Comment from Hyundai L&C Canada, Inc.

Hyundai L&C Canada, Inc.SupportBusiness
Summary: Hyundai L&C Canada, Inc. requests that the USTR and TPSC recommend excluding Canadian quartz surface products from any safeguard remedies. The company argues that the USITC already determined Canadian imports do not contribute importantly to the serious injury of the U.S. industry and that such an exclusion is legally required under the USMCA Implementation Act.
On behalf of Hyundai L&C Canada, Inc. ("Hyundai L&C Canada" or the "Company"), we submit the attached comments submission (the "Comments Submission") regarding recommendations that the U.S. Trade Representative ("USTR") and the Trade Policy Staff Committee (the "TPSC") should make to the President relating to the Section 201 investigation concerning Quartz Surface Products ("QSP"). As discussed in the Comments Submission, the Company respectfully requests that the USTR and the TPSC recommend to the President that no safeguard remedy shall apply to QSP from Canada. Furthermore, the Company contends that, consistent with the Commission’s negative injury determination with respect to Canada and 19 U.S.C. § 4552, the President should exclude QSP from Canada in any safeguard remedy announced and implemented in this matter. Hyundai L&C Canada also requests the opportunity to present testimony at the hearing that the USTR will be holding on June 16, 2026, and the names and contact information for the two individuals who would provide testimony on behalf of the Company are set forth in the Comments Submission.

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