3rd Batch of Product Exclusions for Section 301 List 2
3rd Batch of Product Exclusions for Section 301 List 2
10/2/2019
The United States Trade Representative announced another set of product exclusions for Section 301 List 2 imports from China. This is the 3rd batch of product exclusions announced for List 2. The exclusions were published in the Federal Register on October 2, 2019 and are retroactive to August 23, 2018. The exclusions will remain in place until October 2, 2020. The exclusions are available for any product that meets the description in the Annex, regardless of whether the importer filed an exclusion request. They are reflected in 111 specially prepared product descriptions, which cover 382 separate requests. Check out the Section 301 list 2 Product Exclusion Fact Sheet to view details on previous exclusions. The most recent list must be claimed using HTSUS 9903.88.20.
Importers should review the USTR list in detail to consider applying for refunds through post summary corrections or protests. Scarbrough can apply for the refunds on your behalf. Email consulting@scarbrough-intl.com if you have imported an item on this list (among other exclusion lists) since August 23, 2018 and before October 2, 2020.
The product descriptions include:
Hint: use ctrl + F to find your product
[maxbutton id=”41″ url=”https://thescarbroughgroup.com/wp-content/uploads/2019/10/Section-301-List-2-Product-Exclusions-3rd-batch.pdf” text=”Download Section 301 List 2 Product Exclusions – 3″ ]
[maxbutton id=”41″ url=”https://thescarbroughgroup.com/section-301-list-2-product-exclusions-fact-sheet/” text=”Visit Section 301 List 2 Exclusion Fact Sheet” ]
[maxbutton id=”41″ url=”https://ustr.gov/issue-areas/enforcement/section-301-investigations/section-301-china/section-301-exclusion-process” text=”Visit USTR Exclusion Process” ]
Background
On August 18, 2017, USTR initiated an investigation into certain acts, policies and practices of the Government of China related to technology transfer, intellectual property and innovation (82 FR 40213). During the investigation, the Trade Representative determined that the acts, policies and practices of China under investigation are unreasonable or discriminatory and burden or restrict U.S. commerce, and are thus actionable under Section 301(b) of the Trade Act of 1974, as amended (Trade Act).
In response, President Trump initiated a number of actions which imposed ad valorem tariffs on certain imports originating in China. Four separate lists have been announced. To view the most up to date information, check out our debriefing on Section 301 Imports from China. This post indicates effective dates, duty rates, and more.
What to do
Scarbrough Consulting, Inc. is offering a free 30-minute consultation to any company that may be affected by the Section 301 announcements. Please send an email to consulting@scarbrough-intl.com or fill out the form below. Our Global Trade Experts and Licensed Customs brokers are here to help.
Other ways to Learn More about Duty Savings
If the Section 301 tariffs are affecting your company, watch this webinar recording to learn more. Scarbrough’s President and COO, Adam Hill, along with Patrick Caulfield, an attorney at GDLSK, an international trade and customs law firm, talk about legal opportunities to recover or avoid paying duty to CBP. This is an interactive webinar set up as a question/answer forum.
Resources
To review Section 301, visit this helpful Resource Page
To read more about Section 301, visit USTR.gov
Download each Section 301 List below:
[maxbutton id=”37″ url=”https://thescarbroughgroup.com/section-301-list-1-product-exclusions-fact-sheet/” text=”View List 4a Effective Sept 1″ ]
[maxbutton id=”37″ url=”https://thescarbroughgroup.com/wp-content/uploads/2019/08/List_4B_Effective_December_15_2019.pdf” text=”View List 4b Effective Dec 15″ ]
Consulting
Scarbrough is offering a FREE 20-minute consultation to any importer affected by the Section 301 Tariffs. Email consulting@scarbrough-intl.com or fill out the form below.
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