Thank you, honourable members, for the opportunity to present to the committee today on behalf of the Canadian Steel Producers Association. I appreciate the chance to be here.
Our association represents 10 primary steel producers and steel product manufacturers in Canada. We have member facilities located in Quebec, Ontario, Manitoba, Saskatchewan, and Alberta. These operations directly employ over 22,000 Canadians, with an additional 100,000 Canadians supported by the indirect economic impact of our operations.
Steel in Canada is a true linchpin industry. Our presence in a given community generates significant economic impact for several reasons. Our operating expenses associated with steelmaking facilities are considerable. Transport of raw material, transport of finished product, development of support technology, service of equipment, and supply and maintenance of the facilities themselves, are all capital- and labour-intensive ongoing activities.
The availability of locally sourced steel in a given community also attracts secondary value-added economic activity, like steel fabrication operations, auto parts manufacturing, and specialized production of steel products. Steel production is a critical link in manufacturing and resource exploitation and construction supply chains from coast to coast to coast, and has the net effect of diversifying the benefits to Canada associated with ongoing economic activity, large-scale commercial developments, and public sector investment in Canada's infrastructure needs.
I think it's important to see steel production in Canada as a value-add activity. Raw materials for production are sourced quite nearby, whether that's iron ore from mining operations in Quebec, Newfoundland or Nunavut, or Canadian scrap metal materials sourced from local scrap and salvage operations. These are refined or recycled in Canada by Canadian employees into the high-quality and increasingly sophisticated products our consumers demand.
Steel production in Canada is also truly an advanced manufacturing process. Our members are technology companies that happen to produce steel. As an excellent example of this, I would highlight a long-standing partnership between one of our members, Rio Tinto, and the National Research Council that developed binder-treated powders, bonding small additive particles to larger iron powder particles. This increases the productivity of compacting presses, part-to-part consistency for use in automotive appliances, electrical tool, and lawn and garden industries. It's quite complex and I understand very little of it, frankly, but it was featured in a National Research Council innovation success story released on May 6 of this year.
I would also note the commitment of another one of our members, ArcelorMittal Dofasco, to the development of a manufacturing policy in Canada through the introduction of and support for the chair of advanced manufacturing policy at McMaster University. The chair, which is a cross appointment between the Department of Economics and the Walter G. Booth School of Engineering Practice, is intended to enhance the profile of manufacturing in Canada, as well as be a strong contributor to the manufacturing public policy dialogue with all levels of government. The goal of the chair is to ensure that Canadian manufacturers are well positioned to improve their competitiveness and boost productivity, and are positioned globally to attract foreign direct investment.
We think this emphasis on global positioning is vital. Our members are in a constant competition to secure investments required to fund capital expenditures and ongoing process modernization and technology implementation. Government should understand and appreciate that Canadian facilities compete globally for investment funds, and the continued direct investment of foreign capital is vital to the maintenance and growth of our competitive position.
With particular regard to steel, we would suggest the Government of Canada consider policy options on two distinct but complementary tracks. The first of these is the fortification of Canada's domestic market against unfairly traded goods, an area in which steel as a commodity is particularly exposed.
Global steel is at present facing an unprecedented overcapacity phenomenon, driven largely by China where demand has declined while state-supported production has increased significantly. This reality has negatively affected price and resulted in increased instances of market-distorting dumping and circumvention, both from China and from a host of other global producers whose home markets have in many cases suffered as a result of Chinese competition.
Left with no choice but to export, these nations begin doing so aggressively, dumping yet more product onto global markets, further degrading global prices. While the CSPA supports trade, we believe with our efficient facilities and innovative workforces we can thrive in a free-trade environment. But we also believe that free trade has to be fair.
In order to preserve a level playing field in steel and respond to increasingly creative acts of circumvention and dumping, we have worked closely with government to develop a series of legislative and regulatory proposals for action on trade-remedy modernization.
We are very encouraged by the inclusion in the Budget Implementation Act of two of these provisions, and we are optimistic about additional legislative changes resulting from the government's current consultation on the Special Import Measures Act. We believe it is in Canada's best interests to ensure that the trade remedy system continues to provide adequate remedies for domestic producers and to operate in a transparent and accessible manner.
Sending a strong signal that the principles of fair market competition will be defended in Canada against unfair trade also signals that investments in Canada will be protected against market distortions and anti-competitive behaviours from other jurisdictions.
Along with trade remedy modernization, we would encourage the continued enforcement of legislative and regulatory provisions related to China's non-market economy status beyond 2016. This is another opportunity to send a critical message regarding the security of investment in Canada.
China's established pattern of non-market behaviour in steel has had significant negative consequences globally. They maintain more than 425 million metric tonnes of surplus production capacity. That is roughly 30 times the totality of the Canadian market. Their state-owned and state-supported steel sector has disrupted global trade patterns and forced more reductions in prices.
Canada's current Special Import Measures Act allows the Canada Border Services Agency to investigate whether certain countries, including China, are operating as non-market economies. The ability to initiate these investigations, which allow for evidence-based determinations of fair and “market-based” dumping margins, is critical to the efficiency of Canada's trade remedy system.
Through changes in 2013, the government strongly endorsed this practice. These addressed policy and business uncertainties for the Canadian steel industry, and maintained a policy balance between us and our NAFTA partners. This facilitated investment in Canada. In our view, the policy approach should continue into the future without compromise.
The second track that I mentioned is the concerted pursuit of economic growth in Canada through the development of a manufacturing policy framework that maximizes our domestic advantages and encourages investment and production in Canada.
In that context, the CSPA welcomes the Government of Canada's budget 2016 commitment of $120 billion over 10 years for infrastructure development. Our members look forward to having the ability to contribute to the needed modernization and rehabilitation of Canada's public infrastructure. We share the government's view of long-term investment in infrastructure as an opportunity for contributions to national economic growth. We believe that our steel producers will play a substantial role in supplying the critical inputs required by projects associated with infrastructure challenges of a national significance.
Similarly, we were encouraged by the budget 2016 extension of the automotive innovation fund through to the end of 2020-21. We believe this type of partnership between the federal government, the Government of Ontario, and the Canadian automotive industry for the purposes of attracting strategic, large-scale research and development projects is an important component of what we hope is a collaborative effort to raise the profile of Canada's strong manufacturing capabilities and to better influence the investment location decisions crucial to the long-term competitiveness of the Canadian automotive sector.
We're also encouraged by commitments to move forward with the development of Canadian energy infrastructure, including addressing access to market challenges. We believe that pipeline development represents the most responsible and sustainable way to deliver Canada's energy products to market, which we feel will in turn encourage greater investment, long-term growth, and job creation associated with that sector.
While we appreciate the need for a fulsome consultation of affected communities and robust environmental assessments, we are also hopeful of a near-term project approval or approvals and optimistic that Canadian steel will play a vital role in associated infrastructure development.
In closing, I would like to take the opportunity again to thank the members of the committee for undertaking this study, and for continuing your important work on the future of Canadian manufacturing industries. As crucial middle-class employers in Canada who hope to strengthen and grow our operations, we appreciate the dialogue your efforts have initiated and we look forward to the outcome of your work. I am happy to take any questions.