The EU-South Korea Free Trade Agreement and Its Implications for the United States

On October 6, 2010, the 27-member European Union (EU) and South Korea signed a bilateral free trade agreement (FTA). The South Korean National Assembly and the EU Parliament have ratified the agreement. The agreement went into effect on July 1, 2011. The South Korea-EU FTA (KOREU FTA) is the largest FTA in terms of market size that South Korea has entered into. The KOREU FTA reflects the EU and South Korean trade strategies to use FTAs to strengthen economic ties outside their home regions. It also builds upon the surge in trade and investment flows between South Korea and the EU over the past decade. On October 12, 2011, both houses of Congress passed implementing legislation for the U.S.-South Korea FTA (KORUS FTA), which the President signed into law (P.L. 112-41) on October 21. The KORUS FTA is expected to enter into force in early 2012.

The KOREU FTA is very comprehensive. It would reduce and eliminate tariffs and other trade barriers in manufactured goods, agricultural products, and services and would also cover such trade-related activities as government procurement, intellectual property rights, labor rights, and environmental issues.

Most studies done on the potential impact of the KOREU FTA estimate that the agreement will have a small but positive effect on the economies of the EU and South Korea as a whole and that the larger relative impact would be on the South Korean economy. The greatest economic impact of the KOREU FTA would be on specific sectors in each economy. EU services providers would be expected to experience gains from the agreement, especially in the areas of retail and wholesale trade, transportation services, financial services, and business services. In terms of trade in goods, EU exporters of pharmaceuticals, auto parts, industrial machinery, electronics parts, and some agricultural goods and processed foods would be expected to gain from the KOREU FTA’s implementation. At the same time, South Korean manufacturers of cars, ships, wireless telecommunications devices, chemical products, and imaging equipment would be expected to increase their exports to the EU market.

The KOREU FTA is similar to the KORUS FTA in many respects. Both agreements are comprehensive and both would eliminate tariffs on most trade in goods soon after they enter into force. However, they differ in other respects. Phase-out periods for tariffs on some manufactured goods differ. In addition, the KOREU FTA does not cover investment protection. Unlike the KORUS FTA, the KOREU FTA does not allow trade sanctions to be applied where violations of the workers’ rights and environment provisions have been deemed to occur. In addition, the KORUS FTA covers a broader range of trade in services than does the KOREU FTA. It is not clear whether these differences in the structures of the FTAs result in appreciable differences in outcomes in terms of economic gains and losses.

The EU-South Korea Free Trade Agreement and Its Implications for the United States

December 1, 2011 (R41534)

Contents

Summary

On October 6, 2010, the 27-member European Union (EU) and South Korea signed a bilateral free trade agreement (FTA). The South Korean National Assembly and the EU Parliament have ratified the agreement. The agreement went into effect on July 1, 2011. The South Korea-EU FTA (KOREU FTA) is the largest FTA in terms of market size that South Korea has entered into. The KOREU FTA reflects the EU and South Korean trade strategies to use FTAs to strengthen economic ties outside their home regions. It also builds upon the surge in trade and investment flows between South Korea and the EU over the past decade. On October 12, 2011, both houses of Congress passed implementing legislation for the U.S.-South Korea FTA (KORUS FTA), which the President signed into law (P.L. 112-41) on October 21. The KORUS FTA is expected to enter into force in early 2012.

The KOREU FTA is very comprehensive. It would reduce and eliminate tariffs and other trade barriers in manufactured goods, agricultural products, and services and would also cover such trade-related activities as government procurement, intellectual property rights, labor rights, and environmental issues.

Most studies done on the potential impact of the KOREU FTA estimate that the agreement will have a small but positive effect on the economies of the EU and South Korea as a whole and that the larger relative impact would be on the South Korean economy. The greatest economic impact of the KOREU FTA would be on specific sectors in each economy. EU services providers would be expected to experience gains from the agreement, especially in the areas of retail and wholesale trade, transportation services, financial services, and business services. In terms of trade in goods, EU exporters of pharmaceuticals, auto parts, industrial machinery, electronics parts, and some agricultural goods and processed foods would be expected to gain from the KOREU FTA's implementation. At the same time, South Korean manufacturers of cars, ships, wireless telecommunications devices, chemical products, and imaging equipment would be expected to increase their exports to the EU market.

The KOREU FTA is similar to the KORUS FTA in many respects. Both agreements are comprehensive and both would eliminate tariffs on most trade in goods soon after they enter into force. However, they differ in other respects. Phase-out periods for tariffs on some manufactured goods differ. In addition, the KOREU FTA does not cover investment protection. Unlike the KORUS FTA, the KOREU FTA does not allow trade sanctions to be applied where violations of the workers' rights and environment provisions have been deemed to occur. In addition, the KORUS FTA covers a broader range of trade in services than does the KOREU FTA. It is not clear whether these differences in the structures of the FTAs result in appreciable differences in outcomes in terms of economic gains and losses.


The EU-South Korea Free Trade Agreement and Its Implications for the United States

Introduction

After more than two years of negotiations, the European Union (EU) and South Korea signed a bilateral free trade agreement (FTA) on October 6, 2010. Both the South Korean National Assembly and the EU Parliament have ratified the agreement, and it went into effect on July 1, 2011. The South Korea-EU FTA (KOREU FTA) is the largest FTA in terms of market size that South Korea has entered into. The U.S.-South Korea FTA (KORUS FTA) will be South Korea's second-largest. The KOREU FTA reflects the EU and South Korean trade strategies to use FTAs to strengthen economic ties outside their home regions. It also builds upon the surge in trade and investment flows between South Korea and the EU over the past decade, a period of time in which the 27 member states of the EU countries collectively passed the United States in economic importance to South Korea.1

The KOREU FTA is very comprehensive, generally mirroring the scope of the KORUS FTA, with some exceptions. As with the KORUS FTA, the KOREU FTA reduces and eliminates tariffs and other trade barriers in manufactured goods, agricultural products, and services and would also cover such trade-related activities as government procurement, intellectual property rights, labor rights, and environmental issues. However, the two agreements contain some basic differences in coverage, reflecting differing circumstances and priorities. For example, unlike the KORUS FTA, the KOREU FTA does not include a specific chapter on foreign direct investment2 and does not allow trade sanctions to be applied where violations of the labor and environment provisions have taken place. Differences also exist in how sensitive sectors such as automobiles are treated. For example, the KOREU FTA includes a duty drawback mechanism,3 while the KORUS FTA has added a special safeguard for motor vehicles in the event of a surge in South Korean automobile exports to the United States. The KOREU FTA has drawn the attention and interest of U.S. policymakers, including Members of Congress and the U.S. business community. The KOREU FTA could have an impact on U.S.-South Korean trade by possibly diverting some South Korean trade away from the United States to the EU and could provide the EU with a "first mover" advantage since it entered into force on July 1, 2011, and the KORUS FTA is expected to enter into force no earlier than early 2012.

This report is designed to shed some light on the KOREU FTA for Congress.4 It briefly reviews EU-South Korean economic ties and the respective EU and South Korean objectives regarding the KOREU FTA. It then discusses the KOREU FTA in general and examines some of its major provisions in more detail, with special focus on autos and some other manufacturing sectors, agriculture, services, and labor—areas of particular interest to U.S. policymakers and the U.S. business community. The report does not attempt to determine if either the KORUS FTA or the KOREU FTA is better than the other. That determination can largely be subjective, since the priorities of the EU and the United States differed in some respects. In addition, the models used in measuring the quantifiable effects of the two agreements likely differ, leading to incompatible measurements. Nevertheless, where possible and relevant, the report draws general comparisons and contrasts with the KORUS FTA. Finally, the report analyzes the prospects for the KOREU FTA and the agreement's potential implications for the United States.

