[Federal Register Volume 72, Number 176 (Wednesday, September 12, 2007)]
[Notices]
[Pages 52049-52052]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 07-4495]



[[Page 52049]]

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DEPARTMENT OF COMMERCE

International Trade Adminstration

[A-570-893]


Certain Frozen Warmwater Shrimp From the People's Republic of 
China: Notice of Final Results and Rescission, in Part, of 2004/2006 
Antidumping Duty Administrative and New Shipper Reviews

AGENCY: Import Administration, International Trade Administration, 
Department of Commerce.
SUMMARY: On March 9, 2007, the Department of Commerce (``the 
Department'') published the preliminary results of its administrative 
and new shipper reviews of the antidumping duty order on certain frozen 
warmwater shrimp from the People's Republic of China (``PRC''). See 
Certain Frozen Warmwater Shrimp From the People's Republic of China: 
Preliminary Results and Partial Rescission of the 2004/2006 
Administrative Review and Preliminary Intent To Rescind 2004/2006 New 
Shipper Review, 72 FR 10645 (March 9, 2007) (Preliminary Results). 
Based on our analysis of the record, including information obtained 
since the preliminary results, we have made changes to the margin 
calculations for Yelin Enterprise Co. Hong Kong, and its affiliates. 
See Final Results of Review section, below.

EFFECTIVE DATE: September 12, 2007.

FOR FURTHER INFORMATION CONTACT: Scot Fullerton or Erin Begnal, AD/CVD 
Operations, Office 9, Import Administration, International Trade 
Administration, U.S. Department of Commerce, 14th Street and 
Constitution Avenue, NW., Washington, DC 20230; telephone: (202) 482-
1386 or (202) 482-1442, respectively.

Background

    On March 9, 2007, the Department of Commerce (``the Department'') 
published the preliminary results of its administrative and new shipper 
reviews of the antidumping duty order on certain frozen warmwater 
shrimp from the PRC, and invited parties to comment on the preliminary 
results. See Preliminary Results. The administrative review covers the 
following companies: (1) Yelin Enterprise Co., Ltd. Hong Kong 
(``Yelin''); (2) Allied Pacific Aquatic Products (Zhangjiang) Co., Ltd. 
(``Allied Pacific (Zhangjiang)''); (3) Allied Pacific (H.K.) Co., Ltd. 
(``Allied Pacific Hong Kong''); (4) Shantou Red Garden Foodstuff/
Shantou Red Garden Food Processing Co. (collectively, ``Red Garden''), 
(5) Meizhou Aquatic Products Quick-Frozen Industry Co., Ltd. 
(``Meizhou''); (6) Zhoushan Huading Seafood Co., Ltd. (``Huading''); 
(7) Asian Seafoods (Zhanjiang) Co. (``Asian Seafoods''); and (8) 
Zhanjiang Evergreen Aquatic Product Science and Technology Co., Ltd. 
(``Evergreen''). The new shipper review covers one producer/exporter: 
Hai Li Aquatic Co., Ltd. Zhao An, Fujian (``Hai Li''). See Preliminary 
Results. The period of review (``POR'') for both the administrative and 
new shipper reviews is July 16, 2004, through January 31, 2006.
    On March 22, 2007, we issued a supplemental questionnaire to Yelin, 
and received Yelin's response on April 5, 2007. On April 16, 2007, we 
received a case brief on behalf of the petitioner, the Ad Hoc Shrimp 
Trade Action Committee, re-submitted on April 30, 2007.\1\ In addition, 
we received a case brief on behalf of Asian Seafoods on April 23, 2007. 
Additionally, we received a case brief on behalf of Allied Pacific Food 
(Dalian) Co., Ltd., Allied Pacific Aquatic Products (Zhanjiang) Co., 
Ltd., Zhanjiang Allied Pacific Aquaculture Co., Ltd., Allied Pacific 
(H.K.) Co., Ltd., and King Royal Investments, Ltd., (collectively, 
``Allied Pacific Group'') on April 23, 2007. We also received a case 
brief on behalf of Yelin Enterprise Co. Hong Kong and its affiliates, 
Shantou Yelin Frozen Seafood Co., Ltd., Yangjiang City Yelin Hoi Tat 
Quick Frozen Seafood Co., Ltd., Fuqing Yihua Aquatic Food Co., Ltd., 
Fuqing Minhua Trading Co., Ltd., and Ocean Duke Corporation 
(collectively, ``Yelin'') on April 23, 2007. We also received a case 
brief on April 23, 2007, on behalf of Zhanjiang Guolian Aquatic 
Products Co., Ltd., an interested party. On May 7, 2007, and on May 8, 
2007, we received rebuttal briefs from the petitioner, Asian Seafoods, 
and Yelin.
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    \1\ On April 26, 2007, the Department requested that the 
petitioner re-submit its case brief to correct for bracketing. See 
Memorandum to the File From Christopher D. Riker, Program Manager, 
AD/CVD Operations, Office 9, dated April 26, 2007.
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Scope of the Order

