Polyethylene Retail Bag with Resealable Closure
CN β US| HS Code | Tariff Rate | Origin | Destination | Doc |
|---|---|---|---|---|
| 3923210011 | 38.0% | CN | US | Official Doc |
| 3923210030 | 38.0% | CN | US | Official Doc |
| 3923210020 | 38.0% | CN | US | Official Doc |
| 3923210080 | 38.0% | CN | US | Official Doc |
| 3923210011 | 38.0% | CN | US | Official Doc |
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AI Analysis
ποΈ Polyethylene Retail Bag with Resealable Closure
π HS Code Reference & Customs Clearance Guide | 2026 Latest Tariff Analysis | Professional-Level Entry Strategy
π I. Product Definition & Classification: Do You Really Understand "Resealable Poly Bags"?
A Polyethylene Retail Bag with Resealable Closure is a flexible packaging solution widely used in retail, food service, and industrial logistics. In international trade, it falls under Chapter 39 (Plastics and Articles Thereof). However, precise classification depends on the specific design features:
Key Distinction Points: * Resealable Functionality: If the bag has a zip-lock, press-to-close, or self-adhesive strip that allows reopening and reusing, it qualifies as a "Bag with Closure" (Subheading 3923.21). * Material: Specifically Polyethylene (PE). If it were PVC or PP, the code would differ. * Usage: "Retail" implies it is designed for consumer sale. "Packaging" is its primary function.
β οΈ Critical Classification Nuance: - If the bag is non-resizable and has no closure mechanism β It may fall under different subheadings (e.g., 3923.29). - If it has a resizable or self-sealing closure β It MUST be classified under 3923.21 (Sacks and Bags with Closure). - Misclassification Risk: Declaring a resealable bag as a generic "plastic bag" (3923.29) can lead to duty discrepancies or customs delays.
π¦ II. HS Code Classification Details (2026 Latest Tariff Authority Reference)
Based on the provided data, the product falls strictly under Heading 3923.21 ("Sacks and bags... of polymers of ethylene"). The specific 8-digit codes are detailed below:
| HS Code | Product Description | Applicable Scenario | Key Feature Match |
|---|---|---|---|
| 3923.21.00.11 | Material: Polyethylene (Ethylene Polymer); Form: Resealable Bag; Use: Packaging. | Consumer goods packaging, food storage, retail merchandise. | β Matches "Resealable Bag" + "PE Material" + "Packaging Use" |
| 3923.21.00.30 | Material: Polyethylene; Form: Bag; Use: Resealable (Sack & Resealable Features). | General purpose resealable packaging. | β Matches "Sack" and "Resealable" characteristics |
| 3923.21.00.20 | Material: Polyethylene; Form: Resealable Self-Closing Bag (Ziplock). | Ziplock-style bags, self-adhesive closure bags. | β Matches "Resealable Self-Closing" description |
| 3923.21.00.80 | Material: Polyethylene; Form: Bag; Fully complies with material & use requirements. | Generic polyethylene bags with closure that don't fit other specific sub-categories. | β Matches "Material & Use" requirements generally |
| 3923.21.00.11 | Material: Polyethylene; Form: Resealable Self-Closing Bag. | Identical to 00.11 scenario. | β Fully consistent with classification description |
π Key Reminder: - All listed codes share the same total tax rate of 38.0% because they all fall under the 3923.21 group. - The distinction between 00.11, 00.20, 00.30, and 00.80 is often administrative or based on minor shape/closure differences not fully defined in the summary. However, the tax impact is identical. - Recommendation: Use 3923.21.00.11 or 3923.21.00.20 if the bag explicitly has a "ziplock" or "self-closing" strip, as these are the most precise descriptors for "Resealable Closure."
π° III. 2026 Latest Tariff Rate Breakdown (Including Surcharges & Policy Add-ons)
β Applicable Country: United States (US)
β Origin: China (CN) (Implied by the 122 Clause & 301 Tariff details)
β Effective Date: 2025/2026 Import Period
π― 1. General Rate for All Listed Codes (3923.21.00.xx)
| Item | Content |
|---|---|
| Base Tariff Rate | 3.0% (Ad Valorem) |
| Section 301 Surtax | +25.0% (USITC Footnote for Chinese PE products) |
| Section 122 Surtax | +10.0% (Specific provision for certain plastic packaging/imported goods) |
| Total Tax Rate | 38.0% |
| Tax Calculation | CIF Value Γ 38% |
| De Minimis Exemption? | β NO (Denied for Section 301/122 goods) |
| Legal Authority Path | USITC:3923.21.00.xx β 301 Tariff: 25% β 122 Tariff: 10% |
π Explanation: - "Base Tariff 3.0%": Standard MFN rate for polyethylene bags under HTSUS 3923.21. - "301 Surtax 25%": Imposed under the Trade Act of 1974, Section 301, targeting Chinese-manufactured plastic articles. This is the highest component of the tax. - "122 Clause 10%": Likely refers to specific administrative or reciprocal tariffs applied to certain plastic packaging materials from China. - Total 38%: This is a high-duty category. Importers must factor this into their landed cost calculations immediately.
