Here is what I said more or less during today's CPAC hearing:
Thank you for this opportunity to comment on behalf of IAPN
and the micro businesses of the numismatic trade and the collectors they
service.
1. CPAC
should reject any cultural property MOU or emergency import restrictions with Lebanon.
US Customs should not be made the “culture cop” for a government dominated by
Hezbollah, a terrorist group and proxy for Iran’s dictatorial regime. Additionally, no decision should be made to
repatriate artifacts to Lebanon when Israel and Hezbollah are gearing up for a
full scale war. Repatriated antiquities are
in danger of being destroyed or sold to fund Hezbollah’s jihad against America
and Israel.
2. While
the State department has claimed and I quote “Agreements create import
restrictions that stop trafficked cultural property from entering the
United States while encouraging the legal exchange of cultural property for
scientific, cultural, and educational purposes” that is untrue.
They are actually applied far more broadly as embargoes that “claw back” common
items like coins that are available for sale and export from legal markets
abroad, particularly in Europe. Once a coin type is “listed,” US Customs can
assert its authority to detain, seize, and forfeit similar coins under the
assumption they “belong” to the particular country for which import
restrictions have been granted.
3. There
is no factual basis for such an assumption for coins minted or found in El
Salvador, Lebanon or Mongolia. Until recently,
these countries were parts of much larger Empires. One simply cannot assume that such coins are
only found there, a key requirement of the CPIA. IAPN has provided scholarly
evidence demonstrating that coins struck in Lebanon circulated regionally and
even internationally. Notably, “Shekels
of Tyre” that were accepted to pay the Temple tax are often found in Israel.
Scholars believe some may have been made to order for King Herod or that they may
even have been struck in Israel. CPAC must avoid blessing overbroad designated
lists that do not comply with CPIA requirements. Fact based decision-making must prevail. Thank you for listening.
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