The Petroleum Industry and Free Trade Agreements: How Oil Companies can Benefit
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The Petroleum Industry and Free Trade Agreements:
How Oil Companies can Benefit
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Index
1 Usage and trade flow of petroleum products 3
1.1 Petroleum product balance sheet 3
1.2 Crude balance sheet; supply and consumption in the Netherlands 4
1.3 Motor fuels for transport; deliveries by petajoule, weight and volume 4
1.4 Fuel prices 4
2 Trade balance with other countries 5
2.1 Trade Balance between the Netherlands and trade agreement countries 5
2.2 Origin of crude oil in Rotterdam 5
3 From crude oil to products: How is it taxed and the influence of FTA’s in tax policies 6
3.1 The background of oil companies 6
3.1.1. The petrochemical industry in the Netherlands 6
3.1.2. Dutch oil companies 6
3.1.3. The international character of the petrol industry 7
3.1.4. International competition in the refining industry 7
3.2 Practical implications concerning utilizing Free Trade Agreements 7
3.2.1. Oil hub terminals and custom and tax regulations 7
3.2.2. Petroleum products and the certificate of origin in the Korea – EU FTA 9
3.3 The various FTA’s and the effect on the petrol industry 10
3.3.1. The Korea – EU FTA 10
3.3.2. The Singapore – EU FTA 12
3.3.3. The U.S. – EU FTA 12
3.3.4. Jet fuel and the generalized scheme of preferences (GSP) 13
4. Conclusion 13
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1 Usage and trade flow of petroleum products
1.1 Petroleum product balance sheet (1/2)
Petroleum product balance sheet (2/2)
Source: CBS (This figure shows the trade flow of petroleum products divided into LPG, Naphtha, Gasoline, Kerosene, Diesel, Fuel oil and
other products).
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1.2 Crude balance sheet; supply and consumption in The Netherlands
1.3 Motor fuels for transport; deliveries by petajoule, weight and volume
1.4 Fuel prices
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2 Trade balance with countries
2.1 Trade Balance between the Netherlands and trade agreement countries
2.2 Origin of crude oil in Rotterdam
Origin, share and tariffs of the crude imports in the Port of Rotterdam
Country Market share Import tariff
Russia 31 % 0 %1
Saudi Arabia 19 % 0%2
U.K. 14 % 0% (EU)
Norway 13 % 0%3
Iran 4 % 0%4
Angola 3 % 0%5
Algeria 3 % 0%6
Others 14 % - Source: Port of Rotterdam
1http://ec.europa.eu/taxation_customs/dds2/taric/measures.jsp?Lang=en&Taric=2709&GoodsText=&Domain=TARIC&MeasText=&Area=RU&Offset=0&ExpandAll=true&LangDescr=&callbackuri=CBU-14&SimDate=20131107 2http://ec.europa.eu/taxation_customs/dds2/taric/measures.jsp?Lang=en&Taric=2709&GoodsText=&Domain=TARIC&MeasText=&Area=SA&Offset=0&ExpandAll=true&LangDescr=&callbackuri=CBU-15&SimDate=20131107 3http://ec.europa.eu/taxation_customs/dds2/taric/measures.jsp?Lang=en&Taric=2709&GoodsText=&Domain=TARIC&MeasText=&Area=NO&Offset=0&ExpandAll=true&LangDescr=&callbackuri=CBU-17&SimDate=20131107 4http://ec.europa.eu/taxation_customs/dds2/taric/measures.jsp?Lang=en&Taric=2709&GoodsText=&Domain=TARIC&MeasText=&Area=IR&Offset=0&ExpandAll=true&LangDescr=&callbackuri=CBU-18&SimDate=20131107 5http://ec.europa.eu/taxation_customs/dds2/taric/measures.jsp?Lang=en&Taric=2709&GoodsText=&Domain=TARIC&MeasText=&Area=AO&Offset=0&ExpandAll=true&LangDescr=&callbackuri=CBU-19&SimDate=20131107 6http://ec.europa.eu/taxation_customs/dds2/taric/measures.jsp?Lang=en&Taric=2709&GoodsText=&Domain=TARIC&MeasText=&Area=DZ&Offset=0&ExpandAll=true&LangDescr=&callbackuri=CBU-0&SimDate=20131107
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3 From crude oil to products: How it is taxed and the influence of
FTA’s and tax policies.
