[Congressional Record Volume 151, Number 104 (Wednesday, July 27, 2005)]
[Extensions of Remarks]
[Page E1653]
From the Congressional Record Online through the Government Publishing Office [www.gpo.gov]
THE REPORTING REQUIREMENTS BY THE INTERNATIONAL TRADE COMMISSION
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HON. PHIL ENGLISH
of pennsylvania
in the house of representatives
Wednesday, July 27, 2005
Mr. ENGLISH. I rise to provide clarifying remarks about the reporting
requirements by the International Trade Commission, related to China's
exchange rate regime. The intention is that Congress be provided with a
report that will better inform us in the exercise of our policy-making
responsibilities on these issues.
Section 8 calls for a study from the U.S. International Trade
Commission within 12 months, regarding the trade and economic relations
between the United States and the People's Republic of China. We want
the ITC to look closely at the effect of China's economic policies on
our trade with China, as well as other factors that affect U.S.-China
trade, with a focus on key U.S. industries that compete with Chinese
producers or service providers.
Among other things, we would like the ITC to examine the relationship
of China's foreign exchange rate regime to its financial, trade,
foreign investment, and industrial policies. We believe these policies
are all interrelated and would like an explanation of how they operate
and how they are related to one another. The ITC should discuss not
only the regime of a fixed peg to the U.S. dollar that China has
maintained in recent years, but China's recently announced revaluation
and peg to a basket of currencies, as well as any further modifications
in their foreign exchange rate regime.
The ITC should also describe the range of expert opinion concerning
China's foreign exchange rate regime and U.S. and Chinese trade
patterns and the U.S. economy in general. We expect the ITC to focus on
the area of its expertise, i.e. trade issues, and leave questions
related to appropriate currency policy to those institutions better
suited to answer such questions, such as the U.S. Department of
Treasury.
However, we want the Commission to provide additional analyses, to
the extent feasible, that may help us better understand the nature of
the relationship between the currency regime and U.S. China trade
flows, particularly if the ITC thinks such analysis might help other
institutions provide better analysis of broader policy questions. The
ITC should certainly consult with the Department of the Treasury, the
President's Council on Economic Advisors, and the Congressional Budget
Office, all of which have performed economic analyses on currency
matters.
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