Current Affairs

May 6, 2020

The Mattress Petitioners

Mattress Petitioners Applaud Reversal by U.S. Department of Justice in Trade Dispute


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The Mattress Petitioners

May 04, 2020, 09:00 ET

 

 

 

 

 

 

 

 

 

 

 

 

WASHINGTON, May 4, 2020 /PRNewswire/ — A group of American mattress manufacturers and their workers applaud the U.S. Department of Justice’s decisive action to withdraw a statement of interest made in the U.S. International Trade Commission’s investigation concerning the impact of dumped and subsidized mattress imports on the American mattress industry.

In late April, the Competition Policy and Advocacy Section filed a non-party statement of interest on the ITC’s docket.  Two days later, the International Sleep Products Association, the industry association that includes companies on both sides of the ITC investigation, filed a detailed response that noted the lack of any factual basis for that statement.  Within a week, DOJ has now withdrawn the statement.

“The statement of interest was not based on facts or any established process for gathering those facts,” said Yohai Baisburd, counsel to the Mattress Petitioners.  “We were confident, however, that once DOJ became aware of the substantial unutilized capacity of the domestic industry to produce mattresses and the thousands of mattresses the industry continues to provide to hospitals and nursing homes across the country during the COVID-19 pandemic, the statement of interest would either be modified or withdrawn. We are grateful that DOJ leadership chose to quickly research the facts and withdraw the statement.”

“The truth is, every day, American companies and workers are being injured by unfair trade practices,” said Baisburd.  “Congress has given U.S. industries and workers the tools to address these unfair trade practices and the criteria the International Trade Commission must apply.  Why they initially sought to inject themselves in a Congressionally mandated process designed to ensure fair competition for American workers and American companies is a mystery. It is heartening that senior leadership at Justice took immediate decisive action to withdraw the statement.”

Since 2017, more than 40 American mattress manufacturers have been forced to close their doors due to massive increases in the volume of unfairly traded imports – negatively impacting thousands of American workers across the entire country. Those thousands of American workers were thrown out of work by unfair trade practices, and the surviving mattress manufacturers have been forced to cut hours and wages for remaining workers.

“During these times of substantial injury by reason of imports, the domestic industry mobilized immediately and are fighting on the front lines of this war against an invisible enemy,” said Baisburd.  He continued, “It really is a testament to the strength of the America spirit that these companies and workers can be meeting this challenge head-on while also petitioning for fair trade in the face of surging unfairly traded imports.”

The Mattress Petitioners, a group of American companies and unions who petitioned the ITC and Commerce Department to investigate these unfairly traded import practices, is requesting that Commerce and the ITC use a Congressionally mandated process to independently investigate whether unfair trade exists and is materially injuring U.S. producers and American workers. The Mattress Petitioners include Brooklyn Bedding, Corsicana Mattress Company, Elite Comfort Solutions, FXI, Inc., Innocor, Inc., Kolcraft Enterprises Inc., and Leggett & Platt, Incorporated, as well as the International Brotherhood of Teamsters and the United Steel, Paper and Forestry, Rubber, Manufacturing, Energy, Allied Industrial and Service Workers International Union, AFL-CIO.

https://www.prnewswire.com/news-releases/mattress-petitioners-applaud-reversal-by-us-department-of-justice-in-trade-dispute-301051424.html

May 6, 2020

The Mattress Petitioners

Mattress Petitioners Applaud Reversal by U.S. Department of Justice in Trade Dispute


News provided by

The Mattress Petitioners

May 04, 2020, 09:00 ET

 

 

 

 

 

 

 

 

 

 

 

 

WASHINGTON, May 4, 2020 /PRNewswire/ — A group of American mattress manufacturers and their workers applaud the U.S. Department of Justice’s decisive action to withdraw a statement of interest made in the U.S. International Trade Commission’s investigation concerning the impact of dumped and subsidized mattress imports on the American mattress industry.

In late April, the Competition Policy and Advocacy Section filed a non-party statement of interest on the ITC’s docket.  Two days later, the International Sleep Products Association, the industry association that includes companies on both sides of the ITC investigation, filed a detailed response that noted the lack of any factual basis for that statement.  Within a week, DOJ has now withdrawn the statement.

