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爬台

CN → US

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AI Analysis

Based on the provided <DATA>, there is no direct HS Code match for the specific term "爬台" (which typically refers to fitness step platforms, climbing platforms, or stair-stepping equipment) because the data set is limited to specific construction and sports equipment codes.

However, by analyzing the provided 9506.91.00.30 entry, we can infer the most logical classification for "fitness step platforms" (a common interpretation of 爬台 in a sports context) and explain why it might fit, while strictly adhering to the constraints of the provided data.

Here is the analysis formatted in the requested Wiki style, based only on the provided <DATA>:

🏋️‍♂️ Step Platforms / Climbing Equipment (Fitness Step Platforms)


🌐 HS Code Reference & Clearance Guide | 2026 Latest Tariff Analysis | Professional Clearance Strategy
📌 One, Product Definition & Classification: What is "爬台"?

In the context of general fitness equipment, "爬台" usually refers to Step Platforms, Stair Climbers, or Gymnastics/Athletics Step Equipment. These are devices used for physical exercise, specifically for stepping, climbing motions, or aerobic conditioning.

⚠️ Key Classification Point:
- If the "爬台" is a standalone fitness device (mechanical or electronic step climber) or a wooden/metal step platform for gymnastics/athletics, it falls under Chapter 95.
- It is NOT considered a "prefabricated building" (Heading 9406) or general "steel structure" (Heading 7308) unless it is a massive, fixed architectural structure (e.g., a bridge support), which is unlikely for typical "爬台" fitness gear.


📦 Two, HS Code Classification Detail (Based on Provided )

Since the specific term "爬台" is not explicitly listed, we map it to the most relevant category in the provided data: Articles and equipment for general physical exercise, gymnastics, athletics....

HS Code Product Description Applicability to "爬台"
9506.91.00.30 Articles and equipment for general physical exercise, gymnastics, athletics...: Other: Articles and equipment for general physical exercise, gymnastics or athletics; parts and accessories thereof Other Most Likely Match
If "爬台" is a fitness step platform, stair climber machine, or gymnastics step apparatus.
7308.40.00.00 Structures of iron or steel: Equipment for scaffolding, shuttering, propping or pit-propping Unlikely
Only if "爬台" refers to industrial scaffolding or temporary steel propping structures for construction, not fitness.
7308.90.95.90 Structures of iron or steel: Other: Other: Other Unlikely
Only if "爬台" is a large, fixed steel architectural structure (e.g., part of a stadium roof or bridge), which is rare for the term "爬台".
9506.99.60.40 Articles and equipment for general physical exercise...: Other: Other: Other Nets... Not Applicable
This code is specifically for Nets, not platforms or climbers.

🔍 Focus Explanation:
The term "爬台" in a commercial/import context most commonly refers to fitness step platforms or stair-climbing machines. These fall under Chapter 95 (Toys, games, sports equipment). Specifically, 9506.91.00.30 covers "articles and equipment for general physical exercise, gymnastics, athletics".

Note: If "爬台" refers to industrial scaffolding (less common for this term, but possible in construction), then 7308.40.00.00 would apply. However, for typical consumer/fitness goods, 9506.91.00.30 is the primary candidate.


💰 Three, 2026 Latest Tariff Rate Detailed Explanation

Applicable Country: United States (US)
Origin: China (CN)
Effective Time: Current as per provided data

🎯 1. 9506.91.00.30 —— Fitness Step Platforms / Climbing Equipment (Fitness/Gymnastics)

Item Content
Base Tariff 4.6%
Section 301 Additional Tariff 7.5%
Section 232 (Steel/Aluminum/Copper) Additional Tariff 50% (Note: See important clarification below)
Total Tariff Rate 12.1% (As per provided data: "基础关税: 4.6%, 加征关税: 7.5% 钢,铝铜制品加征关税: 50%" -> Total listed as 12.1%)
Tax Calculation CIF Value × 12.1%
De Minimis Exemption Not Applicable (Section 301 tariffs generally apply to de minimis shipments if value exceeds thresholds, but specific rules apply)
Legal Basis HTSUS 9506.91.00.30 + USITC Footnote

📌 CRITICAL INTERPRETATION OF TAX DATA:
The provided data states:
tax_detail: "基础关税: 4.6%, 加征关税: 7.5%钢,铝铜制品加征关税: 50%"
total_tax: "12.1%"

Why 12.1% and not 62.1%?
- Section 232 (Steel/Aluminum/Copper) tariffs (50%) apply to raw materials and basic metal products (like steel beams, plates, bars) under Chapters 72-73 (Headings 7308 included).
- Fitness equipment (Chapter 95), even if made of steel, is NOT typically subject to the 50% Section 232 steel tariff. It is subject to the Section 301 tariff (7.5%) and the base duty (4.6%).
- Therefore, the 12.1% total is the correct application for fitness equipment (9506.91.00.30). The "50%" in the tax detail is likely a general note for steel products but does not apply to finished fitness equipment in Chapter 95.

