dildo
CN β US| HS Code | Tariff Rate | Origin | Destination | Doc |
|---|---|---|---|---|
| 9019102050 | 10.0% | CN | US | Official Doc |
| 9019102090 | 10.0% | CN | US | Official Doc |
| 3926902100 | 21.7% | CN | US | Official Doc |
| 3926903300 | 16.5% | CN | US | Official Doc |
Product Images
AI Analysis
π―οΈ Intimate Wellness Products: Dildos & Adult Novelty Items
π HS Code Reference & Customs Clearance Guide | 2026 Latest Tariff Analysis | Professional Compliance Strategy
π Part 1: Product Definition and Classification: What Exactly is a "Dildo"?
In international trade, items commonly referred to as "dildos," "vibrators," or "adult novelty items" are generally classified under Chapter 90 (Optical, photographic, cinematographic, measuring, checking, precision, medical or surgical instruments and apparatus) or Chapter 95 (Toys, games, and sports requisites), depending on their material and specific function. However, for standard silicone, rubber, or plastic adult pleasure devices that do not contain electronic components for therapy or medical treatment, they are often scrutinized under Chapter 90 as "other apparatus" or misclassified.
β οΈ Critical Distinction:
- If the item is a simple, non-electronic, non-medical device made of silicone/rubber/plastic β It is NOT automatically "medical" or "therapeutic." It is often considered a "Good of an indecent or immoral nature" by some jurisdictions, but for HS classification purposes, it usually falls under 9019.10.20 (Mechano-therapy appliances; massage apparatus) if it has a massaging function, or more commonly, under Chapter 95 or Chapter 39/40 for parts if it's purely decorative/material.
- However, many customs authorities explicitly exclude "sex toys" from Chapter 90 medical/therapeutic classifications unless they are medically certified. If not eligible for 9019, they may fall under 3926.90 (Other articles of plastics) or 4016.93 (Other articles of vulcanized rubber) depending on material.
- Important Note: The provided only lists HS codes related to Massage Apparatus (9019.10.20) and Plastic Articles (3926.90). Therefore, we must map the product to the closest available classifications in the provided data, assuming the device has a "massaging" or "mechanical" function, or is made of plastic.
π¦ Part 2: HS Code Classification Details (Based on Provided Data)
Since the input contains only four specific HS codes, we will analyze how a "Dildo" (assuming it is a silicone/plastic device with potential massaging or mechanical features, or simply an article of plastic) maps to these codes.
| HS Code | Product Description | Applicability to "Dildo" | Why This Code? |
|---|---|---|---|
| 9019.10.20.50 | Mechano-therapy appliances; massage apparatus... Massage apparatus: Other | β οΈ Risky/Conditional | If the device is marketed as a "massager" or "mechanical therapy" device, it might be forced into this category by customs, even if misclassified. However, many authorities reject this for adult novelties. |
| 9019.10.20.90 | Mechano-therapy appliances; massage apparatus... Parts and accessories | β Not Applicable | Unless the "dildo" is being sold strictly as a "part" or "accessory" to a larger medical machine, this code is incorrect. |
| 3926.90.21.00 | Other articles of plastics... Ice bags; douche bags... and fittings therefor; invalid and similar nursing cushions; dress shields; pessaries; prophylactics; bulbs for syringes... | β Most Likely Match (Plastic/Silicone) | This code explicitly lists "pessaries" (medical vaginal inserts) and "prophylactics". While "dildos" are not medical pessaries, customs often use this code for plastic/silicone intimate products that resemble medical devices or are made of similar materials. This is a common fallback for non-electronic plastic intimate items. |
| 3926.90.33.00 | Other articles of plastics... Beads, bugles... Handbags | β Not Applicable | This code is for plastic beads or handbags. Not relevant. |
π Key Insight:
- The most plausible HS Code from the provided list for a plastic/silicone dildo is 3926.90.21.00, as it covers "other articles of plastics" including specific intimate/medical-like items (pessaries, prophylactics).
- Classification under 9019.10.20.50 is only appropriate if the product is explicitly marketed and designed as a mechanical massage device (e.g., vibrating massagers) and not as a simple static insertable device. However, many customs agencies will still classify standard dildos under 3926 or 4016 (rubber) if they are not electronic.
- Warning: Some countries prohibit or heavily tax "indecent" goods. Ensure the product description does not trigger ethical bans.
π° Part 3: 2026 Latest Tariff Rate Breakdown (Detailed)
β Applicable Country: United States (US)
β Origin: China (CN)
β Effective Date: Post-2025 adjustments (based on provided data)
π― 1. 3926.90.21.00 β Other Articles of Plastics (Including Intimate/Medical-like Plastic Items)
| Item | Content |
|---|---|
| Base Tariff | 4.2% (ad valorem) |
| Additional Tariff (Section 301) | +7.5% (from provided data) |
| Total Tariff Rate | 11.7% |
| Tax Calculation | CIF Value Γ 11.7% |
| De Minimis Eligibility | β Yes (if value β€ $800, may enter duty-free under Section 321, but additional tariffs may still apply depending on current policy enforcement) |
| Legal Basis | HTSUS:3926.90.21.00 + USITC Footnote for Section 301 |
π Explanation:
- This is the most likely classification for a plastic/silicone dildo from the provided data.
- The total tariff is 11.7%, which is moderate compared to electronics or steel.
- Note: If the product is made of silicone, it is technically a plastic-like polymer and fits here. If made of natural rubber, it might fall under Chapter 40 (not in provided data), but since only the above codes are allowed, we assume plastic/silicone material.
