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Water Soluble Bead Set

CN → US
HS Code Tariff Rate Origin Destination Doc
3926903500 16.5% CN US Official Doc
3926903500 16.5% CN US Official Doc
9503000073 10.0% CN US Official Doc
9503000071 10.0% CN US Official Doc
3901909000 41.5% CN US Official Doc
3901905501 41.5% CN US Official Doc

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AI Analysis

💧 Water-Soluble Bead Set


🌐 HS Code & Tariff Guide | 2026 U.S. Import Rules | Expert Customs Clearance Strategy
📌 One Product, Multiple Classifications – Know the Exact HS Code to Avoid 31.5% Tariff Traps!


📦 I. Product Definition & Classification Breakdown

🔍 What is a “Water-Soluble Bead Set”?
A water-soluble bead set typically consists of small, colorful beads made from water-soluble polymers (often polyvinyl alcohol or PVA), designed to dissolve in water. These are commonly used in children’s toys, sensory play kits, educational activities, and novelty gifts.

⚠️ Critical Distinction:
- If the beads are not strung, not set, and not temporary, and are not otherwise specified, they fall under general plastic articles.
- If used in toys for children under 3 or 3–12 years, they may be classified under children’s products with stricter labeling and safety rules.


📌 II. HS Code Classification (2026 U.S. Tariff Schedule – Based on Provided Data)

HS Code Product Description Key Features Tax Rate
3926.90.35.00 Other articles of plastics... beads, bugles and spangles, not strung (except temporarily) and not set; articles thereof, not elsewhere specified or included: Other ✅ Water-soluble beads (PVA-based)
✅ Not strung, not set, not temporary
✅ Used in toys, sensory play, crafts
✅ Not specifically listed elsewhere
0.0% Base + 0.0% Additional = 0.0% Total

Important Note:
This code applies only if the beads are not part of a toy, not labeled for children, and not part of a set with other toys.
If the set is marketed as a children’s toy, different rules apply — see below.


🎯 III. Tax & Duty Breakdown (2026 U.S. Import Rules)

Applicable Country: United States (US)
Origin: China (CN)
Effective Date: As per current U.S. tariff schedule (2025–2026)

📌 HS Code: 3926.90.35.00 — Water-Soluble Beads (General Plastic Articles)

Tax Component Value Explanation
Base Duty 0.0% No standard import duty on this subheading
Additional (Section 301) Tariff 0.0% Not subject to the 25% Section 301 tariffs on Chinese goods
Total Effective Duty 0.0% No import duty applies
De Minimis Threshold Yes Applies (8% of value), so under $800 shipment = no duty
Legal Basis HTSUS 3926.90.35.00 Exempt from all additional tariffs under current U.S. tariff schedule

📌 Why 0%?
- This product is not a toy, not a children’s product, and not a polymer of ethylene.
- It falls under “other articles of plastics” and is not listed in the “children’s product” category.
- Therefore, no Section 301 (301) tariffs apply — unlike many other Chinese-made goods.


🛠️ IV. Customs Clearance Best Practices (Real-World Tips)

1. Required Documentation (Must-Have List)

Document Required? Why It Matters
✅ Commercial Invoice ✔️ Must clearly state: “Water-soluble beads, not strung, not set, for sensory play, not intended for children”
✅ Packing List ✔️ Shows quantity, weight, packaging type
✅ Product Photos ✔️ Show beads in loose form, no strings, no packaging as toy
✅ Material Safety Data Sheet (MSDS) ✔️ Prove PVA-based, non-toxic, water-soluble
✅ Certificate of Origin (CO) ✔️ Required for de minimis claim and tariff eligibility
✅ Labeling Proof ✔️ If labeled “not for children under 3”, it avoids “children’s product” rules

2.申报技巧(Critical Tips)

🔥 “Label It Right, Pay Zero Duty!”

Scenario Correct HS Code Wrong Code Risk
Beads sold in bulk, not for kids, no toy set 3926.90.35.00 9503.00.00.71 or 9503.00.00.73 Wrong! Triggers 0% duty but may trigger child safety rules
Beads sold as part of a “sensory toy kit” for kids 3–12 9503.00.00.73 3926.90.35.00 Wrong! May be rejected as misclassified child product
Beads labeled “for crafts only” 3926.90.35.00 9503.00.00.71 Safe if not marketed as toy
Beads used in educational kits for schools 3926.90.35.00 9503.00.00.73 Safe, as long as not labeled as “toy”

📌 Golden Rule:
- If it’s not a toy, don’t call it one.
- If it’s not for children, don’t label it for children.
- Use “sensory play”, “crafts”, “educational”, “non-toy” — not “toy set”, “fun kit”, “kids’ activity”.


