Booster Seat
CN β US| HS Code | Tariff Rate | Origin | Destination | Doc |
|---|---|---|---|---|
| 9503000073 | 10.0% | CN | US | Official Doc |
| 9401790001 | 35.0% | CN | US | Official Doc |
| 9401804001 | 35.0% | CN | US | Official Doc |
| 3926909989 | 22.8% | CN | US | Official Doc |
| 6212900030 | 16.6% | CN | US | Official Doc |
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AI Analysis
π§ Booster Seat (εΏη«₯ε’ι«ε«)
π HS Code Reference & Customs Clearance Guide | 2026 Latest Tariff Analysis | Professional Level Strategy
π I. Product Definition & Classification: What is a "Booster Seat"?
A Booster Seat is a child safety device designed to elevate a child so that a vehicle's seat belt fits properly. In international trade, its classification depends heavily on its structure, material, and specific function. It is generally categorized either as automotive furniture/accessories (under Chapter 94) or as other plastic/rubber articles/toy accessories (under Chapters 39, 62, or 95).
β οΈ Key Classification Distinction:
- If it has a frame structure (metal/plastic) and is used as a seat βε½ε ₯ 9401 (Seats).
- If it is purely padded/cushioned with no rigid frame, potentially made of foam/plastic β May fall under 3926 (Other Plastic Articles) or 6212 (Support Garments/Accessories).
- If it is marketed as a toy accessory or entertainment aid β May fall under 9503 (Toys).
π¦ II. HS Code Classification Details (2026 Latest Tariff Authority Comparison)
| HS Code | Product Description | Application Scenario | Material/Structure Fit |
|---|---|---|---|
9401.80.40.01 |
Other seats, with wooden frames (Note: Summary implies Plastic/Rubber material inference for "Child Seat/Cushion" type within functional seats) | Child booster seats with structural frame; matches "functional seat" category | β Plastic/Rubber inference |
9503.00.00.73 |
Toys, progressive, control, or vehicle models; accessories | Child auxiliary pads classified under "Toy/Entertainment Accessories" | β Plastic/Sponge/Rubber |
9401.79.00.01 |
Other seats, with metal or plastic frames | Booster seats with inferred metal/plastic framework; matches "Booster Seats" use | β Metal/Plastic Framework |
3926.90.99.89 |
Other articles of plastic and articles of other materials of heading 3901 to 3914 | Unlisted plastic/rubber products; no specific seat subheading | β High-polymer Material (Plastic/Rubber) |
6212.90.00.30 |
Other garments and accessories of textiles | Auxiliary accessories for clothing (e.g., foot pads, inner wear aids); inferred artificial fiber/rubber | β Artificial Fiber/Rubber Inference |
π Critical Reminder:
- 9401 Series (Seats): Best for products with rigid structural components (frames) intended for sitting. Higher tariff due to "Section 301" and "IEEPA" additions.
- 3926 Series (Plastic Articles): Best for purely molded or non-framed plastic/rubber pads. Lower base tariff but still subject to some additional duties.
- 6212 Series (Textile Accessories): Best if the product is essentially a padded textile/rubber pad without a hard frame, classified as an "accessory to clothing." Lowest additional duty among seat-like items.
- 9503 Series (Toys): Only if explicitly marketed as a toy or entertainment accessory, not a primary safety vehicle seat.
π° III. 2026 Latest Tariff Rate Details (Including Surtaxes, Policy Additions)
β Applicable Country: United States (US)
β Country of Origin: China (CN)
β Effective Time: From November 10, 2025 (and subsequent imports)
π― 1. 9401.80.40.01 & 9401.79.00.01 ββ Seats (Plastic/Metal/Plastic Frame)
| Item | Content |
|---|---|
| Base Tariff | 0% (ad valorem) |
| USITC Surtax (Section 301) | +25% |
| IEEPA Surtax | +10% (Against China/HK products) |
| Total Tariff Rate | 35.0% |
| Tax Calculation | CIF Value Γ 35% |
| De Minimis Eligibility | β No (deny_de_minimis) |
| Legal Basis Path | IEEPA:9903.01.25 β IEEPA:9903.01.24 β USITC:9401.80.40.01 / 9401.79.00.01 |
π Explanation:
- Both9401.80.40.01and9401.79.00.01incur the maximum combined surtax of 35%.
-9401.80.40.01applies to seats with wooden frames (summary infers plastic/rubber functional seats), while9401.79.00.01applies to metal/plastic framed seats.
- High Cost Warning: This is the highest tariff bracket among the options. Avoid if a lower-rate classification is defensible.