EU-South Korean Economic Ties

Trade in goods and services and two-way foreign direct investment (FDI) are generally the most important aspects of the EU-South Korea relationship.5

Merchandise Trade

South Korea, with 48.6 million consumers and a gross domestic product (GDP) of $1.4 trillion, is a much smaller market than either the U.S. or EU markets. In 2009, it accounted for 2% of EU merchandise exports, ranking 12th as an export market, and accounted 3% of EU merchandise imports, ranking 9th as a source of EU imports. On the other hand, the much larger EU market of 492 million people with a GDP of $14.4 trillion is much more important to South Korea. In 2009, the EU was the second-largest market for South Korean merchandise exports, with a 13% share of total South Korean exports, second to China with a 24% share. The EU was the third-largest source of South Korean imports in 2009 with a 10% share of South Korean merchandise imports behind China with a 17% share and Japan with a 15% share. In contrast, the United States accounted for 10% of South Korean exports and 9% of South Korean imports. (See Table 1.) Over the last 10 years (2000-2009), EU-South Korean trade (exports plus imports) has increased an average of 8.4% per year and exceeds total U.S.-South Korea trade. (See Figure 1.) Among the EU-27 member countries, South Korea's largest trading partners are Germany, France, and the United Kingdom. (For additional comparative data, see tables in the Appendix.)

Figure 1. EU and U.S. Total Merchandise Trade with South Korea, 2000-2009

Source: Global Trade Atlas.

Note: Total trade is defined as exports plus imports.

Manufactured goods dominate EU-South Korean trade. In 2009, 80% of EU exports to South Korea consisted of manufactured goods. Within that category, 49% were of machinery and transportation equipment, 18% of chemical products, and 13% of other manufactured goods.6 Similarly, in 2009, 87% of South Korean exports to the EU consisted of manufactured goods. Of that group, 72% were of machinery and transportation equipment, 10% were other manufactured goods, and 5% were of chemical products. The dominance of manufacturing in trade in both directions suggests the presence of intra-industry trade and reflects the existence of transnational production networks where various stages within a production cycle are performed in different countries before the final product is assembled, marketed, and sold.7

Table 1. Relative Importance of EU and U.S. to South Korea

 

EU

U.S.

Share of South Korean Merchandise Exports (2009)

13%

10%

Share of South Korean Merchandise Imports (2009)

10%

9%

Share of South Korean Inward FDI (2008)

32%

20%

Share of South Korean Outward FDI (2008)

10%

15%

Source: Derived from official South Korean data.

Trade in Commercial Services and FDI Flows

EU-South Korean services trade has also increased over the years but still accounts for a small share (15.8% in 2008) of total bilateral trade.8 EU exports of services to South Korea increased 42% between 2004 and 2008 (latest data available), and South Korean exports of services to the EU increased 36% during the same period.9 Among the leading types of EU services exports to South Korea in 2008 were transportation services, business services, travel, receipts and royalties from the use of intellectual property, financial services, and construction. Leading South Korean services exports in 2008 to the EU included transportation, business services, travel, receipts and royalties, and insurance.10

Besides trade in goods and services, the EU and South Korea are building economic ties through foreign direct investment (FDI). From 2004 to 2007, the value of EU FDI in South Korea increased 62.8% before decreasing 10.8% in 2008, possibly a result of the global economic downturn. However, EU FDI in South Korea accounted for only 0.3% of total EU FDI in 2008 based on current value. South Korean FDI in the EU increased 80.4% from 2004 to 2007 before declining 20.6% in 2008. They accounted for about 0.1% of total FDI in the EU.11 On the other hand, the EU is a significant source of FDI in South Korea. In 2008, it accounted for 32.3% of total FDI in South Korea, and as a group was the largest source of FDI in South Korea. The EU-27 also accounted for 10.3% of South Korean FDI abroad in 2008 and was the second-largest target next to the United States.12

The KOREU FTA and EU and South Korean Trade Strategies

The KOREU FTA reflects the larger trade strategies that the EU and South Korea have pursued. Prior to the mid-2000s, both were reluctant to enter into bilateral FTAs, preferring to conduct trade through the World Trade Organization (WTO) and, in the case of the EU, through regional preferential trade arrangements with former colonies. However, over the last decade, they both have not only been negotiating FTAs, but have done so at an accelerated pace. (See Table A-3 and Table A-4 for lists of EU and South Korean FTAs.)

The EU was a pioneer in negotiating preferential trade arrangements (PTAs)—a general term applied to an arrangement in which member countries agree to eliminate barriers to commerce among them. The EU itself is a single market, one of the most comprehensive PTAs, but has also used PTAs to anchor trade relations with neighboring countries, such as members of the European Free Trade Area (EFTA—Iceland, Lichtenstein, Norway, and Switzerland) and as a transition mechanism in trade relations with countries slated to accede to the EU. The EU has also employed PTAs to preserve preferential trade relationships with former colonies among developing countries. However, the EU imposed a moratorium on the formation of FTAs and other PTAs from 1999-2006 to focus attention on the Doha Development Agenda (DDA) negotiations.13

The FTA with South Korea is part of a new wave of EU FTAs and part of an overall strategy—referred to as Global Europe—which the European Commission's Directorate General for Trade announced in 2006. The strategy was developed to respond to the challenges faced by EU members in a rapidly globalizing economy. An objective of that strategy is to work towards reducing tariff and non-tariff barriers in trade and to liberalize markets for foreign investment. The EU also places a priority on multilateral negotiations in the WTO and concluding the DDA to accomplish this objective.

However, the EU also has determined that some barriers are currently too complex for multilateral negotiations or are otherwise beyond the purview of the WTO, for example, competition policy, regulatory issues, government procurement, and stronger intellectual property rights enforcement. As part of the Global Europe strategy, the EU has engaged in FTA negotiations with the objective that the FTAs are more appropriate vehicles to address these more complex issues and can serve as building blocks toward a more robust multilateral trading system. The Global Europe strategy sets down two main criteria for selecting FTA partners: (1) that the partner country offers sufficient market potential and (2) a sufficient level of growth opportunities that would result from the removal of tariff and non-tariff barriers as a result of the FTA. Based on these criteria, along with the fact that South Korea had negotiated an agreement with the United States (a chief EU competitor) the European Commission identified South Korea as a priority country for an FTA.14 The EU has FTAs in force with Chile and Mexico and has been negotiating FTAs with Canada, India, and South Africa. (See Table A-3.)15 The KOREU FTA would be the EU's first completed FTA in Asia.

South Korea's Strategy

For nearly a decade, South Korea has been transforming itself into an FTA hub in Northeast Asia. (See Table A-4.)16 Signing a network of FTAs has been a key part of the national economic strategy of President Lee Myung-bak, a conservative, and his predecessor, the left-of-center Roh Moo-hyun. Both presented FTAs as necessary for advancing South Korea's economic well-being. Ongoing competitive pressure from Japanese firms, increased competition from Chinese enterprises, and the rapid ageing of the South Korean workforce have heightened the sense of urgency about boosting national competitiveness. President Lee has set a goal of building a "free-trade network" that by 2014 would enable over 70% of South Korean exports to enjoy duty free access. He has explicitly tried to diversify the composition of South Korea's FTA partners, simultaneously negotiating FTAs with large advanced economies as well as with natural resource-rich developing countries.17 The KOREU FTA also fits into Lee's goal of creating a "Global Korea" by expanding South Korea's engagement with and presence in the international community.

An Overview and Key Provisions of the KOREU FTA

Similar to the KORUS FTA, the KOREU FTA is a comprehensive pact that covers the broad range of economic activities in the EU-South Korean bilateral economic relationship. The KOREU FTA is organized into 15 chapters plus special sector specific annexes, which cover automotive products, pharmaceuticals, chemicals, and consumer electronics. The KOREU FTA eliminates tariffs on virtually all manufactured goods in South Korea-EU bilateral trade within seven years and reduces or eliminates many nontariff barriers (NTBs). The agreement also establishes rules and procedures in trade in goods and services and addresses trade-related activities pertaining to intellectual property rights (IPR), labor rights, and environmental protection.