3.1 The Background of oil companies
3.1.1 The petrochemical industry in the Netherlands
The petrochemical industry in the Netherlands can be considered as relatively big. The five refineries
located in the port of Rotterdam area are used by Shell (Shell, Statoil), BP, Exxon Mobil Lubricants,
Koch HC Partnership, Esso Nederland (Exxon Mobil), Q8-KPE and take a substantial share in the
European refining market. The capability exceeds the domestic demand and 65% of the refined
products are exported.
With a total capacity of 5 refineries producing 1.2 Mbbl/d, the Dutch refinery industry has a 1.4%
share of the worldwide capacity and has the 5th largest installed capacity in Europe, where a total of
15.5 Mbbl/d is produced by 104 refineries. In the Netherlands more than 98 % of the crude oil is
imported and some 40-45 % is directly exported.
Reasons for the large refining capacities in Rotterdam can be found in the well established
infrastructure of deep sea ports and a pipeline network serving the rest of North Western Europe.
These characteristics provide the Dutch refining industry with a competitive advantage over other
European refineries which can be a decisive factor in order to survive. The European refining industry
is in decline. The 106 refineries active in 2005 will decline to 75 in 2020. More and more “old”
European refineries cannot compete with the newly established ones in the Middle East and Asia.
The fierce competition puts margins under pressure so only the new state of the art refineries are
able to survive. Also European oil demand is decreasing due to saturation and the movement
towards fuel saving cars. Finally, Asian and Middle East refineries increasingly refine their own crude
oil in order to obtain more margins.7
3.1.2. Dutch Oil Companies.
Dutch oil companies are Argos Energies (net turnover euro 16 billion8), Dyas and Royal Dutch Shell
with the last booking a 467 billion dollar revenue over 2012 and it is the most valuable company on
the London Stock Exchange9. Therefore the “Dutch” oil sector is dominated by this giant, but can we
call Royal Dutch Shell a typical Dutch company?
The company has a big refinery in Rotterdam, but so do the other oil giants and not even 10 % of the
people working for Royal Dutch Shell do that in the Netherlands. The fact that the company conducts
activities in more than 70 countries10 (Chevron in 13011) also indicates that we hardly can talk about a
typical “Dutch” oil company. The HQ is still located in The Hague, but in today’s world with a growing
7 http://www.tankpro.nl/brandstof/2012/10/25/een-flexibele-innovatieve-olieraffinaderij-kan-overleven/ 8 http://argosenergies.com/nl/corporate/company-overview/ 9 http://www.economist.com/news/briefing/21582522-day-huge-integrated-international-oil-company-drawing 10 Shell Annual Report 2012 – Bouwen aan een Energietoekomst 11 http://www.economist.com/news/briefing/21582522-day-huge-integrated-international-oil-company-drawing
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liberalization in trade and a further increasing globalization companies are operating more and more
globally. The petrochemical industry is one on the most striking examples of a globalized world in
which global competitiveness and small margins force the companies to act globally and got driven
away from their domestic soil. The so called International Oil Companies (IOC’s) “supermajors” like:
Royal Dutch Shell, BP, Chevron, Total, Exxon Mobil and Conoco Phillips are operating on every corner
of the globe. With an average of 4 transactions a day the oil and gas industry is also among the most
active resilient M&A markets.12
3.1.3. The International character of the petrol industry
While the IOCs (usually from the U.S. and Europe) are owned by the public, this is in contrast to the
growing NOC’s (National Oil Companies) owning 90 % of the nowadays oil reserves while the IOC’s
hold such an amount in the 50’s. In fact 90 % of the oil reserves are owned by NCO’s that are
somehow related to a specific nation state in which the company often pays a significant to the
employment, welfare and GDP of the specific country.