“The statement of interest was not based on facts or any established process for gathering those facts,” said Yohai Baisburd, counsel to the Mattress Petitioners.  “We were confident, however, that once DOJ became aware of the substantial unutilized capacity of the domestic industry to produce mattresses and the thousands of mattresses the industry continues to provide to hospitals and nursing homes across the country during the COVID-19 pandemic, the statement of interest would either be modified or withdrawn. We are grateful that DOJ leadership chose to quickly research the facts and withdraw the statement.”

“The truth is, every day, American companies and workers are being injured by unfair trade practices,” said Baisburd.  “Congress has given U.S. industries and workers the tools to address these unfair trade practices and the criteria the International Trade Commission must apply.  Why they initially sought to inject themselves in a Congressionally mandated process designed to ensure fair competition for American workers and American companies is a mystery. It is heartening that senior leadership at Justice took immediate decisive action to withdraw the statement.”

Since 2017, more than 40 American mattress manufacturers have been forced to close their doors due to massive increases in the volume of unfairly traded imports – negatively impacting thousands of American workers across the entire country. Those thousands of American workers were thrown out of work by unfair trade practices, and the surviving mattress manufacturers have been forced to cut hours and wages for remaining workers.

“During these times of substantial injury by reason of imports, the domestic industry mobilized immediately and are fighting on the front lines of this war against an invisible enemy,” said Baisburd.  He continued, “It really is a testament to the strength of the America spirit that these companies and workers can be meeting this challenge head-on while also petitioning for fair trade in the face of surging unfairly traded imports.”

The Mattress Petitioners, a group of American companies and unions who petitioned the ITC and Commerce Department to investigate these unfairly traded import practices, is requesting that Commerce and the ITC use a Congressionally mandated process to independently investigate whether unfair trade exists and is materially injuring U.S. producers and American workers. The Mattress Petitioners include Brooklyn Bedding, Corsicana Mattress Company, Elite Comfort Solutions, FXI, Inc., Innocor, Inc., Kolcraft Enterprises Inc., and Leggett & Platt, Incorporated, as well as the International Brotherhood of Teamsters and the United Steel, Paper and Forestry, Rubber, Manufacturing, Energy, Allied Industrial and Service Workers International Union, AFL-CIO.

https://www.prnewswire.com/news-releases/mattress-petitioners-applaud-reversal-by-us-department-of-justice-in-trade-dispute-301051424.html

April 16, 2020

Auto Sales for April

The coronavirus pandemic isn’t hurting US auto sales as much as feared, J.D. Power says

Key Points
  • Sales of new vehicles to U.S. consumers declined less than expected during the first 12 days of April.
  • J.D. Power reports that domestic retail sales at the start of the month fell by about 55% compared to its pre-pandemic forecast.
  • If that trend continues, it would mean sales of about 597,000 units for the full month.
GS: A man looks at cars for sale at an auto dealership in New York City.
Getty Images

Sales of new vehicles to U.S. consumers declined less than expected at the beginning April despite the coronavirus outbreak and state orders keeping most dealer showrooms closed across the country, according to J.D. Power.

After U.S. auto plants closed and most states enacted “stay-at-home” or “shelter-in-place” orders last month, J.D. Power expected sales to decline by as much as 80% this month compared to its pre-pandemic forecast. While still significantly down, sales through the first 12 days of April were only off by about 55% — indicating that sales for the full month might not be as bad as feared, the firm said Wednesday.

“This is obviously much better than the previous worst-case scenario that we had. This reflects the demand is showing some resilience,” said Thomas King, president of the data and analytics division and chief product officer at J.D. Power.

If that trend continues, it would mean sales of about 597,000 units in April compared to J.D. Power’s pre-pandemic forecast of nearly 1.1 million vehicles for the month.

Any relaxation of “stay-at-home” or “shelter-in-place” orders that have closed many dealer showrooms would provide a further uptick in sales, according to King.

J.D. Power reports 24 states that represent 44% of 2019 retail sales allow dealership sales operations to remain open. That compares to 23 states that represent 51% of retail sales allowing only online or remote sales. Only Pennsylvania, Kentucky and Hawaii have now banned all sales. Some states such as Michigan initially banned all sales to later allow them online.