    The scope of this order includes certain frozen warmwater shrimp 
and prawns, whether wild-caught (ocean harvested) or farm-raised 
(produced by aquaculture), head-on or head-off, shell-on or peeled, 
tail-on or tail-off,\2\ deveined or not deveined, cooked or raw, or 
otherwise processed in frozen form.
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    \2\ ``Tails'' in this context means the tail fan, which includes 
the telson and the uropods.
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    The frozen warmwater shrimp and prawn products included in the 
scope of this investigation, regardless of definitions in the 
Harmonized Tariff Schedule of the United States (``HTS''), are products 
which are processed from warmwater shrimp and prawns through freezing 
and which are sold in any count size.
    The products described above may be processed from any species of 
warmwater shrimp and prawns. Warmwater shrimp and prawns are generally 
classified in, but are not limited to, the Penaeidae family. Some 
examples of the farmed and wild-caught warmwater species include, but 
are not limited to, white-leg shrimp (Penaeus vannemei), banana prawn 
(Penaeus merguiensis), fleshy prawn (Penaeus chinensis), giant river 
prawn (Macrobrachium rosenbergii), giant tiger prawn (Penaeus monodon), 
redspotted shrimp (Penaeus brasiliensis), southern brown shrimp 
(Penaeus subtilis), southern pink shrimp (Penaeus notialis), southern 
rough shrimp (Trachypenaeus curvirostris), southern white shrimp 
(Penaeus schmitti), blue shrimp (Penaeus stylirostris), western white 
shrimp (Penaeus occidentalis), and Indian white prawn (Penaeus 
indicus).
    Frozen shrimp and prawns that are packed with marinade, spices or 
sauce are included in the scope of this investigation. In addition, 
food preparations, which are not ``prepared meals,'' that contain more 
than 20 percent by weight of shrimp or prawn are also included in the 
scope of this investigation.
    Excluded from the scope are: (1) Breaded shrimp and prawns ( HTS 
subheading 1605.20.10.20); (2) shrimp and prawns generally classified 
in the Pandalidae family and commonly referred to as coldwater shrimp, 
in any state of processing; (3) fresh shrimp and prawns whether shell-
on or peeled (HTS subheadings 0306.23.00.20 and 0306.23.00.40); (4) 
shrimp and prawns in prepared meals (HTS subheading 1605.20.05.10); (5) 
dried shrimp and prawns; (6) Lee Kum Kee's shrimp sauce; (7) canned 
warmwater shrimp and prawns (HTS subheading 1605.20.10.40); (8) certain 
dusted shrimp; and (9) certain battered shrimp. Dusted shrimp is a 
shrimp-based product: (1) That is produced from fresh (or thawed-from-
frozen) and peeled shrimp; (2) to which a ``dusting'' layer of rice or 
wheat flour of at least 95 percent purity has been applied; (3) with 
the entire surface of the shrimp flesh thoroughly and evenly coated 
with the flour; (4) with the non-shrimp content of the end product 
constituting between four and 10 percent of the product's total weight 
after being dusted, but prior to being frozen; and (5)