Due to their M&A’s the IOCs expand their businesses globally while the primarily domestic active
NOCs also increasingly go abroad. Recent activities increased the formation of joint ventures and
other cooperation between both NOCs and IOCs in various settings in which the companies benefit
from each other’s strengths. NOCs seem to be less affected by activities in politically unstable
countries, but do not have the advanced technologies and project management skills ones
distinguished the IOCs. However the power the “big majors” ones enjoyed is waning under the
influence of the increasing powerful NOCs who also increasingly master the technology and
organization of the IOCs, but bear the political vulnerability of the IOCs.13, 14
3.1.4. International competition in the refining industry
The cost of refining crude oil into products is determined by many variables like: size and complexity
of the refinery, utilization rate, composition of the crude and the desired end product, local wage
expectations for refinery workers and employment and environment regulations. Refineries are
often reluctant to release information about their refinery costs. Particular is Asia where refineries
are either state owned or belong to great energy companies, detailed information about operating
refinery costs is hard to obtain. Among the Asian refineries it is believed that labor costs are the
single most important variable influencing the oil price. The cost of labor is in Asia lies in a range of
$ 1 – 3 a barrel depending on the size and age of the refinery and the development of the economy.
When energy costs are included refinery costs in Asia seems to vary from $ 3 – 7 a barrel ($ 2,5 – 5
when excluding energy costs). Due to the large scale and integrated character of the refineries the
ones in Singapore seems to be the most cost efficient in the Asia-Pacific region with a $ 3 dollar cost.
In North America this price is calculated at $ 3,30 and in Europe at $ 4.15
3.2 Practical Implications concerning Utilizing Free Trade Agreements
3.2.1. Oil Hub Terminals and custom and tax regulations
12 Global Oil and Gas Transactions Review 2012 – E&Y 13 http://www.economist.com/news/briefing/21582522-day-huge-integrated-international-oil-company-drawing 14 The role of National and International Oil Companies in the Petroleum Industry – Saud M. Al Fattah Jan 2013 15 IEA Refinery Margins – September 2012
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In order to reduce costs refining at so called “oil hubs” are increasingly used. Oil hubs are
characterized by a good infrastructure, geographical strategic position and they should enjoy a
friendly tax and custom climate. Places like Rotterdam and Singapore can be regarded as such oil
hubs. In the refining business (especially Europe) refining is taking increasingly place at one single oil
hub with the best conditions. In these places large amount of oil can be imported and exported but
also used for storage and further blending.
Tax regulations are a decisive factor in oil hubs. Local policies encourage the usage of oil hubs by the
provision of tax friendly policies. In a bonded warehouse oil can be stored and no duties come into
effect if the oil is still in the terminal. In case of importing to the EU, custom duties and Value added
Tax come into effect only after officially imported. In excise warehouses the products is stored and
suspended from tax rules temporarily. Until definitive import or further export no excise duties and
VAT are paid (more information about the taxation and tariffs of storage16). Besides tax benefits the
oil hubs can provide oil companies with blending facilities in which they can add value to their
products. Also the large facilities are made to facilitate in a smooth logistic facilities for vessels.
Oil hubs like Rotterdam and Singapore have tax friendly policies in the so called Tax free Areas and
bonded zones in which all terminal activities are allowed in a VAT, import and excise duties and other
tax free environment and also the terminal service fee follows a VAT free policy. Also products with
some GN-codes can be stored in one tank even though the custom codes are different. Also product
with a different GN-code can be mixed (max 10%) without changing the main product’s GN-code.
Companies in Rotterdam are able to blend crudes from different origins and there are no restrictions
in exporting and re-exporting / importing and re-importing crude oil or oil products.
In oil hubs like Singapore17 and Texas18 the so called “Foreign Trade Zones adapt these policies and
therefore the zones are eagerly used by oil companies (the share of oil in the Texas Foreign Trade
Zone is 80%). Products can also be refined in the foreign trade zones. No tax will be paid until the
products leave the zone to be consumed. In the case of Exxon Mobil in the U.S. the company is using
the zones since 1995. Crude from the U.S., but also from 20 other countries is refined in the FTZs so
savings on duties can be reinvested. Exxon Mobil also uses the inter FTZ trade by importing the crude
oil from a foreign country, refining it in U.S. Free Trade Zone and hereafter transporting it to e.g.
another FTZ which is located at an airport. From the airport the refined products is exported and the
product has never made a formal entry.19
In the (for companies) ideal situation, refineries can blend what they want to produce new products.
