门后挂袋和收纳袋
CN → US| HS Code | Tariff Rate | Origin | Destination | Doc |
|---|---|---|---|---|
| 39269089 | 0.0% | CN | US | Official Doc |
| 6307905020 | 17.5% | CN | US | Official Doc |
| 6307102030 | 22.8% | CN | US | Official Doc |
| 4202929700 | 52.6% | CN | US | Official Doc |
| 4202999000 | 55.0% | CN | US | Official Doc |
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AI Analysis
🎒 Over-the-Door Organizers & Storage Bags (The "Universal" Storage Solutions)
🌐 HS Code Reference & Customs Clearance Guide | 2026 Latest Tariff Analysis | Professional Clearance Strategy
📌 I. Product Definition & Classification: Do You Really Understand "Storage Bags"?
Over-the-Door Organizers and Storage Bags are ubiquitous items in global trade, used for everything from wardrobe organization to outdoor gear storage. However, their classification hinges on two critical factors: Material Composition and Specific Design/Usage.
In international trade, they are generally categorized into two main groups:
- Textile-Based Organizers: Made from non-woven fabric, cotton, canvas, or polyester. These fall under Chapter 63 (Textile Articles).
- Plastic/Film-Based Organizers: Made from PVC, PE, or other plastic sheets. These fall under Chapter 42 (Articles of Leather; Travel Goods, Handbags...).
⚠️ Key Distinction Point:
- If the item is made of textile materials (non-woven, woven, knitted) → It typically falls under Chapter 63 (6307.90).
- If the item is made of plastic sheets/film or acts as a "travel accessory" (leather-like or structured) → It typically falls under Chapter 42 (4202.92/4202.99).
📦 II. HS Code Classification Details (2026 Latest Tariff Authority Comparison)
| HS Code | Product Description | Application Scenario | Material Type |
|---|---|---|---|
6307.90.50.20 |
Other made-up textile articles; storage/organizing bags (non-woven/fabric) | Non-woven wardrobe organizers, fabric over-the-door hooks, simple cloth storage pouches | 🧵 Textile (Non-woven/Woven) |
4202.92.97.00 |
Travel goods, handbags, etc., with outer surface of plastic sheeting or textile material | Structured plastic storage bags, PVC door organizers, branded fabric storage boxes | 🧃 Plastic/Fabric Mix |
4202.99.90.00 |
Other travel goods and articles of leather or of composition leather | Premium leather-like storage, specialized plastic containers classified as "luggage/travel accessories" | 💼 Premium/Plastic |
6307.10.20.30 |
Other made-up articles; other finished consumer goods (bag/sack type) | Generic fabric sacks, loose textile storage bags without rigid structure | 🧵 Textile (Loose/Fabric) |
🔍 Key Reminder:
- Non-woven fabric (common in cheap organizers) is often classified under 6307.90.50.20 as "Other made-up textile articles."
- Structured plastic/PVC bags that resemble luggage or handbags are classified under 4202. The higher duty rates for Chapter 42 often deter misclassification.
- Do not split the item. If it's a complete bag with handles/hooks, declare it as one unit.
💰 III. 2026 Latest Tariff Rate Details (Including Surcharges & Policy Add-ons)
✅ Applicable Country: United States (US)
✅ Country of Origin: China (CN)
✅ Effective Date: From November 10, 2025 (including subsequent imports)
🎯 1. 6307.90.50.20 —— Textile Storage Bags / Non-Woven Organizers
| Item | Content |
|---|---|
| Base Tariff | 0.0% (ad valorem) |
| USITC Surtax | 7.5% (Under Section 301 Tariffs) |
| IEEPA Surtax | 10% (China/HK specific, effective Nov 10, 2025) |
| Total Tariff | 17.5% |
| Tax Calculation | CIF Value × 17.5% |
| De Minimis Eligibility | ❌ No (deny_de_minimis) |
| Legal Basis Path | IEEPA:9903.01.25 → USITC:6307.90.50.20 → FOOTNOTE:9903.88.01 |
📌 Explanation:
- This is the most cost-effective classification for non-woven or fabric organizers.
