About HKTDC | Media Room | Contact HKTDC | Wish List Wish List () | My HKTDC |
Save As PDF Print this page

Additional Section 301 Tariff Exclusions for List 1 Products May be Extended

An extension for up to 12 months of the second set of exclusions from the Section 301 additional tariff imposed on List 1 goods from mainland China is under consideration by the Office of the U.S. Trade Representative. Comments may be submitted between 15 January and 15 February.

List 1 comprises 818 eight-digit HTSUS numbers that have been subject to an additional 25 percent tariff since 6 July 2018. The second set of exclusions from this tariff for List 1 goods was issued in March 2019 and is set to expire on 25 March 2020. USTR is now considering a possible extension of these exclusions and will evaluate each on a case-by-case basis.

The focus of this evaluation will be whether the product at issue remains available only from mainland China. USTR states that while commenters may provide any information or data they consider relevant, they are strongly encouraged to complete Form A, which includes the following information:

  • full legal name of the organisation making the comment, whether the commenter is a third party (e.g., law firm, trade association or customs broker) submitting on behalf of an organisation or industry, and the primary point of contact;
  • publication date of the Federal Register notice containing the relevant exclusion;
  • full article description and 10-digit HTSUS code for the excluded product;
  • whether the product is subject to an antidumping or countervailing duty order;
  • whether the commenter supports or opposes extending the exclusion and why; and
  • whether the excluded product or comparable products are available from sources in the United States or third countries, and any changes in the global supply chain for the product since July 2018 (or any other relevant industry developments).

In addition, importers and/or purchasers of excluded products should complete Form B, which requests the following information that will be treated as business confidential:

  • the value and quantity of the excluded product purchased in 2018, the first half of 2018 and the first half of 2019, and whether these purchases are from a related company;
  • whether mainland Chinese suppliers have lowered their prices for the excluded product following the imposition of tariffs;
  • the value and quantity of the excluded product purchased from domestic and third-country sources in 2018, the first half of 2018 and the first half of 2019;
  • any efforts undertaken since July 2018 to source the excluded product from the United States or third countries;
  • the commenter’s gross revenue for 2018, the first half of 2018 and the first half of 2019;
  • whether the excluded product is sold as a final product or as an input;
  • whether the imposition of tariffs on the excluded product will result in severe economic harm to the commenter or other U.S. interests; and
  • any additional information in support of the extension request
Content provided by Picture: HKTDC Research
Comments (0)
Shows local time in Hong Kong (GMT+8 hours)

HKTDC welcomes your views. Please stay on topic and be respectful of other readers.
Review our Comment Policy

*Add a comment (up to 5,000 characters)