Processing...

Thinking...

AI is analyzing your product

60s

rag holder

CN โ†’ US
HS Code Tariff Rate Origin Destination Doc
7326908630 87.9% CN US Official Doc
7616995150 37.5% CN US Official Doc
3926305000 22.8% CN US Official Doc
7326908688 87.9% CN US Official Doc
3926909989 22.8% CN US Official Doc

Product Images

AI Analysis

๐Ÿงผ Rag Holder (Kitchen & Household Organizers)


๐ŸŒ HS Code Reference & Customs Clearance Guide | 2026 Latest Tariff Analysis | Professional Clearance Strategy
๐Ÿ“Œ I. Product Definition & Classification: What Exactly is a "Rag Holder"?

A Rag Holder is a household or kitchen accessory designed to store, support, or organize cleaning cloths, sponges, or towels. In international trade, its classification hinges entirely on material composition and functional design. Because "Rag Holder" is a functional description rather than a material-specific term, Customs authorities will look for the primary material to determine the correct HS Code.

โš ๏ธ Key Distinction:
- If made of Steel/Iron โ†’ It is treated as a generic metal article โ†’ High tariffs due to Section 232/301 duties.
- If made of Aluminum โ†’ It is treated as a non-ferrous metal article โ†’ Moderate tariffs.
- If made of Plastic โ†’ It is treated as an article of plastic โ†’ Lower tariffs.
- Note: The function (holding rags) does not exempt it from material-based tariffs.


๐Ÿ“ฆ II. HS Code Classification Details (2026 Latest Tariff Authority)

Based on the provided data, here are the four potential classifications depending on material inference:

HS Code Material Inference Product Description & Logic Total Tax Rate
7326.90.86.30 Steel/Iron "Support/Placement Articles". Matches 'Brackets and similar supports for pipes and tubes'. Inferred as metal due to commonality. 87.9%
7616.99.51.50 Aluminum "Support Component". Falls under 'Other' in aluminum articles, fitting spare parts/components without material conflict. 37.5%
3926.30.50.00 Plastic "Furniture/Household Item". Matches 'Connecting fittings for furniture/car bodies'. Default material assumption for household accessories. 22.8%
7326.90.86.88 Steel/Iron "Other Iron/Steel Articles". Inferred as iron/steel due toๅฎถๅฑ…็”จๅ“ (home goods) context. Non-specific listed metal bracket. 87.9%
3926.90.99.89 Plastic/Mixed "Other Articles". Household accessory/component. Material inferred as plastic or metal, but fits 'Other' unlisted category. 22.8%

๐Ÿ” Critical Insight:
- Steel/Iron Holders attract the highest burden (87.9%) due to theๅ ๅŠ  (stacking) of Base Tariff (2.9%), Section 301 (25%), Section 232 (50% for steel), and IEEPA (10%).
- Plastic Holders are the most cost-effective for import (22.8%).
- Aluminum Holders sit in the middle (37.5%).


๐Ÿ’ฐ III. Detailed Tariff Breakdown (Including Surcharges & Policy Add-ons)

โœ… Applicable Country: United States (US)
โœ… Origin: China (CN)
โœ… Effective Time: 2025/2026 Tariff Regime

๐ŸŽฏ 1. 7326.90.86.30 / 7326.90.86.88 โ€” Steel/Iron Rag Holder (The "Heavy Tariff" Category)

This classification triggers the maximum tariff burden due to combined trade remedies.

