ARTICLE
29 January 2024

Section 301 Tariff Exclusion Extension Public Comment Docket Opens Today

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Torres Trade Law, PLLC

Contributor

Torres Law, PLLC is an international trade and national security law firm that assists clients with the import and export of goods, technology, services, and foreign investment matters. We have extensive experience with the various regimes and agencies governing trade such as U.S. Customs and Border Protection (CBP), the Department of Commerce Bureau of Industry and Security (BIS), the Department of State Directorate of Defense Trade Controls (DDTC), the Department of Treasury Office of Foreign Assets Control (OFAC), the Department of Defense Security Service (DSS), the Committee on Foreign Investment in the United States (CFIUS), and others.
On December 26, 2023, the Office of the United States Trade Representative ("USTR") announced the extension to May 31, 2024, of all current exclusions from Section 301 tariffs on Chinese-origin goods.
United States International Law
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On December 26, 2023, the Office of the United States Trade Representative ("USTR") announced the extension to May 31, 2024, of all current exclusions from Section 301 tariffs on Chinese-origin goods. The extended exclusions include 77 COVID-related exclusions and 352 previously reinstated exclusions. The notice, which was officially published in the Federal Register on December 29, also announced a public comment process to determine whether to further extend any of these 429 product-specific exclusions after May 31, 2024.

The public comment docket for submitting the extension exclusion comments opens today, January 22, 2024, and will close on February 21, 2024. Among other information, the comments will require a description of:

  • Whether the commenter supports or opposes extending exclusions;
  • The availability of products covered by the exclusion from sources outside of China;
  • Efforts undertaken to source the product from the United States or third countries; and
  • Why additional time is needed to shift sourcing out of China and on what timeline, if any, the commenter expects sourcing to shift outside of China.

The USTR will evaluate each exclusion on a case-by-case basis and will focus on availability of the product outside of China, the impact of extending the exclusion on U.S. interests, and the overall impact of the exclusion on the goals of the Section 301 tariffs, among other factors. Importantly, interested parties seeking to comment on more than one exclusion must submit a separate comment for each exclusion.

If you require assistance preparing and submitting a public comment supporting or opposing an extension to an exclusion from Section 301 tariffs on Chinese-origin goods, please contact the attorneys at Torres Trade Law.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

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