- The 7.5% is a standard Section 301 surcharge for certain textile articles.
- The 10% is the IEEPA surcharge for Chinese goods.
- Total: 17.5%. This is significantly lower than Chapter 42 options.
🎯 2. 6307.10.20.30 —— Other Textile Articles / Generic Fabric Bags
| Item | Content |
|---|---|
| Base Tariff | 5.3% |
| USITC Surtax | 7.5% |
| IEEPA Surtax | 10% |
| Total Tariff | 22.8% |
| Tax Calculation | CIF Value × 22.8% |
| De Minimis Eligibility | ❌ No |
| Legal Basis Path | IEEPA:9903.01.24 → USITC:6307.10.20.30 → FOOTNOTE:9903.88.01 |
📌 Note:
- Slightly higher base rate (5.3%) compared to "Other made-up articles" (0%).
- Total 22.8%. Still cheaper than Chapter 42.
- Applies to looser textile sacks or specific finished consumer goods not covered under 6307.90.
🎯 3. 4202.92.97.00 —— Plastic Sheet or Textile Surface Storage Bags
| Item | Content |
|---|---|
| Base Tariff | 17.6% |
| USITC Surtax | 25.0% |
| IEEPA Surtax | 10% |
| Total Tariff | 52.6% |
| Tax Calculation | CIF Value × 52.6% |
| De Minimis Eligibility | ❌ No |
| Legal Basis Path | IEEPA:9903.01.24 → USITC:4202.92.97.00 → FOOTNOTE:9903.88.01 |
📌 Warning:
- If your bag is made of PVC, vinyl, or structured plastic, it may be classified here.
- Total: 52.6%. This is a high tariff category.
- Misclassifying a plastic bag as "textile" (6307.90) to avoid this duty can lead to severe penalties.
🎯 4. 4202.99.90.00 —— Other Travel Goods / Premium Storage Containers
| Item | Content |
|---|---|
| Base Tariff | 20.0% |
| USITC Surtax | 25.0% |
| IEEPA Surtax | 10% |
| Total Tariff | 55.0% |
| Tax Calculation | CIF Value × 55.0% |
| De Minimis Eligibility | ❌ No |
| Legal Basis Path | IEEPA:9903.01.25 → USITC:4202.99.90.00 → FOOTNOTE:9903.88.01 |
📌 Warning:
- The highest duty among the options.
- Applies to items considered "luggage-like" or made of high-end materials.
- Avoid this classification for standard household storage bags unless they are explicitly designed as travel accessories.
🛠️ IV. Customs Clearance Practical Advice (Real-World Pitfall Avoidance)
✅ 1. Preparation Checklist (缺一不可 / None Shall Be Omitted)
| Document | Mandatory? | Notes |
|---|---|---|
| ✅ Product Spec Sheet | ✔️ | Must specify material (e.g., "100% Non-Woven Polypropylene" vs. "PVC Plastic"). |
| ✅ Product Photos | ✔️ | Show the hook mechanism, zipper, and material texture clearly. |
| ✅ Bill of Lading/Packing List | ✔️ | Ensure quantity and weight match. |
| ✅ Commercial Invoice | ✔️ | Describe item accurately (e.g., "Fabric Over-the-Door Organizer" not just "Bag"). |
| ✅ Declaration of Non-Plastic | ⚠️ | If claiming 6307.90, ensure no plastic coating dominates the structure. |
✅ 2. Declaration Tips (Key Mantra)
🔥 "Material is King, Structure is Queen, Don't Call Plastic 'Fabric'!"
| Scenario | Correct Declaration | Wrong Approach |
|---|---|---|
| Non-Woven Fabric Organizer | 6307.90.50.20 (17.5%) |
Mislabel as "Plastic Bag" → 52.6%+ |
| PVC/Vinyl Door Pocket | 4202.92.97.00 (52.6%) |
Mislabel as "Fabric Bag" → Risk of Audit & Penalty |
| Canvas/Textile Storage Box | 6307.90.50.20 (17.5%) |
Mislabel as "Plastic Container" → Higher Duty |
| Leather-look Storage Bag | 4202.99.90.00 (55.0%) |
Mislabel as "Cloth Bag" → Severe Penalty |
📌 Explanation:
- Customs officers will check the material composition. If the outer surface is plastic sheeting, it must go to Chapter 42.
