No 10 will not alter Brexit reality, warns Irish deputy P’, 21 July 2019
https://www.theguardian.com/politics/2019/jul/21/change-no-10-will-not-alter-brexit-reality-irish-deputy-pm-simon-coveney
(5) Guardian, ‘Incoming prime minister poses a Brexit puzzle for Brussels’, 21 July 2019
https://www.theguardian.com/politics/2019/jul/21/prime-minister-brexit-brussels-eu
(6) Guardian, ‘Parliament blocks attempts to force through no-deal exit’, Brexit Weekly Update 23 July 2019
https://www.theguardian.com/politics/2019/jul/23/brexit-weekly-briefing-parliament-blocks-attempts-to-force-through-no-deal-exit
(7) Guardian, ‘Brussels to offer Boris Johnson extension on no-deal Brexit’, 19 July 2019
https://www.theguardian.com/politics/2019/jul/19/brussels-to-offer-boris-johnson-extension-on-no-deal-brexit
(8) Guardian, ‘Boris Johnson’s claims of ‘side deals’ are ‘pure rubbish’, EU says’, 24 July 2019
https://www.theguardian.com/politics/2019/jul/24/boris-johnson-claims-of-side-deals-are-rubbish-eu-says
(9) Guardian, ‘Hammond ‘terrified’ by Rees-Mogg claim of no-deal Brexit boost’, 17 July 2019
https://www.theguardian.com/politics/2019/jul/17/philip-hammond-terrified-by-jacob-rees-mogg-claim-of-no-deal-brexit-boost
(10) Guardian, ‘No deal Brexit risk may have already pushed UK into recession says NIESR’, 22 July 2019
https://www.theguardian.com/business/2019/jul/22/no-deal-brexit-uk-recession-niesr-british-eu-trade
(11) Guardian, ‘No-deal Brexit would plunge Britain into a recession, says OBR’, 18 July 2019
https://www.theguardian.com/business/2019/jul/18/no-deal-brexit-would-plunge-britain-into-a-recession-says-obr
(12) Guardian, ‘France warns Boris Johnson not to play games with Irish border’, 26 July 2019
https://www.theguardian.com/politics/2019/jul/26/france-warns-boris-johnson-not-to-play-games-with-irish-border
(13) Guardian, ‘Brexit deadlock as No 10 insists EU must scrap backstop before talks’, 26 July 2019
https://www.theguardian.com/politics/2019/jul/26/brexit-deadlock-as-no-10-insists-eu-must-scrap-backstop-before-talks
Is long term EU sugar demand set to fall even more dramatically?
Summary
There is growing evidence that taxes on the sugar content of beverages are having a proportional effect in reducing sugar consumption. This, along with new technological innovations which could see a similar reduced sugar consumption trend take hold in the food products sector, suggests ACP sugar exporters need to find new high sugar consumption growth markets. This will be complicated by the ongoing efforts of EU sugar companies to similarly identify new market opportunities for sugar exports, efforts which will be given an added stimulus by a ‘no-deal’ Brexit. Read more “Is long term EU sugar demand set to fall even more dramatically?”
Low EU sugar prices lead to calls for greater market transparency
Summary
EU sugar production estimates have been revised down, with the prospect of a greater market balance and some price recovery emerging. However a ‘no-deal’ Brexit could push 550,000 tonnes of EU27 white sugar back onto the EU27 market, exerting a downward pressure on EU27 sugar prices. In contrast shortages of sugar would be likely to emerge on the UK market which would increase demand for imports of both raw cane sugar and refined sugar from preferred suppliers as well as an increase in UK sugar prices. With spot market prices currently above contracted sugar prices ACP exporters may need to re-evaluate their marketing strategies. However not only is their uncertainty over the basis of the UK’s departure from the EU but also over which existing trade agreements the UK will succeed in ‘rolling over’ by November 2019. The EC is busy preparing for a ‘no-deal’ Brexit in the sugar sector. The ACP Ambassadorial Working Group on Sugar should initiate a dialogue with the EC on the nature of these preparations and the likely implications for ACP sugar producers, given the profound effects EU policy measures can have on the functioning of the EU sugar market. Read more “Low EU sugar prices lead to calls for greater market transparency”
UNCTAD Reviews Impact of Future UK MFN Policy on Low Income Developing Countries
Summary
The UNCTAD analysis highlights the central importance of future UK MFN tariffs to the value of any ‘rolled over’ ACP preferential access to the UK market. This is an important issue under both a ‘no-deal Brexit and a ‘hard Brexit’. This will require effective ACP lobbying of the UK government to retain in place existing MFN tariffs in areas of greatest interest to ACP exporters. In the country and product analysis undertaken by UNCTAD the importance of triangular trade flows to the UK via the Netherlands is neglected, with this trade also being adversely impacted by any changes in EU MFN tariffs. Read more “UNCTAD Reviews Impact of Future UK MFN Policy on Low Income Developing Countries”
EU Sugar Exports to ACP Markets Are Falling After Record Levels of EU Exports in 2018
Summary
While after the exceptional level of EU sugar exports in 2018, export volumes are projected to be substantially reduced in 2019 (with export levels down 50% so far), these are still projected to be above EU export volumes in 2016/17 (+73% so far). What is more on average ACP markets in 2018 took 1 in every 5 tonnes of extra-EU sugar exports, up from 1 in every 14 tonnes in 2014. West Africa is the main ACP region for EU sugar exports, with Ghana and Senegal the two most important markets. Central Africa is the second most important ACP region with Cameroon leading the way as a destination for EU sugar exports. There have been surprisingly high levels of EU sugar exports to the eastern and Southern Africa region, given this is a sugar surplus region. EU sugar exports to the Caribbean have varied with exports to Haiti dominating the trend in overall EU sugar exports. While weather events and national trade policies play a role in patterns of EU sugar exports, there are concerns that ‘no-deal’ Brexit related trade disruption could lead to a growing EU corporate focus on sub-Saharan African markets. This could well give rise to pressure form the EC on ACP governments to abandon policies which restrict EU sugar exports. Read more “EU Sugar Exports to ACP Markets Are Falling After Record Levels of EU Exports in 2018”
EU Production Growth Impacts on Both Profitability of EU Sugar Companies and ACP exports to the EU in 2018
Summary
The expansion of EU sugar production in addition to reducing the volume and value of ACP sugar exports has also undermined the profitability of EU sugar beet processing companies, with major operators such as Suedzucker looking to shut some processing plants in response to low EU sugar prices. In 2017/2018 regional EU sugar price trends in part correlated with trends in sugar production, with price falls being most dramatic in areas where the production increase was greatest. Meanwhile voluntary coupled support has held back the geographical redistribution of EU sugar production. Some ACP exporters remain dependent on the UK market while others have diversified, targeting sugar deficit regions of the EU where sugar prices have held up better. Longer term trends in EU sugar consumption do not bode well for traditional ACP sugar exporters. Brexit uncertainties will need to be taken on-board in the marketing decisions of ACP sugar exporters in the 2019/20 marketing year, with various Brexit scenarios being explored and export markets to be targeted identified accordingly. Read more “EU Production Growth Impacts on Both Profitability of EU Sugar Companies and ACP exports to the EU in 2018”