Long-term financing terms and 0% interest offers continue to assist sales during the pandemic, according to J.D. Power.

The narrower declines won’t directly impact automakers’ balance sheets, but they will assist in clearing the inventories of franchised dealers and allow them to order more vehicles from automakers once U.S. production resumes. Most U.S. plants have been down for several weeks. Some are expected to resume production by early-May.

J.D. Power expects U.S. auto sales this year of about 12.5 million to 14.5 million vehicles, down from an estimated 16.5 million to 17 million vehicles prior to the pandemic. The new forecast includes retail sales of about 11.2 million to 12.5 million cars and trucks.

Retail sales do not include sales to fleet customers such as the government or businesses. They are typically more profitable than sales to fleet customers.

https://www.cnbc.com/2020/04/16/the-coronavirus-pandemic-isnt-hurting-us-auto-sales-as-much-as-feared-jd-power-says.html

April 16, 2020

Auto Sales for April

The coronavirus pandemic isn’t hurting US auto sales as much as feared, J.D. Power says

Key Points
  • Sales of new vehicles to U.S. consumers declined less than expected during the first 12 days of April.
  • J.D. Power reports that domestic retail sales at the start of the month fell by about 55% compared to its pre-pandemic forecast.
  • If that trend continues, it would mean sales of about 597,000 units for the full month.
GS: A man looks at cars for sale at an auto dealership in New York City.
Getty Images

Sales of new vehicles to U.S. consumers declined less than expected at the beginning April despite the coronavirus outbreak and state orders keeping most dealer showrooms closed across the country, according to J.D. Power.

After U.S. auto plants closed and most states enacted “stay-at-home” or “shelter-in-place” orders last month, J.D. Power expected sales to decline by as much as 80% this month compared to its pre-pandemic forecast. While still significantly down, sales through the first 12 days of April were only off by about 55% — indicating that sales for the full month might not be as bad as feared, the firm said Wednesday.

“This is obviously much better than the previous worst-case scenario that we had. This reflects the demand is showing some resilience,” said Thomas King, president of the data and analytics division and chief product officer at J.D. Power.

If that trend continues, it would mean sales of about 597,000 units in April compared to J.D. Power’s pre-pandemic forecast of nearly 1.1 million vehicles for the month.

Any relaxation of “stay-at-home” or “shelter-in-place” orders that have closed many dealer showrooms would provide a further uptick in sales, according to King.

J.D. Power reports 24 states that represent 44% of 2019 retail sales allow dealership sales operations to remain open. That compares to 23 states that represent 51% of retail sales allowing only online or remote sales. Only Pennsylvania, Kentucky and Hawaii have now banned all sales. Some states such as Michigan initially banned all sales to later allow them online.

Long-term financing terms and 0% interest offers continue to assist sales during the pandemic, according to J.D. Power.

The narrower declines won’t directly impact automakers’ balance sheets, but they will assist in clearing the inventories of franchised dealers and allow them to order more vehicles from automakers once U.S. production resumes. Most U.S. plants have been down for several weeks. Some are expected to resume production by early-May.

J.D. Power expects U.S. auto sales this year of about 12.5 million to 14.5 million vehicles, down from an estimated 16.5 million to 17 million vehicles prior to the pandemic. The new forecast includes retail sales of about 11.2 million to 12.5 million cars and trucks.

Retail sales do not include sales to fleet customers such as the government or businesses. They are typically more profitable than sales to fleet customers.

https://www.cnbc.com/2020/04/16/the-coronavirus-pandemic-isnt-hurting-us-auto-sales-as-much-as-feared-jd-power-says.html

April 9, 2020

Insolvencies to Rise

Covid-19 to increase U.S. delinquency rate by 6.5% and insolvencies by 25% in 2020

April 09 2020

Executive summary

High frequency data and the news flow from the U.S. allowed us to have a better sense of the size of the Covid-19 shock, the reaction of public authorities and upcoming ripple effects. In this context, we revise our U.S. GDP growth scenario from +0.5% y/y to -2.7% y/y in 2020.