Therefore companies put pressure on the legislation body to obtain more freedom. In the case of
Korea, the Korean government recently allowed Korean and non Korean blends, but with the
restriction that the HS codes do not change. This is already a burden for refiners and companies
should ask for tax refund after exporting their refined products instead of not paying it at all. In a
capital intensive market with low margins this can be a decisive factor. Ideal oil hubs therefore put
little restrictions on companies and offer a friendly tax and custom climate.
16
http://www.belastingdienst.nl/wps/wcm/connect/bldcontentnl/belastingdienst/douane_voor_bedrijven/opslag/soorten_opslag/vrije_zone/ 17 http://www.commodityonline.com/news/singapore-to-become-worlds-third-largest-oil-hub-34871-3-34872.html 18 Texas foreign Trade zones 2013 19 http://www.naftz.org/wp-content/uploads/2012/10/Why_Zones_are_Important_to_the_Oil_Refining_Business.pdf
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3.2.2. Petroleum products and the certificate of origin in the Korea – EU FTA
The Korea – EU FTA was an important step for both entities which took effect at the first of July
2011.20 In this FTA both Korea and the EU are regarded as a single trading block. Therefore the
import duties levied by the EU are the same in every EU country for every product. Ones products
entered the EU, the products (just as services, people and capital) can be moved freely under the
rules of the European internal market. Note that excises and VAT dependent on national policies.21
The rule of origin can have a great impact on the prices of petroleum refined products. Like Korea the
Dutch do not either have vast oil resources in their soil, so refining crude oil and exporting refined
products out of crude oil means that the crude commodity originates from a third country. The FTA
provides in a framework for a (almost 100%) mutual free trade between the two involved parties. In
order to utilize this agreement, products must have its origin in the legislative areas applicable to the
agreement.
This framework in some cases rather raises more questions than providing companies with a useful
applicable framework. Is a Korean car with Chinese auto-parts still a Korean car? Is the purpose of a
Smartphone still communication or is it a camera or is its main task a device for music? All these
classifications can have an impact on the way products are taxed when importing or exporting
them.22 For oil products however, the rule of origin is not very hard to explain.
In short products must be totally obtained in one of the countries participating in the agreement or
undergo a modification or treatment. Concerning oil products, the rules applicable to them must be
found in the modification of the crude oil, because the product is in many cases obviously obtained in
a third country outside the mutual agreement (in the case of the Korea – EU FTA). The agreement
indicates that the following modifications or treatments do not change the origin of the imported
product23:
- Treatments to serve products during transportation
- Sorting and treatment regarding packing
- Adding stickers or logos on the packages or products itself
- The “simply” blending of different kinds of products
- The “simply” blending of articles or the separation
- Testing or calibrating
The above mentioned rules are not sufficient to change the origin of the product, but in all other
cases it does. Oil refineries cannot be called “simply”, because refining oil requires high tech
20 http://trade.ec.europa.eu/doclib/docs/2011/october/tradoc_148303.pdf 21 http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=COM:2007:0724:FIN:EN:PDF 22 http://eeas.europa.eu/delegations/south_korea/documents/eu_south_korea/presenter_1-2_rules_of_origin__en.pdf 23 In this list specific treatments for crops and textiles are excluded
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machinery. Therefore the products made from crude oil fit into the FTA between Korea and the EU
after they are refined.24
In practice this means that Royal Dutch Shell can transport its crude oil from e.g. Nigeria into the
Rotterdam Europoort refinery. In Rotterdam Shell’s refineries make diesel, kerosene, naphtha or
gasoline and after refining the product obtain the “protocol of origin” from the EU and can be
exported to Korea using the FTA. This protocol can be hard to apply for other products, but in the
case of oil and oil products it is not. Note that this protocol in many cases is used in agreements with
other countries with which the EU has FTA’s or similar trade agreements25.