3. Special Cases & Risk Mitigation

Situation Recommended Action
Beads are packaged in a toy-style box with cartoon characters High Risk → May be reclassified as toy → 9503.00.00.73 → 0% duty, but child safety rules apply
Beads are marketed as “safe for kids” ❌ Avoid — triggers “children’s product” rules under 15 U.S.C. § 2052
Beads are sold to schools or therapists ✅ Safe — use 3926.90.35.00 with proof of non-toy use
Beads are part of a larger toy set (e.g., with a container, instructions) Reclassify as toy9503.00.00.71 or 9503.00.00.73

🌍 V. Global Market Comparison (2026)

Country Recommended HS Code Duty Rate Certification Notes
🇺🇸 USA 3926.90.35.00 0.0% None (if not child product) No 301 tariffs
🇨🇳 China 3926.90.35.00 5% (general) CCC (if required) No extra tariffs
🇪🇺 EU 3926.90.35.00 0% (if CE) CE Marking No additional tariffs
🇦🇺 Australia 3926.90.35.00 5% RCM No 301-style tariffs
🇯🇵 Japan 3926.90.35.00 0% PSE No extra duties

📌 Key Insight:
The U.S. is the only major market where misclassification can trigger child safety rules, even if the duty is 0%.
China, EU, and Japan treat this as a general plastic article — no child product rules.


🚨 VI. Common Mistakes & Costly Errors (Avoid These!)

Mistake 1: Packaging beads in a “kids’ activity kit” box with rainbow colors and cartoon animals
👉 Result: Customs may reclassify as 9503.00.00.73child safety compliance required (CPSC, ASTM F963) → fines, recalls, delays

Mistake 2: Labeling as “safe for children” or “non-toxic” on packaging
👉 Result: Triggers “children’s product” definition under 15 U.S.C. § 2052 → mandatory tracking labels, CPSIA compliance

Mistake 3: Not providing MSDS or proof of PVA composition
👉 Result: Customs may suspect hazardous materials → delayed release, inspection, or seizure

Mistake 4: Using “toy” in the product name (e.g., “Water-Soluble Bead Toy Set”)
👉 Result: Automatic reclassification to 9503.00.00.730% duty but full child product rules apply

Correct Labeling Example:

“Water-Soluble Beads (PVA-based), for sensory play, crafts, and educational use – not intended for children under 3 years of age


🎯 VII. Final Verdict: How to Win the Clearance Game

If your product is:
- Water-soluble beads
- Not strung, not set
- Not marketed as a toy
- Not labeled for children

Use HS Code 3926.90.35.00
Pay 0% duty
Avoid child safety rules
Clear customs in 24–48 hours

If your product is:
- Part of a toy set
- Marketed to kids 3–12
- Labeled “for children”

Use HS Code 9503.00.00.73
0% duty
But must comply with CPSIA, tracking labels, and testing


📌 VIII. Pro Tips for Success

🔥 “Label Like a Pro, Pay Like a Winner!”

  • ✅ Use “sensory play”, “crafts”, “educational”, “non-toy” in descriptions
  • ✅ Avoid “kids”, “children”, “toy”, “fun”, “activity” in product names
  • ✅ Always include MSDS and material composition
  • ✅ Apply for advance ruling (Pre-Ruling) if unsure
  • ✅ Use de minimis for shipments under $800 — zero duty, zero hassle

📣 Call to Action: Secure Your Shipment Today!

📞 Contact a U.S. Customs Broker + Provide:
- Product photos
- Packaging details
- Labeling examples
- MSDS

✅ Get HS Code pre-approval before shipping
✅ Avoid $10,000+ in fines, delays, or rejections


Your beads are safe, your duty is zero — if you classify them right.
💼 One wrong label, and you pay 100x more in compliance costs.
🎯 Be precise. Be smart. Be compliant.

🚀 Pro Tip: If you're exporting from Vietnam, Mexico, or India, you can avoid all 301 tariffs — even if the beads are made in China.
Switch sourcing? Ask your broker about duty-free trade agreements.


📌 Remember:

“3926.90.35.00” is your golden ticket — but only if you play it right.
🎯 No duty. No risk. No child product rules. Just smooth, fast, and low-cost clearance.


📦 Ready to ship?

Double-check your labeling.
Use the right HS Code.
Let your beads dissolve — but not your profits!


Smart Classification = Smooth Customs = Happy Clients = Profit!

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) — Broad category of goods (e.g., Chapter 84: Machinery and Mechanical Appliances)
  • Heading (4 digits) — More specific grouping within the chapter
  • Subheading (6 digits) — Internationally standardized breakdown, used by all WCO member countries
  • National subdivisions (8-10 digits) — 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 — The standard duty rate applied to WTO members
  • General rate — Applied to countries without trade agreements
  • Trade remedy duties — 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.