![]() Blog Canada Border Services Agency Publishes Update of Trade Verification PrioritiesSabrina A. Bandali and Kathleen Wang August 30, 2024 ![]() Authors Sabrina A. BandaliPartner The Canada Border Services Agency (CBSA) has released an updated list of trade compliance verification priorities effective July 2024. The CBSA periodically sets verification priorities which reflect its evaluation of the risk of non-compliance with customs regulations concerning the importation of specific categories of goods or supply chains. New targets and priorities may be added throughout the year. The current verification priorities are set out in the table below. Businesses that import goods listed as verification priority items should be prepared for the possibility of a CBSA trade compliance verification in the near future. If non-compliance is discovered, CBSA trade compliance verifications may result in payment of additional duties, GST, interest and penalties against businesses. Trade verification audits usually focus on one of three "programs": (1) tariff classification, (2) customs valuation, and (3) origin. Audits may be desk-based or involve on-site visits, focusing on importations that occurred during a specified "verification period," which is typically the importer's last complete fiscal year. Following an audit by CBSA, an importer may be required to modify past import entry declarations that were non-compliant within a period of up to four years prior to the date of amendment. The following tables summarize the CBSA's current verification priorities. Additional details regarding the CBSA's current verification priorities are available on the CBSA website.
In addition to these program-based priorities, the CBSA has identified other priorities related to trade incentives and compliance with areas of regulation administered by other government departments, specifically:
With this update, the following are no longer identified as priority targets (all in respect of tariff classification):
Notwithstanding the priorities that the CBSA articulates, all importers are at risk of random or compliance-based verifications. It is important to note that not all audits are based on verification priorities. Importers of goods not listed should still be mindful that the CBSA also carries out verifications based on complaints or through random selection. It is advised that importers remain vigilant in reviewing their customs compliance practices to ensure they adhere to current regulations and can withstand CBSA audits. The Bennett Jones International Trade and Investment group is available to help client importers assess their compliance/non-compliance and to assist them in the steps that should be undertaken to correct errors resulting from past non-compliant practices and improve these practices going forward. Republishing Requests For permission to republish this or any other publication, contact Amrita Kochhar at kochhara@bennettjones.com. For informational purposes only This publication provides an overview of legal trends and updates for informational purposes only. For personalized legal advice, please contact the authors. AuthorsSabrina A. Bandali, Partner Toronto • 416.777.4838 • bandalis@bennettjones.com | ||||||||||||||||||||||||||||||