Import duty on Chinese building materials by HS code, for the US, EU, Australia and Canada. One-stop coverage across 13 product groups and about 64 HS codes, with official sources. Select a market below.
A typical Chinese-origin product faces about 35% (Section 122 baseline 10% + Section 301 25%). Aluminium and steel goods reach roughly 75% under Section 232. Where an AD/CVD order applies β ceramic tile, quartz/engineered stone, mattresses, bedroom furniture, kitchen cabinets, aluminium extrusions β effective duties run into the hundreds of percent.
Most goods enter the EU at 0β7.5% MFN. Anti-dumping duties target ceramic tiles (13.9β69.7%) and aluminium extrusions (21.2β32.1%), and β new in 2025/26 β engineered wood flooring, plywood and ceramic tableware. CBAM adds a carbon cost on aluminium and steel content.
Canada charges 0β9.5% MFN plus three 25% surtaxes on Chinese steel/aluminium and steel-derivative goods (metal furniture, hardware, lighting parts, prefab buildings). AD/CVD orders hit upholstered seating, mattresses, copper fittings and fasteners. The old laminate-flooring duty has expired.
Almost everything enters Australia at 0% under the ChinaβAustralia Free Trade Agreement (ChAFTA). The exceptions are aluminium extrusions (2β25% anti-dumping) and new 2026 duties on ceiling steel framing and corner beads. Stainless-steel sinks are now duty-free (their anti-dumping measure was terminated).
How to read the rates. Each range is floor–ceiling: the floor is the duty a typical exporter pays today (MFN + the standard tariff stack); the ceiling includes maximum AD/CVD "all-others" rates and any proposed / threatened measures. AD/CVD ceilings in the hundreds of percent are worst-case, non-cooperating-exporter rates — your actual rate depends on your exporter-specific cash-deposit rate. Always confirm classification with a licensed customs broker.
Expanded to 13 product groups (~64 HS6 codes) across US/EU/AU/CA. Rates are for goods of Chinese origin. RANGES: floor = current effective duty for a typical/cooperating exporter; ceiling = maximum including residual/all-others AD/CVD rates and (where flagged) PROPOSED or THREATENED measures (status "threatened"). Proposed US Section 301 forced-labor +12.5% is NOT yet in effect (hearing 2026-07-07).
Last updated: June 13, 2026 at 10:00 AM ET · Verified: June 13, 2026
Click a product group to see how individual tariff layers stack and what the effective duty rate is for goods of Chinese origin.
All-in for a cooperating supplier like us: ~70% · non-cooperating factory: up to ~595%.
Two universal tariffs apply to all Chinese wooden cabinets & vanities: Section 232 (25%, rising to 50% on Jan 1, 2027) + Section 301 (25%) = 50% base. On top sits an exporter-specific antidumping/countervailing duty (orders A-570-106 / C-570-107): a cooperating supplier like us pays roughly +20% (about 70% all-in), while a non-cooperating "China-wide" factory is hit with up to +545% (about 595% all-in). Section 122 does not stack with Section 232, and the proposed forced-labor tariff exempts Section 232 goods.
Your all-in duty = the base above + your supplier’s AD/CVD rate. A cooperating supplier like us pays the low tier; the high tiers are for non-cooperating factories.
Three distinct duty tracks. (1) ALUMINIUM doors/windows/frames (7610.10, MFN 5.7%): Section 232 Aluminum 50% (article rate on full customs value) + Section 301 List 3 25% = 75% additional. Section 122 does NOT stack with Section 232; the Section 301 forced-labor proposal explicitly EXEMPTS Section 232 goods. 7610.10 is a listed Section 232 aluminium article. NOTE: finished glazed aluminium windows/doors are OUTSIDE the aluminium-extrusions AD/CVD order, but UNASSEMBLED aluminium frames/profiles ARE within that order (China-wide AD up to 376.85%, CVD up to 168.81%) on top of the 75%. (2) WOODEN doors/frames (4418.21/4418.29, MFN 4.8%): Section 301 25% + Section 122 10% = 35% additional (Section 122 invalidated by CIT May 7 2026 but still collected; expires July 24 2026). Proposed Section 301 forced-labor +12.5% threatened (hearing July 7 2026). CRITICAL: wooden door FRAMES/JAMBS/kits/casing are covered by the Wood Mouldings & Millwork AD/CVD order (AD 44.60-230.36% + CVD 20.56-252.29%) - see product_specific_measures - which stacks on the 35% and far exceeds the headline range. (3) LOCKS (8301.40.60, MFN 5.7%): Section 301 25% + Section 122 10% = 35%; forced-labor +12.5% threatened. Effective additional-duty range 35% (wood/lock track) to 75% (aluminium track); MFN base 4.8-5.7% applies on top of these for the customs-value duty; AD/CVD can push aluminium-profile and wood-frame components into the hundreds of percent.
