HELP! CBP Seized My Tobacco Products as Drug Paraphernalia, What Now? / ¡AYUDA! CBP INCAUTO MIS PRODUCTOS DE TABACO COMO PARAFERNALIA DE DROGAS, ¿AHORA QUÉ HAGO?

Our office has increasingly received requests for guidance on importation of marijuana paraphernalia products to the U.S. where twenty-six (26) states have legalized the use of marijuana for medical purposes and/or personal consumption such as California, Massachusetts, Maine and Nevada. The purpose of this article is to dispel the confusion as to why paraphernalia products (grinders, storage containers, rolling paper, pipes, vape pens, etc.) are continuously being seized by U.S. Customs and Border Protection (CBP), even when such products may be used by tobacco smokers. It is important to address the realities between federal and state laws regulating drug paraphernalia products so importers can avoid CBP’s enforcement of U.S. Laws.

Why Does CBP Stop Drug Paraphernalia?

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By |2021-11-09T13:50:03-05:00May 30, 2017|Best Practices, Customs Broker, E-Cigarette, Import, Import Alert, International Travel, Seizures, Tobacco, U.S. Customs and Border Protection (CBP), U.S. Department of Homeland Security (DHS), U.S. Food and Drug Administration (FDA)|Comments Off on HELP! CBP Seized My Tobacco Products as Drug Paraphernalia, What Now? / ¡AYUDA! CBP INCAUTO MIS PRODUCTOS DE TABACO COMO PARAFERNALIA DE DROGAS, ¿AHORA QUÉ HAGO?

Here’s a Recap of Part II of our #WorldTradeMonth Seminar Series for Compliance Professionals on FDA FSMA and FSVP

Yesterday, we at DTL, had the pleasure of hosting Part II of our #WorldTradeMonth Seminar Series for Compliance Professionals. The second seminar focused on FDA FSMA (Food Safety Modernization Act) Compliance for Importers with expert speakers from the U.S. Food and Drug Administration (FDA) and industry. We had a packed house with an array of attendees such as importers of food, beverages, and medical devices, along with customs brokers, freight forwarders / NVOCCs, lawyers, consultants, and others. We received requests for a re-cap from those who attended and industry members who were not able to attend. You asked and we deliver. Here is our recap:

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By |2022-07-06T15:47:05-04:00May 19, 2017|Best Practices, Customs Broker, Events, Food, FSMA, Import, Import Alert, Seizures, Speaking, U.S. Customs and Border Protection (CBP), U.S. Food and Drug Administration (FDA)|Comments Off on Here’s a Recap of Part II of our #WorldTradeMonth Seminar Series for Compliance Professionals on FDA FSMA and FSVP

Missed DTL’s seminar on AD/CVD with CBP? Here’s a re-cap.

Yesterday we at DTL had the pleasure of hosting Part 1 of 2 of our Seminar Series for Compliance Professionals. In celebration of #WorldTradeMonth the first seminar concentrated on Antidumping Duties and Countervailing Duties (AD/CVD) with expert speakers from U.S. Customs and Border Protection (CBP). While we had a packed room, we have received requests from industry members who were not able to attend asking for a re-cap. You asked so we delivered!

 Here is our re-cap:

The morning kicked off with a networking breakfast where experienced and novice custom brokers, legal counsel, trade consultants, and others were able to engage in meaningful dialogue about overlapping issues they experience in their respective workplaces in dealing with the topic of AD/CVD.

JenThe seminar promptly began at 9:00 am with introductory remarks by our own President, Jennifer Diaz. We had all attendees introduce themselves and include why this seminar was important to attend. We were glad to hear from majority of attendees that their reason for participating was to further their trade education, and CBP wanted to ensure they performed “informed compliance” with the trade community.  One attendee commented with “I’m here to continue to learn as that’s what we [customer brokers] are required to do.” […]

By |2017-05-11T10:34:47-04:00May 11, 2017|AD/CVD, Customs Broker, Events, Import, Seizures, U.S. Customs and Border Protection (CBP)|Comments Off on Missed DTL’s seminar on AD/CVD with CBP? Here’s a re-cap.
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