- Non-woven fabric (common in IKEA-style organizers) is textile, so it qualifies for the lower 17.5% rate.
✅ 3. Special Handling Cases
| Scenario | Handling Advice |
|---|---|
| Mixed Materials (e.g., Fabric body + Plastic hooks) | If fabric >50% by weight and function, argue for 6307.90. Provide material breakdown. |
| Transparent Plastic Bags | Likely 4202.92.97.00 (52.6%). Do not try to classify as textile. |
| OEM Custom Bags | Provide design specs to prove material intent. |
| Samples | Still subject to duties. Ensure HS Code is correct even for low-value samples. |
🌍 V. Global Market Comparison (2026 Latest)
| Country/Region | Recommended HS Code | Tariff (China Origin) | Certification | Remarks |
|---|---|---|---|---|
| 🇺🇸 USA | 6307.90.50.20 |
17.5% | None | Cheapest for fabric organizers |
| 🇺🇸 USA | 4202.92.97.00 |
52.6% | None | For plastic/PVC bags |
| 🇪🇺 EU | 6307.90 |
~5-10% | CE/RoHS (if applicable) | No Section 301 surcharge |
| 🇨🇳 China | 6307.90 |
~7-10% | CCC (if applicable) | Standard import duty |
| 🇯🇵 Japan | 6307.90 |
~8-10% | PSE (if electrical) | Low tariff, high inspection |
📌 Conclusion:
- USA is the most sensitive market due to Section 301 + IEEPA surcharges.
- Fabric/Textile organizers (6307.90) are significantly more cost-effective (17.5%) than Plastic organizers (4202.92) (52.6%).
- Strategy: If possible, switch from PVC/Plastic to Non-Woven Fabric or Canvas to save ~35% in tariffs.
📌 VI. Common Errors & Pitfall Guide (Lessons Learned)
❌ Error 1: Calling a PVC bag a "Fabric Bag" to get 17.5%
👉 Consequence: Customs audit, seizure, fines, and back-tariff of 52.6% + penalties.
❌ Error 2: Splitting a "Bag + Hooks" into two items
👉 Consequence: Incorrect classification of hooks (metal/plastic) at different rates, leading to complex clearance issues.
❌ Error 3: Ignoring IEEPA Surtax
👉 Consequence: Underestimating total landed cost. Remember, 10% IEEPA + 7.5% USITC applies to most Chinese goods.
❌ Error 4: Vague Description ("Storage Bag")
👉 Consequence: Customs may classify based on the worst-case scenario (e.g., 4202.99.90.00 at 55%).
✅ Correct Approach:
"Non-Woven Fabric Over-the-Door Organizer, Multi-Pocket, Grey, Model ABC123, Made in China"
HS Code:6307.90.50.20
Duty: 17.5%
🎯 VII. Conclusion: Precise Classification Saves Money!
🎯 Remember the Mantra:
🔹 "Fabric is 17.5%, Plastic is 52.6%, Don't Lie, or You'll Cry!"
🔹 "Material Composition is Key, HS Code Determines Profit!"
📌 Pro Tip:
If your product is originally from Vietnam, Mexico, or Thailand, you may be eligible for IEEPA Exemptions, reducing the effective tariff to 0%-10%.
It is highly recommended to apply for an Advance Ruling from US Customs (CBP) if you are dealing with large volumes or mixed-material products.
📣 Immediate Action:
📞 Consult a professional customs broker + Provide product material samples + Apply for HS Code Advance Ruling
🚀 Ensure your storage bags clear customs smoothly, maximize profit, and avoid surprises!
✨ Professional Clearance Starts with Accurate Classification!
💼 Every Cent of Cost Deserves Precise Calculation!
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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.