I will begin my presentation in French, and then I will continue in English.
On behalf of Dairy Farmers of Canada, or DFC, I'd like to thank you for the invitation to appear before the Standing Committee on Agriculture and Agri-Food in view of its study on milk proteins. Today, I will speak about the improper use of certain milk protein substances, such as diafiltered milk, under the cheese compositional standards for Canada—and the negative impact this has on Canadian dairy farmers.
DFC is the voice of all farmers on each of the 11,350 dairy farms from coast to coast. Our organization strives to create stable conditions for the Canadian dairy industry today—and in the future. We work to maintain policies that foster the viability of Canadian dairy farms, and promote Canadian dairy products and their health benefits.
We care deeply about our country, and we are active participants in our local communities. A vibrant dairy industry means more jobs and improved access to infrastructure. It also means economic benefits for other industries ranging from banking, to feeds, to parts and machinery sales, to veterinarians, and much more. It is important to emphasize that the Canadian dairy sector makes a huge contribution to the Canadian economy. It contributes $18.9 billion to the GDP and $3.6 billion in tax revenues every year. It sustains 215,000 full-time equivalent jobs across the country.
Dairy is either the top or second agricultural sector in seven out of ten provinces. Furthermore, unlike other jurisdictions where farmers' incomes are heavily subsidized, Canadian dairy farmers derive their income from the marketplace. However, that marketplace will be further diminished by the access granted in the comprehensive economic and trade agreement, CETA, and the Trans-Pacific Partnership, TPP.
As you probably know, the dairy farming sector in Canada operates under a Canadian agricultural policy known as supply management, the objectives of which are to: ensure farmers receive a fair return, derived from the marketplace, for their work and investments; provide processors with a stable supply of milk, so that they can properly plan their production year after year; and provide consumers with a consistent supply of milk and milk products of the highest and safest quality, at a fair price.
The system achieves these objectives by enabling Canadian dairy farmers to act collectively to negotiate prices and adjust milk production to meet consumer demand. In so doing, supply management ensures that Canadian prices for both farmers and consumers remain relatively stable and less subject to the volatility of the global market. The fact is, in countries where milk production has been deregulated, such as in New Zealand, the United Kingdom and Australia, farmers have at times received less for their milk, while consumer prices have gone up.
For example, in New Zealand throughout 2014, although the farm gate price for milk decreased by 42%, the retail price for milk increased by 2.2%. The Government of Canada put in place a supply management system in the early 1970s in an effort to reduce the surpluses in production that had become common in the 1950s and 1960s, and ensure a fair return for farmers.
Canadian dairy was the first industry to operate under supply management—a system that egg and poultry farmers would later adopt. For the dairy sector, the supply management system is administered by the Canadian Dairy Commission. The basic idea behind supply management is simple; the goal is to manage production so that supply would be in balance with demand.
The farm gate price enables farmers to cover the costs of milk production, including a fair return on labour and capital. In other words, we only produce as much milk as is required by the Canadian marketplace, while limiting surpluses that would otherwise end up on the world market at dumping prices.
Supply management is a stool that rests on three equally important pillars.
The first pillar is producer pricing, which ensures that the milk price received by dairy farmers takes into account both the cost of production, including capital and labour costs, and the overall conditions of the Canadian economy. It is important to note that the Canadian Dairy Commission and provincial milk marketing boards do not set the retail price, and neither do the farmers. The price that consumers pay at the grocery store or in a restaurant has always been set by the retailers or the restaurant owners themselves.
The second pillar is production discipline, which ensures that the supply of Canadian milk equals the demand from consumers. Each dairy farmer in Canada owns a quota—a share of the market—that allows him to produce a certain amount of milk. Depending on consumer demand, the amount that a quota allows a farmer to produce can increase or decrease; upward and downward quota adjustments are made on an as-required basis.
