List 3 Exclusion Requests to Open June 30 via Online Portal

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On May 9, 2019, the office of the United States Trade Representative (USTR) published a Federal Register Notice announcing that an exclusion process will become available for goods on List 3. The Proposed Section 301 Modification is set to increase the current tariffs on goods listed in the Annex from a 10 percent ad valorem to a 25 percent ad valorem.

On Monday, June 24, 2019, USTR released a Notice detailing the exclusion process. As discussed in our previous blog, USTR confirmed that the process will open up via an online portal on June 30, 2019. Exclusions may be posted between noon on June 30 until September 30, 2019.

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By |2019-10-31T11:58:48-04:00June 25, 2019|China, China Trade War, Customs Broker, Customs Expert, Export, Import, International Business, International Law, International Trade, International Travel|Comments Off on List 3 Exclusion Requests to Open June 30 via Online Portal

UPDATE! DEADLINE APPROACHING – WHY SHOULD YOUR PRODUCT NOT BE ON THE 301 LIST!

We have been working hard to keep you up to date on the current Trade War between the United States and China. For background on the Trade War see our previous blog post. This blog post sets out USTR’s actions in coordination with the Trump Administrations instructions.

China took retaliatory actions against the United States in response to the first 301 list  of additional U.S. duties that became effective on July 6, 2018, which imposed an additional 25% duty on goods worth $34 Billion. […]

Deadline Approaching – Why Should Your Product Not Be on The 301 List!

We have been working hard to keep you up to date on the current Trade War between the United States and China. China has taken retaliatory actions against the United States in response to the first wave of additional U.S. duties that became effective on July 6, 2018. The United States is gearing up to impose a second round of 10% additional duties on approximately $200 billion worth of products of Chinese origin. The USTR has also been directed to consider levying a 25% tariff on these $200 billion worth of Chinese imports – thereby increasing the 10% to 25%.

Now, you have the ability to tell USTR why your products should not be on the 301 List. […]

By |2021-10-29T15:27:02-04:00August 3, 2018|Best Practices, International Law, International Trade, U.S. Customs and Border Protection (CBP)|Comments Off on Deadline Approaching – Why Should Your Product Not Be on The 301 List!
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