Similar to the objectives of the KORUS FTA, the provisions in the pending KOREU FTA are intended to boost goods and services exports from the EU to South Korea by eliminating South Korean import duties and other barriers to trade in industries from autos and pharmaceuticals to consumer electronics and textiles and apparel. Exports from South Korea to the EU might increase in various manufacturing sectors but are not expected to surge since many EU tariffs are already relatively low and the EU's NTBs are for the most part not as significant as in South Korea. The KOREU FTA also is intended to increase FDI flows between the two partners, especially EU investment in South Korea.

The following discussion provides an overview of the KOREU FTA as a whole but also focuses on possible areas of particular importance with implications for the ongoing debate in the United States over the future of the proposed KORUS FTA. These areas include trade in certain manufactured goods sectors (the automobile sector in particular), agricultural products, and services; and issues pertaining to IPR, worker rights, and environmental protection. Where feasible and appropriate, the following discussion includes references to and comparisons of the KOREU FTA with relevant provisions of the KORUS FTA.

Trade in Manufactured Goods

A major portion of South Korea-EU trade in both directions is in manufactured goods. Thus, an important element of the KOREU FTA consists of the removal of tariffs and NTBs on manufactured goods. In negotiating their respective FTAs with South Korea, the United States and the EU worked to ensure that provisions in their agreements responded to concerns expressed by those vocal constituencies about free trade and imports (e.g., the U.S. and EU automotive sectors).

Auto Trade

Bilateral trade in cars has been a major point of contention in EU-South Korea trade relations and consequently a major sticking point in negotiations on the KOREU FTA, as has been the case in the KORUS FTA. The sensitivity of the issue has only grown as South Korea has become a major producer and exporter of cars in competition with European manufacturers of cars, especially smaller cars, and has attained expanding shares of the European market for passenger cars.18

During the negotiations, South Korea sought to obtain the elimination of EU tariffs on imports of South Korean cars in order to increase their market share. The EU sought not only the elimination of South Korean tariffs on cars but also changes in regulations, including safety and emissions regulations, that EU manufacturers have complained are discriminatory and impede their access to the South Korean market, an issue that U.S. manufacturers constantly cite, that is addressed in the KORUS FTA.

Tariff Elimination on Passenger Cars and Trucks

As shown in Table 2, under the KOREU FTA, the EU and South Korea eliminate all of their tariffs on passenger cars and trucks over five years, including tariffs on electric vehicles. Their respective tariffs on auto parts—8% for South Korea and 3% to 4.5% for the EU—were immediately removed.

The 2007 KORUS FTA would have eliminated their respective passenger car tariffs more quickly than under the KOREU FTA upon implementation. But the 2010 supplemental agreement changed the original terms of the KORUS FTA.19 It now puts the U.S. and EU on roughly the same tariff elimination schedule, rather than abolishing them immediately. For instance, South Korea will eliminate its 8% tariff on U.S. passenger cars (including electric cars and plug-in hybrids) within five years following implementation. One exception is the U.S. truck tariff of 25%, which will remain for the first seven years following implementation and will then be phased out completely in year 10.

Another difference is the 2010 KORUS FTA agreement added a special motor vehicle safeguard whereas the KOREU FTA offers protection in case of a sudden surge in imports via a general safeguard clause. The two agreements also diverge on rules of origin, which are used to verify that products are eligible for duty-free status under preferential trading programs. Under the KORUS FTA, automakers and most component manufacturers can use one of three options for calculating regional value content.20 The KOREU FTA requires importers of automotive products to use a different method for calculating regional vale content, the ex-works price method, than is allowed under the KORUS FTA.21 The foreign (non-originating) content level for autos under KOREU FTA should not exceed 45% of the ex-works price of the product, thus it follows that 55% of the content must come from either the European Union or South Korea. Administration experts assert that the regional value content requirements in the KORUS FTA and KOREU FTA are essentially equivalent since the KORUS FTA also requires that at least 55% of the value of the vehicle be comprised of content from South Korea or the United States. What differs are the methodologies used to calculate RVC.22

Table 2. Comparison of Automobile Tariff Reductions

Proposed Tariff Reduction Commitments and Time Frame for Tariff Elimination under the Proposed KORUS FTA and KOREU FTA

 

South Korea 

European Union 

United States 

 

Current Base Tariff Rate

Time Frame

Current Base Tariff Rate

Time Frame

Current Base Tariff Rate

Time Frame

Passenger Cars

8%

KORUS FTA: Reduce tariff from 8% to 4% immediately and fully eliminate the tariff in year 5.

KOREU FTA: Eliminated over 3 or 5 years depending on engine size.

10%

KOREU FTA: Eliminated over 3 or 5 years depending on engine size.a

2.5%

KORUS FTA: Eliminated in year 5 (no linear phase-out).

Electric Vehicles/Plug-in Hybrid Vehiclesb

8%

KORUS FTA: Reduce tariff to 4% immediately and fully eliminate by year 5.

KOREU FTA: Eliminated over 5 years.

10%

KOREU FTA: Eliminated over 5 years.

2.5%

KORUS FTA: Eliminated over 5 years.

Trucksc

10%

KORUS FTA: Eliminated immediately.

KOREU FTA: Eliminated immediately or 3 to 5 years depending on truck size.

22%

KOREU FTA: Eliminated over 3 or 5 years depending on truck size.

25%

KORUS FTA: Remains in place until year 8 and phased out by year 10.

Source: CRS, compiled from South Korean, EU, and U.S. Tariff Schedules.

a. The European Union 10% tariff would be phased out over three years for some passenger vehicles that fall into certain HTS codes like passenger vehicles with engines over 3,000 cc (HTS 8703.24) or five years for smaller cars: cars with engines over 1,000 cc, but not over 1,500 cc (HTS 8703.22). South Korea would also eliminate its tariffs over three to five years, depending on engine size.

b. Not all hybrid vehicles are covered by this category. Vehicles in this tariff classification are those in which the gas- or diesel-powered engine "does not give the vehicle's power system its essential character," which in the case of South Korea include electric vehicles (HSK 8703.90.70) and Other Vehicles (HSK 8703.90.90).

c. Tariffs on trucks apply to "motor vehicles for the transport of goods," which basically cover pickup trucks, panel vans, and commercial vehicles. Trucks are categorized by gross vehicles weight (GVW) and by engine type (gas or diesel) but not by engine size. Many light trucks (i.e., SUVs and minivans) are counted as passenger cars.

Duty Drawback

One of the more controversial provisions of the KOREU FTA is a duty drawback mechanism. Duty drawback allows an exporter to receive a rebate of any customs duties paid on imports that were integrated into the exported product. The KOREU FTA marks the first time the EU included such a provision in a bilateral or multilateral trading agreement.23

Duty drawback may be particularly important for automotive exports. Under this procedure, a South Korean car manufacturer could buy auto parts from manufacturers in low-cost countries such as China, import them into South Korea, and claim the duties back when the assembled vehicles are shipped to the European Union. As an example, Chinese radios could enter the EU duty-free as part of South Korean cars, whereas EU companies pay a 14% tariff when importing the same radios directly from China.

This duty drawback provision raises the question of whether the KOREU FTA will allow South Korean producers to relocate parts of their production chain to lower cost countries. European auto manufacturers have warned that the text could open the EU car market to autos with a significant percentage of Chinese components. The KOREU FTA includes a provision that could allow a Party to permanently cap refundable tariffs at 5% should there be a "notable increase" in foreign sourcing by South Korean manufacturers starting five years after the agreement goes into effect, but the European Automobile Manufacturers' Association has nonetheless strongly opposed the inclusion of the duty drawback provision in the KOREU FTA. No explicit reference to duty drawback is included in the KORUS FTA and therefore the practice with no accompanying safeguards will be allowed.