  • The largest shock on the U.S. economy since 1947. We expect the contraction of activity to reach -30% q/q annualized in Q2 2020, representing two times the cumulated contraction of 2008-2009. We now expect two months of social distancing (March and April) instead of one month only, with a progressive albeit delayed recovery thereafter.
  • A U-shaped recovery remains our central scenario. The size and design of monetary supportive measures suggest that a recovery will begin from Q3 2020 onward and gain steam in Q4 2020, allowing a rebound of growth at +3.3% y/y in 2021. However, this rebound will have a cost in terms of the deficit, expected at 9.6% of GDP in 2020 and 8.5% of GDP in 2021. We still believe that a L-shaped scenario, representing a cumulated loss in terms of value-added of USD 5.5 trillion at a horizon of four years, instead of USD 1.9 trillion in our central case, has a lower probability.
  • The delinquency rate (loans more than 30 days past due) of U.S. companies on commercial and industrial loans is likely to reach a record high of 6.5% at the end of the year, the highest since 1992. However, the size and structure of the stimulus (equivalent to a vast system of credit guarantees) and the cash position of U.S. companies will allow a smaller progression of insolvencies compared with the subprime crisis (we expect a +25% rise of insolvencies in 2020 against +47% in 2008-09).
  • U.S. companies in the wholesale and retail sectors are the most at risk from the pause in sales as they had, on average, less than one month of turnover available in cash prior to the crisis. In manufacturing activities, the most exposed sectors are petroleum and coal industries (18 days of turnover available in cash), food (40 days), textiles (44 days) and the paper industry (46 days).

The size of the Covid-19 shock in the U.S.: more than -30% q/q annualized contraction of activity in Q2 2020

The brutal interruption of economic activities is unique in modern history. In order to measure the size of this shock, we assumed at the beginning that the U.S. would follow the path of China, meaning a contraction of activity below its trend level for a full month, followed by a progressive recovery thereafter. However, high-frequency data from the U.S., in particular job data, soon revealed that we were too optimistic. Looking at initial claims data, released on a weekly frequency, showed more than one million people claiming unemployment benefits in the last two weeks of March.  Now, we look into translating this impact on the U.S. job market into losses of value-added.

A stable relationship exists between initial claims and nonfarm payrolls. Assuming that initial claims would remain above two million for two months after March, and that a progressive recovery would take place thereafter, gives us a loss of 15 million jobs before year-end. Assuming that the active population remains on its trend of progression, we estimate that the U.S. unemployment rate would reach 13.5% at the end of the year compared with 4.4% in March and 3.5% in February, when the adjustment of job market conditions effectively started.

In order to estimate the losses in terms of value-added, in terms of growth, we utilize the so-called Okun law, which describes the long-term relationship between growth and unemployment. According to our own estimate of this law, a jump in the unemployment rate from 3.5% to 13.5% should be the result of a significant decline of growth from 2.5% y/y in Q4 2019 to a trough of -8.6% y/y in Q2 2020. In these circumstances, U.S. GDP growth would contract by -2.7% y/y in 2020 compared with its growth of +2.3% y/y in 2019. This represents a significant downward correction compared with our prior scenario for 2020 at +0.5% y/y. However, our sensitivity analysis already identified the fact that switching from a one-month to a two-month confinement (social distancing in the U.S.[1]) was enough to anticipate a much lower level of growth. We now anticipate two months of social distancing and a delayed de-confinement, meaning that the U.S. would only return to its level of activity before the Covid-19 crisis in the middle of Q4 2020.

The recovery would mainly result from the stabilization policy of the U.S. government and the Fed. We have for now penciled in a USD 2.3 trillion fiscal stimulus package, with a multiplier close to one, which will contribute by 1 pp to the recovery of the U.S. economy in 2020 and by 1.1 pp in 2021. For now, we have not introduced the USD 2 trillion package on infrastructure, which is a clear possibility but has not been voted yet by the Congress. As a result of this activism on the fiscal side, U.S. GDP growth is expected to rebound at +3.3% y/y in 2021. However, the U.S. fiscal deficit is expected to be close to 9.6% of GDP in 2020 and 8.5% of GDP in 2021.