The third pillar is import control. For supply managed commodities, imports are controlled using tariff rate quotas. They allow a predetermined quantity of dairy products to be imported at preferential tariff rates, generally duty free, while maintaining control over how much is imported.
The over-quota tariffs are set at levels that meet the objective of ensuring that only the quota agreed to in trade agreements is imported. Other than exceptional cases, tariff rate quotas for dairy products are fully filled every year.
In 2015, the total value of dairy products imported into Canada, including both tariff rate quotas and non-tariff rate quotas, reached more than $824 million. As you can see, Canada imports a significant amount of dairy every year.
I will now continue my presentation in English.
[English]
Without any control on what is imported, it is impossible to manage supply management to match demand. A lack of import controls will inevitably lead to overproduction and instability within the system. Furthermore, it is more than just having the right rules in place. The auditing and validation process, and the enforcement of the rules, are equally important. Currently those who would exploit the rules are well aware that when it comes to dairy, Canada's enforcement and application of our existing border measures are inconsistent. Adequate audit and enforcement are essential in discouraging those who would exploit those loopholes.
People can be very creative in order to circumvent tariff and quotas. The pizza food topping preparation issue is a great example. Between 2009 and 2013, farmers lost an estimated $62.6 million due to the importation of these preparations. We also have the butteroil-sugar blend issue and more recently the case of salt being added to cream, all of which is in order to avoid tariff and quotas. The list goes on and on.
The government is responsible for the enforcement of Canada's border measures and must act quickly to limit damages caused to Canadian industry. This role will be even more important when service imports enter into Canada as a result of CETA and TPP.
The role of CBSA is to ensure the products crossing the borders are well classified and the products that are coming in are verified to ensure they fit the definition of the tariff line. Let's be clear. All we're asking is that the government enforce existing rules and allow only the amount that has been agreed to in trade agreements to enter the country.
We also need more transparency, especially as it pertains to the process CBSA uses to issue advance rulings. Decisions that impact our industry may or may not be consistent with our understanding and the interpretation of the rules. CBSA issues advance rulings at the request of importers. Currently there is no formal process to know whether a ruling has been issued, or even to find out whether the CBSA is investigating a complaint about a ruling. There is no industry consultation. When CBSA issues an advance ruling, it should be done through a transparent process so that stakeholders are aware and can offer input and respond when appropriate.
When the three pillars of supply management are functioning as intended, it enables the dairy industry to weather any economic storm, remain stable, and achieve a high level of self-sufficiency. If any of those three pillars becomes unstable then it risks putting the entire system in jeopardy.
This brings me to the reason we're here today: milk protein. Canadian milk used to be used as the main source and base component in making dairy products. However, while some cheese and yogourt makers still use 100% milk, more and more are adding ingredients such as milk protein isolates, milk protein concentrates, and diafiltered milk in substitution of milk. These ingredients can either be produced in Canada or imported. When imported, those ingredients are not classified under chapter 4 of the customs tariff schedule, which includes dairy products. They are classified under chapter 35, which includes ingredients such as milk protein substances. Originally these milk protein substances were imported in a dry form. Over the past five or six years we've seen a change of pattern. The amount of milk protein imported in liquid form under the same tariff line has increased significantly. This milk protein substance is then used as an ingredient in the making of cheese and yogourt.
Where the situation becomes more complex is when the same product is not treated the same way by two different government agencies. For example, when one agency treats a product as an ingredient and another treats it as milk, then you have a problem. Under the cheese compositional standards for Canada, when making cheese it is required that a minimum percentage of the protein used in the cheese-making be sourced from milk. The percentage required varies from cheese to cheese. For example, cheddar is required to derive a minimum of 83% of its casein from milk and a limit of 17% of the total in protein can be derived from ingredients. The Canadian Food Inspection Agency is responsible for enforcing the cheese compositional standards, which means verifying that the required milk-to-ingredient ratio defined under the cheese compositional standard for each cheese is met.
