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Senin, 05 Mei 2014

UPDATED > Minding the Value Gap Between U.K. Exports and U.S. Imports of Works of Art, Collectors’ Pieces and Antiques

The reported export values of art and antiquities shipped from the United Kingdom to the United States over the last five years do not match the reported U.S. import values for the same classified commodities. In fact, the published values are substantially different, amounting to roughly $6.8 billion in missing value over the last five years.

The art and antiquities trade between the United States and the United Kingdom can be measured by examining public data produced by the U.S. International Trade Commission and by HM Revenue & Customs. CHL recently looked at the 2013 trade in works of art, collectors pieces, and antiques exported from the U.K and imported into the U.S., asking why the reported values differed by approximately $2 billion. The trade data reviewed here compares export and import values over a five year period, from 2009 through 2013.

The commodities examined are classified by Harmonized Tariff Schedule (HTS) code 97, covering works of art, collectors’ pieces and antiques. HTS 97 specifically comprises paintings, drawings, engravings, prints, lithographs, sculptures, statuary, and stamps. It also includes collectors' pieces and collections of zoological, botanical, mineralogical, anatomical, historical, archaeological, and paleontological materials. Numismatics fall under the definition as well. So too do antiques over 100 years old.

The chart below graphically displays the gap between export values published by the U.K. and the import values published by the U.S. for all goods each country classifies under HTS 97. The value differences are listed in billions of U.S. dollars. 


One can easily see the striking value differences over the last five years. In 2010, 2012 and 2013 the gaps in U.K.-U.S. customs values measure at least 50% or more for each of those years. Also noteworthy is the pattern whereby the reported values of U.K. HTS 97 exports are consistently higher than the reported values of U.S. HTS 97 imports.

The actual value gaps--the differences between the reported U.K. HTS 97 export values and the reported U.S. HTS 97 import values--from 2009 through 2013, and their percentage differences, are outlined in the table below.

                                                                   Value Gap            Percent Difference
                                                        2009   $535,430,047        33.6% 
                                                        2010   $1,203,868,869     50.6%
                                                        2011   $1,107,359,364     44.5%
                                                        2012   $2,023,212,767     53.0%
                                                        2013   $1,968,097,336     54.0%

Given that the reported customs values of American HTS 97 imports have been less than--and even more than half as much as--the reported values of British HTS 97 exports, and given that billions of dollars appear unaccounted for, the published trade data should prompt both American and British customs authorities to investigate the reasons behind the export-import rift.

______________________________________
Copyright notice: Although the data presented here is sourced from publicly available information, it has been carefully selected, coordinated, arranged, and analyzed so that it is subject to copyright as a compilation by CHL. The publication, retransmission, or broadcast of this compiled data is strictly prohibited without CHL's express consent.

Notes about the data:

The U.S. and the U.K. each define what is covered under HTS 97 in documents found here and here, respectively. They both title HTS 97 as “Works of Art, Collectors’ Pieces and Antiques,” and both nations supply substantially the same definitions and exclusions.

The U.S. specifically notes that HTS 97 “covers not only original sculpture made by the sculptor, but also the first 12 castings, replicas or reproductions made from a sculptor's original work or model, by the sculptor himself or by another artist, with or without a change in scale and whether or not the sculptor is alive at the time the castings, replicas or reproductions are completed.”

The U.K. clarifies that collectors’ motor vehicles of historical or ethnographic interest, which are in their original condition, at least 30 years old, and no longer in production are goods classified by HTS 97.

The U.K. defines HTS 97 goods as:
Paintings, drawings and pastels, executed entirely by hand, other than drawings of heading 4906 and other than hand-painted or hand-decorated manufactured articles; collages and similar decorative plaques.
Original engravings, prints and lithographs.
Original sculptures and statuary, in any material.
Postage or revenue stamps, stamp-postmarks, first-day covers, postal stationery (stamped paper), and the like, used or unused, other than those of heading 4907.
Collections and collectors' pieces of zoological, botanical, mineralogical, anatomical, historical, archaeological, palaeontological, ethnographic or numismatic interest.
Antiques of an age exceeding 100 years.

