便携式编织袋
CN → US| HS Code | Tariff Rate | Origin | Destination | Doc |
|---|---|---|---|---|
| 7326908688 | 87.9% | CN | US | Official Doc |
| 3926903300 | 16.5% | CN | US | Official Doc |
| 6305900000 | 23.7% | CN | US | Official Doc |
| 6305390000 | 25.9% | CN | US | Official Doc |
| 7326908605 | 87.9% | CN | US | Official Doc |
AI Analysis
🎒 Portable Woven Bags & Accessories: HS Code Classification & 2026 Tariff Strategy
🌐 HS Code Reference & Customs Clearance Guide | 2026 Latest Tariff Analysis | Professional Clearance Strategy
📌 I. Product Definition & Classification: Do You Really Understand "Portable Woven Bags"?
Portable woven bags (often referred to as PP/PE sacks, bulk bags, or flexible packaging) are ubiquitous in global trade for logistics, agriculture, and retail. However, their material composition is the single most critical factor determining HS Code classification.
In international trade, they are broadly categorized into three main material types:
- Plastic Bags (PP/PE): The most common "woven" bags (e.g., fertilizer sacks, rice bags). Despite being "woven," they are chemically plastics.
- Textile Bags (Non-Woven/Woven Fabrics): Made from synthetic fibers (polyester, nylon) or natural fibers (cotton, jute).
- Metal Accessories: Clips, buckles, or frames used for these bags.
⚠️ Key Classification Distinction:
- If the bag is made of plastic strips woven together (like a rice sack) → Chapter 39 (Plastics).
- If the bag is made of textile fabric (woven or non-woven synthetic) → Chapter 63 (Textiles).
- If the item is a metal part/accessory (e.g., steel buckle) → Chapter 73 (Iron/Steel).
📦 II. HS Code Classification Details (2026 Latest Tariff Reference)
Based on the provided data, here are the specific HS Codes for "Portable Woven Bags" and their associated components:
| HS Code | Product Description | Material Basis | Total Tax Rate (China-Origin to US) |
|---|---|---|---|
3926.90.33.00 |
Other plastic articles (Woven bags made of PP/PE) | Plastic (PP/PE) | 16.5% |
6305.90.00.00 |
Sacks and bags for packaging, of textile materials (Other) | Textile (Synthetic/Natural) | 23.7% |
6305.39.00.00 |
Sacks and bags for packaging, of man-made textile materials | Man-Made Textile (e.g., Polyester) | 25.9% |
7326.90.86.88 |
Other articles of iron or steel (Metal Accessories/Parts) | Iron/Steel | 87.9% |
7326.90.86.05 |
Other articles of iron or steel (Other Metal Parts) | Iron/Steel | 87.9% |
🔍 Critical Note:
- "Woven" does not mean "Textile": In the Harmonized System (HS), bags made of woven plastic strips are classified under Plastics (Chapter 39), not Textiles (Chapter 63). This is a common error.
- Accessories are Separate: If you import steel buckles or metal handles separately, they are classified under Chapter 73, not with the bag itself.
💰 III. Detailed Tariff Rate Breakdown (2026 Latest Tariffs)
✅ Applicable Country: United States (US)
✅ Origin: China (CN)
✅ Effective Date: Post-November 2025 (Current 2026 Rates)
🎯 1. 3926.90.33.00 – Plastic Woven Bags (Most Common)
This code applies to bags made from Polypropylene (PP) or Polyethylene (PE) woven strips. This is the most common classification for "portable woven bags" used for grain, fertilizer, or construction materials.
| Item | Content |
|---|---|
| Base Tariff | 6.5% (Standard MFN rate for other plastic articles) |
| Section 301 Surcharge | 0.0% (Some plastic accessories may be exempt from the 25% tariff, depending on specific USITC exclusions, but generally, many plastic items are subject to tariffs. Note: The provided data shows 0.0% for Section 301, implying a specific exemption or low-risk classification for this sub-heading.) |
| IEEPA Surcharge (122 Clause) | 10% (Added on top for Chinese products) |
| Total Effective Tax Rate | 16.5% |
| Calculation | CIF Value × 16.5% |
| De Minimis Eligibility | ❌ No (De Minimis does not apply to Section 301/IEEPA taxed goods) |
| Legal Basis Path | IEEPA:9903.01.10 → USITC:3926.90.33.00 |
📌 Explanation:
- Despite being "woven," these are plastics.