Item Detail
Base Tariff 2.9%
Section 301 Surcharge +25.0% (Additional duty under US Trade Act Section 301)
Section 232 Surcharge +50.0% (Steel, Aluminum, Copper products surcharge)
IEEPA Surcharge +10.0% (International Emergency Economic Powers Act - China-specific)
Total Effective Tax Rate 87.9%
Tax Calculation CIF Value ร— 87.9%
De Minimis Exemption โŒ NO (Not eligible for de minimis; high rates apply regardless of package value)
Legal Pathway USITC:7326.90.86 โ†’ FOOTNOTE:Section232 + IEEPA:9903

๐Ÿ“Œ Explanation:
- The 50% is the critical differentiator here. Steel products imported from China face a massive 50% ad valorem duty under Section 232.
- This is combined with the standard 25% Section 301 tariff and 10% IEEPA duty.
- Result: Nearly 90% of the product's value is taxed. This is financially prohibitive for low-value items like rag holders.


๐ŸŽฏ 2. 7616.99.51.50 โ€” Aluminum Rag Holder (The "Moderate" Category)

Aluminum falls under different trade rules than steel, resulting in lower but still significant tariffs.

Item Detail
Base Tariff 2.5%
Section 301 Surcharge +25.0%
IEEPA Surcharge +10.0%
Total Effective Tax Rate 37.5%
Tax Calculation CIF Value ร— 37.5%
De Minimis Exemption โŒ NO
Legal Pathway USITC:7616.99.51 โ†’ FOOTNOTE:Section301 + IEEPA

๐Ÿ“Œ Explanation:
- Unlike steel, aluminum does not have the 50% Section 232 surcharge listed in this specific data point (or it is offset/structured differently in this specific subheading analysis).
- Result: 37.5% total. Still high, but significantly better than steel.


๐ŸŽฏ 3. 3926.30.50.00 / 3926.90.99.89 โ€” Plastic Rag Holder (The "Low Tariff" Category)

Plastic articles are classified under Chapter 39, which generally has lower base rates and avoids the heavy Section 232 steel/aluminum surcharges.

Item Detail
Base Tariff 5.3%
Section 301 Surcharge +7.5%
IEEPA Surcharge +10.0%
Total Effective Tax Rate 22.8%
Tax Calculation CIF Value ร— 22.8%
De Minimis Exemption โŒ NO (Based on data provided)
Legal Pathway USITC:3926.30 or 3926.90 โ†’ FOOTNOTE:Section301 + IEEPA

๐Ÿ“Œ Explanation:
- The Section 301 duty for plastic goods is often lower (7.5%) compared to metal goods (25%).
- Result: 22.8% total. This is the most economical classification for importing rag holders.


๐Ÿ› ๏ธ IV. Customs Clearance Practical Advice (Avoiding Pitfalls)

โœ… 1. Material Declaration is Critical

Action Recommendation Reason
Specify Material Clearly state "100% Stainless Steel", "Anodized Aluminum", or "ABS Plastic" on the Invoice and Packing List. Customs cannot infer material. Ambiguity leads to delays or misclassification.
Avoid Generic Terms Do not just write "Rag Holder". Use "Stainless Steel Kitchen Rag Holder" or "Plastic Wall-Mounted Towel Rack". Precise names help Customs officers match the correct HS Code immediately.

โœ… 2. Cost-Saving Strategy: Choose Plastic or Aluminum

Material Total Tax Strategic Advice
Steel 87.9% โŒ Avoid unless the product is premium/high-value. The tax erodes all profit margins.
Aluminum 37.5% โš ๏ธ Caution. Moderate cost. Only viable if aluminum is the only viable material for your design.
Plastic 22.8% โœ… Recommended. Lowest duty burden. Ideal for mass-market, low-cost household items.

๐Ÿ’ก Pro Tip: If your product is a mixed-material rag holder (e.g., plastic handle with metal hook), Customs may classify the principal material. If the plastic component is dominant, argue for 3926. If the metal hook is the functional core, they may push for 7326. Design with tax in mind.

โœ… 3. Documentation Checklist

Document Requirement Why?
Commercial Invoice Must list HS Code, Material, Unit Price, Total CIF Value. Primary document for tax calculation.
Packing List Detail contents per box. Verifies quantity and packaging.
Product Photos Clear images showing material texture and structure. Helps Customs verify material claim (e.g., distinguishing steel from plastic).
Material Test Report (Optional but Helpful) Lab report confirming alloy composition (e.g., 304 Stainless vs. 201). Prevents misclassification between steel grades, which can affect Section 232 applicability.

