Office of the Commissioner of Lobbying of Canada
Registry of Lobbyists

Monthly Communication Report

381376-653785

Corporation: Kia Canada Inc.
Associated registration: 961020-381376-3
Communication date: 2025-10-24
Posted date: 2025-11-15

Designated Public Office Holders who participated in the communication: Julie Dabrusin, Minister of Environment and Climate Change
Minister Office, Environment and Climate Change Canada (ECCC)
 
List of Details
Subject matter Detail
Budget, Climate, Consumer Issues, Economic Development, Energy, Environment, Federal-Provincial Relations, Infrastructure, Transportation *Canadian Environmental Protection Act with respect to On-Road Vehicle and Engine Emission Regulations & Passenger Automobile and Light Truck Greenhouse Gas Emission Regulations.
Budget, Climate, Consumer Issues, Economic Development, Environment, Foreign Affairs, Health, Industry, Infrastructure, International Trade, Transportation *Incentives for Zero-Emission Vehicles (iZEV) Program Kia Canada Inc. Sells a number of Electric Vehicles (EV) in the Canadian market. We are required to provide the products under Canada’s Electric Vehicle Availability Standard this incetive program allows Canadians to access these vehicles.
Budget, Climate, Intellectual Property, Internal Trade, International Relations, International Trade, Taxation and Finance, Transportation Canada, US and Mexico trade agreement (CUSMA). Kia Canada Inc. is vehicle Manufacturer that imports vehicles into Canada from the US, Mexico and Republic of Korea for sale in Canada. We are directly impacted by these agreements. Impacts include access to product, increase costs to consumers and could impact jobs in Canada.
 
Responsible Officer who filed this communication report: Hyunjung Hwang
 
As the most senior paid officer, the person named above is responsible for certifying the communication report for the corporation or organization (Registrant). This person may or may not have participated in the reported communication.

The Lobbyists Registration Regulations do not require that the names of in-house lobbyists (i.e. employees of corporations or organizations) who actually participated in the communication be disclosed.
 

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