Safety and Environmental Automotive Standards

South Korea is a relatively small market for autos, with domestic sales of 1.2 million passenger cars in 2010.24 Foreign manufacturers wishing to sell in this market must meet South Korea's safety and environmental standards. This means foreign, including European and U.S., automakers must customize their vehicles for the South Korean market, which, these automakers claim, raises their costs and discourages imports. (Fewer than 61,000 foreign automobiles were sold in South Korea in 2009). U.S. car manufacturers, particularly Ford, consider South Korea's unique automobile standards a significant barrier to imports of U.S.-made cars to South Korea. Standards-related issues have been an important factor in holding up further consideration of the agreement in Congress.

EU negotiators also made automotive standards a priority in the negotiations on the KOREU FTA. NTB reforms on automotive trade include a regulatory convergence approach based on the United Nations Economic Commission for Europe (UNECE) standards,25 which commits South Korea to recognize as equivalents international automotive standards set upon implementation of the KOREU FTA.26 Another 29 safety standards related to such things as seat belts, passenger seats, headlamps, and rearview mirrors will be brought into line with UNECE standards over a five-year transitional period. All other standards not subject to harmonization or equivalence should be applied in a manner which does not limit market access. Any new standards would be based on UNECE standards, and going forward the KOREU FTA states new features and technologies should not hinder trade.27

The KORUS FTA takes a different approach and includes a "low volume seller exemption" which would allow each U.S. automaker to sell up to 25,000 vehicles per year in South Korea built to U.S. safety standards without any additional modification.28 This is four times the level permitted in the 2007 KORUS FTA, which would have limited each U.S. automaker to 6,500 vehicles per year. Raising the level means U.S. carmakers will be able to build more cars to U.S. safety standards and export these automobiles to the smaller South Korea market without incurring any additional costs that alterations and adjustments to South Korean standards would require.

The KOREU FTA, like the KORUS FTA, includes provisions on auto emissions standards and both would establish a working group on motor vehicles and parts to serve as an early warning system for potential trade barriers related to testing and certification standards and the implementation of future standards on requirements related to autos, particularly automotive environmental standards.

Other Manufactured Goods

Of particular interest to EU manufacturers (and to U.S. manufacturers) is the KOREU FTA's coverage of the following industries.

  • Pharmaceuticals and medical devices: Many of South Korea's tariffs on imports of pharmaceutical products of 8% are to be phased out immediately upon implementation of the KOREU FTA; others will be eliminated within three years. Tariffs on medical device exports will also be removed—immediately for many products, phased in over three years for others, and over a longer period of time for a few selected products. The two FTAs tackle NTBs, as they are among the most important barriers to trade in pharmaceutical products and medical devices. The KOREU FTA also specifically provides that the South Korean authorities will introduce new rules to align their practices with international standards and a more secure regulatory environment will be introduced through a better recognition of the value of innovative products. In addition, the KOREU FTA also introduces detailed binding rules on transparency regarding decisions on reimbursement, and stipulates the possibility that pricing decisions can be reviewed by a court. The KOREU FTA provisions on pharmaceuticals also require that decisions on reimbursement and pricing be objective and clear. The pending KORUS FTA also includes NTB provisions which, among other things, aim to improve transparency in the reimbursement process; put less complex regulatory policies in place; and ensure adequate enforcement of pharmaceutical patent rights to specifically protect proprietary data that manufacturers must submit for market approval. To further regulatory cooperation in the pharmaceutical and medical device sector, the KOREU FTA establishes a Working Group on Pharmaceutical Products and Medical Devices as would the KORUS FTA.
  • Consumer electronics: Included in the KOREU FTA is a special annex on non-tariff barriers related to consumer electronics with an objective of addressing technical barriers, especially a lack of recognition of international standards. The KOREU FTA permits EU exporters to conduct safety testing in the EU, under certain conditions, effectively reducing their costs and cutting back on bureaucratic hurdles. In contrast, the KORUS FTA does not include separate provisions on standards, testing, and certification specifically for consumer electronics exports from the United States to South Korea.
  • Textiles and apparel: Implementation of the KOREU FTA will result in the abolition of most tariffs on textiles and apparel, 92% of which will be eliminated immediately, with the others to be eliminated over five years. This is similar to the KORUS FTA. The KOREU FTA maintains the European Union's standard rules of origin with only a small number of exceptions. The KORUS FTA adopts a "yarn forward" rule, which means generally apparel using yarn and fabric from the United States and South Korea would qualify for preferential treatment. A special textile safeguard is included in the KORUS FTA, which will allow the United States to impose tariffs on certain goods should injury occur due to import surges.

Cross-Cutting Manufactured Goods Provisions

The KOREU and KORUS FTA contains provisions that apply primarily to trade in other manufactured goods. EU manufacturers currently pay tariffs on the overwhelming majority of all industrial products they export to South Korea, which applied an average most-favored-nation (MFN) tariff rate of 6.6% on non-agricultural goods in 2008.29 Tariffs are higher for appliances, pharmaceuticals, and textiles. Under the terms of the KOREU FTA, the EU agreed to eliminate all of its import tariffs on industrial goods within five years and South Korea would remove all of its tariffs within seven years. This would be faster than under the KORUS FTA, where the United States would eliminate virtually all of its industrial tariffs over 10 years.30

To further facilitate bilateral trade in manufactured goods, the KOREU and KORUS FTAs include provisions on cross-cutting non-tariff barriers in major industrial sectors. These provisions include

  • Technical barriers to trade: to ensure standards and regulations are not applied in manner that unnecessarily inhibits trade in their development and applications;
  • Customs administration and trade facilitation: to ensure compliance with each other's customs laws and regulations;
  • Rules of origin: to define goods that originate in the FTA region and therefore are eligible for preferential treatment (these are in addition to the special rules of origin for autos as discussed earlier);
  • Competition laws and regulations: to promote cooperation in enforcing antitrust laws through the exchange of information and consultation; and,
  • Regulatory transparency: by publishing relevant regulations and administrative decisions as well as proposed regulations; to allow persons from the other party to make comments and to ask questions regarding proposed regulations; to notify such persons of administrative proceedings and to allow them to make presentations before final administrative action is taken; and to allow such persons to request review and appeal of administrative decisions.

In addition, protocols are attached to the KOREU FTA agreement that affect manufactured goods trade. One protocol is on rules of origin, that is the criteria, such as allowable foreign (non-KOREU FTA) content, for determining a product's eligibility for preferential treatment under the FTA. The protocol also contains the duty drawback provision discussed earlier. A second protocol calls for the two Parties to work together in facilitating customs issues.

Agriculture

Under the KOREU FTA, the EU's agricultural sector is expected to realize export gains as South Korea implements its commitments to open up its market. This trade agreement acknowledges South Korea's sensitivity on some agricultural products—reflected in provisions that require some opening—but indefinitely leave in place a few quotas and some high tariffs. Rice and rice products are excluded from coverage, as they also are in the KORUS FTA. Since the EU imports little in agricultural products from South Korea, those provisions are not discussed below.

Market Access for Agricultural Products

In 2009, EU agricultural exports to South Korea ($1.4 billion) accounted for almost 5% of total EU merchandise exports to that country. The leading five agricultural/food products shipped—pork, whiskies, corn, wine, and other vegetable fat and oil—accounted for 48.8% of the value of the EU's agricultural exports to the Korean market. In 2009, the EU-27 ranked fourth as the source of Korea's agricultural imports, while the United States placed first.

