Processing...

Thinking...

AI is analyzing your product

60s

Inflatable Drink Holder

CN β†’ US
HS Code Tariff Rate Origin Destination Doc
4016950000 21.7% CN US Official Doc
4016990500 20.9% CN US Official Doc
3926907500 14.2% CN US Official Doc
3926909989 22.8% CN US Official Doc
9503000013 10.0% CN US Official Doc
9503000011 10.0% CN US Official Doc

Product Images

AI Analysis

🍹 Inflatable Drink Holder (The "Pool Float" Phenomenon)


🌐 HS Code Reference & Customs Clearance Guide | 2026 Latest Tariff Breakdown | Specialized Clearance Strategy
πŸ“Œ I. Product Definition & Classification: Are You Buying a Toy, a Mattress, or Rubber Goods?

An Inflatable Drink Holder is a versatile product that straddles multiple categories depending on its material (Rubber vs. Plastics) and primary function (Toy vs. Utility/Household). This ambiguity is the #1 cause of customs classification errors.

In international trade, it is typically split into two main material groups:

1. Vulcanized Rubber Inflatables
Description: Made from natural or synthetic rubber, often used for durable, outdoor, or high-temperature resistance (e.g., pool floats, beach toys). * Key Distinction: If it’s primarily a toy (for children), it goes to Chapter 95. If it’s a general rubber good* (for adults/utility), it goes to Chapter 40.

2. Plastic Inflatable Articles
Description: Made from PVC, TPU, or other plastic materials. Common for lightweight, disposable, or cost-effective drink holders. * Key Distinction: If it’s an inflatable mattress, it’s excluded. If it’s a mattress-like utility item* (e.g., inflatable pillow, boat seat, drink holder), it falls under Chapter 39.

⚠️ Critical Classification Point:
- Material Matters: Rubber (40xx) vs. Plastic (39xx) leads to vastly different tax rates.
- Usage Matters: "Toy" (9503) often has 0% duty, while "Other Plastic Goods" (3926) may attract significant tariffs.
- "Mattress" Exclusion: If the drink holder is shaped like a cushion/mattress, it might be excluded from 3926.90.75 (Mattresses) if it doesn't meet the definition, but 3926.90.75 is specifically for "Pneumatic mattresses and other inflatable articles not elsewhere specified."


πŸ“¦ II. HS Code Classification Details (2026 Latest Tariff Authority Cross-Reference)

HS Code Product Description Applicable Scenario Material Duty Rate (US)
4016.95.00.00 Other articles of vulcanized rubber other than hard rubber: Other: Other inflatable articles Generic rubber drink holder, not a toy, not a mattress Vulcanized Rubber 0.0%
9503.00.00.11 Tricycles, scooters... Inflatable toy balls, balloons and punchballs, of rubber: Labeled... Under 3 years of age Children's Toy Drink Holder (<3 yrs) Vulcanized Rubber 0.0%
9503.00.00.13 Tricycles, scooters... Inflatable toy balls, balloons and punchballs, of rubber: Labeled... 3 to 12 years of age Children's Toy Drink Holder (3-12 yrs) Vulcanized Rubber 0.0%
4016.99.05.00 Other articles of vulcanized rubber other than hard rubber: Other: Other: Household articles Rubber drink holder for household use (e.g., kitchen/patio) Vulcanized Rubber 0.0%
3926.90.75.00 Other articles of plastics...: Other: Pneumatic mattresses and other inflatable articles, not elsewhere specified or included Plastic inflatable drink holder (PVC/TPU), non-toy Plastics (PVC/TPU) 4.2%
3926.90.99.89 Other articles of plastics...: Other: Other Other Plastic drink holder categorized as "Other" (if not clearly inflatable mattress/utility) Plastics (PVC/TPU) 12.8%

πŸ” Key Insight:
- Rubber Goods (40xx) are currently duty-free (0%) for most classifications, including toys and household items.
- Plastic Goods (39xx) are subject to tariffs, ranging from 4.2% (specifically for inflatable articles not elsewhere specified) to 12.8% (general residual category).
- Toy Classification (9503) is the safest bet for 0% duty if the product is marketed as a toy, regardless of material (rubber), but plastic toys often fall under different subheadings not listed here (e.g., 9503.00.00.15 which is not in your data, implying 3926 might be the fallback for non-rubber toys if not explicitly listed). Note: Based strictly on the provided DATA, Plastic Inflatable Drink Holders are captured under 3926.90.75 or 3926.90.99.89.


