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prostate massager

CN β†’ US
HS Code Tariff Rate Origin Destination Doc
3926909989 22.8% CN US Official Doc

AI Analysis

πŸ‘ Prostate Massager (Male Pleasure Devices)


🌐 HS Code Reference & Customs Clearance Guide | 2026 Latest Tariff Analysis | Professional Clearance Strategy
πŸ“Œ I. Product Definition & Classification: What is a "Prostate Massager"?

A prostate massager is an intimate wellness device designed for male sexual health and pleasure. In international trade, its classification depends heavily on function, material, and intended use. It is generally categorized under plastics or articles of other materials (headings 3901–3914) if made primarily of plastic/silicone/rubber, or under Chapter 90 if it contains complex electronic medical components (though most consumer-grade devices are classified under Chapter 39 or 95).

Key Distinction:
- Non-Electronic/Simple Electronic: Basic silicone/rubber plugs or simple vibration motors β†’ Often falls under Chapter 39 (Plastics) or Chapter 95 (Toys/Hobbies) depending on national interpretation.
- Electronic/Smart Devices: Devices with Bluetooth, apps, or complex circuitry β†’ May be scrutinized under Chapter 85 (Electrical Machinery) or Chapter 90 (Medical Instruments) if claimed for therapeutic use.

⚠️ Critical Classification Point:
- If the device is primarily made of plastic/silicone and has no complex medical diagnostics, it is often classified as an "Other article of plastics" (HS Code 3926.90) or "Other articles of toys" (HS Code 9503.00) in some jurisdictions.
- However, based on the provided DATA, the classification is strictly within Chapter 39.


πŸ“¦ II. HS Code Classification Details (Based on Provided DATA)

According to the specific data provided:

HS Code Product Description Material Basis Classification Logic
3926.90.99.89 Other articles of plastics and articles of other materials of headings 3901 to 3914: Other: Other Other Plastic/Silicone/Rubber Classified under Chapter 39 (Plastics and articles thereof). Specifically, it falls under "Other articles of plastics" that are not specified elsewhere. This implies the device is viewed as a manufactured plastic product rather than a medical device or toy in this specific context.

πŸ” Key Insight:
- The code 3926.90.99.89 is a "basket" code for plastic articles not specifically mentioned in subheadings 3926.10 to 3926.90.
- Silicone/Plastic Dominance: The classification assumes the primary identity of the product is its material (plastic/silicone) rather than its electronic function (if any) or medical purpose.
- No Medical Device Classification: It is not classified under Chapter 90 (Medical devices), which would apply if it were a strictly therapeutic medical instrument with diagnostic capabilities.


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

βœ… Applicable Country: United States (US) (Note: The provided data shows 0% tax, which is consistent with US MFN rates for many plastic articles, but surtaxes depend on origin and specific HTSUS rules.)
βœ… Origin: Not specified in DATA, but tax detail shows 0% Basic + 0% Additional.
βœ… Effective Time: 2026 (Current Data)

🎯 1. 3926.90.99.89 β€”β€” Other Articles of Plastics

Item Content
Basic Tariff Rate 0.0%
Additional Tariff (Section 301/IEEPA) 0.0%
Total Effective Tariff Rate 0.0%
Tax Calculation Basis CIF Value Γ— 0.0% = $0
De Minimis Eligibility βœ… Yes (Generally, plastic articles under $800 may qualify for de minimis entry into the US, but this depends on specific CBP rulings for intimate apparel/devices).
Legal Basis Path HTSUS: 3926.90.99.89 β†’ USITC: General Tariff

πŸ“Œ Explanation:
- Zero Tariff Advantage: This is a significant advantage for importers. Most plastic consumer goods have low or zero MFN tariffs.
- No 301 Section Surtax: Unlike electronics or certain steel/aluminum products, many plastic articles are exempt from the heavy Section 301 surtaxes (25%) applied to Chinese imports in other categories.
- Important Note: While the tariff is 0%, customs enforcement may still be strict regarding content moderation (FDA/CPSC) and intellectual property (brand counterfeit checks).


πŸ› οΈ IV. Customs Clearance Practical Advice (Real-World Pitfall Guide)

βœ… 1. Required Documentation Checklist

Document Mandatory Notes
βœ… Commercial Invoice βœ”οΈ Must clearly describe the item as "Prostate Massager" or "Male Intimate Wellness Device." Avoid vague terms like "plastic toy" which may trigger suspicion.
βœ… Product Specifications βœ”οΈ Detail material composition (e.g., "100% Medical-Grade Silicone," "ABS Plastic").
βœ… Ingredients/Material Safety Data Sheet (MSDS) βœ”οΈ Crucial for silicone/rubber products to prove compliance with non-toxic standards.
βœ… Labeling/Marking βœ”οΈ Must include "Made in [Country]," country of origin, and manufacturer info.
βœ… CE/FDA Statements βœ”οΈ If claiming medical benefits, FDA clearance is required. If for personal pleasure, CPSC (Consumer Product Safety Commission) guidelines apply.