The KOREU FTA will reduce South Korea's high tariffs and restrictive quotas on most agricultural imports from the EU over a 20-year period. More than two thirds of these products (in value terms) that now enter the Korean market will benefit from free access by year five following its implementation as tariffs are eliminated and quotas increase. However, EU exporters will receive immediate duty-free status for almost 30% ($430 million) of the agricultural exports they currently ship to South Korea. For comparison, under the KORUS FTA, U.S. exporters will immediately benefit from duty-free access for 62% (almost $2.7 billion) of their agricultural products shipped to Korea.31

The KOREU FTA includes tariff reduction schedules and quota expansion provisions for agricultural products that are nearly similar to those found in the KORUS FTA. However, both agreements differ slightly in how South Korea will be allowed to protect some of its more sensitive products. Because the EU is a smaller supplier of several such products compared to the United States, the size of many of the EU's preferential quotas in the Korean market may reflect this fact. For example, in year five, the EU's quota for natural honey will be 54 metric tons (MT), compared to the 225 MT quota granted to the United States. Further, South Korea's quotas for imports of three dairy products (non-fat dry milk, whole dry milk, and evaporated milk), natural honey, and seasonal oranges from the EU-27 will be indefinitely capped at the end of their respective transition periods. However, the size of the preferential quotas granted to the United States for these three same product categories will continue to increase 3% annually in perpetuity. Similarly, South Korea secured protection against import surges of nine agricultural products from the EU (compared to 30 products under the KORUS FTA). A "safeguard" will be automatically triggered when the quantity of a commodity entering the South Korean market exceeds a specified amount. When triggered, tariffs will temporarily revert to a higher level to give producers additional time to adjust to increased import competition.

Though EU agricultural exports to South Korea are a small share of its total, observers note that the elimination of tariffs will particularly facilitate additional exports of pork products, wine, spirits, and processed foods. EU agricultural exporters will also benefit from the substantial savings associated with tariff reductions. Most acknowledge, though, that the KORUS FTA will have a more significant impact on agricultural exports to South Korea than is expected under the KOREU FTA.32

Sanitary and Phytosanitary Commitments

The KOREU FTA's sanitary and phytosanitary (SPS) chapter details the commitments and the process both countries would follow to address human, animal, and plant health issues that may arise in bilateral trade of agricultural products. It identifies those issue areas that will receive special attention (i.e., animal welfare standards, designation of pest- or disease-free areas and areas of low pest or disease prevalence). The KOREU FTA establishes a SPS committee to facilitate consultations on, and resolve, bilateral SPS problems as they arise, as will the KORUS FTA. While the KOREU FTA emphasizes this committee's responsibilities to implement commitments on the issue areas identified, the focus of the committee to be created under the KORUS FTA emphasizes the use of science and risk-based assessment to resolve SPS matters through bilateral technical cooperation and consultation. Both agreements prescribe that dispute settlement provisions cannot be used as recourse to address any SPS issue that might arise in bilateral trade.

Geographical Indications for Agricultural Products

The KOREU FTA has more expansive provisions on geographic indications (GIs) than does the KORUS FTA. GIs (similar to a trademark) refer to marks that "identify a good as originating in the territory of a country, or a region or locality in that territory, where a given quality, reputation or other characteristic of the good is essentially attributable to its geographical origin."33 The use of GIs applies primarily to wines, spirits, and agricultural products. For example, "Rocquefort" cheese from France is an EU-designated GI.

Because GIs are commercially valuable in international trade, the EU in negotiating its bilateral trade agreements sought to secure additional protection for its GI-designated agricultural and beverage products in FTA partner country markets beyond what multilateral trading rules currently provide. This means that GI-designated products are eligible for relief from acts of infringement and/or unfair competition under a country's trademark laws and regulations. Reflecting this objective, the EU in its FTA with South Korea secured protection for 162 GI-designated products (e.g., wines, spirits, cheeses, hams, and beers). South Korea secured GI recognition in the EU market for 64 of its GI-designated products (teas, spices, vegetables, rices, fruits, meats, among others). The U.S. dairy sector expressed concern that the GI-designation of various EU cheeses in the South Korean market could undercut the sale of U.S. generically labeled cheeses in that market with identical names. Accordingly, Members of Congress have urged the USTR to work with their counterparts to ensure that South Korean regulations drafted to implement the KOREU FTA do not impair the dairy market access concessions that the United States would receive under the KORUS FTA.

Services Trade

The EU made increased market access to the South Korean market for services a high priority, given the relative competitiveness of EU-based services providers and the openness of EU markets going into the negotiations compared to South Korean providers and markets. As WTO members, the EU-27 and South Korea adhere to and have made commitments under the WTO's General Agreement on Trade in Services (GATS).34 However, competitive services providers, especially from the EU and the United States, view the GATS, that resulted from the Uruguay Round negotiations, as just a first step in establishing a multilateral framework on trade in services. As a result, its trade liberalizing commitments are far below what many WTO members consider necessary to effectively reduce barriers to trade in services. The KOREU FTA expands the commitments that the EU members and South Korea have made under the GATS.

KOREU FTA addresses the overall rules for EU-South Korea trade in services, such as allowing for the establishment of a commercial presence by a service provider from one Party to the agreement through investment in the other Party, reaffirming rules established in the multilateral GATS. The KOREU FTA establishes the basic principles by which the two Parties would conduct bilateral trade in services covered by the agreement. These principles include non-discriminatory treatment—both most-favored-nation treatment and national treatment and market access which proscribes government restrictions on trade in covered services but allows for exceptions for government restrictions for prudential objectives. Among other things, the chapter also calls for transparency in establishing regulations on services.

The KOREU FTA uses the "positive list approach" rather than the "negative list approach," in laying out the schedule of these commitments. The positive list requires each Party to specifically identify the types of services for which it will provide national treatment and market access to providers from the other Party.35 By contrast, the KORUS FTA uses the negative list.

Notwithstanding the "positive list," the EU-Korea FTA covers a broad range of services, including transportation services, telecommunications, finance, legal services, environmental services and construction, and largely mirrors coverage found in the KORUS FTA.36 South Korea obtained increased access to EU markets for architecture, engineering, urban planning, landscaping, printing and publishing, telecommunication, construction, finance, and transportation services. However, the KOREU FTA does not open markets for audiovisual services.37

Because South Korea's services market is much more restricted that the EU's, the EU had particular interest in obtaining increased market access in South Korea for its legal, financial, retail, transportation, and telecommunications services. In general, South Korea agreed to provide similar access for its markets for EU providers as would be given to U.S. providers under the KORUS FTA. According to the European Commission, the KOREU FTA provides the most comprehensive treatment of services trade of any EU FTA.38

For example, in the area of legal services, an EU priority during the negotiations was to secure South Korea's commitment to allow EU firms to increase their onsite presence. In that regard, by the date the agreement enters into force, EU-based law firms have been permitted to open representative offices in South Korea to advise foreign investors and local clients on non-Korean law. No later than two years after that effective date, EU law firms' representative offices will be able to enter into cooperative agreements with Korean law firms, and no later than five years after that date, they will be permitted to form joint ventures with Korean firms. The KORUS FTA contains similar provisions for U.S. law firms.

In the area of telecommunication services, under the KOREU FTA, South Korea will allow a deemed foreign person owned or controlled by EU telecommunications providers to own 100% of the voting shares of Korean-based providers of facility-based public telecommunications services, except for the KT Corporation and SK Telecom Co., Ltd., for which the share of ownership will be limited to 49% or less. Under the KORUS FTA, U.S. telecommunications firms will have similar access to ownership. In addition, under the KOREU FTA, South Korea will allow EU satellite television providers' cross-border supply of television and radio signals transmission services without the need to have a business tie with a domestic telecom company. The EU views this as an important benefit to EU providers.39 The KORUS FTA does not appear to mention such operations; so it is not clear if U.S. satellite broadcasters will have similar access.