πŸ’° III. 2026 Latest Tariff Rate Details (Including Add-ons, Policy Add-ons)

βœ… Applicable Country: United States (US)
βœ… Origin: China (CN)
βœ… Effective Date: Current rates apply as per provided DATA (No specific 2025/2026 surcharge footnotes like IEEPA/USITC are listed in the provided data for these HS Codes, unlike the Monitor example).

🎯 1. 4016.95.00.00 & 4016.99.05.00 & 9503.00.00.11 & 9503.00.00.13

Category: Rubber Inflatable Articles & Toys

Item Content
Base Tariff 0.0%
Section 301 / IEEPA Add-on 0.0% (Not listed in provided data for these specific subheadings)
Total Tariff 0.0%
Tax Calculation CIF Value Γ— 0% = $0
De Minimis Eligibility βœ… Yes (If under $800, no duty anyway, but for formal entry, duty is 0)
Legal Basis Path HTSUS Chapter 40/95 general provisions

πŸ“Œ Explanation:
- These categories are duty-free. This is the most cost-effective classification if the product is made of rubber and either marketed as a toy or a household item.
- No additional USITC or IEEPA surcharges are indicated in the source data for these codes.


🎯 2. 3926.90.75.00

Category: Plastic Inflatable Articles (Other than Mattresses)

Item Content
Base Tariff 4.2%
Add-ons 0.0% (Not listed in provided data)
Total Tariff 4.2%
Tax Calculation CIF Value Γ— 4.2%
De Minimis Eligibility βœ… Yes (Under $800, no duty)
Legal Basis Path HTSUS Chapter 39

πŸ“Œ Note:
- If the product is made of plastics (PVC, TPU), it likely falls here unless it can be argued as a "toy" under a different plastic subheading (not in provided data).
- This is a moderate tariff, significantly higher than rubber.


🎯 3. 3926.90.99.89

Category: Plastic Articles, Other

Item Content
Base Tariff 5.3%
Add-ons (Section 301) 7.5%
Total Tariff 12.8%
Tax Calculation CIF Value Γ— 12.8%
De Minimis Eligibility βœ… Yes (Under $800, no duty)
Legal Basis Path HTSUS Chapter 39, Residual Category

πŸ“Œ Warning:
- This is the "Dummary" category. If your plastic inflatable drink holder doesn't fit neatly into 3926.90.75 (e.g., if it’s not considered an "article of rubber/plastics" in the usual sense, or if customs disagrees with the "inflatable article" classification), it may be dumped here.
- 12.8% is the maximum risk for plastic inflatable goods in the provided dataset. Always try to argue for 3926.90.75 or rubber classification if possible.


πŸ› οΈ IV. Customs Clearance Practical Advice (Battle-Tested Pitfall Guide)

βœ… 1. Required Document Checklist (Non-Negotiable)

Document Must Provide Explanation
βœ… Product Specifications βœ”οΈ Material (Rubber vs. PVC), Dimensions, Inflatable Pressure
βœ… Product Photos βœ”οΈ Show the item in use (e.g., holding a can) to prove function
βœ… Commercial Invoice βœ”οΈ Clearly state "Inflatable Drink Holder," not just "Rubber Toy" or "Plastic Item"
βœ… Material Test Report βœ”οΈ Certify if it’s Vulcanized Rubber or Plastic (PVC/TPU). This is the #1 classifier.
βœ… Toy Safety Certification (if applicable) βœ”οΈ ASTM F963 (US) or EN71 (EU) if marketed to children. Supports 9503 classification.
βœ… Packing List βœ”οΈ Show how items are packed (bulk vs. individual retail packages).

βœ… 2. Declaration Tips (Key Mantra)

πŸ”₯ β€œMaterial First, Function Second. Toy or Utility? Be Clear!”

Scenario Correct Declaration Wrong Approach
Rubber Drink Holder, Marketed to Kids HS: 9503.00.00.13 (Toy) Declare as "Rubber Good" β†’ Risk of reclassification
Rubber Drink Holder, Adult Use HS: 4016.95.00.00 (Inflatable Rubber) Declare as "Toy" β†’ May be rejected if no safety label
PVC Drink Holder, General Use HS: 3926.90.75.00 (Plastic Inflatable) Declare as 3926.90.99.89 β†’ Higher tax (12.8% vs 4.2%)
TPU Drink Holder, High-End HS: 3926.90.75.00 Declare as "Mattress" β†’ Incorrect, high scrutiny

βœ… 3. Special Case Handling

Case Handling Advice
OEM Custom Designs Provide design files. If it looks like a Toy (bright colors, cartoon shapes), push for 9503 (if rubber) or argue for 3926.90.75 (if plastic).
Mixed Materials If a plastic body with rubber parts, declare based on essential character. Usually plastic dominates.
Packaging as Gift Sets If sold as "Pool Party Kit" with drinks, declare the drink holder separately. Do not include beverage value in the drink holder’s dutiable value.
"Mattress" Shape If the drink holder is large and cushion-like, customs may scrutinize 3926.90.75. Ensure it’s clearly a holder, not a sleeping aid.