Because milk proteins are an ingredient that can be less costly, some processors are taking to using milk protein substances as part of their required minimum percentage of milk when making cheese instead of using it in part of the allowable percentage of ingredients. This is also inconsistent with its classification at the border when the ingredients are not even being considered under the dairy chapter, but enter the country tariff-free.
As previously mentioned, the CFIA is responsible for enforcing the cheese standards. From 2011 to 2016 DFC had 60 meetings with government officials on this issue and have sent 19 letters to various ministers.
:
Let me begin by thanking you for the privilege and opportunity to make a presentation before the standing committee.
My name, as you already know, is Peter Gould. I'm the chief executive officer for Dairy Farmers of Ontario.
Dairy Farmers of Ontario represents 3,800 dairy farms that currently produce approximately 2.7 billion litres of milk annually. As a result of pooling arrangements, Ontario processes close to three billion litres of milk in about 60 processing facilities across the province, most of which are small or medium-size plants, privately owned, family businesses.
This meeting is timely. It is timely because it is a critical time in the dairy industry, not critical because important decisions have to be made for the next year, but critical because today's decisions will influence, and perhaps I should say, determine the future success, viability, and sustainability for the next generation of dairy farmers.
Everyone has a role to play: producers, processors, and governments, both federal and provincial. In Ontario, we believe solutions come about when industry, producers, and processors can work toward common outcomes. There are times when those outcomes need help from government. We need private-public partnerships to ensure investment, innovation, growth, and jobs.
Caroline has touched on some of these things but I'll just reiterate some of them.
Supply management is often described as having three pillars: effective border control, production discipline, and pricing.
My belief has always been that effective border control is the bedrock that the system is built on. It is also the pillar that has been least effective over the years. That presents all sorts of challenges from income instability to investment planning for both producers and processors. It negatively impacts the scale of industry in Canada.
I'm going to talk a little about leaky borders, touch on the Canadian International Trade Tribunal, and as already mentioned, milk protein isolates.
One of today's defining issues is the uncontrolled imports of milk protein isolates, MPIs. They're being imported in an ever-increasing amount, displacing domestically produced skim milk solids and proteins, changing the competitive landscape and negatively affecting dairy farmer incomes.
Imports of milk protein isolates have increased exponentially since 2012. Canada has had a tariff rate quota on milk protein concentrates, MPCs, since the mid-1990s. Ten or twelve years ago, a few companies started importing MPIs, the isolates, higher concentrations of proteins.
Milk protein concentrate is a skim milk product, from which varying degrees of lactose and permeate, mostly water, is removed. These highly concentrated proteins were entering duty-free, effectively circumventing the MPC tariff. This was recognized by Dairy Farmers of Canada. The Canada Border Services Agency sought redress by taking the issue to the Canadian International Trade Tribunal.
The protein levels in skim milk, the normal skim milk as it comes off the farm, in round terms is 35% protein on a dry matter basis. Any protein level above that is considered to be concentrated. If we have skim milk with 40% protein, a common concentration is 52%, 72%, all the way up to 84% protein, it's still considered a concentrate.
The Canadian International Trade Tribunal determined that a concentration over 85% is an isolate, not a concentrate, even though it is used for the exact same purpose, and it was designed in the first place for the sole purpose of circumventing the MPC tariff.
That decision would not be the common understanding of an average person, and it is also not consistent with government policy.
The Government of Canada sought redress. In and around 2008, the government established a new TRQ and tariffs for milk protein isolates. The only problem was that no new tariffs could be applied for our NAFTA partners, the U.S. and Mexico, so it has been and remains an open border with the United States. MPIs cross the borders as ingredients, but can be used in Canada as milk. It is a conundrum that also makes no sense to the average person.
This is not the first problem resulting from a CITT decision. Twenty-five years ago, the Canadian International Trade Tribunal decided that butterfat in butteroil-sugar blends should not be subject to a tariff. A butteroil-sugar blend was also designed to circumvent the tariff and can be and is used as a primary input for both ice cream and confectionery.