The U.S. defines HTS 97 goods as:
Paintings, drawings and pastels,executed entirely by hand, other than drawingsof heading 4906 and other than hand-painted or hand-decorated manufactured articles; collages and similar decorative plaques; all the foregoing framedor not framed.
Original engravings, prints and lithographs, framed or not framed.
Original sculptures and statuary, in any material.
Postageor revenue stamps,stamp-postmarks, first- day covers, postalstationery (stamped paper) and the like, used, or if unused not of currentor new issue in the countryto which they are destined.
Collections and collectors' piecesof zoological, botanical,mineralogical, anatomical, historical, archeological, paleontological, ethnographic or numismatic interest.
Antiques of an age exceeding one hundred years.

Both nations carry this same exclusion:
1. This chapter does not cover:
(a) unused postage or revenue stamps, postal stationery (stamped paper) or the like, of heading 4907;
(b) theatrical scenery, studio back-cloths or the like, of painted canvas (heading 5907) except if they may be classified in heading 9706; or
(c) pearls, natural or cultured, or precious or semi-precious stones (headings 7101 to 7103).

2. For the purposes of heading 9702, the expression ‘original engravings, prints and lithographs’ means impressions produced directly, in black and white or in colour, of one or of several plates wholly executed by hand by the artist, irrespective of the process or of the material employed by him, but not including any mechanical or photomechanical process.

3. Heading 9703 does not apply to mass-produced reproductions or works of conventional craftsmanship of a commercial character, even if these articles are designed or created by artists.

4. (A) Subject to Notes 1 to 3 above, articles of this chapter are to be classified in this chapter and not in any other chapter of the nomenclature.
(B) Heading 9706 does not apply to articles of the preceding headings of this chapter.


5. Frames around paintings, drawings, pastels, collages or similar decorative plaques, engravings, prints or lithographs are to be classified with those articles, provided they are of a kind and of a value normal to those articles. Frames which are not of a kind or of a value normal to the articles referred to in this note are to be classified separately.

The HTS 97 exports from the U.K. to the U.S., as reported by HM Revenue & Customs, are in GBP. The exchange rate as of December 31 for each year have been used to supply the currency conversion into USD
2013    2202630107 GBP = 3643573444.36 USD
2012    2362859107 GBP = 3820066543.04 USD
2011    1608179003 GBP = 2491108358.65 USD
2010    1532463711 GBP = 2378946280.15 USD
2009    982324630 GBP = 1593443150.52 USD

Update 5/14/14: A screenshot showing the actual HM Revenue & Customs export data produced in the agency's original format. The data table clearly displays code 97, the Export tables, and identifies the values documenting exports to the "United States."

The export values listed by HM Revenue & Customs are defined in this way: “Value – the statistical value in pounds sterling (£) of the trade.” Source: https://www.uktradeinfo.com/Statistics/BuildYourOwnTables/Pages/Home.aspx

HM Revenue & Customs states on its web site:
This web site is managed by HM Revenue & Customs (HMRC) Trade Statistics unit, and operates alongside the main HMRC website for the purpose of publishing and hosting UK trade statistics data.
These statistics record the movement—for trade purposes—of goods between the UK and both EU and non-EU countries.
They are collected from the EU-wide Intrastat survey and from Customs import and export entries, both administered by HMRC.”

HTS 97 US imports for consumption by customs value received by the U.S. from the U.K. as reported by USITC and compiled by CHL:
2013    $1,675,476,108
2012    $1,796,853,776
2011    $1,383,658,901
2010    $1,175,073,725
2009    $1,058,013,104

HTS 97 US imports by general imports value received by the U.S. from the U.K. as reported by USITC and compiled by CHL.
2013    $1,675,476,108  
2012    $1,796,853,776
2011    $1,383,748,995
2010    $1,175,077,411
2009    $1,058,013,104

Update 5/14/14: A screenshot showing the actual USITC import data produced in the agency's original format. The second row shows the import values from the U.K. for HTS 97 goods.