[[Page 52050]]

that is subjected to individually quick frozen (``IQF'') freezing 
immediately after application of the dusting layer. Battered shrimp is 
a shrimp-based product that, when dusted in accordance with the 
definition of dusting above, is coated with a wet viscous layer 
containing egg and/or milk, and par-fried.
    The products covered by this investigation are currently classified 
under the following HTS subheadings: 0306.13.00.03, 0306.13.00.06, 
0306.13.00.09, 0306.13.00.12, 0306.13.00.15, 0306.13.00.18, 
0306.13.00.21, 0306.13.00.24, 0306.13.00.27, 0306.13.00.40, 
1605.20.10.10, and 1605.20.10.30. These HTS subheadings are provided 
for convenience and for customs purposes only and are not dispositive, 
but rather the written description of the scope of this investigation 
is dispositive.

Separate Rates

    Yelin, Allied Pacific (Hong Kong), Allied Pacific (Zhanjiang), and 
Evergreen have requested separate, company-specific antidumping duty 
rates. In our preliminary results, we found that they had each met the 
criteria for the application of a separate antidumping duty rate. See 
Preliminary Results. We have not received any information since the 
Preliminary Results with respect to Yelin, Allied Pacific (Hong Kong), 
Allied Pacific (Zhanjiang), and Evergreen which would warrant 
reconsideration of our separate-rates determinations with respect to 
these companies. Therefore, for these final results, we will continue 
to calculate company-specific separate rates for these respondents.

