Registry of Lobbyists

Monthly Communication Report

Return to Registration for Coalition d'aide aux victimes de la pyrrhotite (CAVP)

533-630050

Organization: Canadian Sugar Institute/L'Institut canadien du sucre
Associated registration: 778721-533-39
Communication date: 2025-01-10
Posted date: 2025-01-29

Designated Public Office Holders who participated in the communication: Maria Morley, Deputy Chief of Staff & Director of Operations
Minister's Office NHCAP, Agriculture and Agri-Food Canada (AAFC)

Kathleen Donohue, Assistant Deputy Minister
International Affairs Branch, Agriculture and Agri-Food Canada (AAFC)

Hilary Peirce, Director of Policy
Office of the Minister of Agriculture and Agri-Food, Agriculture and Agri-Food Canada (AAFC)

Paul MacKinnon, President
Canadian Food Inspection Agency (CFIA)

Lawrence MacAulay, Minister of Agriculture and Agri-Food
Agriculture and Agri-Food Canada (AAFC)

Jean-Guy Forgeron, Executive Vice-President
Canadian Food Inspection Agency (CFIA)

Tom Rosser, Assistant Deputy Minister
Market and Industry Services Branch, Agriculture and Agri-Food Canada (AAFC)
 
List of Details
Subject matter Detail
International Trade CUSMA, in respect of Canada's management of export controls for access to the US market access for Canadian refined sugar and sugar-containing products restricted by US tariff rate quotas. Advocacy to engage government to maintain CUSMA access to the US market for sugar and processed foods and to prevent new US market access restrictions.
Agriculture, International Trade Trade distorting international trade policies, programs: Seeking government actions to oppose international trade distorting policies that threaten Canadian sugar market.
 
Responsible Officer who filed this communication report: SANDRA MARSDEN
 
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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