3.3 Some EU FTAs and the effect on the Petrol industry
3.3.1 The Korea – EU FTA
The Korea – EU went into effect on the first of July 2011 and removed almost completely all import
duties on oil and oil products. Only a few exceptions were made, but import tariffs on these products
will be lifted after six years, making the petroleum sector between the EU and the Republic of Korea
totally free of import tariffs. In the table below some products are highlighted.
Changing import tariffs after the Korea – EU FTA (1st July 2011)26 Product HS Code Import Tariff before FTA Import Tarrif after FTA
Crude Oil 2709001 / 2709002 3 % 0 %
Motor Spirit 2710111000 5 % 0 %
Aviation Spirit 2710112000 5 % 0 %
Propylene tetramer 2710113000 5 % 0 %
Naphtha 2710114000 0 % 0 %
Jet Fuel 2710192020 5 % 0 %
N-Paraffine 2710192030 5 % 0 %
Kerosene 2710192010 5 % 0 %
Automatic transmission fluid
2710197330 7 % Removal in 6 annual equal terms
Anti corrosive oil 2710197410 7 % Removal in 6 annual equal terms
Cutting Oil 2710197420 7 % Removal in 6 annual equal terms
Engine Oil for automotive
2710197120 7 % Removal in 6 annual equal terms
Enigine oil for marine use
2710197130 7 % Removal in 6 annual equal terms
The import of crude oil from the North Sea to South Korea increased dramatically since the
implication of the EU - Korea FTA.27 Questions occurred in which the European commission was
asked whether the FTA caused the increase of Korean crude imports and if the effect on the
24 http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=OJ:L:2011:127:1344:1414:EN:PDF 25 http://www.belastingdienst.nl/bibliotheek/handboeken/html/boeken/HD/preferentiele_oorsprong_en_herkomst-preferentiele_oorsprong.html 26 http://eur-lex.europa.eu/LexUriServ/LexUriServ.do?uri=OJ:L:2011:127:FULL:EN:PDF 27 http://www.bloomberg.com/news/2012-05-24/trade-deal-spurs-flow-of-arbitrage-north-sea-oil-to-south-korea.html
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European refining industry and oil prices was calculated before. The commission was also asked
about the current effects of the FTA on the oil sector, if the energy supply is monitored and if there is
any possibility to revise the agreement.28
The answer was given by Euro commissioner of trade Mr. De Gucht stating that the increase in
imports from the North Sea to Korea is rather caused by the geopolitical developments in the Middle
East like sanctions on Iran and Korea is therefore looking for other sources to ensure their oil supplies.
Prior to the free trade agreement no studies were conducted to foresee the impact of the FTA on
crude oil prices and the refining industry. There is also no space for revising the FTA document
afterwards.29
The above mentioned geopolitical reasons can have an influence and similar strategies are always
present in a highly globalized industry like the petrochemical industry. However in this case other
explanations turned out to be a much more evident reason for the Korean petrochemical industry to
utilize the Korea – EU FTA while importing crude oil.
Another reason (and probably a more valid one) for the instant increase in North Sea crude imports
can be found in a 3% tax rebate that Korean refiners obtained when they exported refined products
made from FTA country’s crude imports. Korean refiners were able to get the 3 % crude import tariff
refunded while exporting the refined products. When the KOREU FTA came in to effect the import
tariff on crude oil disappeared, but the 3 % rebate was still in effect. Therefore Korea refiners were
able to receive a 3 % import tariff debate over product they had never paid import tariffs over. This
so called “loophole” therefore changed into a 3 % grant on crude imports. In an industry with
extreme small margins, this 3 % rebate triggered the Korea refineries to import the FTA oil (in this
case mainly the U.K.) rather than the geopolitical arguments proclaimed by Euro Commissioner of
Trade Mr. de Gucht.
