Due to the latest ruling, China’s Ninestar was told to negotiate with the US Gov. for re-entry into the US market by the December 4th, 2023, deadline. Excerpt: ORDERED that the hearing on Plaintiffs’ Motion for a Preliminary Injunction, Aug. 22, 2023, ECF No. 9, is rescheduled to December 7,2023; and it is further ORDERED that the parties shall file a status report regarding their efforts to reach a negotiated resolution by December 4, 2023; and it is further ORDERED that briefing on Defendants’ Motion to Dismiss, Oct. 3, 2023, ECF No. 24, is extended for an additional three weeks. Plaintiffs’ response is now due by December 12, 2023, and the reply is due twenty-one days after the date of filing.
On June 9th, 2023, the US Gov. banned the import of Ninestar Chinese toner and ink products, and now that the reman toner industry is showing some signs of life for honest recyclers and remanufacturers, it’s time for us to again follow up and write the US Gov FLETF division your personal letter and point of views as to why they should still NOT be allowed back into the US. Advise them of all the 100’s of fake business entities online, the toxic environment impact of their products, their direct and well-documented affiliation with the Chinese Communist Party, and sadly their enslaving of poor ethnic minorities in China.
Your help is again needed, so please let’s get this done by the NEW December 3, 2023 deadline, and let’s help the US Gov. keep the ban vs. Ninestar in place. Please contact the UFLPA now and please reference Case 1:23-cv-00182-GSK, Filed on 10/03/23. Email:FLETF.UFLPA.EntityList@hq.dhs.gov, and thank you for your support.