Partial Rescission of Administrative Review

    In the Preliminary Results, the Department issued a notice of 
intent to rescind the administrative review with respect to several 
companies that indicated they did not export certain frozen warmwater 
shrimp to the United States during the POR. Those companies are: Baofa 
Aquatic Products Co., Ltd.; Guangzhou Lingshan Aquatic Products; Ruian 
Huasheng Aquatic Products; Sealord North America; Shantou Ocean 
Freezing Industry and Trade General Corporation; Spectrum Plastics; 
Taizhou Zhonghuan Industrial Co., Ltd.; Yantai Xinlai Trade; Zhejiang 
Daishan Baofa Aquatic Products Co., Ltd.; Zhejiang Evernew Seafood Co., 
Ltd.; Zhejiang Zhenlong Foodstuffs Co., Ltd.; Zhoushan Guotai Aquatic 
Products Co., Ltd. (AKA Zhoushan Guotai Fisheries Co., Ltd.); Zhoushan 
Haichang Food Co.; Zhoushan Industrial Co., Ltd.; Zhoushan Putuo Huafa 
Sea Products Co., Ltd.; and Zhoushan Zhenyang Developing Co., Ltd.
    The Department is also rescinding the administrative review with 
respect to the following entities because the Department's quantity and 
value questionnaires sent to these companies were returned with 
undeliverable addresses: Allied Pacific Food; Allied Pacific Aquatic 
Products (Zhongshan) Co., Ltd.;\3\ Dhin Foong Trdg; Dongri Aquatic 
Products Freezing Plants Shengping; Dongshan Xinhefa Food; Evergreen 
Aquatic Product Science and Technology; Formosa Plastics; Fuchang Trdg; 
Fuqing City Dongyi Trdg; Fuqing Chaohui Aquatic Food Co., Ltd., Fuqing 
Chaohui Aquatic Food Trdg.; Fuqing Dongyi Trading; Fuqing Fuchang 
Trading; Fuqing Longwei Aquatic Foodstuff; Fuqing Xuhu Aquatic Food 
Trdg; Gaomi Shenyuan Foodstuff; Guangxi Lian Chi Home Appliance Co; 
Hainan Jiadexin Aquatic Products Co., Ltd.; I T Logistics; Juxian 
Zhonglu Foodstuffs; Logistics Harbour Dock; Longwei Aquatic Foodstuff; 
Master International Logistics; Meizhou Aquatic Products; Nichi Lan 
Food Co. Ltd. Chen Hai; P&T International Trading; Perfection Logistics 
Service; Phoenix Seafood; Putuo Fahua Aquatic Products Co., Ltd.; 
Qingdao Dayang Jian Foodstuffs; Qinhuangdao Jiangxin Aquatic Food; 
Round the Ocean Logistics; Seatrade International; Second Aquatic Food; 
Second Aquatic Foodstuffs Fty; Shandong Chengshun Farm Produce Trd; 
Shandong Sanfod Group; Shantou Junyuan Pingyuan Foreign Trading; 
Shantou Sez Xuhoa Fastness Freeze Aquatic Factory; South Bay Intl; 
Taizhou Lingyang Aquatic Products Co., Ltd.; Tianhe Hardware & Rigging; 
Xiamen Sungiven Imports & Exports; Yantai Guangyuan Foods Co; Yantai 
Xuehai Foodstuffs; Yelin Frozen Seafood Co.; Zhanjiang CNF Sea Products 
Engineering, Ltd; Zhanjiang Fuchang Aquatic Products; Zhanjiang Jebshin 
Seafood Limited; Zhanjiang Shunda Aquatic Products; Zhejiang Zhongda; 
Zhejiang Taizhou Lingyang Aquatic Products Co.; Zhoushan Guangzhou 
Aquatic Products Co., Ltd.; Zhoushan International Trade Co., Ltd.; 
Zhoushan Provisions & Oil Food Export and Import Co., Ltd.; Zhoushan 
Xi'an Aquatic Products Co., Ltd.; and ZJ CNF Sea Products Engineering, 
Ltd. The Department sent quantity and value questionnaires to each of 
these companies twice, but the questionnaires were returned with 
undeliverable addresses. Additionally, the Department sent these 
questionnaires to the Chamber of Commerce and Ministry of Commerce of 
the People's Republic of China, requesting them to forward these 
questionnaires to the companies, but the Department received no 
response. See Memorandum to the File from Christopher D. Riker, Program 
Manager, AD/CVD Operations Office 9, R.E.: 2004/2006 Administrative 
Review of Certain Frozen Warmwater Shrimp from the People's Republic of 
China, Subject: Inability to Contact Certain Companies Included in the 
Notice of Initiation. Therefore, the Department is rescinding the 
review with respect to these companies, in accordance with our 
practice. See Certain Steel Concrete Reinforcing Bars from Turkey: 
Preliminary results and Partial Rescission of Antidumping Duty 
Administrative Review, 71 FR 26455, 26457 (May 5, 2006).
    Additionally, consistent with section 351.214(j) of the 
Department's regulations, the Department is rescinding the 
administrative review of Zhanjiang Regal because the Department has 
already reviewed all of the company's sales which were made during the 
POR in the context of a new shipper review. See Certain Frozen 
Warmwater Shrimp From the People's Republic of China: Final Results of 
the Antidumping Duty New Shipper Review, 71 FR 70362 (December 4, 
2006). Furthermore, the Department is rescinding the administrative 
review of Shantou City Qiaofeng Group as this is the same company, but 
with a different name, as a company for which the administrative review 
has already been rescinded (i.e., Chaoyang Qiaofeng Group Co., Ltd.). 
See Memorandum to the File, through Christopher D. Riker, Program 
Manager, AD/CVD Enforcement, Office 9, from Michael Quigley, Case 
Analyst, AD/CVD Enforcement, Office 9, regarding 2004/2006 
Administrative Review of Certain Frozen Warmwater Shrimp from the 
People's Republic of China: Shantou City Qiaofeng Group (August 16, 
2006). The Department received no comments on these issues, and we did 
not receive any further information since the issuance of the 
Preliminary Results that provides a basis for reconsideration of these 
determinations.