- The 10% IEEPA tariff is mandatory for Chinese-origin plastics.
- The 0% Section 301 suggests this specific sub-code might benefit from an exclusion or lower penalty tier compared to other plastic goods.
🎯 2. 6305.90.00.00 – Textile Sacks/ Bags (Other)
Applies to bags made from textile materials (e.g., jute, cotton, or other natural/synthetic fibers) that are not specifically covered under "Man-made fibers."
| Item | Content |
|---|---|
| Base Tariff | 6.2% |
| Section 301 Surcharge | 7.5% |
| IEEPA Surcharge (122 Clause) | 10% |
| Total Effective Tax Rate | 23.7% |
| Calculation | CIF Value × 23.7% |
| De Minimis Eligibility | ❌ No |
| Legal Basis Path | IEEPA:9903.01.10 → USITC:6305.90.00.00 |
📌 Explanation:
- This is for non-man-made textile bags (e.g., natural fiber bags).
- The total tax is significantly higher than plastic bags due to the 7.5% Section 301 surcharge.
🎯 3. 6305.39.00.00 – Sacks/ Bags of Man-Made Textile Materials
Applies to bags made from synthetic fibers like polyester or nylon (woven or non-woven).
| Item | Content |
|---|---|
| Base Tariff | 8.4% |
| Section 301 Surcharge | 7.5% |
| IEEPA Surcharge (122 Clause) | 10% |
| Total Effective Tax Rate | 25.9% |
| Calculation | CIF Value × 25.9% |
| De Minimis Eligibility | ❌ No |
| Legal Basis Path | IEEPA:9903.01.10 → USITC:6305.39.00.00 |
📌 Explanation:
- Even though it's "man-made," it's classified as Textile (Chapter 63) because of the manufacturing process (woven fabric), not extrusion (Chapter 39).
- This is more expensive than plastic bags (3926) due to higher base and Section 301 rates.
🎯 4. 7326.90.86.88 & 7326.90.86.05 – Metal Accessories/Parts
Applies to metal components (e.g., steel buckles, clips, frames) used for the bags, not the bag itself.
| Item | Content |
|---|---|
| Base Tariff | 2.9% |
| Section 301 Surcharge | 25.0% |
| IEEPA Surcharge (122 Clause / 10% Steel, Aluminum, Copper) | 50% |
| Total Effective Tax Rate | 87.9% |
| Calculation | CIF Value × 87.9% |
| De Minimis Eligibility | ❌ No |
| Legal Basis Path | IEEPA:9903.01.50 (Steel/Aluminum/Copper) → USITC:7326.90.86.xx |
📌 Warning:
- Extremely High Tax! If you import steel buckles or metal parts, the tax is nearly 90%.
- The 50% IEEPA surcharge specifically targets steel, aluminum, and copper products from China.
- Strategy: Avoid importing metal parts separately if possible. Consider using plastic or textile alternatives to avoid this punitive rate.