CHL has used the values for general imports in this blog post because the numbers tend to be more inclusive than imports for consumption. USITC defines imports for consumption and general imports as follows (source: http://www.trade.gov/mas/ian/referenceinfo/tg_ian_001872.asp):
General Imports - This number measures the total value of merchandise shipments that arrive in the U.S. from foreign countries, whether such merchandise enters consumption channels immediately or is entered into bonded warehouses or U.S. Foreign Trade Zones under Customs custody.
Imports for Consumption - This number measures the total value of merchandise that physically clears Customs, or goods withdrawn from Customs bonded warehouses or U.S. Foreign Trade Zones, which immediately enter consumption channels. Merchandise being held in bonded warehouses or U.S. Foreign Trade Zones is not included until it is specifically withdrawn for consumption.

By Rick St. Hilaire Text copyrighted 2010-2014 by Ricardo A. St. Hilaire, Attorney & Counselor at Law, PLLC. Blog url: culturalheritagelawyer.blogspot.com. Any unauthorized reproduction or retransmission of this post is prohibited. CONTACT INFORMATION: www.culturalheritagelawyer.com

Rabu, 23 April 2014

$2 Billion Missing in U.S.-U.K. Art and Antiquities Trade. Trade Based Money Laundering or Some Other Explanation?

It stands to reason that the declared export price of goods should match the declared import price of the same goods. So questions certainly arise when customs values reported by an exporting country do not add up to the customs values for the exact goods published by the importing nation. And that is what is happening with the United Kingdom and the United States in the art and antiquities trade.

The trade in works of art, collectors pieces, and antiques exported from the U.K and imported into the U.S. demands scrutiny. These cultural goods are classified by Harmonized Tariff Schedule (HTS) commodity code 97, which specifically covers paintings, drawings, engravings, prints, lithographs, sculptures, statuary, and stamps. HTS 97 also includes collectors' pieces and collections of zoological, botanical, mineralogical, anatomical, historical, archaeological, and paleontological materials. Numismatics are covered as well, and so too are antiques over 100 years old.

The U.K. was the number one source of archaeological, historical, and ethnological material imported into the United States in 2013 (HTS 9705.00.0070 goods). In the broader art and antiquities markets, the U.K. ranked number two--second only to France--in the value of all HTS 97 goods imported by the U.S. last year.

According to data generated by HM Revenue and Customs, the U.K. reported a declared value of exports to the U.S. in 2013 of £2,202,630,107 worth of HTS 97 art, collectors pieces, and antiques. That total translates to $3,700,640,000 as measured by the currency exchange rate effective on April 22, 2014.

In contrast, the 2013 data compiled from the U.S. International Trade Commission show that America imported from the U.K. only $1,675,476,108 worth of HTS 97 goods. The difference between the total declared value of HTS 97 goods exported from the U.K., and the total declared value of HTS 97 goods imported for consumption into the U.S. during 2013 amounts to $2,025,163,892.*

Because the published values do not match by over $2 billion, they should be analyzed carefully by trade experts to find out why this money is missing from the trade data. Commercial lawyers and customs attorneys, for example, should examine how the value differences can be justified, if at all, by changing currency valuations or other relevant factors.

[UPDATE May 5, 2014: The trade data for a five year period, from 2009-2013, is examined in CHL's post here.]

The data need to be studied by law enforcement too, particularly since customs values for U.S. imports are not determined by government record keepers; they are amounts supplied by importers, which are then written on customs entry forms. As U.S. Immigration and Customs Enforcement correctly observes, "Global trade is frequently used by criminal organizations to move value around the world through the complex and sometimes confusing documentation that is frequently associated with legitimate trade transactions."

Customs authorities particularly should probe whether there may be evidence of trade based money laundering (TBML). TBML permits criminal networks to earn and transfer money by hiding and remitting profits within the stream of the legal marketplace. One TBML technique is to import goods into the U.S. at an undervalued amount.