Duration of the crisis: cumulated losses in terms of value-added have the potential to be bigger than during the subprime crisis

Obviously, should the situation deteriorate on the sanitary side, the U.S. recovery could take much longer. The nature of the crisis means that we are currently facing an extremely high level of uncertainty: The longer the shock, the more severe is its impact on growth. We identified three different scenarios for the duration of the shock:

  • A one-month U-shaped scenario where confinement leads to a contraction of activity by 20% below its normal trend level (as observed in China), with a de-confinement of two months leading progressively to a return to the pre-crisis level of activity.
  • A two-month U-shaped scenario: Economic activities remain 20% below their normal trend level for two months, followed by a four-month de-confinement process (our central scenario now).
  • A L-shaped scenario: The size, duration and repercussions of the shock are much bigger, leading to very large credit events and to a situation where fiscal and monetary stimuli are unable to restart the engine of growth.

In terms of cumulated losses, the L-shaped scenario of course has the worst scorecard. The duration aspect of the crisis here is important as the initial impact is close to the initial impact of the U-shaped scenarios. In the L-shaped scenario, a sharp deterioration of the credit market, with the default of systemic size companies, would trigger a litteral freezing of monetary and financial conditions. The sanitary crisis would then morph into a full blown global debt crisis, both at a public and private level. Tables 1, 2, 3 and 4 give detail in terms of cumulated losses compared with a situation where the U.S. economy grows at its growth potential, and present the subprime crisis as a benchmark.

Our central scenario is now close to the subprime cirisis in terms of cumulated losses at the horizon of four years. However, its immediate impact in the two first years is much bigger compared with the subprime crisis.

A potential 20% increase in U.S. companies’ insolvencies depending on the implementation of the fiscal stimulus

To estimate the potential impact of the current crisis on companies, we study the link between the U.S. delinquency rate of commercial & industrial loans (30 days late) and the unemployment rate, the credit to GDP gap (BIS) and the level of public expenditures as a percentage of GDP. With these three elements, we have the initial negative impact (the size of the shock), the fragility factor with the credit gap (likelihood to have long-lasting consequences in case of high fragility ≈ duration of the crisis) and the smoothing factor with the reaction of fiscal policy (the policy reaction factor). We use a three-dimensional approach (size, duration, policy reaction) to identify the potential impact of the current crisis on companies’ solvencies. Table 5 presents the results of our estimate.

This equation allows us to anticipate the potential evolution of insolvencies in the U.S. over the four coming quarters. We use our own forecast on the U.S. unemployment rate, asssume a progression by 1% per quarter of the credit to GDP gap (as observed during the subprime crisis) and use as an input what we expect in terms of public expenditures (increasing by 9% of GDP in one year). The equations suggest that the U.S. delinquency rate of non-financial companies could increase from 1.1% in Q4 2019 to 6,5% at the end of the year, its highest level since 1992.

Looking at the correlation between the delinquency rate and insolvencies, we find that insolvencies could eventually increase by 25% y/y in 2020. We consider that given the assistance programs already voted on by the Congress and the swift creation by the Fed of facilities targeting both SMEs and large companies, we are likely to see a relatively rapid implementation of the stabilization policies. Despite a larger size of the shock (materializing in a record high delinquency rate), we expect the progression of insolvencies (+25%) to be lower compared with the subprime crisis. Indeed, at that time, insolvencies increased by an average of 47% y/y. We see several reasons to explain this:

  • The size and more importantly the rapidity of the current stimulus, both at monetary and fiscal levels.
  • The design of the policy mix, which clearly gives priority to the support of the real side of the economy (in particular companies) against rather than financial institutions, which were prioritized during the subprime crisis.
  • The better cash position of companies prior to the shock.

Besides the huge size of the current fiscal stimulus (estimated at 10% of GDP with a possibility of being doubled with infrastructure programs) and the rapidity of its implementation (huge liquidity injections, the creation of numerous lending facilities and the voting of the USD 2.3 trillion fiscal package even before worsening of macroeconomic conditions), we insist on the fact that it is equivalent to a vast system of credit guarantees, which will prevent delinquencies from becoming insolvencies. The Fed recently announced the creation of a facility that will complete the so-called Paycheck Protection Program, a USD 350 bn program which will provide loans to small and medium-sized companies to cover payroll, rent and utilities. By providing term financing to banks distributing these SBA (Small Business Administration) loans, the Fed will allow an extensive usage of this loan guarantee by banks. In this context, banks won’t hesitate to continue distributing short-term financing to small and medium size companies. At the level of large companies, the Fed created two other facilities i.e. the PMCCF (Primary Market Corporate Credit Facility), for new bond and loan issuance, and the SMCCF (Secondary Market Corporate Credit) for liquidity purposes. These facilities will be able to provide bridge financing for investment grade companies for four years.

