Perspectives on Uyghur Forced Labor Prevention Act (UFLPA)
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Welcome to the December 2024 issue of “As the (Customs and Trade) World Turns,” our monthly newsletter where we compile essential updates from the customs and trade world over the past month. We bring you the most recent and significant insights in an accessible format, concluding with our main takeaways — aka “And the Fox Says…” — on what you need to know.
Welcome to the November 2024 issue of “As the (Customs and Trade) World Turns,” our monthly newsletter where we compile essential updates from the customs and trade world over the past month. We bring you the most recent and significant insights in an accessible format, concluding with our main takeaways — aka “And the Fox Says…” — on what you need to know.
Welcome to the October 2024 issue of “As the (Customs and Trade) World Turns,” our monthly newsletter where we compile essential updates from the customs and trade world over the past month.
Many e-commerce retailers are closely monitoring increasing bipartisan criticism of the Section 321 de minimis program.
Welcome to the September 2024 issue of “As the (Customs and Trade) World Turns,” our monthly newsletter where we compile essential updates from the customs and trade world over the past month.
Welcome to the August 2024 issue of “As the (Customs and Trade) World Turns,” our monthly newsletter where we compile essential updates from the customs and trade world over the past month.
Since the inception of the Uyghur Forced Labor Prevention Act (UFLPA), importers globally have started to become acutely aware of potential forced labor risks hidden beneath intricate supply chains.
Welcome to the July 2024 issue of “As the (Customs and Trade) World Turns,” our monthly newsletter where we compile essential updates from the customs and trade world over the past month.
Welcome to the June 2024 issue of “As the (Customs and Trade) World Turns,” our monthly newsletter where we compile essential updates from the customs and trade world over the past month.
In an unprecedented, but anticipated, move last Friday, the US Department of Homeland Security (DHS) expanded the Uyghur Forced Labor Prevention Act (UFLPA) Entity List with the addition of 26 new Chinese textile companies in one single action.
Welcome to the May 2024 issue of “As the (Customs and Trade) World Turns,” our monthly newsletter where we compile essential updates from the customs and trade world over the past month.
Welcome to the April 2024 issue of “As the (Customs and Trade) World Turns,” our monthly newsletter where we compile essential updates from the customs and trade world over the past month.
The fashion and retail industry experienced another year of considerable change in 2023.
Join Eduardo Sotelo Cauduro of Sanchez Devanny, Jessica Horwitz of Bennett Jones, and Angela Santos of ArentFox Schiff as they discuss the requirements in the USMCA region and best practices for a practical and effective supply chain diligence and compliance program.
US Customs and Border Protection (CBP) UFLPA Operational Guidance for Importers (CBP Guidance) was published on June 13, 2022 to assist importers in preparing for the UFLPA rebuttable presumption that goes into effect on June 21, 2022.
Join our discussion regarding how this law will impact your company and how to prevent detention of your imports.
US Customs and Border Protection (CBP) has issued some guidance relating to its enforcement of the Uyghur Forced Labor Prevention Act (UFLPA) prior to June 21, 2022, the effective date of the rebuttable presumption.
The proposed New York State Fashion Sustainability and Social Accountability Act (Fashion Act) and recently enacted Uyghur Forced Labor Prevention Act (UFLPA) aim to compel the fashion industry to expedite the pace of Environmental, Social, Governance (ESG) initiatives in the fashion industry and wi
On January 24, 2022, The US Department of Homeland Security (DHS), on behalf of the Forced Labor Task Force (Task Force), published a Federal Register Notice to request public comments regarding the implementation of the Uyghur Forced Labor Prevention Act (UFLPA) and the due diligence standards.
US importers should participate in the Task Force’s comment and hearing process to flag due diligence challenges and formulate the strategy to enforce the import prohibitions.
Senate passage of the Uyghur Forced Labor Prevention Act, issuance of the updated Xinjiang Supply Chain Business Advisory, and other recent government action may indicate that all products produced in whole or part in XUAR may soon be banned. Companies should be aware that this may impact the
Join Arent Fox Partner Angela Santos for the upcoming webinar “Is There Forced Labor and Trafficking in Your International Supply Chain? What International Companies Need to Know.” This event is co-sponsored by the New York State Bar Association and will explore the following hot topics that all
US Customs and Border Protection has made forced labor a top priority and recent actions will impact the supply chain of many US importers.
If passed, these bills will grant US Customs and Border Protection authority for a region-wide WRO enabling the agency to detain all products from XUAR.
Companies in the fashion, luxury, and agricultural spaces should take action in response to the forced labor supply chain due diligence requirements.