Bona Fide Sale Analysis--Asian Seafoods & Hai Li

    The Department also preliminarily rescinded the administrative 
review of Asian Seafoods and Hai Li due to the Department finding that 
the single sales made during the POR were not bona fide. The Department 
received comments from Asian Seafoods and the petitioner regarding the 
Department's preliminary bona fides determination

[[Page 52051]]

with respect to Asian Seafoods, and for the reasons stated below, we 
continue to find that Asian Seafood's reported U.S. sale during the POR 
does not appear to be a bona fide sale, based on the totality of the 
facts on the record. See, e.g., Glycine From The People's Republic of 
China: Rescission of Antidumping Duty New Shipper Review of Hebei New 
Donghua Amino Acid Co., Ltd., 69 FR 47405, 47406 (August 5, 2004). 
Specifically, we find that: (1) The sales price of Asian Seafoods' 
single POR sale; (2) irregularities relating to its customer 
correspondence; (3) atypical terms for the POR sale, and finally; (4) 
other indicia of a non-bona fide transaction, all demonstrate that the 
single sale under review was not bona fide. Therefore, this sale does 
not provide a reasonable or reliable basis for calculating a dumping 
margin.
    Additionally, the Department received comments from Hai Li and the 
petitioner regarding the Department's preliminary bona fides 
determination with regard to Hai Li, and for the reasons stated below, 
we continue to find that Hai Li's reported U.S. sale during the POR 
does not appear to be a bona fide sale, based on the totality of the 
facts on the record. See, e.g., Glycine From The People's Republic of 
China: Rescission of Antidumping Duty New Shipper Review of Hebei New 
Donghua Amino Acid Co., Ltd., 69 FR 47405, 47406 (August 5, 2004). 
Specifically, we continue to find that: (1) The difference in the sales 
price of Hai Li's single POR sale as compared to the average unit value 
of suspended entries derived from CBP data; (2) the involvement of 
unaffiliated parties in Hai Li's single POR sale; (3) irregularities 
relating to packing materials, and finally, (4) other indicia of a non-
bona fide transaction, all demonstrate that the single sale under 
review was not bona fide. Therefore, this sale does not provide a 
reasonable or reliable basis for calculating a dumping margin.
    For the reasons mentioned above, the Department finds that Asian 
Seafood's and Hai Li's single U.S. sales during the POR were not bona 
fide commercial transactions and is rescinding the administrative 
review of Asian Seafoods, and the new shipper review of Hai Li. For a 
more detailed analysis, see Memorandum to David Spooner, Assistant 
Secretary for Import Administration, from Gary Taverman, Acting Deputy 
Assistant Secretary for Import Administration, regarding Issues and 
Decision Memorandum for the Final Results of 2004/2006 Antidumping Duty 
Administrative and New Shipper Reviews of Certain Frozen Warmwater 
Shrimp from the People's Republic of China (September 5, 2007) 
(``Issues and Decision Memorandum'') at Comments 16 and 17.

Adverse Facts Available--Red Garden, Meizhou and Zhoushan Huading

    For purposes of the Preliminary Results, the Department applied 
facts available to sales by Red Garden, Meizhou and Zhoushan Huading. 
No comments on this determination were submitted by any interested 
party. Therefore, for the reasons stated above, we find it appropriate, 
pursuant to sections 776(a)(2)(D) and 776(b) of the Tariff Act of 1930, 
as amended (``the Act''), to use adverse facts available (``AFA'') as 
the basis for the final results of review for Red Garden, Meizhou, and 
Zhoushan Huading, which are part of the PRC-wide entity, as the 
Department was unable to verify their questionnaire responses 
concerning their eligibility for a separate rate. Consistent with the 
statute, court precedent, and its normal practice, the Department has 
assigned the rate of 112.81 percent to the PRC-wide entity (including 
Red Garden, Meizhou, and Huading), the highest rate from the petition 
in the LTFV investigation. See Notice of Amended Final Determination of 
Sales at Less Than Fair Value and Antidumping Duty Order: Certain 
Frozen Warmwater Shrimp From the People's Republic of China, 70 FR 5149 
(February 1, 2005). As discussed further below, this rate has been 
corroborated.
    Furthermore, because Huading terminated verification and we found 
reimbursement of antidumping duties, the Department assigned Huading a 
rate inclusive of the PRC-wide entity rate and the reimbursement 
adjustment, or 225.62 percent. No comments were received regarding this 
determination.

