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CN → US
HS Code Tariff Rate Origin Destination Doc
3926904000 12.8% CN US Official Doc
2530908015 10.0% CN US Official Doc
2530908050 10.0% CN US Official Doc
3926904800 13.4% CN US Official Doc

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AI Analysis

🌟 Glow-in-the-Dark Stones (Luminous Stones)


🌐 HS Code Reference & Customs Clearance Guide | 2026 Latest Tariff Analysis | Professional通关 Strategy
📌 I. Product Definition & Classification: Do You Really Know "Glow Stones"?

Glow Stones are typically decorative or functional items infused with photoluminescent materials. In international trade, their classification depends heavily on the base material and composition:

  1. Synthetic/Resin-Based: Made from plastics, resins, or glass infused with luminescent powder. → Classified under Chapter 39 (Plastics).
  2. Artificial Gemstones: Man-made stones imitating natural gems, often used in jewelry or decoration. → Classified under Chapter 39 as artificial gems.
  3. Mineral-Based: Natural minerals or mineral pigments coated with luminescent substances. → Classified under Chapter 25 (Mineral Products).

⚠️ Key Distinction Point:
- If the core material is plastic/resin/glassHS 3926.90.48.00 / 3926.90.40.00
- If the core material is mineral/pigmentHS 2530.90.80.15 / 2530.90.80.50


📦 II. HS Code Classification Details (2026 Latest Tariff Authority Comparison)

HS Code Product Description Material Attribute Applicable Scenario
3926.90.48.00 Other articles of plastics: Glow stones Resin, Plastic, Glass Decorative glow balls, resin luminous stones
3926.90.40.00 Artificial gems: Glow stones Synthetic/Artificial Material Artificial gemstones, decorative luminous gems
2530.90.80.15 Other mineral substances: Mineral Pigments Mineral (with luminescent coating) Mineral-based glow powders, coated mineral stones
2530.90.80.50 Other mineral substances: Unspecified Minerals Mineral Category General mineral glow stones, no specific conflict

🔍 Key Reminder:
- Plastic/Resin glow stones MUST be classified under HS 3926 (Plastics).
- Mineral glow stones (e.g., crushed limestone mixed with phosphors) should be classified under HS 2530 (Minerals).
- Misclassification can lead to significant tariff differences due to Section 301 and IEEPA penalties.


💰 III. 2026 Latest Tariff Rate Details (Including Surcharges & Policy Add-ons)

Applicable Country: United States (US)
Origin: China (CN)
Effective Date: From November 10, 2025 (including subsequent imports)

🎯 1. 3926.90.48.00 —— Glow Stones (Plastic/Resin Based)

Item Content
Base Tariff 3.4% (ad valorem)
Section 301 Surcharge 0.0% (No additional 25% tariff for this specific subheading under current 2026 rules as per data)
IEEPA Surcharge +10% (针对中国/香港产品,自2025年11月10日起)
Total Tariff Rate 13.4%
Tax Calculation CIF Value × 13.4%
De Minimis Eligibility No (Subject to scrutiny)
Legal Basis Path IEEPA:9903.01.24USITC:3926.90.48.00

📌 Explanation:
- The 10% IEEPA surcharge is applied to all Chinese-origin plastic articles under this code.
- Unlike high-tech goods, this specific plastic subheading does not currently carry the additional 25% Section 301 tariff in this dataset, but the IEEPA 10% is mandatory.


🎯 2. 3926.90.40.00 —— Artificial Gems (Synthetic Glow Stones)

Item Content
Base Tariff 2.8% (ad valorem)
Section 301 Surcharge 0.0% (No additional 25% tariff as per data)
IEEPA Surcharge +10% (针对中国/香港产品,自2025年11月10日起)
Total Tariff Rate 12.8%
Tax Calculation CIF Value × 12.8%
De Minimis Eligibility No
Legal Basis Path IEEPA:9903.01.24USITC:3926.90.40.00

📌 Note:
- Artificial gems made of synthetic materials are classified here.
- The tariff is slightly lower than plastic articles (12.8% vs 13.4%) due to a lower base rate.
- IEEPA 10% is still fully applicable.


🎯 3. 2530.90.80.15 —— Mineral Pigments (Mineral Glow Stones)

Item Content
Base Tariff 0.0% (ad valorem)
Section 301 Surcharge 0.0% (No additional 25% tariff as per data)
IEEPA Surcharge +10% (针对中国/香港产品,自2025年11月10日起)
Total Tariff Rate 10.0%
Tax Calculation CIF Value × 10.0%
De Minimis Eligibility No
Legal Basis Path IEEPA:9903.01.24USITC:2530.90.80.15

📌 Key Advantage:
- If your product is classified as a mineral pigment rather than plastic, the base tariff is 0%.
- After adding the 10% IEEPA surcharge, the total is only 10.0%, making it the lowest cost option among the four.


🎯 4. 2530.90.80.50 —— Other Mineral Substances (Generic Mineral Glow Stones)

Item Content
Base Tariff 0.0% (ad valorem)
Section 301 Surcharge 0.0% (No additional 25% tariff as per data)
IEEPA Surcharge +10% (针对中国/香港产品,自2025年11月10日起)
Total Tariff Rate 10.0%
Tax Calculation CIF Value × 10.0%
De Minimis Eligibility No
Legal Basis Path IEEPA:9903.01.24USITC:2530.90.80.50

📌 Note:
- This is a "catch-all" for mineral products that don't fit specific mineral pigment categories.
- Tax rate is identical to 2530.90.80.15 (10.0%).
- Ideal for generic mineral-based glow products with unclear specific composition.


