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Canvas Wallet with Handle

CN → US
HS编码 关税税率 原产国 目的国 文档
4202329300 52.6% CN US 官方文档
4202329100 52.6% CN US 官方文档
6217109550 32.1% CN US 官方文档

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AI分析

👜 Canvas Wallet with Handle: HS Code Classification & US Customs Clearance Guide (2026)


🌐 HS Code Reference & Clearance Strategy | 2026 Latest Tariff Analysis | Professional Customs Compliance
📌 I. Product Definition & Classification: Do You Really Understand "Canvas Wallets"?

A "Canvas Wallet with Handle" is a unique hybrid product in the international trade landscape. It sits at the intersection of accessories and containers. In international trade, its classification depends heavily on its primary function (carrying money vs. general storage), structure (hard container vs. soft pouch), and material composition.

Key Distinctions: * Form Factor: Is it a flat cardholder (pouch) or a rigid/semi-rigid container? * Material: Is the outer surface primarily textile (canvas)? * Usage: Is it strictly for coins/bills, or does it serve as a general small pouch?

⚠️ Critical Classification Point: - If it is a flat pouch used specifically as a wallet: It generally falls under Heading 4202. - If it has a handle and acts more like a small bag/pouch for general items: It might be argued as a "made-up textile article" under Heading 6217, but this is risky for "wallets" specifically. - Material: Canvas is considered a "Textile Material."


📦 II. HS Code Classification Details (Based on Provided Data)

HS Code Product Summary Key Classification Criteria
4202.32.93.00 Canvas Wallet, Form: Container, Material: Textile (Canvas) General Container Category. Applies to wallets/pouches made of textile materials that do not fit more specific sub-categories.
4202.32.91.00 Canvas Wallet, Use: Wallet, Form: Container, Outer Surface: Textile Specific Wallet Category. Applies explicitly to wallets with an outer surface of textile materials. This is the most direct fit for a "Wallet."
6217.10.95.50 Canvas Magnetic Button Wallet, Finished, Material: Cotton/Fiber, Classified Elsewhere Miscellaneous Textile Articles. Applies to other made-up textile articles, including wallets with specific features (like magnetic buttons) that might be argued as general accessories rather than strict "wallets" under 4202.

🔍 Important Note: - Heading 4202 is the standard for "Trunks, suitcases, vanity cases, attache-cases... and similar containers; toilet bags, rucksacks... and similar articles, of leather or of composition leather, of plastic sheeting, of textile materials...". - Heading 6217 covers "Other made up clothing accessories and parts...". Using 6217 for a wallet is often challenged by Customs unless the item lacks the primary characteristics of a wallet.


💰 III. 2026 Latest Tariff Rate Breakdown (Including Surtaxes & Policy Add-ons)

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

🎯 1. 4202.32.93.00 —— Canvas Wallet (Textile Container)

Item Content
Base Tariff Rate 17.6% (Ad Valorem)
Surtax (Section 301) +25.0%
IEEPA Surtax (Section 122) +10.0%
Total Tariff Rate 52.6%
Tax Calculation CIF Value × 52.6%
De Minimis Eligibility No (High value threshold issues; small parcels may still face scrutiny if aggregate value exceeds $800)
Legal Basis Path Base: 4202.32.93.00Section 301: 25%IEEPA: 10%

📌 Explanation: - Base Rate (17.6%): Standard MFN rate for textile-based containers under 4202. - Section 301 (25%): Additional tariff imposed on Chinese goods under Trade Act Section 301. - IEEPA (10%): Additional tariff under the International Emergency Economic Powers Act, targeting specific categories of Chinese imports. - Total: 52.6% is a very high effective tax rate. This significantly impacts profit margins.

🎯 2. 4202.32.91.00 —— Canvas Wallet (Specific Wallet)

Item Content
Base Tariff Rate 17.6% (Ad Valorem)
Surtax (Section 301) +25.0%
IEEPA Surtax (Section 122) +10.0%
Total Tariff Rate 52.6%
Tax Calculation CIF Value × 52.6%
De Minimis Eligibility No
Legal Basis Path Base: 4202.32.91.00Section 301: 25%IEEPA: 10%

📌 Note: - Even though this code specifies "Wallet," the base rate and surtaxes are identical to the broader container category. - Total: 52.6%. No advantage in classification between 91.00 and 93.00 for tax purposes.