The $2 billion difference between HTS 97 goods exported from the U.K. and imported into the U.S. warrants scrutiny on both sides of the Atlantic, particularly because the legitimate--but opaque--art and antiquities markets are susceptible to terrorist financing risksmoney laundering, and black market operations. The preservation of both cultural heritage and the legal marketplace demands that answers be found to explain the $2 billion missing from the U.S.-U.K. art and antiquities trade.

*Trade data for HTS 97 goods is examined over a five year period in a blog post dated May 5, 2014. The 2013 U.S. data used for the five year comparison looks at general import values rather than values for imports for consumption, which is used in this blog post.  Also, the currency conversion rates used in the five year data in the May 5 blog post are all from December 31 for each year, respectively, from 2009 through 2013. The currency conversion rate used to convert GBP to USD in the April 22, 2014 blog post here is the rate published on April 22, 2014. This information accounts for any differences in values reported here versus the values reported in the May 5 blog post.

Photo credit: Darren Deans

By Rick St. Hilaire Text copyrighted 2010-2014 by Ricardo A. St. Hilaire, Attorney & Counselor at Law, PLLC. Blog url: culturalheritagelawyer.blogspot.com. Any unauthorized reproduction or retransmission of this post is prohibited. CONTACT INFORMATION: www.culturalheritagelawyer.com

Kamis, 20 Maret 2014

U.K. is Top Source Nation in 2013 for U.S. Imports of Archaeological, Historical, and Ethnological Goods

Switzerland in 2012 was the #1 source of archaeological, historical, and ethnological material imported into the United States. But U.S. import values from that country fell by 99.8%, leaving the former second place finisher, the United Kingdom, to take the top spot in 2013 as measured by declared customs values of consumable goods.

Data compiled from tariff and trade information supplied by the U.S. Department of Commerce and the U.S. International Trade Commission reveal this latest picture of imports classified by Harmonized Tariff Schedule (HTS) commodity code 9705.00.0070.

The overall total customs value of archaeological, historical, or ethnological goods imported into the U.S. in 2013 amounted to a declared value of $45,647,923, an increase of 22% from 2012

Imports received from the U.K. jumped nearly 54%, totaling $11,451,019. And the U.K. and Egypt together made up nearly half of the $45 million of American imports.

Import values from Egypt skyrocketed 105% at a time of political instability and upheaval. There is a Red List covering cultural heritage from that nation.

Photo credit: Athewma
Israel, which has a legally regulated antiquities market, saw its U.S. import values climb 97%.

India, a source of highly prized artifacts among American collectors, saw a jump of 3805% in its U.S. import values.

Mali, once on the top 20 list of source countries, experienced a 79% collapse in 2013 after the White House, in September 2012, extended import restrictions on endangered Malian cultural heritage. Conakry Terminal on the port city of neighboring Guinea, meanwhile, continues to grow. And in 2013, American archaeological, historical, or ethnological imports from Guinea totaled $347,100, up from $0 the previous year.

Imports from war-torn Syria spiked 1375%. A Red List for threatened cultural heritage is in effect.

The top 20 source countries in 2013 by customs value for archaeological, historical, or ethnological goods were, in descending order, U.K., Egypt, Italy, Democratic Republic of Congo, Germany, Greece, France, Israel, Australia, India, Gabon, Congo, Argentina, Denmark, Norway, Japan, Canada, Guinea, Lebanon, and Spain.

The full list of HTS 9705.00.0070 data is reproduced in the table below. More 2012 data is found here.