This loophole was removed from the system by the Korean government from the first of July 2013.30
A three percent discount already makes crude import from Norway and the UK competitive
compared to Middle East oil. The new change in tax policy makes it less attractive to import from FTA
countries because a rebate will only be refunded according to the portion of imported non FTA crude
and a rebate is only possible for crude over which tax has been paid.31 Korean refiners thus, were
able to import crude oil without paying import duties, but got a three percent rebate for all of that
crude oil used for producing the exported products.32 To compensate this, the minimum amount per
shipper import of crude oil from not-middle east countries has been lowered from 7 million to 2
million in order to be not to dependent on the unstable Middle East. However the elimination of tax
rebates will make it harder for Korean refined products from FTA sourced oil.33, 34
28 http://www.europarl.europa.eu/sides/getDoc.do?type=WQ&reference=P-2012-007797&language=EN 29 http://www.europarl.europa.eu/sides/getAllAnswers.do?reference=P-2012-007797&language=EN 30 Weekly Tanker Opinion 5th April 2013 – Poten & Partners 31 http://en-maktoob.news.yahoo.com/korea-close-crude-tax-loophole-north-sea-imports-102540201--business.html 32 http://www.tax-news.com/news/South_Korea_Threatens_North_Sea_Oil_Tax_Change____60094.html 33 Policy Changes Could Affect South Korean Tanker Demand – Poten and Partners 5th July 2013 34 http://www.bloomberg.com/news/2013-06-12/korea-to-cut-north-sea-crude-imports-after-tax-change-iea-says.html
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Source: CBS (Dutch Trade balance with the Republic of Korea concerning crude petroleum and refined products)
3.3.2. The Singapore - EU FTA
Up till today the Singapore – EU FTA does not seem to affect the oil markets like it did in the Korea –
EU FTA. Although the Singapore – EU FTA did not take effect yet (expected for 2015) the oil markets
do not seem to move much. After the Korea – EU took effect the Korean import of crude North Sea
oil increased steadily, but this could be largely assigned to the loophole described above which was
solved later. The tax in the oil hub of Singapore however, is already zero percent (like it is for
Rotterdam) so no large impacts on trade are expected. For Koreans it makes a difference, because
importing from the EU means circumventing a 3 % tax on crude oil which they have to pay for Middle
East oil. Another reason is that oil refiners rather refine near the upstream source in order to reduce
shipping costs. Therefore importing from oil from Asia is more likely than Norway and the U.K.
Removing the EU import tariffs on jet fuel (4,7 %) and diesel (3,5 %) seems to be a great incentive to
import more refined products from Singapore, but in many cases these duties are not levied anyway,
because the fuel is meant for planes and those tariffs are zero. In the case of Diesel, most of the
imports will be also zero percent (if it has a sulphur rate of less than 2,000 ppm) and the European
demand is 10 ppm so this standard is sufficient for the zero percent rule. Without meeting the
standard it could have been traded as “Refining Feedstock”.35,36
3.3.3. The U.S. - EU FTA
An FTA between the U.S. and the EU is expected to not only affect the trade between the two blocs,
but an EU-US FTA will also affect third party countries. First it will be easier for U.S. FTA partners to
35 http://www.themalaysianinsider.com/business/article/europes-oil-markets-unmoved-by-approaching-singapore-trade-pact 36 http://www.bloomberg.com/news/2013-01-31/eu-singapore-trade-tax-free-oil-deal-may-start-end-2014.html
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obtain certain products which the U.S. is not eager to export (LNG).37 Due to the ban on exports of
crude oil from the U.S. to the EU and no substantial changes in the EU oil supply can be expected.38
The overall exports from Korea to the EU is expected to fall U.S.D. 217 million when a U.S. – EU FTA
goes into effect with the petroleum exports taking a USD 13 million share in this. An FTA can ignite a
fiercer competition between U.S. and Korean petroleum products and therefore put pressure on the
margins. The export from Korean petroleum products to the U.S. is expected to fall by USD 30
million.39
3.3.4. Jet fuel and the generalized scheme of preference (GSP)
The EU’s40 GSP (Generalized Scheme of Preferences) is a measure to remove the import tariffs on
goods from developing economies to help them enter the European market and give a boost to their
economic growth. The Gulf cooperation countries (known as the GCC) increased their economies
which means that from 2014, the EU is treating them as an “upper-middle income” economy and will
remove the discount in import tariffs. Recently the EU decided to lift the import tariff on jet fuel for
all countries regardless the origin.41
In order to dodge the new 4,7 % import tariff on jet fuel from the GCC to the EU, companies try to be
creative in using the so called “airworthiness certificates” or “EASA form 1”, but failed, because the
rule only applies to aircraft parts. This certificate indicates that the product is used for aircrafts. The
two companies being able to generate these forms are the so called POA’s and MOA’s (Production
Organization Approval and Maintenance Organization Approval).42 However the new GSP rules
included not only the GCC, but also India, Venezuela and Libya under the “upper middle class
economies”. This measure put 80% of the EU’s jet fuel supplies under a 4,7 % import tariff’ (complete
list of countries under the GSP43). Import tariffs are also levied while importing tax fuel from Mexico44
(with an older less elaborating FTA), but also when buying jet fuel from Korea45.