The test the CITT applied was whether you would put it on a piece of toast. The answer was no, so no tariff. Butteroil-sugar blends come in by the thousands of tonnes every year.
As I said earlier, border controls are the most important of the three pillars, the foundation of supply management, of orderly marketing.
There are other examples of leaky borders. One is a product called pizza kits, which is 20% meat, 80% cheese. It entered Canada as a meat product. That was addressed by the government—thank you—shortly after the CETA was signed. Caroline has also referred to a couple of products, cream-sugar and cream-salt blends that are 99% cream. They're entering this country and I'm not exactly sure how they get here. It's either through an advanced ruling under the CBSA or it could be just coming in illegally.
The dairy industry needs consistent application of policy and solid government support to achieve its potential. Producers are responsible for the other two pillars. It's only the federal government that can effectively control the border.
I'm going to shift gears a little here and talk about some changes in the market.
One of the big ones has been growth and demand for butterfat, which is really a phenomenon. Traditionally, a lot of butter, not all, is made from cream, and that cream is a by-product. When we make fluid milk products, there's extra cream; when we make cheese and yogourt, that has been used to make butter. In the last two or three years, I can't emphasize this enough, there's been a profound shift in consumers' attitudes and behaviour. Butterfat is no longer a bad word, nor is it a bad fat. That's great news for the dairy industry, at least it should be. That also means less cream to make butter and more milk going into butter-powder plants. You don't have the sources of cream from milk and yogourt and those types of sources, so if we're going to meet our butterfat demand, we have to put raw milk into the butter-powder plants.
One of the things that happened for the first time in April or possibly May 2015, in Ontario, was we reached plant capacity. We did not have enough capacity to process particularly skim milk powder, and we started putting the milk into the butter-powder plants, extracting the cream, and finding alternative places to use the skim milk. I'm sure you're all aware of that. Sometimes it ends up in liquid manure pits or it goes to hog farms, but there are limits to how much skim milk can end up in those uses. Nobody wants to see that either in the short term, or certainly in the long term.
As a country, the simple problem is we are not able to meet current demand let alone future growth for butter and butterfat. The situation is further exacerbated by the fact that with few exceptions—I'm not saying there are no exceptions, but in general—the skim milk powder dryers we have in this country are old. They use old technology. The cost is high to operate them and they have arguably outlived their useful life. Simply put, they need replacing.
The bottom line is dryers in Canada need to be replaced with up-to-date technology, and that's not necessarily a dryer for a dryer. There are new technologies, better referred to as ingredient plants, that handle the skim milk solids. In addition to that, dryer capacity needs to be significantly increased, not only to meet current demand, but also future growth for the next 15 to 20 years. We don't want to build just to replace what we have. There has to be much more capacity.
There are two pre-conditions for investment by processors: one is an ingredient class; the second one is a competitive price. Producers and processors are jointly working on that solution. It's called an ingredient strategy, and we're making good progress, from our perspective. This is an opportunity for a private-public partnership. Government financial support would greatly assist in ensuring necessary investments are made. Without those investments, the danger is we'll be looking at potential divestment, disinvestment, and contraction, rather than meeting the potential for a vibrant, growing, high-tech, domestic dairy industry.
I'll make just a few concluding remarks before I wrap up and summarize some of the things that I said.
The first point is, effective border control is the foundation of a successful supply management system, of a strong domestic dairy industry, and that is the pillar in supply management that the federal government has the sole responsibility for. I'm suggesting it is time for an overhaul to ensure the government is fulfilling its end of the bargain. Leaky borders hurt the system.
The second point is that skim milk dryers are old and need to be replaced. They need to be replaced with modern technology and much greater capacity. Time is not on our side. From the day a company makes a decision until milk is delivered to that plant, it will be two to three years—more likely three than two. The real question is what happens if we don't? The impact will be immediate and dramatic.