Corroboration of Secondary Information

    Section 776(c) of the Act requires that the Department corroborate, 
to the extent practicable, a figure which it applies as facts 
available. To be considered corroborated, information must be found to 
be both reliable and relevant. We are applying as AFA the highest rate 
from any segment of this administrative proceeding, which is the rate 
currently applicable to all exporters subject to the PRC-wide rate. The 
AFA rate in the current review (i.e., the PRC-wide rate of 112.81 
percent) represents the highest rate from the petition in the less than 
fair value (``LTFV'') investigation. See Notice of Amended Final 
Determination of Sales at Less Than Fair Value and Antidumping Duty 
Order: Certain Frozen Warmwater Shrimp From the People's Republic of 
China, 70 FR 5149 (February 1, 2005).
    For purposes of corroboration, the Department will consider whether 
that margin is both reliable and relevant. The AFA rate we are applying 
for the current review was corroborated in the LTFV investigation. See, 
e.g., Notice of Final Determination of Sales at Less Than Fair Value: 
Certain Frozen and Canned Warmwater Shrimp From the People's Republic 
of China, 69 FR 70997 (December 8, 2004). This is the first 
administrative review of this antidumping duty order. No information 
has been presented in the current review that calls into question the 
reliability of this information.

Analysis of Comments Received

    In the case and rebuttal briefs received from the parties after the 
Preliminary Results, we received comments on several issues, including 
the surrogate values used to value raw shrimp, shrimp feed, overhead, 
selling, general and administrative expenses, and profit. All issues 
raised in the case briefs are addressed in the Issues and Decision 
Memorandum, which is hereby adopted by this notice. A list of the 
issues raised, all of which are in the Issues and Decision Memorandum, 
is attached to this notice as Appendix I. Parties can find a complete 
discussion of all issues raised in the briefs and the corresponding 
recommendations in this public memorandum on file in the Central 
Records Unit (``CRU''), room B-099 of the Herbert C. Hoover Building. 
In addition, a complete version of the Issues and Decision Memorandum 
can be accessed directly on the Web at http://ia.ita.doc.gov. The paper 
copy and electronic version of the Issues and Decision Memorandum are 
identical in content.

Changes Since the Preliminary Results

    Based on the comments received from the interested parties, we have 
made changes to the margin calculation for Yelin.

Final Results of Review

    We determine that the following antidumping duty margins exist:

[[Page 52052]]



              Certain Frozen Warmwater Shrimp From the PRC
------------------------------------------------------------------------
                                                      Weighted-average
               Manufacturer/exporter                  margin  (percent)
------------------------------------------------------------------------
Yelin Enterprise Co. Hong Kong....................                  0.44
Allied Pacific Aquatic Products (Zhangjiang) Co.,              \4\ 53.68
 Ltd..............................................
Allied Pacific (H.K.) Co. Ltd.....................                 53.68
Zhanjiang Evergreen Aquatic Product Science and                    53.68
 Technology Co. Ltd...............................
Zhoushan Huading Seafood Co., Ltd.................                225.62
PRC-wide Rate (including Red Garden and Meizhou)..               112.81
------------------------------------------------------------------------
\4\ See Preliminary Results at 10654-10655 for a discussion of how the
  Department determined the separate rate margin for cooperative
  companies.

    For details on the calculation of the antidumping duty margin for 
Yelin, see Memorandum to the File, through Scot T. Fullerton, Program 
Manager, from Erin C. Begnal, Senior International Trade Analyst, 
regarding Certain Frozen Warmwater Shrimp from the People's Republic of 
China--Analysis Memorandum for the Final Results of Administrative 
Review of Yelin Enterprise Co. Hong Kong (September 5, 2007). A public 
version of this memorandum is on file in the Central Records Unit.