βœ… 2. Declaration Tips (Key Mnemonics)

πŸ”₯ β€œMaterial First, Function Clear, Compliance Strong, Tariff Zero!”

Scenario Correct Declaration Incorrect Practice
Silicone/Plastic Massager 3926.90.99.89 - "Plastic Prostate Massager" Misdeclaring as "Toy" (9503.00) β†’ Potential penalty if not classified as toy.
Electronic/Vibrating Device Still 3926.90.99.89 if plastic-dominated, but may require FCC filing for electronics. Omitting "Electronic" component β†’ Customs may reclassify under Chapter 85 (Higher scrutiny).
Medical Claim Product Chapter 90 (Medical Device) Using 3926 for medical-grade diagnostic devices β†’ Severe Penalty.

βœ… 3. Special Considerations

Issue Handling Advice
FDA/CPSC Compliance Intimate devices are considered consumer products. Ensure compliance with 16 CFR Part 1309 (Flammability) and CPSIA (Lead/Phthalates) if made for consumers.
Intellectual Property (IP) Avoid counterfeit branding. Customs may seize goods if they mimic popular brands (e.g., Lelo, We-Vibe).
Content Moderation Online platforms and some customs regimes may flag keywords like "Prostate" or "Sexual Wellness." Use neutral terms like "Pelvic Health Device" if marketing restrictions exist, but customs declarations must be truthful.

🌍 V. Global Market Comparison (2026 Latest)

Country/Region Recommended HS Code Tariff Certification Requirements Notes
πŸ‡ΊπŸ‡Έ USA 3926.90.99.89 0% CPSIA, FCC (if electronic), FDA (if medical claim) Low tariff, strict safety compliance.
πŸ‡¨πŸ‡³ China 3926.90.99.89 Varies (Check GB Standards) CCC (if applicable), GB/T Standards Domestic production often uses this code for export.
πŸ‡ͺπŸ‡Ί EU 3926.90 0% (Most FTA) CE Mark, REACH, RoHS Strict on phthalates and silicones.
πŸ‡¬πŸ‡§ UK 3926.90 0% (Post-Brexit FTA) UKCA, UK REACH Similar to EU but with post-Brexit paperwork.

πŸ“Œ Conclusion:
- USA and EU offer 0% tariffs for plastic articles under 3926.
- Compliance is Key: The main barrier is not tariff, but safety and health regulations (Phthalates, Lead, Microbiological safety).


πŸ“Œ VI. Common Errors & Pitfall Guide (Blood Lessons)

❌ Error 1: Misdeclaring as "Plastic Toy" (9503.00) without justification
πŸ‘‰ Consequence: Customs may reject, demanding reclassification to 3926 or imposing penalties for false declaration.

❌ Error 2: Ignoring Electronic Components
πŸ‘‰ Consequence: If the device vibrates, it has electronics. Customs may reclassify under Chapter 85 (Electrical machinery), potentially triggering 25% Section 301 tariffs if from China.
πŸ‘‰ Advice: Ensure the primary material is plastic, or declare the electronic component separately if significant.

❌ Error 3: Using Vague Descriptions like "Health Product"
πŸ‘‰ Consequence: Triggers FDA/medical device scrutiny.
πŸ‘‰ Advice: Clearly state "Intimate Wellness Device" or "Prostate Massager" to avoid misclassification as medical equipment.


🎯 VII. Conclusion: Professional Clearance for Intimate Wellness Products

🎯 Remember the Mantra:

πŸ”Ή "Plastic Body, Zero Tariff; Electronic Heart, Watch Out for Surtax."
πŸ”Ή "Compliance Over Cleverness: Safety Certs are Mandatory."


πŸ“Œ Pro Tip:
If your product is 100% silicone/rubber with no electronics, 3926.90.99.89 is your safest bet for 0% tariff.
If it includes vibration motors/batteries, ensure you comply with FCC/CE and consider if the electronic component shifts the classification to Chapter 85 (which may have higher tariffs for Chinese origins).


πŸ“£ Immediate Action:

πŸ“ž Contact a Customs Broker + Provide Material Safety Data Sheets (MSDS) + Verify FCC/CE Compliance
πŸš€ Ensure Smooth Customs Clearance for Intimate Wellness Products!


✨ Professional Classification, Starts with Accuracy!
πŸ’Ό Your Profit Margin Depends on Correct HS Codes and Compliance!

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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.