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粘性玩具

CN → US
HS Code Tariff Rate Origin Destination Doc
9503000073 10.0% CN US Official Doc
9503000071 10.0% CN US Official Doc
3926903500 16.5% CN US Official Doc
3926904800 13.4% CN US Official Doc
3407002000 10.0% CN US Official Doc
3407004000 10.0% CN US Official Doc

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AI Analysis

🧸 Sticky Toys (粘胶类/造型膏类玩具)


🌐 HS Code Reference & Customs Clearance Guide | 2026 Latest Tariff Analysis | Professional Strategy
📌 I. Product Definition & Classification: What Exactly Are "Sticky Toys"?

Sticky Toys generally refer to children's recreational products made from pliable, non-hardening, or slowly hardening materials, such as modeling clay, putty, slime, or soft plastic compounds. In international trade, the classification hinges on two critical factors: 1. Material Composition: Is it primarily plastic/rubber (Chapter 39)? 2. Function/Characteristics: Is it a "toy" (Chapter 95) or a "prepared modeling substance" (Chapter 34)?

⚠️ Key Distinction Points: - If the product is a finished, pre-formed toy (e.g., a specific shape of soft plastic doll or figure) meant primarily for play → Classify under Chapter 95 (Toys). - If the product is a raw material or semi-finished substance (e.g., modeling clay, putty, shaping paste) intended for the child to mold into shapes → Classify under Chapter 34 (Prepared Modeling Substances).


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

HS Code Product Description Application Scenario Primary Characteristic
9503.00.00.73 Dolls, other toys; no obvious material conflict Finished toy figures, soft plastic playsets ✅ Finished Toy
3407.00.20.00 Modeling pastes, including children's recreational pastes Children's play-dough, reusable molding clay ✅ Modeling Substance
3407.00.40.00 Modeling preparations (e.g., clay, plaster) Professional or craft modeling clay ✅ Modeling Substance
9503.00.00.71 Soft plastic/rubber toys for children Soft PVC slime, squishy toys ✅ Finished Toy
3926.90.48.00 Other plastic articles (fallback category) Plastic toys not specified elsewhere, generic plastic accessories ✅ Plastic Article (Fallback)

🔍 Critical Note: - "Toys" (Chapter 95): If the item is ready-to-play and has a distinct toy function (e.g., a character, a vehicle shape), it usually goes to 9503. - "Modeling Substances" (Chapter 34): If the item is a blob of "stuff" (like Play-Doh) meant to be shaped by the user, it goes to 3407. - "Plastic Articles" (Chapter 39): If it doesn't fit the specific toy definitions or modeling substance definitions, it may fall to the catch-all 3926.


💰 III. 2026 Latest Tariff Rate Breakdown (Including Additional Duties & Policy Surcharges)

Applicable Country: United States (US) ✅ Origin: China (CN) ✅ Effective Time: Post-2025 Policy Implementation

🎯 1. 9503.00.00.73 & 9503.00.00.71 —— Toys (Dolls / Soft Plastic)

Item Content
Base Tariff 0.0% (ad valorem)
Section 301 Surcharge 0.0%
IEEPA 122 Clause Surcharge +10.0% (Targeting China/China-related goods)
Total Effective Rate 10.0%
Tax Calculation CIF Value × 10%
De Minimis Eligibility No (High risk of scrutiny due to toy safety laws CPSC)
Legal Basis IEEPA:122 ClauseUSITC:9503.00.00.71/73

📌 Explanation: - Although the base duty for toys is often 0%, the IEEPA 122 Clause (10%) is currently applied to many Chinese-origin consumer goods, including toys. - Safety Warning: Toys imported into the US MUST comply with CPSC (Consumer Product Safety Commission) regulations (ASTM F963). Lack of certification will lead to seizure, regardless of duty rate.

🎯 2. 3407.00.20.00 & 3407.00.40.00 —— Modeling Pastes / Preparations

Item Content
Base Tariff 0.0%
Section 301 Surcharge 0.0%
IEEPA 122 Clause Surcharge +10.0% (Targeting China/China-related goods)
Total Effective Rate 10.0%
Tax Calculation CIF Value × 10%
De Minimis Eligibility No (Subject to FDA/CPSC safety checks if ingestible or skin-contact)
Legal Basis IEEPA:122 ClauseUSITC:3407.00.20/40

📌 Explanation: - Modeling substances are also subject to the 10% IEEPA surcharge. - Key Difference: These are not "toys" per se, but "substances." Customs may require a statement that they are non-toxic and compliant with labeling laws.

