BGH Edelstahl Siegen GmbH v. United States

2025 CIT 140
CourtUnited States Court of International Trade
DecidedOctober 22, 2025
Docket24-00176
StatusPublished

This text of 2025 CIT 140 (BGH Edelstahl Siegen GmbH v. United States) is published on Counsel Stack Legal Research, covering United States Court of International Trade primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
BGH Edelstahl Siegen GmbH v. United States, 2025 CIT 140 (cit 2025).

Opinion

Slip Op. 25-140

UNITED STATES COURT OF INTERNATIONAL TRADE

BGH EDELSTAHL SIEGEN GMBH,

Plaintiff,

v.

UNITED STATES, Before: Mark A. Barnett, Chief Judge Defendant, Court No. 24-00176

and

ELLWOOD CITY FORGE COMPANY, ET AL.,

Defendant-Intervenors.

OPINION

[Sustaining the U.S. Department of Commerce’s final results in the 2022 administrative review of the antidumping duty order on forged steel fluid end blocks from Germany.]

Dated: October 22, 2025

Marc E. Montalbine, J. Kevin Horgan, and Merisa A. Horgan, deKieffer & Horgan, PLLC, of Washington, DC, for Plaintiff BGH Edelstahl Siegen GmbH.

Kristin E. Olson, Trial Attorney, Commercial Litigation Branch, Civil Division, U.S. Department of Justice, of Washington, DC, for Defendant United States. On the brief were Yaakov M. Roth, Acting Assistant Attorney General, Patricia M. McCarthy, Director, Franklin E. White, Jr., Assistant Director, and Stephen C. Tosini, Senior Trial Counsel. Of counsel on the brief was Danielle V. Cossey, Attorney, Office of the Chief Counsel for Trade Enforcement and Compliance, U.S. Department of Commerce, of Washington, DC.

Jack A. Levy, Daniel J. Calhoun, Paul K. Keith, and Noah A. Meyer, Rock Creek Trade LLP, of Washington, DC, for Defendant-Intervenors Ellwood City Forge Co., Ellwood Quality Steels Co., Ellwood National Steel Co., and A. Finkl & Sons. Court No. 24-00176 Page 2

Barnett, Chief Judge: This case arises out of the U.S. Department of

Commerce’s (“Commerce” or “the agency”) final results in the 2022 administrative

review of the antidumping duty (“AD”) order on forged steel fluid end blocks (“FEBs”)

from Germany. See Forged Steel Fluid End Blocks From Germany, 89 Fed. Reg.

67,072 (Dep’t Commerce Aug. 19, 2024) (final results of the antidumping duty admin.

rev.; 2022) (“Final Results”), ECF No. 18-1, and accompanying Issues and Decision

Mem., A-428-847 (Aug. 9, 2024) (“I&D Mem.”), ECF No. 18-2. 1 Plaintiff BGH Edelstahl

Siegen GmbH (“Plaintiff” or “BGH”) challenges Commerce’s treatment of certain forged

steel products as merchandise under review for purposes of their inclusion in home

market sales and thus the normal value calculations. Confid. [Pl.’s] Rule 56.2 Mem. in

Supp. of Mot. for J. on the Agency R. (“Pl.’s Mem.”), ECF No. 30; Confid. Reply Br. of

[BGH] (“Pl.’s Reply”), ECF No. 38. Defendant United States (“the Government”) and

Defendant-Intervenors Ellwood City Forge Co., Ellwood Quality Steels Co., Ellwood

National Steel Co., and A. Finkl & Sons (collectively, “Defendant-Intervenors”) defend

the Final Results. Def.’s Resp. to [BGH’s] Mot. for J. on the Agency R. (“Def.’s Resp.”),

ECF No. 32; Resp. of Def.-Ints. in Opp’n to Pl.’s Mot. for J. on the Admin. R. (“Def.-Ints.’

Resp.”), ECF No. 33.