The third point I want to summarize is that there is a great opportunity, which I just mentioned, for the government to be a partner in the future of the Canadian dairy industry, to ensure that it stays on track for investment, growth and the viability of the next generation, not for today, not for tomorrow, but for the next 20 or 25 years.
The last point is that we need a federal investment modernization fund for the whole industry to allow the dairy industry to modernize, especially the processing sector. Now is the time to act. The Ontario ingredient strategy actually is scheduled to start on April 1. Processors need assistance in the form, as I said, of a public-private partnership.
Thank you.
Members of Parliament, members of the House of Commons Standing Committee on Agriculture and Agri-Food, good afternoon.
Thank you for giving us the opportunity to comment on the important issue of imported dairy proteins. We would like to talk about Agropur cooperative, Canada's supply management system in the international context, and more specifically our point of view on dairy proteins and diafiltered milk imported from the United States.
Agropur is a dairy cooperative owned by 3,367 dairy producers in Ontario, Nova Scotia, New Brunswick, Quebec and Newfoundland and Labrador. We have annual sales totalling nearly $6 billion. Our 28 plants in 8 provinces process 30% of the milk produced in Canada. Our 6,000 Canadian employees and 5,000 dairy producer families contribute to the economic vitality of many communities across the country.
Over the past few years, we have invested more than $1 billion in our Canadian facilities and the acquisition of Canadian companies, while merging three co-ops in order to better meet our customers' needs. Following a number of acquisitions in the United States, our American operations now generate 44% of our sales.
In terms of supply management, 2015 was a year of mobilization at Agropur. We played an important role as an ambassador for our industry throughout the year. During the Trans-Pacific Partnership negotiations, we energetically defended the supply management system.
We believe that the leadership and mobilization of all stakeholders who believe in the supply management system gave the federal government the support it needed to be able to defend supply management against other countries that wanted it to be entirely dismantled. Against this background, we widely circulated an analysis of the potential impacts of ending supply management in the dairy industry produced by Boston Consulting Group. That study is available on Agropur's website. If you like, we could also send you a copy. That very thorough, professional and credible study advances a different point of view than the Conference Board of Canada and similar organizations.
The BCG study shows that dairy production continues to receive major financial support from governments or to be regulated in the major dairy-producing countries. The study also shows that no country has managed to make a success of dairy industry deregulation without massive government intervention.
Let us take the example of Australia. Since its government decided to deregulate the dairy industry at the beginning of the 2000s, Australia's dairy production has fallen 15% and its share of export markets has declined every year. Farm gate prices have rarely been so low, and yet Australian consumers aren't paying less for dairy products than are Canadian consumers.
In New Zealand, the government intervened at the beginning of the 2000s to help create and maintain a processing and exporting monopoly owned by dairy producers. Therefore, producers share in the benefits of almost all dairy processing.
This year, that organization has had to allocate significant funds to financing producers who were unable to meet their financial obligations. The New Zealand government is still intervening on a massive scale to support its dairy industry by making it possible for a quasi-monopoly to process and export the country's milk and dairy products, for the benefit of producers.
In Europe, the dairy industry has been deregulated since the spring of 2015, and prices for milk and dairy products are at record lows. The dairy crisis in Europe is forcing some countries to get out their checkbooks in order to help producers, who find themselves in a fast-deteriorating financial position, and the European Union has allocated 500 million euros in emergency funding.
It should also be borne in mind that our neighbour is the world's largest producer of cow's milk. In the U.S., the 135 largest farms produce as much as Canada's entire dairy industry. The largest American dairy processing plants are five to six times bigger than the largest Canadian plants. Our industry is no match for this giant.
Canada has a unique dairy system that has stood the test of time. It provides dairy farmers with enough income to cover their costs and processors with a stable environment. It helps maintain the social fabric and supports the economic development of our communities, while supplying consumers with high-quality products at competitive prices. Therefore, we believe it is warranted and indeed more important than ever for all stakeholders to work to support supply management. In the recent trade agreements, the federal government has succeeded in maintaining high tariffs at the border, a key requirement for preserving our dairy system.