HTS NumberCountry20122013Percent Change
2012 - 2013
In Actual Dollars
9705000070United Kingdom7,446,02111,451,01953.8%
9705000070Egypt5,186,16610,655,752105.5%
9705000070Italy4,189,8003,972,732-5.2%
9705000070Congo (DROC)03,465,671N/A
9705000070Germany1,826,4632,052,39812.4%
9705000070Greece928,2541,801,48994.1%
9705000070France1,694,9521,250,293-26.2%
9705000070Israel598,2121,178,98097.1%
9705000070Australia100,7681,080,405972.2%
9705000070India26,9581,052,9333,805.8%
9705000070Gabon0941,213N/A
9705000070Congo (ROC)519,087906,60074.7%
9705000070Argentina0759,100N/A
9705000070Denmark31,771725,0252,182.0%
9705000070Norway0513,717N/A
9705000070Japan14,909401,1462,590.6%
9705000070Canada268,177385,24943.7%
9705000070Guinea0347,100N/A
9705000070Lebanon6,546300,0004,483.0%
9705000070Spain3,494,617242,406-93.1%
9705000070Morocco182,020219,14820.4%
9705000070Austria119,628176,22747.3%
9705000070Madagascar16,360169,900938.5%
9705000070Turkey399,462147,669-63.0%
9705000070Indonesia14,631136,714834.4%
9705000070Papua New Guin46,648135,924191.4%
9705000070Costa Rica0135,867N/A
9705000070Russia32,599134,972314.0%
9705000070Finland0120,101N/A
9705000070Syria6,870101,3491,375.2%
9705000070Netherlands30,63278,996157.9%
9705000070Sweden81,86577,937-4.8%
9705000070Nigeria7,50073,203876.0%
9705000070Mali254,20753,128-79.1%
9705000070China59,21942,288-28.6%
9705000070Ghana20,08036,46381.6%
9705000070Uruguay033,539N/A
9705000070Burkina Faso033,205N/A
9705000070Bulgaria18,00031,37974.3%
9705000070Belgium21,68625,03615.4%
9705000070South Africa54,81623,764-56.6%
9705000070Ireland32,36322,790-29.6%
9705000070Ukraine170,67021,257-87.5%
9705000070Switzerland8,710,03720,870-99.8%
9705000070Taiwan020,000N/A
9705000070Saudi Arabia019,540N/A
9705000070Poland21,37911,575-45.9%
9705000070Solomon Is011,500N/A
9705000070Brazil3,00010,000233.3%
9705000070Uzbekistan3,0008,793193.1%
9705000070Jordan4,6008,00073.9%
9705000070Colombia06,127N/A
9705000070Romania5,5005,5000.0%
9705000070Togo04,730N/A
9705000070Iceland03,704N/A
9705000070Chile3,5003,5000.0%
9705000070Thailand10,2210-100.0%
9705000070Mauritania7,4250-100.0%
9705000070Albania2,0700-100.0%
9705000070Korea202,7300-100.0%
9705000070Serbia2,5750-100.0%
9705000070Algeria13,1520-100.0%
9705000070Singapore49,2000-100.0%
9705000070Malaysia7,7940-100.0%
9705000070Macedonia42,8000-100.0%
9705000070Niger6,9920-100.0%
9705000070New Zealand168,4540-100.0%
9705000070Czech Republic3,7300-100.0%
9705000070Philippines22,4650-100.0%
9705000070Cameroon9,0220-100.0%
9705000070Senegal3,2070-100.0%
9705000070Mexico19,3800-100.0%
9705000070Peru59,0140-100.0%
9705000070New Caledonia3,7500-100.0%
9705000070Portugal18,6550-100.0%
9705000070Burundi14,5000-100.0%
9705000070Pakistan25,2280-100.0%
9705000070Afghanistan5,6990-100.0%
9705000070Fr Polynesia2,5000-100.0%
9705000070Montenegro25,0000-100.0%
Total37,378,53645,647,92322.1%

The numbers posted here do not document the broader category of "collections and collectors' pieces of zoological, botanical, mineralogical, anatomical, historical, archeological, paleontological, ethnographic or numismatic interest" classified by HTS 9705.  The statistics posted are only those covering  HTS 9705's subcategory of archaeological, historical, and ethnological material under HTS 9705.00.0070. Note too that HTS 9705 excludes "antiques" over 100 years old (e.g., silverware and furniture), which are classified elsewhere by HTS 9706.

By Rick St. Hilaire Text copyrighted 2010-2014 by Ricardo A. St. Hilaire, Attorney & Counselor at Law, PLLC. Blog url: culturalheritagelawyer.blogspot.com. Any unauthorized reproduction or retransmission of this post is prohibited. CONTACT INFORMATION: www.culturalheritagelawyer.com