Document Xzv0Oadqdg12v02RN3EL5XnJK
FN98. Ibid., para. 8.124.
Page 57
FN99. Ibid., paras. 8.124 and 8.125.
FN100. Ibid., para. 8.139.
FN101. In that respect, we note that, at the oral hearing before us, Canada stated that it believed that the parties were in agreement that consideration of consumers' tastes and habits "would add nothing" to the determination of "likene ss".
FN102. We have already noted the health risks associated with chrysot ile asbestos fibres in our consideration of properties (supra, para. 114).
FN103. We recognize that consumers' reactions to products posing a ri sk health vary considerably depending on the product, and on the consume 3r. dangerous products, such as tobacco, are widely used, despite the kno-vm risks. The influence known dangers have on consumers' tastes and habi -ts therefore, unlikely to be uniform or entirely predictable.
to human Some health is,
FN104. Supra, footnote 58, para. 115.
FN105. Ibid., para. 120. We added that "studies of cross-price elasticity ... involve an assessment of latent demand" (para. 121).
FN106. Supra, footnote 58, para.
FN107. Panel Report,, para. 8.143
FN108. Panel Report,, para. 8.145
FN109. Ibid.
FN110. Ibid., para. 8.148.
FN111. Ibid., para. 8.149.
FN112. Ibid., para. 8.150.
FN113. Supra, para. 113 .
FN114. Supra, para. 114.