In general, the EU and South Korea agreed to provide access to their respective financial markets as the United States and South Korea agreed to under the KORUS FTA. Because of the positive list approach, EU commitments in services are member-specific, so not all of the 27 members may have committed to any specific trade liberalization measure. In insurance, 21 of the EU 27 countries and South Korea agreed to open up their respective markets for direct insurance in maritime shipping, commercial aviation, and space launching and in insurance for the international transport of goods. South Korea and some EU members will also open their markets for risk management services. In banking and other financial services, South Korea and 20 of the 27 EU members will allow financial institutions from each others' territories to provide and transfer financial information and data across their borders and to provide advisory and other auxiliary services. While the KOREU FTA appears to be cautious regarding financial services liberalization in some respects, it appears to be forward looking in other respects. For example, its provisions will apply to all financial services including new financial services.

The KORUS FTA handles financial services somewhat differently. It distinguishes two broad categories of delivery of services. One category is services sold by a service provider located in one FTA partner country to residents in the other partner country through an affiliate located in the territory of the latter partner country (commercial presence). The second category is services sold by a provider located in one partner country to a national of the other partner country no matter the location of that national (cross-border trade).

In the case of providers with a commercial presence, the KORUS FTA applies to all financial services. As with the KOREU FTA, it would also automatically cover any new financial service. In the case of cross-border trade, the KORUS FTA coverage is limited to those banking and insurance services listed in the agreement.40 It is not clear whether the difference in approaches between these two FTAs yields different levels of trade liberalization.

Other Provisions

Trade Remedies

The trade remedy provisions in the KOREU FTA (anti-dumping, countervailing duty, and safeguard measures) closely resemble those in the KORUS FTA. Among other things, they include

  • special bilateral safeguard provisions allowing either Party to either suspend phase-out of tariff rates or increase customs duties on an import of a product from the other Party, if surges in imports of that product cause or threaten to cause serious injury to the domestic industry;
  • special safeguard measures to counter the adverse effects of imports surges of specified agricultural products;
  • special notification to one Party of a global safeguard measure imposed by the other Party, if the former would be one of the top five suppliers of the product in question; and
  • a commitment by both sides to abide by WTO agreements on antidumping and countervailing duty measures when imposing those measures.

Government Procurement

The Government Procurement Agreement (GPA) is a WTO plurilateral pact that applies to only those WTO members that are signatories. Under the GPA, government contracts for goods and services to be used for public purposes are opened up to bids from providers from other signatory countries. The GPA applies to contracts valued above a specified threshold and to contracts let by those agencies that each signatory country lists in its schedule of commitments. The EU, South Korea, and the United States are GPA signatories. Under the KOREU FTA, both sides reaffirm their commitments to open up government procurement contracts to bidding by foreign providers under the GPA. Under the KOREU FTA (and the KORUS FTA) South Korea will apply the trade liberalization provisions to a larger number of public agencies than required under the GPA. Under the KORUS FTA, the United States and South Korea will lower the thresholds beyond those established under the GPA for eligibility of contracts for goods and services, thus potentially opening up more government procurement opportunities to bilateral trade. The EU-Korea FTA will adhere to the GPA thresholds. The KOREU FTA includes a special section that opens up build-operate-transfer (BOT) and public works contracts valued above 15 million SDRs (or about $22.5 million).41 The EU considers this provision to be an important contribution of the agreement because these contracts are not covered by the WTO GPA.42 The KORUS FTA states that BOT contracts are one of the contractual means for procurement covered by the agreement.

Intellectual Property Rights

The KOREU FTA reaffirms each of the EU and South Korean commitments to uphold the provisions of the WTO Trade-Related Intellectual Property (TRIPS) agreement as well as other international conventions on the protection of owners of intellectual property (IP)—copyrights, trademarks, and patents. While at one time an issue, South Korea protection of IP has improved to the point it is not an issue, at least in U.S.-South Korean trade relations. The agreement also contains provisions to assist owners to obtain payment for the use of their IP and expands on protection of the rights of designers. The agreement extends authors' rights to 70 years after the death of the author, the same as under the KORUS FTA. As mentioned in the discussion on agriculture, the KOREU FTA commits both sides to preserve the integrity of certain geographical indications (GIs), an issue important to EU producers of food products for which they want to emphasize the origin of the region in which those products are produced.

Trade and Sustainable Development—Labor and Environmental Standards

The KOREU FTA combines provisions on workers' rights and on environmental standards into one chapter devoted to trade and sustainable development, unlike the KORUS FTA, which handles them separately. Similar to provisions in the KORUS FTA, the KOREU FTA commits both sides to uphold International Labor Organization (ILO) core labor standards as well as make continued and sustained efforts to ratify all ILO conventions that go beyond the core labor standards.43

Under the KOREU FTA, both sides also agree to uphold and effectively implement all multilateral environment agreements to which they are a party. In addition, the EU and South Korea commit to not lowering enforcement of labor standards or environmental standards in a way that would affect trade or investment between them. The two sides are also to set up advisory groups to monitor the implementation of workers rights and environmental provisions and to set up a panel of independent experts to resolve issues that arise during implementation. In this respect, the treatment of labor rights and environmental issues under the KOREU FTA is similar to that under the KORUS FTA. However, the KORUS FTA provides for disputes under the labor and environmental chapter to be resolved through the agreement's dispute settlement mechanism, and thus the possibility of sanctions, if consultations do not resolve the dispute. In contrast, the KOREU FTA states that disputes can only be resolved through consultations and does not provide for any sanctions.

Potential Economic Impact of the KOREU FTA

Most of the studies done on the impact of the KOREU FTA estimate that the agreement will have a small but positive affect on the economies of the EU and South Korea as a whole and that the larger relative impact would be on the South Korean economy. This conclusion logically follows from the fact that the South Korean economy is much smaller than the EU, more dependent on the EU market than is the opposite case, and has higher trade barriers than the EU; therefore, the effects of trade liberalization under the KOREU FTA would be greater in relative terms for South Korea. However, in both cases, the impact of the agreement on the overall economy on both sides will be small, reflecting the larger role played by other countries in their trade and also the larger impact that other economic activities—domestic consumption, government spending, and business investment—have in their economies.

Most studies indicate that South Korea's GDP will increase 1%-2% after the KOREU FTA is implemented, while the EU GDP will increase less than 0.05%.44 Studies regarding the impact of the KORUS FTA on the United States and South Korea yielded comparable magnitudes, an expected result given the similarities in the size and comparable levels of development of the EU and the United States and the similarities in the KOREU FTA and the KORUS FTA.45

As with most other FTAs, the greatest economic impact of the KOREU FTA will be on specific sectors in each economy. Those having a comparative advantage vis-a-vis those in their other country are most likely to experience the greatest benefits while import-sensitive sectors will experience the least gains, if not losses, when the agreement is implemented. EU services providers will be expected to experience gains from the agreement, especially in the areas of retail and wholesale trade; transportation services; financial services; and business services.46 This conclusion follows from the fact that EU service providers are among the world's most competitive and EU markets the most open, while the South Korean services market is relatively closed. In terms of trade in goods, EU exporters of pharmaceuticals, auto parts, industrial machinery, electronics parts, and some agricultural goods and processed foods will be expected to gain from the KOREU FTA's implementation. At the same time, South Korean producers of cars, ships, wireless telecommunications devices, chemical products, and imaging equipment will be expected to increase their exports to the EU market.47

Appendix. Selected Economic Indicators, Tariff, and Trade Tables

Table A-1. Selected Economic and Tariff Indicators for European Union, United States, and South Korea, 2009

 

European Union

United States

South Korea

Population in millions (July 2010 estimate)

492

310

49

 

 

 

 

GDP - Purchasing Power Parity in trillions of U.S. $ (2009)

$14.43

$14.14

$1.36

GDP - Real Growth Rate in percent (2009 est.)

-4.1%

-2.6%

0.2%

GDP - Per Capita (PPP) in U.S. $ (2009 est.)

