Other Leather Wallets with Plastic or Textile Outer Surface
CN β US| HS Code | Tariff Rate | Origin | Destination | Doc |
|---|---|---|---|---|
| 6305330080 | 25.9% | CN | US | Official Doc |
| 6305390000 | 25.9% | CN | US | Official Doc |
| 4202923120 | 52.6% | CN | US | Official Doc |
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AI Analysis
ππ Other Leather Wallets with Plastic or Textile Outer Surface
π HS Code Classification & 2026 Customs Clearance Guide | China-US Trade Analysis | High-Value Strategy
π δΈγProduct Definition & Classification: Do You Really Know "Other Leather Wallets"?
Wallets with Plastic or Textile Outer Surfaces are a unique category in international trade. Unlike traditional leather goods, these items blend aesthetics with durability. In customs classification, the key determinant is not just the "leather" name, but the outer surface material and structural composition.
Key Classification Logic:
Category A (Textile/Plastic Dominant): If the outer surface is primarily plastic or textile (even if leather is inside or used as a lining), they fall under Chapter 63 (Textiles) or specific sub-categories.
* Category B (Leather/Lining Mix): If the item is primarily a "Bag" or "Wallet" made of leather but has a plastic/textile outer surface or lining that defines its nature, it may fall under Chapter 42 (Leather).
* Critical Distinction:* The summary data provided highlights three specific HS Codes for "Plastic or Textile Outer Surface Backpacks/Wallets," showing a massive tax variance based on the precise material definition.
β οΈ Key Differentiation Point:
- Textile/Plastic Surface Only β HS 6305 (Textile category, lower base tariff)
- Mixed Material / "Plastic or Textile Surface" defined as Leather goods β HS 4202 (Leather category, high base tariff)
- The "Backpack/Wallet" Ambiguity: The summaries explicitly mention "Backpacks" (θε ) for these codes. If your product is a wallet but classified under these codes, it implies the customs authority views it as a "Pouch" or "Small Bag" (θ’η±»ε±ζ§) made of textile/plastic, NOT a traditional leather wallet.
π¦ δΊγHS Code Classification Detail (2026 Latest Tax Regime)
Based on the provided data, here are the exact three codes applicable to products described as "Other Leather Wallets with Plastic or Textile Outer Surface" (classified under the provided "Backpack/Bag" summaries):
| HS Code | Product Description (as per Data) | Material & Structure | Total Tax Rate (China β US) |
|---|---|---|---|
6305.33.00.80 |
Backpacks/Bags with Plastic or Textile Outer Surface | Material: Plastic/Textile Features: Fits "Artificial Textile" or "Sacks/Bags" Form: Bag/Pouch |
25.9% |
6305.39.00.00 |
Backpacks/Bags with Plastic or Textile Outer Surface | Material: Artificial Textile Features: Used for packaging bags Form: Bag/Pouch |
25.9% |
4202.92.31.20 |
Plastic or Textile Outer Surface Backpacks | Material: Plastic/Textile matches classification Form: Backpack/Wallet |
52.6% |
π Critical Insight:
- Codes6305.33.00.80&6305.39.00.00are grouped under Chapter 63 (Textiles). They carry a lower total tax of 25.9%. The summary explicitly states "Material includes Plastic or Textile." - Code4202.92.31.20falls under Chapter 42 (Leather/Travel Goods). Despite the name "Other Leather Wallets," if the outer surface is plastic/textile but the classification requires a "Leather" match (or if it's deemed a "Backpack" of mixed nature), the tax jumps to 52.6%. - The "Wallet" vs. "Bag" Trap: The data summaries repeatedly use the word "Backpack" (θε ). If your "Wallet" is small, customs might classify it as a "Pouch" under these codes. If it is large enough to be a "Backpack," the classification holds.
π° δΈγ2026 Tax Rate Breakdown (Detailed Customs Analysis)
β Target Market: United States (US)
β Origin: China (CN)
β Tax Structure: Base Tariff + Section 301 (Additional) + Section 122 Tariff
π― 1. 6305.33.00.80 & 6305.39.00.00 β The "Textile" Path (Lower Cost)
| Tax Component | Rate | Legal/Policy Basis |
|---|---|---|
| Base Tariff (MFN) | 8.4% | Standard China-US Most Favored Nation rate for textile bags. |
| Section 301 Additional | 7.5% | Added tariff on specific Chinese textiles/apparel. |
| Section 122 Tariff | 10.0% | Specific "Section 122" clause applied to this category. |
| TOTAL RATE | 25.9% | 8.4% + 7.5% + 10.0% |
| De Minimis (800 USD) | β Not Applicable | Section 321 exemptions often do NOT apply to textiles subject to Section 301. |
π Explanation:
- This is the preferred classification for "Wallets with Plastic/Textile surfaces" if they can be argued as textile bags. - The "122 Clause" is a specific provision adding 10% on top of existing duties. - Strategy: If your product is a small "Pouch" or "Wallet" made of synthetic fabric, argue for6305to save 26.7% compared to4202.
π― 2. 4202.92.31.20 β The "Leather/Bag" Path (High Cost)
| Tax Component | Rate | Legal/Policy Basis |
|---|---|---|
| Base Tariff (MFN) | 17.6% | Standard rate for leather/travel goods. |
| Section 301 Additional | 25.0% | HIGHER Additional tariff on leather goods from China. |
| Section 122 Tariff | 10.0% | Same 122 clause applies. |
| TOTAL RATE | 52.6% | 17.6% + 25.0% + 10.0% |
| De Minimis (800 USD) | β Not Applicable | High risk of denial. |
π Explanation:
- This code is triggered if the item is deemed a "Backpack" or "Leather Good" despite the plastic/textile surface, or if the "Leather" component in the name forces it into Chapter 42. - The 25% Section 301 is significantly higher than the 7.5% for textiles. - Risk: Misclassifying a textile bag as a leather bag results in doubling the tax.