Companies have stronger liquidity buffers compared with the situation preceding the subprime crisis, but the degree of protection significantly differs across sectors. Higher levels of cash to working-capital-requirement ratios show a higher exposure to the risk of a brutal interruption of sales

U.S. companies are all facing liquidity risk due to both the sudden disruption  in business operations and the potential disruption in financing,. However, their starting points are different from one sector to another in terms of cash position and working capital requirement (WCR).  We address both issues by looking at the quarterly financial reports of U.S. companies available by sector for Q4 2019 (the sample concerns here all U.S. companies and not only listed ones). We  calculate the cash position in terms of number of days in turnover to evaluate the vulnerability of sectors to the duration of a pause in activity (the higher the cash position, the stronger the capacity to survive a long pause in business). In addition, we look at the importance of cash relative to the WCR, since a positive WCR is always associated with a financing need under which the company has external financing lines most often granted by banks when they no longer have enough cash (self-financing). Figure 3 shows that liquidity buffers were more important at the end of 2019 compared with the time preceding the subprime crisis.

 

Wholesale and retail are the most exposed to a pause in sales based on the amount of cash recorded in balance sheets as of end 2019. The buffer of liquidity significantly differs across sectors. Prior to the Covid-19 outbreak, at the end of 2019, U.S. trade and wholesale companies reported aggregated cash of USD133bn, representing 31 days in turnover, and an aggregated WCR of USD170bn representing 72 days of turnover. For U.S. manufacturing companies, aggregated cash amounted to USD386bn (82 days in turnover) and aggregated WCR to USD968bn or 207 days of turnover. The overall vulnerability appears to be lower when comapring wholesale with retail but the retail sector’s level of risk could be higher since these amounts of cash were also representing 45% of the WCR, twice more than for wholesale (20%). To this regard, trade in food and beverages is particularly relying on cash for financing WCR (124%), compared to other retail and wholesale trade, and to most manufacturing industries. Again, a high cash to WCR ratio is an indicator of fragility in the current context as it reveals a higher dependecy to sales to fund short-term normal levels of activity.

The global picture of manufacturing industries is more favorable with a higher level of cash compared to the level of sales (82 days) and a limited amount compared to WCR (40%). Yet this masks a large spectrum of uneven vulnerabilities when looking at sub-sectors. The nondurable manufacturing sectors most exposed in their cash positions to a pause in sales are petroleum and coal industries (18 days), food (40), textiles (44) and paper (46).  A drop in cash would be more problematic for the WCR needs for chemicals and pharmaceuticals due their high cash/WCR ratio but both present  a stronger initial cash position. Durable manufacturing sectors are showing more buffers on average, with the equivalent of 99 days of turnover in cash. Yet, three segments stand out with a lower amounts of cash: motor vehicles and parts (42 days), wood products (48) and transport equipment (55).  The top sectors vulnerable to a drop in cash for the financing of their WCR are in the IT sector (computer and electronics, communication equipment, electronic equipment) but the latter are also the sector with stronger initial cash position.

Sources: IHS (quarterly financial reports), Euler Hermes, Allianz Research

https://www.eulerhermes.com/en_global/economic-research/news/covid19-to-increase-us-delinquencies-insolvencies.html?mkt_tok=eyJpIjoiTWpZMU1qVXhZalZsTW1aaSIsInQiOiI5bDhSOE0ycXJ5bEFCU2krbjg0VkJmZ2FVSGhjWEpaNW1sWWJPdUdSYnMwdkpKbHU1b1UxODQzenZoSGg3aFRXWmw1V05ZeTNhcWJhRTkyYWNjUDVWc3ZxbTVkdlVWN3BETVM1N014Y2ZQckFteHZPMVlaQUNmbkx3eEVVa2tUbyJ9