$32,500

$46,000

$28,100

MFN Average Applied Tariffs, 2009a (percent)

All Goods

5.3%

3.5%

12.1%

Agricultural Goods

13.5%

4.7%

48.6%

Non-Agricultural Goods

4.0%

3.3%

6.6%

Sources: CIA, The World Factbook, as updated November 9, 2010; WTO, Country Profiles, October 2010.

a. Simple average of import duties

Table A-2. EU and U.S. Trade with South Korea, 2009

 

European
Union

United States

TOTAL MERCHANDISE TRADE

billion US $

Exports to South Korea

$29.9

$28.6

Imports from South Korea

$44.9

$39.2

Trade Balance

-$15.0

-$10.6

 

 

 

TRADE BY SELECTED SECTORS

million US $

Automobiles

 

 

Exports to South Korea

2,037

388

Imports from South Korea

7,185

4,665

Agriculture

 

 

Exports to South Korea

1,405

3,961

Imports from South Korea

85

324

Machinery; Reactors, Boilers

 

 

Exports to South Korea

6,740

4,417

Imports from South Korea

5,193

8,546

Pharmaceuticals

 

 

Exports to South Korea

1,321

501

Imports from South Korea

38

96

Medical Devices

 

 

Exports to South Korea

839

859

Imports from South Korea

634

328

Textiles & Apparel

 

 

Exports to South Korea

611

210

Imports from South Korea

800

934

Sources: Global Trade Atlas; World Trade Organization.

Table A-3. EU FTAs Since 2006

Partner

Status

ASEANa

Negotiations begun in June 2007 but suspended.

Bosnia-Herzegovina

Agreement in force

Canada

Negotiations ongoing

CARIFORUM Statesb

Agreement pending ratification

Central America (Costa Rica, El Salvador, Guatemala, Honduras, Nicaragua, and Panama)

Negotiations concluded

Colombia and Peru

Negotiations ongoing

GCC (Gulf Cooperation Councilc)

Negotiations suspended

India

Negotiations ongoing

Malaysia

Negotiations ongoing

MERCOSURd

Negotiations ongoing

Montenegro

Agreement in force

South Korea

Agreement signed

Serbia

Agreement in force

Singapore

Negotiations ongoing

Ukraine

Negotiations ongoing

Vietnam

Negotiations ongoing

South Africa

Negotiations ongoing

Note: The EU has established a network of various preferential trade arrangements besides FTAs. For more information see CRS Report R41143, Europe's Preferential Trade Agreements: Status, Content, and Implications, by [author name scrubbed].

a. The Association of Southeast Asian Nations' 10 members are Brunei Darussalam, Cambodia, Indonesia, Laos, Malaysia, Myanmar, The Philippines, Singapore, Thailand, and Vietnam.

b. The CARIFORUM states are Antigua and Barbuda, Bahamas, Barbados, Belize, Dominica, the Dominican Republic, Grenada, Guyana, Haiti, Jamaica, Saint Lucia, Saint Vincent and the Grenadines, Saint Christopher and Nevis, Suriname, and Trinidad and Tobago.

c. The Gulf Cooperation Council consists of Saudi Arabia, Kuwait, Bahrain, Qatar, the United Arab Emirates, and Oman.

d. Mercosur is the Common Market of the South established by Brazil, Argentina, Uruguay, and Paraguay.

Table A-4. South Korea's FTAs

FTAs in effect

Korea-Chile FTA

Korea-ASEAN FTAa

Korea-Singapore FTA

Korea-India Comprehensive Economic Partnership Agreement (CEPA)

Korea-EFTA FTAb

 

Concluded FTAs

Korea-U.S. FTA

Korea-Peru FTA

Korea-EU FTA

 

FTAs under negotiation

Korea-Canada FTA

Korea-New Zealand FTA

Korea-Mexico FTA

Korea-Colombia FTA

Korea-GCCc FTA

Korea-Turkey FTA

Korea-Australia FTA

 

FTAs under consideration

Korea-Japan FTA

Korea-Russia Bilateral Economic Partnership Agreement (BEPA)

Korea-China FTA

Korea-Israel FTA

Korea-China-Japan FTA

Korea-SACU FTAd

Korea-MERCOSUR FTAe

 

Source: South Korea Ministry of Foreign Affairs and Trade.

a. The Association of Southeast Asian Nations' 10 members are Brunei Darussalam, Cambodia, Indonesia, Laos, Malaysia, Myanmar, The Philippines, Singapore, Thailand, and Vietnam.

b. EFTA is comprised of Iceland, Norway, Switzerland, and Liechtenstein.

c. The Gulf Cooperation Council consists of Saudi Arabia, Kuwait, Bahrain, Qatar, the United Arab Emirates, and Oman.

d. The five members of the Southern African Customs Union are Botswana, Lesotho, Namibia, South Africa, and Swaziland.

e. Mercosur is the Common Market of the South established by Brazil, Argentina, Uruguay, and Paraguay.

Footnotes

1.

The 27 member states of the EU are Austria, Belgium, Bulgaria, Cyprus, the Czech Republic, Denmark, Estonia, Finland, France, Germany, Greece, Hungary, Ireland, Italy, Latvia, Lithuania, Luxembourg, Malta, the Netherlands, Poland, Portugal, Romania, Slovakia, Slovenia, Spain, Sweden, and the United Kingdom.

2.

However, South Korea has bilateral investment treaties with 20 EU member states: Austria, Belgium, Czech Republic, Denmark, Finland, France, Germany, Greece, Hungary, Italy, Latvia, Lithuania, Netherlands, Poland, Portugal, Romania, Slovakia, Spain, Sweden, and the United Kingdom.

3.

Duty drawback permits the refund of duties paid on parts used for the production of a final product to be refunded when the final product is exported.

4.

The report supplements other CRS reports on the KORUS FTA, including CRS Report RL34330, The Proposed U.S.-South Korea Free Trade Agreement (KORUS FTA): Provisions and Implications, coordinated by [author name scrubbed], CRS Report R41389, Pending U.S. and EU Free Trade Agreements with South Korea: Possible Implications for Automobile and Other Manufacturing Industries, by [author name scrubbed], and CRS Report RL34528, U.S.-South Korea Beef Dispute: Issues and Status, by [author name scrubbed] and [author name scrubbed]. See also CRS Report R41544, Trade Promotion Authority and the U.S.-South Korea Free Trade Agreement, by [author name scrubbed].

5.

In contrast to the 19th and early 20th centuries, when European colonial powers were formative influences in Northeast Asia, the EU and its members currently play somewhat secondary or tertiary roles in security issues on the Korean Peninsula and in East Asia. For instance, the EU is not a participant in the Six-Party Talks over North Korea's nuclear programs. However, it has supported the process diplomatically and financially. During the Korean War, 10 European countries contributed to the United Nations' military forces that were deployed to assist South Korea.

6.

The data were obtained from Eurostat.

7.

Intra-industry trade is the export and import of the same products or similar products within one industry. The products are distinguished by model, style, price, or other factors or by their place in the production process, for example, auto parts versus a fully assembled car. For more information on intra-industry trade and global supply chains see CRS Report R40167, Globalized Supply Chains and U.S. Policy, by [author name scrubbed].

8.

CRS calculations based on data found in European Commission, DG Trade, Bilateral Trade with South Korea, September 15, 2010.

9.

The data were obtained from Eurostat and values were converted into dollars using prevailing exchange rates during the relevant years.

10.

WTO, International Trade Statistics, 2010, p.123-158.

11.

CRS calculations based on Eurostat data.

12.

CRS calculations based on official South Korean data as reported to the OECD.

13.

For an analysis of the European Union's FTAs in the context of its trade strategy, see CRS Report R41143, Europe's Preferential Trade Agreements: Status, Content, and Implications, by [author name scrubbed].

14.