We will now discuss the third point—ingredients and diafiltered milk.
While supply management has been protected in the international agreements, it is now up to us to safeguard it domestically. The federal government took some important steps in 2007-2008 by establishing cheese manufacturing standards that limit the quantity of ingredients that can be used. However, recent imports of diafiltered milk from the U.S. pose a new threat to supply management. This product was developed for the sole purpose of circumventing Canadian border controls and Canadian cheese standards. These proteins are being used to replace Canadian skim milk in the making of cheese and yogourt, and there are no technical limitations on their use in the manufacturing process.
Canadian skim milk that is not needed to make cheese or yogourt is dried to make skim milk powder for export or sold for animal feed. As Mr. Gould mentioned, it has also been thrown away in recent months. Since drying capacity is no longer sufficient, given massive imports of diafiltered milk, skim milk unfortunately had to be dumped in 2015. Large amounts could be thrown away again in spring 2016 if nothing is done.
The deliberate confusion must end. At the border, this product is considered an ingredient by the Canada Border Services Agency, allowing it to enter the country duty free. On the other hand, when it comes to yogourt and cheese manufacturing, it counts as milk for the Canadian Food Inspection Agency. That means its use is not limited by the cheese and yogourt manufacturing standards.
Therefore, the federal government has an important role to play. Diafiltered milk should be treated as an ingredient in the cheese and yogourt composition standards and should therefore have to respect the letter and the spirit of the standards. As well, verification rules need to be strengthened to ensure compliance with the standards.
Minister MacAuley's announcement at the Dairy Farmers of Canada annual meeting in early February is a step in the right direction. We offer the government our full cooperation in strengthening, clarifying and enforcing the rules. That is also in our interest as a processor. Our priority is to make sure all processors are operating on a level playing field and playing by the same rules.
The federal government must keep its promise and do something about dairy ingredients such as diafiltered milk that circumvent import rules and limit the use of such ingredients in Canadian manufacturing.
This is a priority issue for Agropur, its members and all Canadian dairy producers.
At the same time, the industry is currently negotiating the details of a national ingredients strategy that will be a win-win for both producers and processors. We must negotiate conditions that will promote the production of dairy ingredients in Canada at competitive prices and capitalize on our Canadian skim milk. We also have to capitalize on our structural surpluses for the benefit of producers, while supplying processors with ingredients for their domestic manufacturing.
The ingredients strategy presents many challenges but also opportunities. As my colleagues said earlier, we are heartened by recent developments. The negotiations are confidential, but we need the federal government's support. The government must take clear action regarding diafiltered milk, and that will help us finalize a national industry agreement.
An ingredients strategy, accompanied by clear action by the federal government to strengthen the standards, is the only solution. It is what producers, dairy cooperatives and government must promote and defend if an effective supply management system is to be maintained and strengthened.
Thank you.
:
Thank you, Mr. Chair. It's my turn to thank you for this invitation.
Unlike my colleagues, I will not read out a presentation. I have submitted a document to you where I give an overview of the foundation of the Canadian agricultural policy for the dairy sector. That presentation has been partially covered by my colleague Caroline Emond, who explained how supply management works and why it is still relevant in 2016, even though it was implemented some 40 years ago now.
The other part of my presentation basically talks about the history of the problem and explains it. I fully agree with the explanations provided by the three previous witnesses. I will try to briefly explain what the tangible and quantified impacts of that practice are.
Any surpluses of non-fat solids are the responsibility of producers. There are responsibilities in the management of this system. The government is in charge of border management, and producers are responsible for production control. We bear the costs of any surpluses.
It is normal for us to have a surplus of non-fat solids in Canada, as all other countries also have surpluses. The U.S. has surpluses of non-fat dairy solids, as do the Europeans. It should be noted that, over the course of the last two years, the surpluses have greatly increased owing to importing and the shift related to the use of diafiltered milk, among other things.