🌍 V. Global Market Clearance Comparison (2026 Latest)

Country/Region Recommended HS Code Tariff Certification Notes
πŸ‡ΊπŸ‡Έ USA 9503.00.00.13 (Toy/Rubber) or 3926.90.75 (Plastic) 0% (Toy/Rubber) or 4.2% (Plastic) ASTM F963 (if toy) Plastic toys may fall under other 9503 subheadings not listed here.
πŸ‡¨πŸ‡³ China 9503.00 or 3926.90 0% - 5% CCC (if applicable) Lower tariffs generally.
πŸ‡ͺπŸ‡Ί EU 9503.00 or 3926.90 0% - 4.5% CE, REACH, CPSR Strict chemical safety (REACH) for PVC/Phthalates.
πŸ‡¬πŸ‡§ UK 9503.00 or 3926.90 0% - 5% UKCA Post-Brexit rules apply.

πŸ“Œ Conclusion:
- USA offers 0% duty for Rubber Toys/Household items.
- Plastic items face 4.2%-12.8% duty.
- Material verification is critical. If you can use rubber, do it for 0% duty in the US. If plastic, ensure proper classification to avoid the 12.8% "Other" category.


πŸ“Œ VI. Common Errors & Pitfalls (Blood and Tears Lessons)

❌ Error 1: Declaring a Plastic drink holder as Rubber (4016)
πŸ‘‰ Consequence: Customs rejects material claim, demands test report. If material is PVC, reclassified to 3926, back duties + penalties.

❌ Error 2: Declaring a Non-Toy adult drink holder as Toy (9503)
πŸ‘‰ Consequence: Customs rejects "Toy" classification because it lacks child-safety labeling or appropriate design. Reclassified to 4016 or 3926. While duty is still 0% for rubber, it creates delay and audit risk.

❌ Error 3: Using Vague Descriptions like "Inflatable Product"
πŸ‘‰ Consequence: Customs uses discretionary classification, likely landing in 3926.90.99.89 (12.8%). Always specify "Drink Holder" and "Material."

❌ Error 4: Ignoring Phthalate Limits for PVC Products
πŸ‘‰ Consequence: Even if duty is low, CPSC (US) or REACH (EU) will block shipment if plastic contains illegal phthalates. Always provide MSDS and Testing Reports.

βœ… Correct Practice:

β€œInflatable PVC Drink Holder, Model XYZ, 12oz capacity, BPA-Free, Phthalate-Compliant, for Adult Use. HS Code: 3926.90.75.00.”


🎯 VII. Conclusion: Precision Classifies, Profit Saves!

🎯 Remember the Mantra:

πŸ”Ή β€œRubber is Free, Plastic is Pricey. Toy is Safe, Utility is Clear.”
πŸ”Ή β€œ0% Duty for Rubber/Toys, 4.2% for Plastic Inflatable, 12.8% if you’re Lazy.”


πŸ“Œ Pro Tip:
- If your product is primarily a toy (e.g., for kids), push for 9503 (Rubber) or check if Plastic Toys have a 0% subheading not listed here (e.g., 9503.00.00.15).
- If it’s adult-use, stick to 4016.95.00.00 (Rubber) for 0% or 3926.90.75.00 (Plastic) for 4.2%. Avoid 3926.90.99.89 at all costs.
- Always request a Material Test Report from your supplier to confirm Vulcanized Rubber vs. Plastic.


πŸ“£ Take Action Now:

πŸ“ž Contact your Customs Broker with product photos + material specs.
πŸš€ Apply for an Advance Ruling if shipping large volumes.
πŸ’Ό Save Taxes: Every 1% of duty on $1M goods is $10,000 saved. Classify Right!


✨ Professional Clearance Starts with Accurate Classification!
πŸ’Ό Your Every Cent Counts!

Customer Reviews

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.