โœ… 4. Special Considerations

Scenario Advice
Section 232 Steel Exemptions If using steel, check if your specific steel grade is on the Exclusion List. If excluded, the 50% surcharge might be waived, drastically reducing cost.
De Minimis (Section 321) Warning: The data indicates these HS codes are not eligible for de minimis (under $800 duty-free entry). Ensure your shipment value and classification are prepared for full duty payment.
Country of Origin If the rag holder is manufactured in Vietnam, Mexico, or Malaysia, you may qualify for IEEPA exemptions or lower Section 301 rates. Do not assume "Made in China" labeling if it is actually made elsewhere.

๐ŸŒ V. Global Market Comparison (2026 Overview)

Market Recommended HS Code Est. Total Duty (China Origin) Key Requirement
๐Ÿ‡บ๐Ÿ‡ธ USA 3926.30.50.00 (Plastic) 22.8% Accurate material declaration. Avoid Steel if possible.
๐Ÿ‡บ๐Ÿ‡ธ USA 7326.90.86.30 (Steel) 87.9% High risk. Only for high-margin niche products.
๐Ÿ‡ช๐Ÿ‡บ EU 7326.90 (Steel) ~0-5% (plus VAT) No Section 301/232. VAT applies.
๐Ÿ‡จ๐Ÿ‡ณ China 7326.90 (Steel) ~2-3% Import duty is low. Export duty from China may apply.

๐Ÿ“Œ Conclusion for US Importers:
- Plastic (3926) is the safest and cheapest route (22.8%).
- Steel (7326) is prohibitively expensive (87.9%) due to the 50% Section 232 tariff.
- Aluminum (7616) is a middle ground (37.5%).


๐Ÿ“Œ VI. Common Errors & Pitfalls (Learn from Mistakes)

โŒ Error 1: Classifying a Steel Rag Holder as "Home Accessory" under a generic code.
๐Ÿ‘‰ Result: Customs reclassifies to 7326, applies 87.9%, and issues a penalty for underpayment.

โŒ Error 2: Assuming Plastic items are duty-free.
๐Ÿ‘‰ Result: While base duty is low, the 7.5% Section 301 + 10% IEEPA still applies. 22.8% is not 0%.

โŒ Error 3: Ignoring the "Section 232" surcharge for Steel.
๐Ÿ‘‰ Result: Many importers only check the 25% Section 301 rate and miss the 50% Steel surcharge, leading to massive budget shortfalls.


๐ŸŽฏ VII. Final Recommendation: Optimize Your Supply Chain

๐Ÿ† Best Strategy:

  1. Switch Material: If design allows, switch from Steel to Plastic or Coated Aluminum. This alone saves 65%+ in tariffs.
  2. Verify Origin: If you must use Steel, ensure the steel is sourced from exempt countries or the product is assembled outside of China to avoid IEEPA/Section 301.
  3. Precise Documentation: Always declare the exact material (e.g., "304 Stainless Steel" vs. "Plastic"). Vague descriptions invite audits.

๐Ÿ”ฅ Mantra:
"Material Dictates Tax. Steel is 87.9%, Plastic is 22.8%. Choose wisely to protect your margin!"


๐Ÿ“ฃ Immediate Action:

๐Ÿ“ž Audit your current HS Code: Are you paying 87.9% for a steel rag holder?
๐Ÿš€ Consider re-engineering: Can the holder be made of plastic? Can the source be changed?
๐Ÿ“„ Prepare Pre-Ruling: Submit a binding ruling request to US Customs (CBP) if your product is complex/mixed-material.


โœจ Professional Clearance Starts with Precise Classification!
๐Ÿ’ผ Every percentage point of tariff is a point of profit lost!

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