4. Conclusion
The petroleum industry is an industry that is one of the largest in the world, one of the most
globalized in the world one of the most competitive in the world and one that is integrated into
almost every product. While the public opinion is not in favor of the crude oil, the world is demand is
higher than ever before and a world without oil will be unthinkable at least for the forthcoming
decades.
The competitive and global character of the petroleum industry that is characterizing the petroleum
industry is applicable to more and more industries and legislation is following this trend bit by bit. In
37
http://www.ogfj.com/articles/2013/10/environmental-implications-of-does-approval-of-fourth-lng-export-project.html 38
Council on Foreign Relations – Renewing America – July 8 2013. 39
Prospects and Implications of a US-EU FTA 40
http://ec.europa.eu/trade/policy/countries-and-regions/development/generalised-scheme-of-preferences/index_en.htm 41 http://www.livemint.com/Industry/zgi5M3OacPtXZcz99PLCJK/EU-proposes-to-keep-jet-fuel-imports-dutyfree.html 42 http://www.ilent.nl/onderwerpen/transport/luchtvaart/productiebedrijven/ontwikkelingen/nieuw_easa_form_1/ 43 http://trade.ec.europa.eu/doclib/docs/2012/december/tradoc_150164.pdf 44 http://tinyurl.com/pppsa6d 45 http://tinyurl.com/p3pws4f
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the believe that globalization and free trade is a next engine for further economical growth, the last
decades gave birth to an increasing amount of free trade agreements.
However it seems that the influence on FTA’s and the trade of crude oil and refined products is
limited. The main reasons for this are the fact that many trade barriers for oil products are already
low so signing an FTA will not change much. This is seen in the EU – Singapore situation in which the
markets do not seems to move by the signing of a FTA.
A trend of M&A’s that formed the six biggest IOC’s is likely to be followed by a same movement in
refining capacities where crude oil will be refined more and more at the so called oil hubs. The
demand for oil products in Asia is rising and in Europe it is not. Also facilities in Europe cannot
compete with the refining costs margins in Asia. Also countries in the Middle East (with their strong
NOCs will refine more domestically near to the Asian grow markets). Besides the calculation of only
costs, many other variables like environmental legislation and local wages have an effect on the
competitive advantage of refineries. When this is combined by with a tax and custom friendly
legislative framework, the ideal situation is born. Therefore in Europe refineries the amount of
refineries is decreasing while the capacity of a oil hub like Rotterdam is growing.
Another variable that can affect future trade is the composition of crude oil and the technical
developments. Among the different continents the demand for oil products is different. Some crude
oils can be better utilized for a desired end product than others, giving incentives to transport crude
oil in the future is the refining margins is high enough. This can used by an FTA.
In individual cases an FTA can have a large impact and change markets. This was the case in with the
Korea – EU FTA in which the import of North Sea Crude increased by 100% due to a loophole in the
Korean tax rebate system, but after revision is expected to return to its former levels.