(07-28-2017, 03:27 AM)Standard Wrote: Ironic and are we really paying these government types
- Paladin can import a badger knot from China
- Paladin cannot export that same badger knot in a brush
I would love to hear the logic of that legislation.
The law was motivated by good intentions, but it -- and especially the regulations promulgated under it -- was not artfully drafted.
I could easily get off into a rant but won't, at least not yet.
We can export badger-hair brushes in keeping with the law, just not economically.
Dark Holler Design Works, LLC holds a permit, which we pay $100 annually to maintain. No big deal. Whenever we import knots from China, I do pre-alerts with the US F&WLS and ensure proper filing of the required declarations, which entail payment of a $93 inspection fee. Also no big deal.
The hitch comes when someone outside the US wants to buy a brush and have us ship it to an ex-US address, i.e., engage in commercial export of a badger-hair containing product. Then I have to go through all the same procedures, again entailing a $93 inspection fee, whether or not any inspection will actually occur (which is unlikely). Even without the fee, other aspects of compliance take more time than the sale of a single brush is worth. Any time I spend not making brushes is time I don't spend making brushes.
There is a special program that qualified exporters can apply for acceptance into that provides exemption from the inspection fee (but not the filing and inspection requirements). We don't qualify, however, because we import knots from China in quantities (more than 25 "items") and in dollar amounts that exceed the applicable limits.
The practical effect is that any US brush-maker that aspires to compete outside the US with foreign makers (take your pick) is screwed. If I were a hobbyist brush-maker, I wouldn't sweat it. But we're not that. I have too much invested and too much at stake to run the risks.
That said, I haven't given up on the possibility of bringing about a change in the rules. As they presently apply to shaving brushes, the regulations aren't serving the law's policy objectives; they're mainly producing unintended consequences that operate in favor of ex-US makers to the very substantial disadvantage of US makers.