[All redactions are based on Art. 4 (1) (b) of Regulation 1049/2001]
Ref. Ares(2020)1488156 - 11/03/2020
Ref. Ares(2019)4507465 - 12/07/2019
Dear
,
Waiting for your answer, please find attached the advocacy paper linked to the issue
below and the WTO contest on which we would like to discuss with you, if possible.
Al the best,
JTI International Holding BV
55, Boechoutlaan
1853 – Strombeek-Bever, Belgium
EU Affairs Office
jti.com
EU Transparency Register: 71175716023-03
Dear
,
I wonder if we could set up a meeting to discuss the below.
Thank you,
JTI International Holding BV
55, Boechoutlaan
1853 – Strombeek-Bever, Belgium
EU Affairs Office
jti.com
EU Transparency Register: 71175716023-03
Dear
,
The Philippines has notified a regulation regarding Electronic Nicotine and Non-Nicotine
Delivery Systems (ENDS/ENNDS) to the WTO, ref. G/TBT/PHL/219. This regulation
explicitly excludes HTPs from its scope. This poses questions concerning discrimination
between the two product categories and JTI would like to discuss whether the European
Union could raise concerns about the possible WTO incompliance of this regulation in
response to the Philippine WTO notification or at the next WTO TBT Committee
meeting.
I kindly ask to meet to discuss more thoroughly the above, if possible on 9 July.
Thank you and kind regards,
JTI International Holding BV
55, Boechoutlaan
1853 – Strombeek-Bever, Belgium
EU Affairs Office
jti.com
EU Transparency Register: 71175716023-03