Assessment of Antidumping Duties

    The Department will determine, and CBP shall assess, antidumping 
duties on all appropriate entries. The Department intends to issue 
assessment instructions to CBP 15 days after the date of publication of 
these final results of review. For assessment purposes for companies 
with a calculated rate, where possible, we calculated importer-specific 
assessment rates for certain frozen warmwater shrimp from the PRC via 
ad valorem duty assessment rates based on the ratio of the total amount 
of the dumping margins calculated for the examined sales to the total 
entered value of those same sales during the POR. We will instruct CBP 
to assess antidumping duties on all appropriate entries covered by this 
review.

Cash Deposits

    The following cash-deposit requirements will be effective upon 
publication of the final results for shipments of the subject 
merchandise entered, or withdrawn from warehouse, for consumption on or 
after the publication date of the final results, as provided by section 
751(a)(2)(C) of the Act: (1) For the exporters listed above, the cash 
deposit rate will be equivalent to the company-specific weighted-
average margin established in this review; (2) for PRC exporters who 
received a separate rate in a prior segment of the proceeding, but were 
not reviewed in this review, the cash deposit rate will continue to be 
the rate assigned in that segment of the proceeding; (3) for all other 
PRC exporters of subject merchandise which have not been found to be 
entitled to a separate rate (including Red Garden and Meizhou), the 
cash-deposit rate will be the PRC-wide rate of 112.81 percent; (4) for 
all non-PRC exporters of subject merchandise, the cash-deposit rate 
will be the rate applicable to the PRC exporter that supplied that 
exporter.
    These deposit requirements, when imposed, shall remain in effect 
until publication of the final results of the next administrative 
review.

Notification to Importers

    This notice serves as a final reminder to importers of their 
responsibility under 19 CFR 351.402(f)(2) to file a certificate 
regarding the reimbursement of antidumping duties prior to liquidation 
of the relevant entries during this review period. Failure to comply 
with this requirement could result in the Secretary's presumption that 
reimbursement of antidumping duties occurred and the subsequent 
assessment of double antidumping duties.
    These reviews and notice are in accordance with sections 751(a)(1), 
751(a)(2) and 777(i)(1) of the Act and 19 CFR 351.221(b)(5).

    Dated: September 5, 2007.
David M. Spooner,
Assistant Secretary for Import Administration.

Appendix I

General Issues

Comment 1: Shrimp Feed Valuation
Comment 2: Selection of Financial Statements
Comment 3: Adjustments to Surrogate Financial Ratios
    A. Carriage and Freight
    B. Labor-Related Expenses
Comment 4: Wage Rate
Comment 5: Refrigerated Truck Freight Valuation
Comment 6: Raw Shrimp Valuation
Comment 7: By-Product Surrogate Valuation
Comment 8: Clerical Error in Calculating the Raw Shrimp Surrogate 
Value

Company-Specific Issues

Comment 9: Yelin's Carton Consumption
Comment 10: Application of Partial Adverse Facts Available to Yelin
Comment 11: Ocean Duke's Reported Costs
    A. Warehousing Expenses
    B. Additional Ocean Duke Expenses
Comment 12: Multinational Corporation Provision
Comment 13: Valuation of Yelin's Purchased Raw Shrimp
Comment 14: Treatment of Guolian Aquatic Products
Comment 15: Treatment of Allied Pacific Group
Comment 16: The Bona Fides of Asian Seafoods' Single POR Sale
    A. Price
    B. Irregularities Regarding the Customer Correspondence 
Submitted in the Review
    C. Atypical Terms of Sale
    D. Other Indicia Of Non-Bona Fide Transaction
    E. Calculation of Rate For Assessment Purposes
    F. Assignment of the PRC-Wide Rate to Asian Seafoods
Comment 17: The Bona Fides of Hai Li's Single POR Sale
    A. Price
    B. Involvement of Third Parties in Hai Li's Sale
    C. Irregularities Regarding Hai Li's Packaging Materials
    D. Other Indicia of a Non-Bona Fide Transaction
    E. Calculation of Rate For Assessment Purposes

[FR Doc. 07-4495 Filed 9-11-07; 8:45 am]
BILLING CODE 3510-DS-P