π― 2. 9503.00.00.73 ββ Toys/Entertainment Accessories
| Item | Content |
|---|---|
| Base Tariff | 0% |
| USITC Surtax (Section 301) | 0% |
| IEEPA Surtax | +10% |
| Total Tariff Rate | 10.0% |
| Tax Calculation | CIF Value Γ 10% |
| De Minimis Eligibility | β No (deny_de_minimis) |
| Legal Basis Path | IEEPA:9901.25 β IEEPA:9903.01.24 β USITC:9503.00.00.73 |
π Note:
- Only applicable if the product is clearly marketed as a toy or entertainment accessory (e.g., for dolls or play areas), not as a vehicle safety booster seat.
- Misclassification from "Safety Seat" to "Toy" can lead to severe penalties.
π― 3. 3926.90.99.89 ββ Other Plastic Articles
| Item | Content |
|---|---|
| Base Tariff | 5.3% |
| USITC Surtax (Section 301) | +7.5% |
| IEEPA Surtax | +10% |
| Total Tariff Rate | 22.8% |
| Tax Calculation | CIF Value Γ 22.8% |
| De Minimis Eligibility | β No (deny_de_minimis) |
| Legal Basis Path | IEEPA:9903.01.24 β USITC:3926.90.99.89 |
π Note:
- Suitable for unframed, molded plastic/rubber pads.
- Lower total rate (22.8%) than seats (35%).
- Must ensure no structural "seat" features (like backrests or armrests) that would trigger Chapter 94.
π― 4. 6212.90.00.30 ββ Other Textile Accessories
| Item | Content |
|---|---|
| Base Tariff | 6.6% |
| USITC Surtax (Section 301) | 0% |
| IEEPA Surtax | +10% |
| Total Tariff Rate | 16.6% |
| Tax Calculation | CIF Value Γ 16.6% |
| De Minimis Eligibility | β No (deny_de_minimis) |
| Legal Basis Path | IEEPA:9901.25 β IEEPA:9903.01.24 β USITC:6212.90.00.30 |
π Note:
- Best for soft, padded accessories made of artificial fibers, rubber, or plastic, classified as "other garments and accessories."
- Lowest Surtax Burden: Only +10% IEEPA, no Section 301.
- Risk: Must prove it is not a "seat" but an "accessory" (e.g., a cushion insert).
π οΈ IV. Customs Clearance Practical Advice (Real-World Pitfall Guide)
β 1. Documentation Checklist (All Required)
| Document | Required | Description |
|---|---|---|
| β Product Specification Sheet | βοΈ | Dimensions, weight, material composition (e.g., PE foam, PVC, ABS plastic) |
| β Product Photos (Clear) | βοΈ | Show front, back, side, and any labels/markings |
| β Commercial Invoice | βοΈ | Clearly describe item: "Plastic Booster Seat Pad" or "Child Safety Cushion" |
| β Packing List | βοΈ | Detailed contents per carton |
| β Bill of Lading/Air Waybill | βοΈ | Standard shipping docs |
| β Third-Party Test Report | βοΈ | CPSIA (US Childrenβs Product Safety), ASTM F2057 (Booster Seat Standard), if applicable |
β 2. Declaration Strategy (Key Mantras)
π₯ βStructure Defines Class, Material Defines Chapter, Name Defines Risk!β
| Scenario | Correct Declaration | Wrong Action |
|---|---|---|
| Booster Seat with Hard Frame | 9401.79.00.01 or 9401.80.40.01 |
Declare as "Plastic Pad" β Misclassification Risk |
| Soft Foam Pad (No Frame) | 3926.90.99.89 or 6212.90.00.30 |
Declare as "Booster Seat" β 35% Tariff |
| Toy Doll Seat | 9503.00.00.73 |
Declare as "Vehicle Seat" β Overpaying 25% Surtax |
| Mixed Package (Seat + Toy) | Split Declaration | Combine into one HS Code β Confusion & Delays |
π Explanation:
- If the product has a rigid plastic or metal frame, it must be classified under 9401 (Seats). Attempting to classify it as a plastic article (3926) or textile accessory (6212) is risky and may lead to audits.
- If the product is purely padded (foam, fabric, soft plastic) with no structural frame, consider 6212 (16.6%) or 3926 (22.8%) for cost savings.
- Never classify a functional child safety seat as a "toy" (9503) unless it is explicitly for play (e.g., a dollβs seat). Customs may reject this for safety compliance reasons.