π οΈ IV. Customs Clearance Practical Advice (Real-World Pitfall Avoidance Guide)
β 1. Document Checklist (Must-Haves)
| Document | Required | Notes |
|---|---|---|
| β Product Specification Sheet | βοΈ | Must state: Material (100% PE or blend), Closure Type (Ziplock/Press-to-close), Thickness (microns). |
| β Commercial Invoice | βοΈ | Description must include: "Polyethylene Retail Bag, Resealable Closure, for Packaging Use." |
| β Packing List | βοΈ | Weight and quantity details. |
| β Material Test Report | βοΈ | Proof that material is Polyethylene (not PVC/PP) to avoid misclassification. |
| β Origin Certificate | βοΈ | Essential for confirming China origin (triggering the 35% surtax). |
β 2. Declaration Tips (Key Mantra)
π₯ "Material is PE, Closure is Key, 38% is the Price!"
| Scenario | Correct Declaration | Wrong Practice |
|---|---|---|
| Standard Ziplock Bag | 3923.21.00.20 (or 00.11) |
Declaring as 3923.29 (Other bags) β Risk of audit & back-tariff. |
| Non-Resealable Bag | 3923.29.90 (Different code) |
Forcing it into 3923.21 β Classification error. |
| Bag with Handle | 3923.21 (If resealable) |
Declaring as tote bag β May attract different duties. |
| Mixed Material | Declare dominant polymer | Assuming PVC because of print β 3923.21 is wrong. |
β 3. Special Cases
| Case | Handling Advice |
|---|---|
| OEM Bags for Retailers | Clearly state "Retail Packaging" in invoice to align with "3923.21" usage description. |
| Thick Industrial Bags | If thickness > 0.1mm and rigid, ensure it doesn't fall under "Plastic Sheets" (3920). |
| Recycled PE Bags | Still 3923.21, but may have additional environmental compliance questions (EPA). |
| Sample Bags (Low Value) | Even small samples are subject to the 38% duty if from China. De Minimis (Section 321) does NOT apply to Section 301 goods. |
π V. Global Market Customs Comparison (2026 Latest)
| Country/Region | Recommended HS Code | Tariff (China Origin) | Certification | Notes |
|---|---|---|---|---|
| πΊπΈ USA | 3923.21.00.xx |
38% (3% Base + 25% 301 + 10% 122) | No special certs | High duty burden. |
| π¨π³ China (Export) | 3923.21 |
Varies by destination | N/A | N/A |
| πͺπΊ EU | 3923.21 |
2.5% | REACH, Food Contact (if applicable) | No 301 tariffs. |
| π¨π¦ Canada | 3923.21 |
0% - 5% | CFIA (if food) | CETA may reduce to 0%. |
| π―π΅ Japan | 3923.21 |
2.0% - 5% | JIS Standards | No major surcharges. |
π Conclusion: - The USA is the only major market applying the 38% combined duty due to geopolitical trade measures. - For US shipments, cost optimization is critical. Consider if the product can be shipped from a third country (if rules of origin allow) to avoid 301/122 tariffs, though this is complex for simple packaging. - For EU/Canada/Japan, the duty burden is significantly lower (~2-5%).
π VI. Common Mistakes & Pitfalls (Lessons Learned)
β Mistake 1: Declaring "Plastic Bag" generally as 3923.29 (Other bags) to save tax.
π Consequence: Customs will reclassify to 3923.21 and apply the 38% rate + penalties. Result: Back-tariff + Fines.
β Mistake 2: Ignoring the "Resealable" feature.
π Consequence: If the bag has a zip-lock, it must be 3923.21. Misdeclaration leads to audit flags.
β Mistake 3: Assuming De Minimis (Section 321) applies to low-value shipments.
π Consequence: Section 301 and 122 goods are explicitly excluded from the $800 de minimis exemption. Every shipment is taxed.
β Correct Approach:
"Polyethylene Resealable Retail Bag, 12x18 inches, 2 mil thickness, Zip-lock closure, For Packaging Use, Origin: China"
π― VII. Conclusion: Precise Classification Saves Money!
π― Remember the Mantra:
πΉ "PE Material + Resealable = 3923.21"
πΉ "China Origin + 3923.21 = 38% Duty"
πΉ "No De Minimis for 301/122 Goods"
π Pro Tip:
If you are importing large volumes, consult a licensed customs broker to verify if any specific sub-code (00.11 vs 00.20) offers minor administrative advantages, even though the duty rate is identical (38%).
For US Market, ensure your supplier provides a Certificate of Origin and that the commercial invoice clearly states the material composition to avoid delays.
π£ Immediate Action:
π Contact your freight forwarder with the exact specs (Material, Closure Type, Dimensions).
πΌ Budget for 38% Duty in your landed cost model.
π Clear customs smoothly by being precise!
β¨ Professional Customs Clearance Starts with Accurate Classification!
πΌ Every percent of duty countsβoptimize your supply chain today!
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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.