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`__X__ Initial Application
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`_____ Amended Application
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`October 19, 2020
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`To: Gregory Spak, Esq.
`WHITE & CASE LLP
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`Re: Fresh, Chilled, or Frozen Blueberries, Inv. No. TA-201-77
` APO: Number: 21-31
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`Dear Gregory Spak:
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`Your application for disclosure of BPI/CBI under administrative protective order in the
`above-referenced investigation filed on October 13, 2020 on behalf of the Anberries, A.C, was
`approved on October 15, 2020.
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`Please reference the above-listed APO Number when notifying the Secretary of any changes that
`affect the representations made in this application. For any such filings, the APO number should
`be entered into the Document Title field when completing the EDIS cover sheet.
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`*NOTE: Petitioner will be copied on initial notification only
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`Service lists are posted to the ITC website
`http://www.usitc.gov/secretary/fed_reg_notices/serv_lists.htm. Check the service lists posted
`here to ensure that the proper personnel are included on the list.
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`Pursuant to Commission rules 206.17(c) and 207.7(c)(19 C.F.R. § 206.17, 207.7(c)), the Secretary
`determines when BPI/CBI is to be returned or destroyed. Each authorized applicant normally must
`return or destroy such BPI/CBI within 60 days of the completion of the investigation in accordance
`with the applicable APO, and file a certificate attesting that to the authorized applicant=s
`knowledge and belief all copies of such BPI/CBI have been returned or destroyed and no copies
`of such material have been made available to any person to whom disclosure was not specifically
`authorized. A similar requirement applies at the conclusion of judicial or binational panel review
`of the Commission=s determination.
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`Commission rules 206.17(a)(3) and 207.7(a)(3) establish that the term Aauthorized applicant@
`means an individual. Consequently, each attorney, consultant, or expert in a firm who has been
`granted access to BPI/CBI must file a certificate as described above.
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`In March 2005, the Commission changed its practice with respect to the Acknowledgment for
`Clerical Personnel form. A firm no longer needs to file such a form with the Commission during
`an investigation. A clerical person still must fill out the form, and the authorized applicant still
`must sign in recognition of his or her assumption of responsibility for any breach the person might
`commit. The authorized applicant is responsible for the retention and accuracy of this form. At
`such time that the authorized applicant files a certificate concerning return or destruction of
`BPI/CBI as described above, he or she must also file with the Secretary all Acknowledgment for
`Clerical Personnel forms filled out during the investigation.
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`If you have any questions, please feel free to call 202.205.1802.
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