🎯 3. 6217.10.95.50 —— Canvas Magnetic Button Wallet (Textile Accessory)

Item Content
Base Tariff Rate 14.6% (Ad Valorem)
Surtax (Section 301) +7.5%
IEEPA Surtax (Section 122) +10.0%
Total Tariff Rate 32.1%
Tax Calculation CIF Value × 32.1%
De Minimis Eligibility No
Legal Basis Path Base: 6217.10.95.50Section 301: 7.5%IEEPA: 10%

📌 Note: - Total: 32.1%. This is significantly lower than the 52.6% rate for Heading 4202. - Risk: Classifying a "wallet" under 6217 requires strong justification that it is a "made-up textile article" rather than a "wallet/holder for money." If Customs determines it is primarily a wallet, they may reassess to 4202, leading to back taxes and penalties. - Feature: The mention of "Magnetic Button" suggests a specific closure mechanism that might support the "accessory" argument over a "wallet" argument.


🛠️ IV. Customs Clearance Practical Advice (Avoiding Pitfalls)

✅ 1. Document Preparation Checklist (Mandatory)

Document Required Description
Product Specification Sheet ✔️ Include dimensions, weight, closure type (magnetic/button/zipper), interior layout.
Product Photos ✔️ Clear images of the front, back, interior, closure mechanism, and handle attachment.
Commercial Invoice ✔️ Clearly state "Canvas Wallet" or "Canvas Pouch with Handle." Avoid ambiguous terms like "Bag" if it's a wallet.
Packing List ✔️ Details of quantity, net/gross weight, package dimensions.
Certificate of Origin ✔️ If claiming any potential FTA benefits (though unlikely for these specific HS codes from China).

✅ 2. Classification Strategy & Declaration Tips

🔥 “Handle Does Not Make It a Bag, Content Defines the Wallet!”

Scenario Correct Declaration Approach Risk of Misclassification
Standard Wallet (Cards + Cash pockets) Use 4202.32.91.00 or 4202.32.93.00. Even with a handle, if its primary function is holding money/cards, it's a wallet. High. Declaring as a general bag (6217) may trigger a Customs review.
Multi-purpose Pouch (Large capacity, few card slots, mostly storage) Consider 6217.10.95.50 if it can be argued as a general textile accessory. Medium. Requires strong evidence that it's not primarily a wallet.
Wallet with Strap (Crossbody style) Still likely 4202. Handles/straps do not automatically change classification from wallet to bag if the interior is designed for currency/cards. Low for 4202, High for 6217 if challenged.

📌 Key Advice: - If the item is primarily for coins, bills, and cards, do not use 6217.95.50 unless you have a strong legal opinion. The risk of a Class Adjustment and 25%+10% Back Tax is too high. - If you are using 6217.10.95.50, ensure the product description emphasizes its use as a "fashion accessory" or "small pouch" rather than a "wallet."

✅ 3. Special Circumstances

Situation Handling Suggestion
OEM Custom Orders Provide design sketches showing the interior layout. If it has dedicated bill compartments, it’s a wallet (4202).
Magnetic Closure Highlight this feature if arguing for 6217 (as a "made-up article"), but be prepared for Customs to ignore it if the primary function is still wallet-like.
Material Composition Confirm if the "Canvas" is 100% cotton or a blend. This affects the "Textile Material" definition but not the HS Code hierarchy significantly for 4202 vs 6217.