🎯 3. 3926.90.48.00 —— Other Plastic Articles (Fallback)

Item Content
Base Tariff 3.4%
Section 301 Surcharge 0.0%
IEEPA 122 Clause Surcharge +10.0% (Targeting China/China-related goods)
Total Effective Rate 13.4%
Tax Calculation CIF Value × 13.4%
De Minimis Eligibility No
Legal Basis IEEPA:122 ClauseUSITC:3926.90.48.00

📌 Explanation: - This is the "catch-all" for plastic goods that don't fit specific toy or modeling categories. - Higher Cost: At 13.4%, this is 3.4% more expensive than classifying as a toy or modeling paste. Avoid this if your product clearly fits Chapter 95 or 34.


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

✅ 1. Required Documentation Checklist (Non-Negotiable)

Document Mandatory? Description
CPSC Certificate (CPC) ✔️ YES For all toys (9503), a Children’s Product Certificate is mandatory.
Test Report (ASTM F963) ✔️ YES Third-party lab test results for mechanical, physical, and flammability safety.
Ingredient List ✔️ YES For modeling pastes (3407), list ingredients to prove non-toxicity.
Commercial Invoice ✔️ Clearly state "Sticky Toy" or "Modeling Clay," not just "Plastic Item."
Product Photos ✔️ Show packaging, labeling, and the product itself (especially warning labels).

✅ 2. Declaration Strategy (Key Mnemonic)

🔥 "Toy vs. Clay: Function is King!"

Scenario Correct Declaration Incorrect Declaration
Pre-shaped soft figure (e.g., slime ball with eyes) 9503.00.00.71 (Toy) 3926.90.48.00 (Plastic) → Higher Tax (13.4%)
Unshaped clay/putty for molding 3407.00.20.00 (Modeling Paste) 9503.00.00.73 (Toy) → Misclassification Risk
Generic plastic accessory 3926.90.48.00 (Fallback) 9503.00.00.73 (Toy) → Denial if not a toy

✅ 3. Special Handling

Situation Handling Advice
Ingestible Materials If the "sticky toy" is edible (e.g., play-dough-like food coloring), FDA approval may also be required.
OEM Private Label Ensure the Labeling matches the HS Code. "Toy" must have age grading and choking hazards warnings.
Kit Contents If a kit contains modeling paste + tools, declare the essential character (usually the paste → 3407).

🌍 V. Global Market Comparison (2026 Latest)

Country/Region Recommended HS Code Duty Rate Certification Notes
🇺🇸 USA 9503.00.00.71/73 or 3407.00.20.00 10% (IEEPA) CPSC + ASTM F963 Strict Safety Laws. High penalty for non-compliance.
🇨🇳 China 9503.00.00.71 5% - 10% CCC (if applicable) No IEEPA surcharge.
🇪🇺 EU 9503.00.00.00 0% CE + EN71 EN71 Standard is critical for toys.
🇬🇧 UK 9503.00.00.00 0% UKCA + BS EN71 Post-Brexit UKCA mark required.

📌 Conclusion: - USA: Highest risk due to IEEPA 10% surcharge + CPSC safety enforcement. - EU/UK: Lower duty but strict chemical/safety standards (REACH, EN71).


📌 VI. Common Errors & Pitfalls (Blood-Tested Lessons)

Error 1: Declaring "Modeling Clay" as a generic "Plastic Toy" to avoid safety checks.
👉 Consequence: Customs may reclassify to 3926.90.48.00 (13.4%) OR seize goods for missing CPSC certificate.

Error 2: No Warning Label on Packaging.
👉 Consequence: Immediate Return/Seizure by CBP/CPSC. "Choking Hazard" warnings are legally required for toys under 3 years.

Error 3: Ignoring the "Essential Character" of Kits.
👉 Consequence: If a kit has 80% clay and 20% tools, declaring the whole kit as "Toy" (9503) might be challenged. Better to declare as 3407 (Modeling Paste) with tools as accessories.

Correct Practice:

"Children's Modeling Paste, Non-Toxic, For Ages 3+, ASTM F963 Certified, CPSC Accepted Lab Test Report Attached"


🎯 VII. Conclusion: Precise Classification, Safe Clearance, Cost Control!

🎯 Remember the Mantra:

🔹 "Toy is 10%, Paste is 10%, Fallback is 13.4%."
🔹 "No CPSC Certificate = No Entry to US."
🔹 "Define by Function: Pre-made = Toy, Raw Paste = Modeling Substance."


📌 Pro Tip: If your "sticky toy" is a novelty item (e.g., a stress ball that isn't marketed for children), consider declaring it as an Office Accessory or Novelty Item under a different HS code (e.g., 9503.00.89 or 9505.90) to potentially bypass CPSC, BUT you must prove it is not intended for children. Misrepresentation leads to heavy fines.


📣 Immediate Action:

📞 Contact your customs broker to verify CPSC acceptance for your specific manufacturer.
📋 Prepare ASTM F963 Test Reports before shipping.
🚀 Ensure labeling compliance (Age, Warnings, Origin) to avoid detention!


Professional Clearance Starts with Accurate Classification!
💼 Every Dollar Saved is a Dollar Earned in Global Trade!

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.