🛠️ IV. Customs Clearance Practical Advice (Battle-Tested Pitfall Avoidance Guide)

✅ 1. Required Documentation Checklist (Missing Items = Delay)

Document Required? Description
Product Specification Sheet ✔️ Must clearly state Base Material (Plastic vs. Mineral) and Luminescent Coating content.
Material Safety Data Sheet (MSDS) ✔️ To prove non-hazardous nature of luminescent pigments (e.g., Strontium Aluminate is safe; Zinc Sulfide may require caution).
Product Photos (Clear) ✔️ Show texture, shape, and any markings indicating material type.
Commercial Invoice ✔️ Explicitly describe as "Glow Stone, Plastic-based" or "Glow Stone, Mineral-based".
Packing List ✔️ Detail net weight/gross weight to support mineral vs. plastic density calculations.
Certificate of Origin (CO) ✔️ Essential for proving Chinese origin to apply IEEPA surcharges correctly.

✅ 2. Declaration Strategy (Key Mantra)

🔥 "Material First, Code Second, Tax Third! Don't Guess the Material!"

Scenario Correct Declaration Wrong Practice
Plastic/Resin Glow Balls HS 3926.90.48.00 Misdeclare as Mineral → 10% vs 13.4% → Penalty for Under-declaration!
Artificial Gem Stones HS 3926.90.40.00 Misdeclare as Mineral → 12.8% vs 10% → Over-declaration risk if audited
Mineral-based Glow Powder HS 2530.90.80.15 Misdeclare as Plastic → 10% vs 13.4% → Higher tax, but less risky if proven mineral
Unknown/Mixed Material HS 2530.90.80.50 Vague description "Glow Stone" → Customs May Re-classify & Levy Higher Rate

✅ 3. Special Case Handling

Scenario Handling Advice
OEM Custom Glow Stones Provide design drawings showing material layers (e.g., clear resin + phosphor layer).
Glow Stones with Jewelry Settings If set in metal, the stone may still be classified as plastic/mineral, but the whole item might shift to Chapter 71. Consult pre-ruling.
Luminescent Paint/Powder Ensure it's declared as "pigment" or "coating material" if not pre-mixed into stones.
Non-Compliant Materials Avoid cadmium-sulfide based glow materials (toxic). Use Strontium Aluminate for safer classification and easier clearance.

🌍 V. Global Market Clearance Comparison (2026 Latest)

Country/Region Recommended HS Code Tariff Certification Required Notes
🇺🇸 USA 3926.90.48.00 / 2530.90.80.15 10% - 13.4% None specific for glow IEEPA 10% is mandatory
🇨🇳 China 3926.90.48.00 6.5% CCC (if consumer product) No IEEPA surcharge
🇪🇺 EU 3926.90.48.00 4% - 6% REACH + CE No IEEPA, but REACH strict
🇬🇧 UK 3926.90.48.00 4% - 6% UKCA + REACH Post-Brexit rules apply
🇦🇺 Australia 3926.90.48.00 5% ACCC No special surcharges

📌 Conclusion:
- USA is the most complex market due to IEEPA 10% surcharge on Chinese goods.
- Mineral-based products (HS 2530) offer a 2.4%-3.4% cost advantage over plastic-based (HS 3926) in the US.
- Consider shifting supply chain to Vietnam, Thailand, or India to avoid IEEPA surcharges entirely (0% tariff for many plastics).


📌 VI. Common Mistakes & Pitfall Guide (Blood Tears Lessons)

Mistake 1: Declaring "Plastic Glow Stone" as "Mineral Pigment"
👉 Consequence: Customs will inspect and reject → Fine + Delay + Possible Re-export
👉 Why: Density and chemical composition tests will reveal plastic content.

Mistake 2: Ignoring IEEPA 10% Surcharge
👉 Consequence: Underpaying 10% → Interest + Penalties
👉 Why: IEEPA applies to all Chinese-origin goods under these codes since Nov 2025.

Mistake 3: Vague Description "Glow Stone"
👉 Consequence: Customs assigns highest possible rate → Up to 13.4%
👉 Why: Ambiguity leads to conservative classification.

Correct Approach:

"Luminous Decorative Stone, Plastic (Resin) Base with Strontium Aluminate Phosphor, Not for Jewelry, Model XYZ, Compliant with REACH"


🎯 VII. Conclusion: Precise Declaration, Cost Savings!

🎯 Remember the Mantra:

🔹 "Plastic = 13.4%, Mineral = 10%, Artificial Gem = 12.8%. Choose Material Wisely!"
🔹 "IEEPA 10% is Inevitable for China Origin. Plan Ahead!"


📌 Pro Tip:
If your glow stones are made of natural minerals (e.g., quartz with luminescent coating), consider applying for Advance Ruling to confirm classification under HS 2530. This can save you 3.4% on every shipment compared to plastic.


📣 Immediate Action:

📞 Contact your customs broker + Provide Material Composition Report
🚀 Optimize your supply chain to avoid IEEPA surcharges by sourcing from non-China regions!


Professional Clearance Starts with Accurate Classification!
💼 Every Percent Saved is Pure 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.