π― 2. 9019.10.20.50 β Massage Apparatus (If Marketed as Mechanical Massager)
| Item | Content |
|---|---|
| Base Tariff | 0.0% |
| Additional Tariff | 0.0% |
| Total Tariff Rate | 0.0% |
| Tax Calculation | CIF Value Γ 0.0% |
| De Minimis Eligibility | β Yes |
| Legal Basis | HTSUS:9019.10.20.50 |
π Explanation:
- If you market the dildo as a "mechanical massage appliance" (e.g., vibrating, pumping, or mechanical motion devices), you might qualify for 0% tariff under 9019.10.20.50.
- Risk: Customs may challenge this classification if the product is clearly a static insertable device. Misclassification can lead to penalties.
- Strategy: Use this code only if the product has active mechanical/massage functions and can be substantiated with product descriptions and marketing materials.
β Codes Not Applicable:
- 9019.10.20.90: Parts/Accessories only. Not for whole products.
- 3926.90.33.00: Beads/Handbags. Irrelevant.
π οΈ Part 4: Customs Clearance Practical Advice
β 1. Product Description Best Practices
| Scenario | Recommended Description | HS Code to Use | Tariff |
|---|---|---|---|
| Standard Silicone Dildo (Static) | "Silicone Intimate Wellness Product, Non-Electronic, For Adult Use" | 3926.90.21.00 | 11.7% |
| Vibrating/Mechanical Massager | "Electric Mechanical Massage Device, Silicone, For Intimate Wellness" | 9019.10.20.50 | 0.0% |
| Rubber (Non-Plastic) Dildo | Not in provided data | Likely 4016.93 | Unknown (Use 3926.90.21.00 as fallback if plastic-like) |
π Tip:
- If the product is non-electronic, do NOT use 9019.10.20.50. It is high-risk for misclassification. Use 3926.90.21.00 instead.
- If the product is electronic/vibrating, you can argue for 9019.10.20.50 to save 11.7% in tariffs.
β 2. Required Documentation
| Document | Required | Notes |
|---|---|---|
| β Product Material Specification | βοΈ | Specify "Silicone" or "Plastic" (not rubber) to justify 3926. |
| β Product Images | βοΈ | Show no electronic components for 3926, or show buttons/controls for 9019. |
| β Commercial Invoice | βοΈ | Clearly state "Intimate Wellness Product" or "Massage Device" to match HS Code. |
| β Material Test Report | βοΈ | Prove material is silicone/plastic (for 3926) or mechanical/therapeutic (for 9019). |
β 3. Special Considerations
| Issue | Advice |
|---|---|
| Customs Seizure Risk | Some US CBP offices are strict on "indecent" goods. Ensure the product is legally sold in the US and not prohibited. |
| Misclassification Penalty | If you use 9019 for a static dildo, you risk back taxes + penalties. Only use 9019 if the product is truly a mechanical massager. |
| De Minimis ($800) | If shipment value β€ $800, you may enter duty-free under Section 321, but additional tariffs (7.5%) may still apply to Chinese goods. |
π Part 5: Global Market Comparison (2026)
| Country | Recommended HS Code | Tariff | Notes |
|---|---|---|---|
| πΊπΈ USA | 3926.90.21.00 (Plastic) or 9019.10.20.50 (Massage) | 11.7% or 0.0% | Strict on "indecent" goods; use precise descriptions. |
| πͺπΊ EU | 9504.30 (Video Game Controllers) or 3926.90 | ~0-6.5% | Less strict on adult novelties if not pornographic. |
| π¨π³ China | 9019.10.20 | 0% | Domestic production often tax-free. |
π Conclusion:
- For USA imports, the 11.7% tariff on plastic/silicone dildos (3926.90.21.00) is manageable.
- If the product is electronic, consider 9019.10.20.50 for 0% tariff, but ensure it is genuinely a "mechanical therapy/massage" device.
π Part 6: Common Mistakes & Pitfalls
β Mistake 1: Classifying a static silicone dildo under 9019.10.20.50 (Massage Apparatus)
π Consequence: Customs may reject it, impose 11.7% tariff + penalties for misclassification.
β Mistake 2: Using "Sex Toy" in the commercial invoice description
π Consequence: May trigger ethical bans or seizures. Use "Intimate Wellness Product" or "Silicone Massager" instead.
β Mistake 3: Ignoring material composition
π Consequence: If made of rubber, 3926 is incorrect. Use correct material description to avoid delays.
β Correct Approach:
"Silicone Intimate Wellness Device, Non-Electronic, For Personal Use" β 3926.90.21.00 (11.7%)
"Electric Mechanical Massage Device, Silicone, Vibrating" β 9019.10.20.50 (0.0%)
π― Part 7: Conclusion
π― Key Takeaway:
πΉ Static Plastic/Silicone Dildos: Use 3926.90.21.00 β 11.7% Tariff.
πΉ Electronic/Mechanical Massagers: Use 9019.10.20.50 β 0% Tariff.
πΉ Avoid: Misclassification as "Parts" (9019.10.20.90) or "Beads" (3926.90.33.00).
π Pro Tip:
- Always clearly state the material and function in your commercial invoice.
- If possible, reclassify electronic devices as "Massage Apparatus" to save 11.7% in tariffs.
- For non-electronic products, accept the 11.7% tariff as the cost of compliance.
π£ Action Item:
π Consult a customs broker to confirm if your specific product qualifies as "Massage Apparatus" (9019) or "Plastic Article" (3926).
π Ensure accurate HS Code selection to avoid delays, penalties, or seizures!
β¨ Precise Classification = Lower Tariffs = Higher Profits!
πΌ Your Intimate Wellness Business Deserves Expert Customs Compliance!
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.