🌍 V. Global Market Comparison (2026 Latest)

Country/Region Recommended HS Code Tariff (China Origin) Certification Requirements Notes
🇺🇸 USA 4202.32.91.00 / 4202.32.93.00 52.6% None specific, but FTC labeling required High tariff burden. Consider 6217 only with legal opinion.
🇨🇳 China 4202.32.91.00 17.6% N/A Domestic market tariff.
🇪🇺 EU 4202.32.91.00 12.0% CE (if applicable), REACH No Section 301/IEEPA equivalents.
🇬🇧 UK 4202.32.91.00 12.0% UKCA Post-Brexit rules apply.
🇯🇵 Japan 4202.32.91.00 10.8% Japan FSC (if plastic components) Moderate tariff.

📌 Conclusion: - The USA has the highest effective tariff for canvas wallets due to Section 301 and IEEPA. - Alternative Classifications: Explore if the product can legitimately be classified under 6217.10.95.50 to reduce the rate from 52.6% to 32.1%. This requires a careful analysis of the product's primary function.


📌 VI. Common Errors & Pitfalls (Lessons Learned)

Error 1: Declaring a wallet as a "Bag" under general textile categories (e.g., 4202.39 or 6307) to avoid higher rates.
👉 Consequence: Customs will reclassify as "Wallet" under 4202, leading to back taxes and penalties.

Error 2: Ignoring the IEEPA 10% surtax.
👉 Consequence: Unexpected costs at clearance. The 10% IEEPA tax applies to many textile/apparel items from China.

Error 3: Assuming "Handle" = "Bag."
👉 Consequence: Misclassification. A wallet with a strap is still a wallet if its interior is designed for money/cards.

Error 4: Using 6217.10.95.50 without supporting documentation.
👉 Consequence: High risk of audit. If Customs determines the primary use is a wallet, they will switch to 4202, resulting in a 20.5% tax increase retroactively.

Correct Approach:

"Canvas Wallet with Handle, 3 Bill Compartments, 5 Card Slots, Magnetic Closure, Model XYZ, 100% Cotton Canvas Outer."


🎯 VII. Conclusion: Professional Declaration Saves Money!

🎯 Remember:

🔹 "Function Over Form: A handle doesn't change a wallet into a bag.
🔹 "Tax Hit is Real: 52.6% for 4202 vs. 32.1% for 6217 – a 20.5% difference.
🔹 "Legal Opinion is Key: Use 6217 only with strong justification. Otherwise, stick to 4202.
🔹 "Declare Accurately: Ambiguity leads to delays and audits.


📌 Pro Tip: If your canvas wallet is manufactured in Vietnam, Mexico, or Thailand, you may qualify for preferential tariffs or IEEPA exemptions. Recommend Applying for a Binding Ruling from US Customs (CBP) to secure the 32.1% rate if legally justifiable, or to confirm the 52.6% rate for certainty.


📣 Immediate Action:

📞 Consult with a licensed Customs Broker.
📄 Provide detailed product specs and photos.
🚀 Optimize your supply chain to mitigate high US tariffs.


Professional Customs Compliance, Starting with Accurate Classification!
💼 Every Percent of Tax Saved is Pure Profit!

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关于 HS 编码归类

协调制度(HS)是由世界海关组织(WCO)制定的国际贸易商品分类标准。全球 200 多个国家采用 HS 系统作为海关关税、贸易统计和进出口监管的基础。

每个 HS 编码遵循以下层级结构:

  • 章(2 位)——商品大类(例如:第 84 章:机器和机械设备)
  • 品目(4 位)——章内的更具体分类
  • 子目(6 位)——国际通用细分,所有 WCO 成员国统一使用
  • 本国细分(8-10 位)——各国自行扩展的细分编码,如美国 HTSUS 10 位编码

正确的 HS 编码归类对于顺利通关、准确缴纳关税和遵守贸易法规至关重要。错误归类可能导致海关延误、多缴关税或罚款。

CN进口到US时,适用的关税税率可能包括:

  • 最惠国(MFN)税率——适用于 WTO 成员国的标准关税税率
  • 普通税率——适用于无贸易协定国家
  • 贸易救济关税——附加关税,如 301 条款(反倾销)、232 条款(国家安全)或反补贴税

本页内容仅供参考。如需正式归类,请咨询当地海关或持牌报关代理。