Conclusion: The applicable total tariff for "爬台" (if fitness equipment) is 12.1%.

🎯 2. 7308.40.00.00 —— Scaffolding/Propping Equipment (If "爬台" = Construction Scaffolding)

Item Content
Base Tariff 0.0%
Section 301 Additional Tariff 25.0%
Section 232 Additional Tariff 50%
Total Tariff Rate 75.0%
Tax Calculation CIF Value × 75.0%

⚠️ Warning: If "爬台" is misclassified as construction scaffolding (7308.40.00.00), the tariff skyrockets to 75.0% due to the combination of 301 (25%) and 232 (50%) tariffs. This is a major risk.


🛠️ Four, Clearance Practical Advice (Actionable Guidelines)

✅ 1. Product Description & Labeling

To ensure the correct classification under 9506.91.00.30 (12.1% tax) and avoid the higher 7308 (75% tax) rate:

  • Use Precise Terminology:
  • Correct: "Fitness Step Platform", "Gymnastics Step Box", "Aerobic Step Platform", "Stair Climber Machine".
  • Incorrect: "Steel Step", "Platform for Climbing", "Steel Structure".
  • Specify Usage: Clearly state "For Fitness/Exercise/Gymnastics Use" on the commercial invoice.
  • Material Disclosure: Even if made of steel or wood, emphasize it is a finished sports equipment, not a raw steel product.

✅ 2. Documentation Requirements

Document Requirement Purpose
Commercial Invoice Must describe item as "Fitness Equipment" or "Gymnastics Equipment" Avoids misclassification as steel structure
Product Photos Show the item in a gym/fitness context, with brand labels Proves end-use is exercise, not construction
User Manual Include instructions for fitness/athletic use Confirms classification under Chapter 95
Material Composition List materials (e.g., "Steel frame, rubber grip") Helps customs confirm it's not a raw steel product

✅ 3. Common Pitfalls & Mitigation

Pitfall Consequence Solution
Misclassification as Steel Structure Tariff jumps from 12.1% to 75% Use terms like "Fitness Step" not "Steel Platform". Provide proof of retail/fitness use.
Vague Description Customs may question the HTS code Provide detailed specs: dimensions, weight capacity, intended exercise type.
Confusion with Nets Incorrectly using 9506.99.60.40 Ensure the item is a solid platform, not a net.

🌍 Five, Global Market Comparison (Based on Data)

Country HS Code Tariff Rate Notes
🇺🇸 USA 9506.91.00.30 12.1% Includes 4.6% base + 7.5% Section 301. No 50% steel tariff for finished fitness gear.
🇺🇸 USA 7308.40.00.00 75.0% If misclassified as scaffolding/steel structure. Avoid this!
🇨🇳 China 9506.91.00.30 Varies (Import Duty) Not specified in data, but typically lower than US rates.

📌 Conclusion:
For "爬台" (Step Platforms/Climbers), always classify under 9506.91.00.30 if it is fitness/gymnastics equipment. This keeps the tariff at 12.1% instead of 75.0%.


📌 Six, Final Checklist for Clearance

  1. Confirm Product Type: Is it for fitness/exercise or construction?
  2. Fitness → 9506.91.00.30 (12.1%)
  3. Construction → 7308.40.00.00 (75%)
  4. Use Correct Terms: "Fitness Step Platform" not "Steel Structure".
  5. Provide Proof: Gym photos, user manuals showing exercise use.
  6. Verify Origin: Ensure all origin documentation is clear to avoid additional penalties.

🎯 Seven, Summary: Key Takeaway

🔹 "Fitness Step = 9506.91.00.30 = 12.1% Tax"
🔹 "Steel Structure = 7308.40.00.00 = 75.0% Tax"
🔹 Misclassification can cost you 63% more!
🔹 Always label as "Fitness Equipment" and provide proof of use!


📣 Action Required:

📞 Consult a Customs Broker: Confirm the exact nature of your "爬台" product.
📦 Label Accurately: Use "Fitness Step Platform" on all packaging and invoices.
📄 Prepare Documentation: Have gym-use manuals and photos ready for customs inspection.


Professional Clearance, Accurate Classification, Cost Savings!
💼 Your Profit Margin Depends on Correct HS Code Classification!

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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.