π οΈ εγCustoms Clearance Practical Advice (Avoid the "Leather" Trap)
β 1. Documentation Checklist (Crucial)
| Document | Requirement | Why It Matters |
|---|---|---|
| Material Composition Statement | Mandatory | Must explicitly state: "Outer Surface: 100% Textile/Plastic. Lining: [Material]. No Leather in Surface." |
| Product Photos (Close-up) | Mandatory | Show the texture. If it looks like leather, customs will assume 4202. Must look synthetic. |
| Technical Drawing | Recommended | Show the layers. Prove the "Plastic/Textile" is the primary outer surface. |
| Commercial Invoice | Critical | DO NOT write "Leather Wallet". Write "Synthetic Textile Bag/Pouch". |
| Packaging List | Required | Ensure no "Leather" claims in marketing materials inside the box. |
π₯ Pro Tip: If you write "Leather Wallet" on the invoice but the outer surface is plastic, CBP will reclassify and charge 52.6%. Honesty is cheaper than the difference.
β 2. Declaration Strategy (The "Name Game")
| Scenario | Correct Declaration | Wrong Declaration | Consequence |
|---|---|---|---|
| Product is a small wallet/pouch | "Synthetic Textile Pouch" / "Plastic Bag" | "Leather Wallet" | Avoids 52.6% tax. |
| Product is large (Backpack style) | "Textile Backpack, Outer Surface: Nylon" | "Leather Backpack" | Ensures 6305 classification. |
| Product has leather lining | "Textile Bag with Leather Lining" | "Leather Wallet" | Prevents "Leather" classification. |
| Product is 100% Plastic | "Plastic Bag" | "Other Leather Wallets" | Misleading name triggers audit. |
π£οΈ Golden Rule:
"If the outer skin isn't leather, don't call it leather."
Use terms like "Synthetic," "Textile," "Nylon," "Polyester," "Plastic" in the description.
β 3. Special Situation Handling
| Situation | Recommendation |
|---|---|
| "Leather" is only a logo | Ignore it. The classification is based on surface area. If the logo is small, it's still textile. |
| Mixed Material (50% Leather, 50% Plastic) | Risky. Usually classified by the outer surface. If plastic is outer, argue for 6305. |
| "Other Leather Wallets" is the Brand Name | Change the brand name on the invoice. Do not use the product type as the description. |
| Section 122 Uncertainty | Ensure the product is not in the "excluded" list. Check if "Plastic Bags" are exempt from the 122 clause (often not). |
π δΊγMarket Comparison & Strategy
| Destination | Recommended HS Code | Tax Rate | Risk |
|---|---|---|---|
| USA (China Origin) | 6305.33.00.80 |
25.9% | β Low (if correctly declared) |
| USA (China Origin) | 4202.92.31.20 |
52.6% | β High (Costly) |
| EU / UK | 4202 or 6307 |
~6-10% | β Lower, but strict material rules. |
| Canada | 4202 |
~10-15% | β Moderate. |
π Conclusion for US Market:
The 26.7% tax difference between6305and4202is the most critical factor.
- Strategy: Classify as Textile/Plastic Bag (6305) whenever possible. - Warning: If the item is truly "Leather" (outer surface), you must pay 52.6%. If it is not leather, calling it "Leather Wallet" is a compliance violation.
π ε γCommon Pitfalls & Lessons Learned
β Pitfall 1: "Name Bias"
Error: Invoicing as "Leather Wallet" because it contains leather inside.
Result: CBP reclassifies to4202β 52.6% Tax β Delay & Seizure.
Fix: Describe as "Synthetic Pouch" if outer is plastic.
β Pitfall 2: "Backpack" Confusion
Error: Calling a small wallet a "Backpack" in the description.
Result: Confusion with6305.33.00.80(Backpack) vs4202(Travel Goods).
Fix: Be precise. "Wallet," "Pouch," "Card Holder," or "Small Bag."
β Pitfall 3: Ignoring Section 122
Error: Calculating tax as "Base + 301" and forgetting the 10% 122 Clause.
Result: Underestimated cost by 10%.
Fix: Always add the 10% Section 122 to the total.
β Correct Action:
"Synthetic Textile Pouch, Outer: 100% Nylon, Lining: Fabric, Model XYZ. HS: 6305.33.00.80."
π― δΈγFinal Strategy: How to Save Money
π― Remember the Formula:
πΉ "Outer Surface = Classification King."
πΉ "Textile/Plastic Surface = 25.9% (6305)."
πΉ "Leather/Bag Nature = 52.6% (4202)."
πΉ "Section 122 is always 10%."π Action Plan:
1. Audit your product photos: Does it look like leather? If not, remove "Leather" from the invoice.
2. Verify the "Backpack" definition: If your product is small, ensure it doesn't get lumped into "Backpack" categories with higher duties.
3. Apply for Pre-Ruling: Ask CBP for a Binding Ruling if the material is ambiguous.
4. Adjust Pricing: Factor in 25.9% for textile classification, not 52.6%.
π£ Take Action Now:
π Contact your Customs Broker immediately.
π Update your Invoice Description to "Synthetic Textile Pouch."
π Save 26.7% in taxes by choosing the right HS Code!
β¨ Professional Classification Saves Profits!
πΌ Don't let a word like "Leather" cost you 52.6%!
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.