European Commission Directorate-General for Trade, Global Europe: Competing in the World, 2006, pp. 10-11.

15.

CRS Report R41143, Europe's Preferential Trade Agreements: Status, Content, and Implications.

16.

In addition to completing FTA negotiations with the EU and United States, South Korea has entered into FTAs with Chile, Singapore, European Free Trade Area (EFTA), the Association of Southeast Asian Nations (ASEAN), and India and has just concluded an agreement with Peru. ASEAN is comprised of Brunei, Cambodia, Indonesia, Laos, Malaysia, Myanmar (Burma), Philippines, Singapore, Thailand, and Vietnam. South Korea continues to negotiate FTAs with Canada, Mexico, Australia, New Zealand, Peru, Colombia, and Turkey and is considering FTA negotiations with China, Japan, (as well as a South Korea-China-Japan trilateral arrangement), MERCOSUR, Russia, Israel, and the South African Customs Union (SACU).

17.

Office of the [South Korean] President, Global Korea. The National Security Strategy of the Republic of Korea, June 2009, p.29; South Korean Ministry of Foreign Affairs and Trade, "Building [sic] Global FTA Network," in 2009 Diplomatic White Paper.

18.

For more details about the South Korean automotive market see CRS Report R41389, Pending U.S. and EU Free Trade Agreements with South Korea: Possible Implications for Automobile and Other Manufacturing Industries, by [author name scrubbed].

19.

White House, Increasing U.S. Auto Exports and Growing U.S. Auto Jobs Through the U.S.-Korea Trade Agreement, December 3, 2010, http://www.whitehouse.gov/sites/default/files/fact_sheet_increasing_us_auto_exports_us_korea_free_trade_agreement.pdf.

20.

For finished automobiles and light trucks, the three options are: 35% under net cost, 35% under the adjusted value/build-up, and 55% under the adjusted value-build-down. Rules of origin provisions are found in Chapter 6-A of the proposed KORUS FTA agreement.

21.

Free Trade Agreement Between the European Union and its Member States, of the One Part, and the Republic of Korea, of the Other Part (KOREU FTA), Section A, Rules of Origin.

22.

For more information on rules of origin see CRS Report R41868, The Proposed U.S.-South Korea Free Trade Agreement (KORUS FTA): Automobile Rules of Origin, by [author name scrubbed] and [author name scrubbed].

23.

The mechanics of the KOREU FTA duty drawback provision are covered in Protocol 1: Rules of Origin, Title IV, Article 14: Drawback of, or Exemption From, Customs Duties in the KOREU FTA, which can be found on the European Commission's website, EU-Korea Free Trade Agreement online, http://trade.ec.europa.eu/doclib/press/index.cfm?id=443&serie=273&langId=en.

24.

Korea Automobile Manufacturers Association, Reports & Statistics, http://www.kama.or.kr/eng/R&s/Rsoften_e?key=Production.

25.

The World Forum for the Harmonization of Vehicle Regulations is a working party (WP.29) of the United Nations Economic Commission for Europe. Its aims to develop harmonized motor vehicle regulations worldwide covering vehicle safety, environmental standards, energy efficiency and anti-theft performance. Neither the United States nor Canada recognizes UNECE motor vehicle standards.

26.

The automotive standards are listed in Appendix 2-C-3 and cover such things as steering control, seating systems, head restraints, sun visor impact, and lighting and signaling systems, see http://trade.ec.europa.eu/doclib/docs/2009/october/tradoc_145157.pdf.

27.

European Commission, DG Trade, EU-Korea FTA: A Quick Reading Guide, October 20, 2009, p. 3. http://trade.ec.europa.eu/doclib/docs/2009/october/tradoc_145203.pdf.

28.

White House, Increasing U.S. Auto Exports and Growing U.S. Auto Jobs Through the U.S.-Korea Trade Agreement, December 5, 2010, http://www.whitehouse.gov/sites/default/files/fact_sheet_increasing_us_auto_exports_us_korea_free_trade_agreement_v2_0.pdf.

29.

World Trade Organization, World Tariff Profiles 2009, Republic of Korea, p. 102. http://www.intracen.org/marketanalysis/Docs/Tariff_Profiles/Tariff_Profiles_09_ENG_LR.pdf.

30.

Lee Jong-Kyu, Korea-EU FTA: Major Features and Implications, Samsung Economic Research Institute, August 2009, p. 8.

31.

These figures are derived by CRS by applying Korea's tariff reduction schedule commitments made in each trade agreement against EU and U.S. agricultural exports in calendar year 2009.

32.

European Parliament, "An Assessment of the EU-Korea FTA," July 2010, pp. 15, 23.

33.

Uruguay Round Agreement on Trade-Related Aspects of Intellectual Property Rights (TRIPS), Article 22.1.

34.

The GATS is the WTO multilateral trade agreement that establishes rules of the road for trade in services as the General Agreement on Tariffs and Trade does for trade in goods. Under the GATS rules, each WTO member has made sector-specific commitments to liberalize trade in services.

35.

The "negative list" approach requires each Party to list only those types of services for which it is not prepared to provide national treatment and market access. In addition, under the negative list approach new types of services that are developed after the trade agreement enters into force, are considered part of the trade liberalizing schedule of commitments unless otherwise identified. On balance, the negative list is considered to be the more trade liberalizing approach. It is also the approach that the United States has employed in its FTAs, including the proposed KORUS FTA. WTO members employ the positive list in the GATS.

36.

Lee, Jong-Kyu. KOREA-EU FTA: Major Features and Implications. Samsung Economic Research Institute, August 2009, p. 10.

37.

Ibid.

38.

European Commission, DG Trade, EU-Korea FTA: A Quick Reading Guide, October 20, 2009, p.7.

39.

European Parliament, Directorate-General for External Policies, Policy Department, An Assessment of the EU-Korea FTA, July 2010, p. 75.

40.

Regarding insurance, the FTA's coverage would be limited to cross-border trade in marine, aviation, and transit insurance; reinsurance; services auxiliary to insurance, such as consultancy, risk assessment, and actuarial and claim settlement services; and insurance intermediation services such as brokerage and agency services. Regarding banking and securities, the agreement's coverage in cross-border trade would be limited to providing financial information and data processing, advisory, and other auxiliary financial services.

41.

In the agreement, a BOT contract is defined as "any contractual arrangement the primary purpose of which is to provide for the construction or rehabilitation of physical infrastructure, plant, buildings, facilities, or other government-owned works and under which, as consideration for a supplier's execution of a contractual arrangement, a procuring entity grants to the supplier, for a specified period of time, temporary ownership or a right to control and operate, and demand payment for the use of, such works for the duration of the contract."

42.

Europa, EU-Korea Free Trade Agreement: 10 Key Benefits for the European Union.Memo/10/423, http://www.europa.eu.

43.

To many outside observers, South Korea's labor rights regime is generally considered to be strong for regular workers. South Korea ranks in the top third of the OECD's 30 members in terms of employment protection for regular workers. Indeed, for years, a major complaint by multinational corporations is that restrictions in the South Korean labor market, such as mandatory severance pay, significantly raise the cost of investing and doing business in Korea.

44.

European Parliament, Directorate-General for External Policies, Policy Department, An Assessment of the EU-Korea FTA, July 2010, p. 23.

45.

A study by the U.S. International Trade Commission estimates that U.S. GDP would increase approximately 0.1% and a study by the Korea Institute for International Economic Policy estimates that South Korean GDP would increase 0.42% to 0.59% if and when the KORUS FTA is fully implemented. These estimates are discussed in CRS Report RL34330, The Proposed U.S.-South Korea Free Trade Agreement (KORUS FTA): Provisions and Implications, coordinated by [author name scrubbed].

46.

European Parliament, Directorate-General for External Policies, Policy Department, An Assessment of the EU-Korea FTA, July 2010, pp. 23-24.

47.

Ibid.