β 3. Special Case Handling
| Situation | Handling Advice |
|---|---|
| OEM Booster Seat with Logo | Provide OEM agreement + design files to prove brand ownership; avoid "generic" descriptors that might trigger anti-dumping probes. |
| Booster Seat with Detachable Cushion | Declare as a single unit under 9401. Do not split the cushion into 6212 and the frame into 9401. |
| Imported for Personal Use vs. Commercial | Both are subject to the same duties. No de minimis exemption for China-origin goods under current rules. |
| Material Change (Wood to Plastic) | Ensure the description matches the actual material. If 9401.80.40.01 requires "wooden frame" but itβs plastic, use 9401.79.00.01 (Plastic/Metal Frame). |
π V. Global Market Customs Comparison (2026 Latest)
| Country/Region | Recommended HS Code | Tariff (China Origin) | Certification Requirements | Notes |
|---|---|---|---|---|
| πΊπΈ USA | 9401.79.00.01 / 9401.80.40.01 |
35% (Seat) 16.6% (Accessory) |
CPSIA, ASTM F2057, FCC (if electronic) | High surtaxes; strict safety standards |
| π¨π³ China | 9401.80.40.01 |
5% | CCC (if applicable) | No additional US-style surtaxes |
| πͺπΊ EU | 9401.80.90 |
0% (if eligible) | CE, EN 1888 | No Section 301 or IEEPA |
| π¬π§ UK | 9401.80.90 |
0% - 5% | UKCA | Post-Brexit rules |
| π―π΅ Japan | 9401.80.90 |
0% - 5% | PSE (if electronic) | Generally low tariffs |
π Conclusion:
- USA is the most expensive market due to Section 301 (25%) and IEEPA (10%) tariffs on seats.
- Cost Optimization: If structurally possible, design the booster seat as a non-framed cushion to qualify for 6212 (16.6%) or 3926 (22.8%) instead of 9401 (35%).
- Compliance: Regardless of HS Code, CPSIA and ASTM F2057 certifications are mandatory for child safety products in the US.
π VI. Common Errors & Pitfall Guide (Lessons Learned)
β Error 1: Declaring a framed booster seat as 3926.90.99.89 (Plastic Article)
π Consequence: Customs may reclassify it as 9401, charging 35% instead of 22.8%, plus penalties.
β Error 2: Declaring a child safety seat as 9503.00.00.73 (Toy)
π Consequence: Rejection for safety non-compliance (lack of CPSIA/ASTM). Also, misuse of HS Code leads to audits.
β Error 3: Splitting a "Seat + Cushion" into two separate HS Codes
π Consequence: Complex clearance, higher administrative fees, potential misclassification of the frame.
β Error 4: Ignoring the IEEPA 10% surtax in cost calculation
π Consequence: Profit margin erosion. Always include 35% (for seats) or 16.6-22.8% (for accessories) in landed cost.
β Correct Approach:
βPlastic-Frame Child Booster Seat, ASTM F2057 Compliant, Model XYZ, CPSIA Certifiedβ
HS Code:9401.79.00.01(If plastic frame)
Tariff: 35%
π― VII. Conclusion: Precise Classification Saves Money!
π― Key Takeaways:
πΉ βFrame = Seat (35%)β, βNo Frame = Accessory (16.6-22.8%)β
πΉ βToy = 10%, but Risky for Safety Productsβ
πΉ βAlways include CPSIA/ASTM docs, or face detention!β
π Tips:
- If you are a manufacturer, consider designing frameless booster pads to leverage the 6212 or 3926 tariff rates.
- For framed seats, the 35% tariff is unavoidable. Focus on volume efficiency and supply chain optimization.
- Pre-clearance: Apply for an Advance Ruling if you are unsure about the classification of a new product design.
π£ Immediate Action:
π Contact a licensed customs broker + Provide Product Photos + Confirm Material Structure
π Clear Customs Smoothly, Maximize Profit, Stay Compliant!
β¨ Professional Customs Clearance Starts with Accurate Classification!
πΌ Every Percent of Tariff Matters!
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About HS Code Classification
The Harmonized System (HS) is an internationally standardized nomenclature developed by the World Customs Organization (WCO) to classify traded products. Over 200 countries use the HS system as the basis for customs tariffs, trade statistics, and import/export regulations.
Each HS code follows a hierarchical structure:
- Chapter (2 digits) β Broad category of goods (e.g., Chapter 84: Machinery and Mechanical Appliances)
- Heading (4 digits) β More specific grouping within the chapter
- Subheading (6 digits) β Internationally standardized breakdown, used by all WCO member countries
- National subdivisions (8-10 digits) β Country-specific extensions for further classification, such as US HTSUS 10-digit codes
Correct HS code classification is essential for smooth customs clearance, accurate duty payment, and compliance with trade regulations. Misclassification can lead to customs delays, overpayment of duties, or penalties.
When importing from CN to US, the applicable tariff rates may include:
- Most-Favored-Nation (MFN) rate β The standard duty rate applied to WTO members
- General rate β Applied to countries without trade agreements
- Trade remedy duties β Additional tariffs such as Section 301 (anti-dumping), Section 232 (national security), or countervailing duties
The information provided on this page is for reference purposes only. For official classification, please consult with your local customs authority or a licensed customs broker.