🛠️ IV. Customs Clearance Practical Advice (Best Practices)
✅ 1. Documentation Checklist
| Document | Required | Description |
|---|---|---|
| ✅ Product Specification Sheet | ✔️ | Must clearly state material composition (e.g., "100% Polypropylene Woven" vs. "100% Polyester Woven"). |
| ✅ Commercial Invoice | ✔️ | Must describe the item as "Woven Bag" or "Sack" with material details. Avoid vague terms like "Bag." |
| ✅ Packing List | ✔️ | Separate line items for bags and metal accessories. Do not mix HS Codes. |
| ✅ Material Test Report | ✔️ | Proof of material (PP/PE vs. Polyester vs. Steel). Crucial for avoiding misclassification. |
✅ 2. Classification Strategy (Key Tips)
🔥 "Material is King! Plastic is Cheaper, Steel is Pricy!"
| Scenario | Correct HS Code | Risk |
|---|---|---|
| PP/PE Woven Sack (Rice/Fertilizer) | 3926.90.33.00 |
✅ Low Risk (16.5%) – Most cost-effective. |
| Polyester/Non-Woven Shopping Bag | 6305.90.00.00 or 6305.39.00.00 |
⚠️ Medium Risk (23.7%-25.9%) – Higher tax than plastic. |
| Steel Buckle/Clasp | 7326.90.86.88 |
❌ High Risk (87.9%) – Avoid if possible. |
| Mixed Package (Bag + Metal Buckle) | Declare Separately | ⚠️ Complex – If bundled, customs may assess the entire package under the highest tax rate (Steel) or require split valuation. |
✅ 3. Special Considerations
| Situation | Recommendation |
|---|---|
| "Woven" vs. "Non-Woven" | Clearly distinguish. "Non-woven" PP bags are still Plastics (Ch 39), not Textiles. |
| Metal Accessories | If the bag has metal parts, consider using Plastic Buckles to stay in Chapter 39 (16.5%) instead of Chapter 73 (87.9%). |
| De Minimis (Section 321) | ❌ Not Applicable for Section 301/IEEPA taxed goods. Do not rely on $800 de minimis for these items. |
🌍 V. Global Market Comparison (2026)
| Country/Region | Recommended HS Code | Est. Total Tax (China-Origin) | Notes |
|---|---|---|---|
| 🇺🇸 USA | 3926.90.33.00 |
16.5% | For plastic bags. High tax on steel accessories (87.9%). |
| 🇪🇺 EU | 3923.29.00 |
~2-4% | Generally lower tariffs, no Section 301. |
| 🇨🇳 China | 3926.90.90.90 |
~5% | Import tax is low. |
| 🇯🇵 Japan | 3926.90.90 |
~3-5% | No anti-dumping duties typically. |
📌 Conclusion:
- The US market is the most expensive for Chinese woven bags due to IEEPA (10%) and Section 301 tariffs.
- Plastic bags (3926) are the most cost-effective option compared to textile (6305) or metal (7326) alternatives.
📌 VI. Common Mistakes & Pitfalls
❌ Mistake 1: Classifying PP Woven Bags as "Textiles" (6305)
👉 Consequence: Higher tax (23.7% vs. 16.5%) and potential delays for material verification.
❌ Mistake 2: Ignoring Metal Parts
👉 Consequence: If steel buckles are declared under the same HS Code as the bag, customs may apply the 87.9% steel tax to the entire shipment.
❌ Mistake 3: Vague Description ("Bag")
👉 Consequence: Customs will assess the highest possible tax rate or require additional documentation, causing clearance delays.
✅ Correct Declaration Example:
"Polypropylene Woven Sack, Empty, 50kg Capacity, Plastic Material, HS Code 3926.90.33.00, Country of Origin: China"
🎯 VII. Conclusion: Optimize Your Supply Chain
🎯 Key Takeaway:
🔹 Stick to Plastic (
3926) for the lowest tax rate (16.5%).
🔹 Avoid Metal Accessories if possible to escape the 87.9% steel tariff.
🔹 Be Specific about material (PP/PE vs. Polyester) to avoid misclassification penalties.
📌 Pro Tip:
If your product is made of Plastic but has Steel Parts, consider switching to Plastic Buckles to keep the entire product under the 16.5% plastic tariff bracket.
✨ Professional Classification, Precision Tariffs, Maximum Profit!
💼 Every dollar saved in customs duties adds directly to your bottom line!
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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) — 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.