Thank you, Madam Chair.
Good morning, members of the committee. My name is Joe Dal Ferro, president of Finica Food Specialities Limited.
Founded in 1968, we were one of the leading importers of gourmet foods from across the globe, including cheeses from the U.S. and much of Europe, including Ukraine.
First and foremost, I'm here to express my support for the Canada-Ukraine Free Trade Agreement. If Canada is to aid in Ukraine's reconstruction, it is imperative that we foster and grow our trade relationship; however, while we at Finica are very interested in doing our small part to try to support Ukraine's agricultural sector, I'm also here to provide the real-world perspective on the obstacles we have faced trying to import agri-food products from Ukraine, despite the clear consumer demand in Canada.
With that in mind, I will offer some recommendations on how Canada can address the barriers we have faced either through this bilateral trade agreement or through some other mechanisms.
Finica accepts the rationale underlying Canada's supply-managed dairy sector. While we certainly have raised objections to some of the ways in which the system is administered, we are not advocating for its dismantling.
Earlier this year, Finica and its parent company were approached by the Ukrainian dairy company Piryatin, which was looking to export to Canada. We were and continue to be thrilled at the prospect of helping a company break into the Canadian market. Since it was clear that there exists a demand among Ukrainian Canadians who are looking for a taste of home despite being thousands of miles away, Finica agreed to import a small quantity of two types of Piryatin's cheeses.
Given that it was to address a very specific need and a demand that could not be met through domestic production, this small quantity of cheese, barely the equivalent of 20,000 kilograms, is by no means any threat to Canada's domestic producers. Almost a year has passed since the start of this project, and we continue to face significant delays, some of which can be attributed to the trade barriers inherent to Canada's quota system.
Indeed, given that no additional market access for Ukrainian cheese is provided through the 2017 and 2023 Canada-Ukraine Free Trade Agreements or through the 2023 Ukraine goods remission order, we've had to rely on the non-EU reserve of the WTO cheese of all types TRQ. This quota, which is small, already has a very high utilization rate. This high utilization rate is no surprise, given that the quota is shared with the U.S., Switzerland and Norway, and perhaps will also be shared with the U.K. as soon as January 1, 2024, if the cheese letters are not extended.
The uncertainty surrounding the United Kingdom's situation has led several businesses across the country, including mine, to try to bring in as much British cheese as possible by the end of 2023. Unfortunately, because of this planning decision, we had to delay our plans to import Ukrainian cheese.
Let me be clear. Had industry been provided with more advanced certainty with regard to the cheese letters and the U.K.'s standing within the WTO TRQ, we most certainly would have been able to have Piryatin's cheese on Canadian grocery store shelves by Christmas.
While we are disappointed that the 2023 Canadian-Ukraine FTA does not address the trade barriers we have faced, we want to provide two recommendations to this committee to help SMEs like Finica avoid the barriers to trade outlined above.
First, if the government opts not to include an agriculture chapter with market access concessions in the Canada-Ukraine agreement, it should reconsider its decision to exclude supply-managed sectors from the goods remission order that was issued. The inclusion of Ukrainian products in the goods remission order would constitute a very small demonstration of Canada's willingness to put Ukraine's wartime needs ahead of the needs of Canada's thriving domestic sector. Let's keep in mind that the small quantity that Finica has been planning to import should by no means be considered a threat to supply management.
Second, Canada should use the TRQ review as an opportunity to revise its quota allocation and administration policy to ensure that Canada is honouring its trade agreements so that we can maximize the existing promised access and ensure that import programs like these are given the best chance of success.
Thank you, and I look forward to your questions.