1 The administrative record filed in connection with the Final Results is divided into a Public Administrative Record (“PR”), ECF No. 18-4, and a Confidential Administrative Record (“CR”), ECF No. 18-5. Parties submitted joint appendices containing record documents cited in their briefs. Confid. J.A. (“CJA”), ECF No. 40; Public J.A., ECF No. 41. The court references the confidential version of the relevant record documents, unless otherwise specified. Court No. 24-00176 Page 3

This court has jurisdiction pursuant to section 516A(a)(2)(B)(iii) of the Tariff Act of

1930, as amended, 19 U.S.C. § 1516a(a)(2)(B)(iii) (2018), 2 and 28 U.S.C. § 1581(c).

For the reasons discussed herein, the court sustains Commerce’s Final Results.

BACKGROUND

I. Legal Framework

Commerce imposes an antidumping duty on foreign merchandise that “is being,

or is likely to be, sold in the United States at less than its fair value” and results in

material injury or threat of material injury to a U.S. domestic industry. 19 U.S.C. § 1673.

The antidumping duty imposed is “an amount equal to the amount by which the normal

value exceeds the export price (or the constructed export price) for the merchandise.”

Id. Accordingly, to determine normal value, Commerce typically must determine “the

price at which the foreign like product is first sold . . . for consumption in the exporting

country.” Id. § 1677b(a)(1)(B)(i). While there are three general categories of “foreign

like product,” in this case Commerce relied on the first of those categories: “The subject

merchandise and other merchandise which is identical in physical characteristics with,

and was produced in the same country by the same person as, that merchandise.” Id.

§ 1677(16)(A). 3 Subject merchandise means, inter alia, merchandise within the scope

of the order under review. Id. § 1677(25).

2 Citations to the Tariff Act of 1930, as amended, are to Title 19 of the U.S. Code, and references to the U.S. Code are to the 2018 edition, unless otherwise specified. 3 Commerce defines the foreign like product pursuant to “the first of” the three general categories. 19 U.S.C. § 1677(16). Accordingly, Commerce did not consider, and no party argues that Commerce should have considered, subparts (B) and (C) of section 1677(16). Court No. 24-00176 Page 4

II. The Scope of the Order on FEBs From Germany

Commerce published the antidumping duty order on FEBs from Germany in

2021. Forged Steel Fluid End Blocks From the Federal Republic of Germany and Italy,

86 Fed. Reg. 7,528 (Dep’t Commerce Jan. 29, 2021) (am. final antidumping duty

determination for the Federal Republic of Germany and antidumping duty orders)

(“Order”). The scope of the Order covers “forged steel fluid end blocks (fluid end

blocks), whether in finished or unfinished form, and which are typically used in the

manufacture or service of hydraulic pumps.” Id. at 7,530. In addition to listing various

chemical and physical properties, the scope explains that covered FEBs “may be

imported in finished condition (i.e., ready for incorporation into a pump fluid end

assembly without further finishing operations) or unfinished condition (i.e., forged but

still requiring one or more finishing operations before it is ready for incorporation into a

pump fluid end assembly).” Id. 4

III. Agency Proceeding

In March 2023, Commerce initiated this administrative review. Initiation of

Antidumping and Countervailing Duty Admin. Revs., 88 Fed. Reg. 15,642, 15,649 (Dep’t

4 Commerce’s affirmative investigation determination is summarized in Forged Steel Fluid End Blocks from the Federal Republic of Germany, 85 Fed. Reg. 80,018 (Dep’t Commerce Dec. 11, 2020) (final determination of sales at less than fair value). While BGH challenged certain aspects of Commerce’s determination, BGH did not challenge Commerce’s scope determination. See Ellwood City Forge Co. v. United States, 46 CIT __, __, 600 F. Supp. 3d 1281, 1287 (2022) (summarizing the claims raised and remanding the determination). That litigation remains ongoing. See Ellwood City Forge Co. v. United States, Slip Op. 23-110, 2023 WL 4703309, at *1 (CIT July 24, 2023) (ordering a second remand). Court No. 24-00176 Page 5

Commerce Mar. 14, 2023). 5 Commerce selected BGH as one of two mandatory

respondents for the review.

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