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Tariff Classification | |
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Air Heaters and Hot Air Distributors | Heading 73.22 |
Articles of Apparel and Clothing Accessories | Heading 39.26 |
Articles of Plastics | Subheading 3926.90 |
Bags | Heading 42.02 |
Batteries | Heading 85.06 |
Castors with Mountings of Base Metal | Heading 83.02 |
Cell Phone Cases | Headings 39.26, 42.02 and 85.17 |
Disposable and Protective Gloves | Subheadings 3926.20.91 and 4015.19 |
Flashlights and Miners’ Safety Lamps | Heading 85.13 |
Footwear ($30 or more per pair) | Heading 64.03 |
Furniture for Non-Domestic Purposes | Headings 94.01 and 94.03 |
Gloves | Headings 39.26 and 42.03 |
Import Permit Numbers (i.e., for goods subject to tariff rate quotas under Canada's supply management system) |
Chapters 2 and 4 |
Olive Oil | Headings 15.09 and 15.10 |
Other Chemical Products | Heading 38.24 |
Other Mountings and Fittings, Suitable for Furniture | Heading 83.02 |
Parts for Use with Machinery of Chapter 84 | Heading 84.31 |
Parts of Lamps | Heading 94.05 |
Parts of Machines and Mechanical Appliances | Heading 84.79 |
Pasta | Heading 19.02 |
Pickled Vegetables | Heading 20.01 |
Safety Headgear | Subheading 6506.10 |
Spent Fowl | Headings 02.07, 16.01 and 16.02 |
Stone Table and Counter Tops | Heading 94.03 |
Vices and Clamps | Heading 82.05 |
Customs Valuation | |
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Apparel | Chapters 61 and 62 |
Footwear | Chapter 64 |
Origin | |
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Bedding and Drapery (risk focuses on U.S. manufacturers using non-NAFTA inputs and NAFTA origin claims) |
Various goods of Headings 63.01, 63.02 and 63.03 |
The CBSA provides the identified risks of non-compliance for each verification priority on its website.
While most current verification priorities are continued from previous years, two tariff classification priorities are new: (i) Other Chemical Products, and (ii) Parts of Machines and Mechanical Appliances. Several verification priorities have been removed since the CBSA's last publication in January 2019.
The CBSA also publishes aggregated audit results by verification priority. The rates of non-compliance are high, and exceed 50 percent for the majority of the results published as of July 2019. Several rounds of verification had 100 percent non-compliance. Non-compliance results in assessments of duties, GST, and frequently, administrative monetary penalties, on a retroactive basis.
The high rates of non-compliance serve as a reminder to importers to review their customs practices, especially for goods covered by the CBSA's verification priorities. Related party transactions and transfer pricing arrangements are particularly important aspects of customs valuation practices that should be carefully reviewed on a regular basis to ensure contemporaneous documentation (written intercompany agreements and transfer pricing studies) are appropriate and up to date and that practices conform.
If you would like to discuss your company's compliance with Canada's customs rules, please contact the authors, or any member of the Bennett Jones International Trade and Investment group.
For permission to republish this or any other publication, contact Amrita Kochhar at kochhara@bennettjones.com.
This publication provides an overview of legal trends and updates for informational purposes only. For personalized legal advice, please contact the authors.