For example, in 2010, the tariff line for those products was 13,200 tonnes. In 2011, the quantity was similar—13,150 tonnes. In 2012, there was a slight increase to 15,000 tonnes. In 2013, the quantity was 16,000 tonnes, and starting in 2014, there was a surge, with the quantity going up to 20,700 tonnes. According the data for the first three quarters of 2015, we estimate that we will have reached 32,000 tonnes at the end of 2015. That is a dramatic rise. If we establish the equivalent of that importing in skim milk powder, we estimate that it will correspond to 50,000 tonnes of that product.
What is the impact of all that on the producers' daily lives? The structural surplus, year after year, has been about 60,000 tonnes in recent years. We expect to reach from 90,000 tonnes to 100,000 tonnes this year, mainly owing to the importing of diafiltered milk.
When these components penetrate into our markets, they displace Canadian non-fat solids. That creates a shortfall for Canadian producers. As the market is saturated, instead of enhancing the value of those solids by using them in cheese and yogourt—for which we obtain about $5 per kilogram, as Dominique explained—we become responsible for surpluses. Instead of using those non-fat solids in value-added products, we have to use them in animal feed. The price is about $1 per kilogram in those cases. The shortfall for producers is about $4 per kilogram. If we apply that unit loss to the displaced quantities, for an equivalent of 50,000 tonnes of skim milk powder, the shortfall for Canadian dairy producers is about $200 million.
Our component sales are another sign of that shift. Beginning with the year when cheese standards were established in Canada, we have noted a fairly stable relationship between the quantities of fat sold in cheese categories and the quantities of non-fat solids sold. For example, starting in 2007-2008, for each kilogram of fat sold for cheese, 2.3 kilograms of non-fat solids were sold. That relationship remained practically stable until 2012-2013, when it started collapsing.
Instead of selling 2.3 kilograms of Canadian non-fat solids for each kilogram of fat sold, we sold 2.15 kilograms in 2012-2013. We came back to 2.19 kilograms in 2013-2014 and, in 2014-2015, we are at 2.11 kilograms. So the drop off has been sustained for Canadian producers.
If we were to transpose those effects to an average farm in Quebec, it would represent about 6,000 hectolitres—so 600,000 litres of milk, to use more familiar units. If we take the loss I was referring to earlier, which amounts to about $2.5 per hectolitre, the loss in net income for an average farm is nearly $15,000. The costs related to the milk production necessary to meet 100% of needs in terms of fats are still there, but the loss is net because the gross price drops, while the producers have the same expenses to deal with. That value represents a very large part of the cost of life and of the part families use for surviving. So it is clear that the discontent expressed by producers in your ridings stems directly from this situation because it represents concrete factors for them on a daily basis. These are basically the things I wanted to talk to you about.
Moreover, last year was especially difficult for producers. In addition to the diafiltered milk phenomenon, I would like to point out that, despite its supply management, Canada is a country that is much more open in terms of its markets than the Europeans or the Americans are. In their case, 1% to 3% of their consumption is probably imported, while that figure is already close to 8% in Canada. About 12% of Canadian dairy fat is also sold at prices based on world price references, and nearly 25% of our non-fat solids are already at that level. Last year, those world prices were extremely low because of the markets' high volatility. This meant that, when it came to their income, our producers, in addition to having to contend with the highly negative effects of diafiltered milk, saw their prices crumble by a total of nearly $5 per hectolitre. If I add that to the effects I talked about earlier, there was a loss of $25,000 to $30,000 per farm last year. When you hear dairy producers in a bad mood who want to bang on office doors, it's because they are very upset and worried about the current situation.
My colleagues did a good job of explaining the problem involving diafiltered milk earlier. There are some solutions, which are essentially political. So we trust that you will solidify the support your parties have already expressed very clearly toward our marketing system, and we are counting on you to continue giving us a hand and finding solutions to these issues.
Thank you.