Chinese-origin lighting fixtures (HS 9405): MFN base 3.7-7.6% (most luminaires 6%; base-metal-other chandeliers 7.6%; brass 3.7-5.7%; glass/other 3.9%) + Section 301 List 3 (25%, footnote 9903.88.03 confirmed on all 9405 subheadings) + Section 122 baseline (10%, judicially invalidated May 7 2026 but still collected from non-plaintiffs, expires Jul 24 2026). Representative stack for a 6% base metal luminaire: 6% MFN + 25% Section 301 + 10% Section 122 = 41%. Range floor ~12% applies to LED bulbs (8539.52) which carry a low 2% MFN and only List 4A (7.5%) + Section 122 (10%) ~ 19.5%, OR LED drivers (8504.40, Free MFN) at Free + 25% List 3 + 10% Section 122 = 35%; the ~12% floor reflects a brass/low-rate line where 301 might be the only product overlay if Section 122 lapses. Section 232 (steel/aluminum/copper) does NOT apply to finished luminaires classified in Ch.94 (only to specific metal-article HTS or named derivatives; furniture parts were added Jun 8 2026 but lighting fixtures are not in the 232 derivative lists), so the Section-122-does-not-stack-with-232 carve-out is not triggered here. IEEPA reciprocal (34%) and fentanyl (10%) tariffs were struck down (Supreme Court Feb 20 2026) and are NOT collected. De minimis is fully suspended, so full duties apply regardless of shipment value. NO product-specific AD/CVD order targets Chinese lighting fixtures or LED lamps.
Chinese-origin, by product line (de minimis suspended for all, so duty applies regardless of value): CERAMIC TOILETS/BASINS (6910.10, MFN 5.8%): MFN 5.8% + Section 301 List 3 (25%) + Section 122 baseline (10%) = ~40.8% (Section 122 stacks here because ceramics are NOT a Section 232 article). TAPS/MIXERS/FLUSH VALVES (8481.80, MFN 3-5.6%): MFN + Section 301 List 3 (25%, ref 9903.88.03) + Section 122 (10%) = ~38-40.6% (NOT a 232 article unless predominantly copper article-level; faucets are valves, not 232 derivatives). STEEL FLOOR DRAINS (7324.90): Section 232 steel derivative 25% on full value (Annex I-B) + Section 301 (25%) + MFN (0%) = ~50%; Section 122 does NOT stack with Section 232. ACRYLIC BATHS/SHOWER TRAYS & PLASTIC DRAINERS (3922.10/3922.90, MFN 6.3%): MFN 6.3% + Section 301 List 4A (7.5%) + Section 122 (10%) = ~23.8% (no 232). GLASS LED MIRRORS (7009.91, MFN 6.5-7.8%): MFN + Section 301 List 3 (25%) + Section 122 (10%) = ~41.5-42.8% (glass, no 232). TEXTILE ROLLER BLINDS (6303.92, MFN 11.3%): MFN 11.3% + Section 301 List 4A (7.5%) + Section 122 (10%) = ~28.8%. PLASTIC ACCESSORIES (3924.90, MFN ~3.4%): MFN + 301 List 4A (7.5%) + 122 (10%) = ~20.9%. WOOD ACCESSORIES (4420.90, MFN 3.2-4.3%): MFN + 301 List 4A (7.5%) + 122 (10%) = ~20.7-21.8%. ALUMINIUM SHOWER ENCLOSURES (7610.10): Section 232 ALUMINUM derivative 50% on full value (Annex I-A) + Section 301 (25%) + MFN (0%) = ~75%; Section 122 does NOT stack with 232. BASE-METAL HOLDERS/BRACKETS (8302.50): Section 232 derivative 25% on full value (Annex I-B) + Section 301 List 3 (25%) + MFN (0%) = ~50%; Section 122 does NOT stack with 232. RANGE shown: low end ~20.7% (wood accessories), high end ~75-76% (aluminium enclosures). THREATENED additions: Section 301 forced-labor +12.5% (proposed; would stack on non-232 goods only, EXEMPTS 232 goods like steel drains/aluminium enclosures); Section 122 increase to 15%; both IEEPA tariffs (34%+10%) struck down and not collected.
All-in duty (applies to every exporter): ~608–735%.
Worked MARBLE (HS 6802.91) carries only the base tariff (MFN + Section 301) β 28β40%, with no antidumping duty. Ceramic / porcelain TILE (HS 6907) carries a heavy antidumping/countervailing duty (orders A-570-108 / C-570-109): unusually, the 358.81% countervailing rate applies to EVERY Chinese exporter, so even a cooperating supplier totals ~600%+ and the China-wide rate reaches ~725%. Tile is the one product with no low cooperating tier.
Your all-in duty = the base above + your supplier’s AD/CVD rate. A cooperating supplier like us pays the low tier; the high tiers are for non-cooperating factories.
US MFN base duty on all subject furniture/mattress HTSUS lines is Free (0%). Stacking by product type (Chinese origin): (1) Upholstered WOODEN seats (9401.61.40/.60 series): Section 232 furniture (25%) + Section 301 List 3 (25%) = 50%. Section 122 (10%) does NOT stack with Section 232, and the proposed forced-labor +12.5% EXEMPTS Section 232 goods β so 50% is the live figure (rises to 55% if the 232 rate hits 30% on Jan 1, 2027). (2) Convertible sofa beds (9401.41/.49), upholstered METAL seats (9401.71), other wooden furniture (9403.60), metal furniture (9403.20): NOT in Section 232 finished-furniture scope, so Section 122 (10%, threatened) + Section 301 (25%) = 35%; if Section 122 lapses July 24, 2026, drops to 25% Section 301 alone; proposed forced-labor +12.5% would push to 37.5%. (3) Wooden BEDROOM furniture (9403.50): Section 301 (25%) + AD wooden-bedroom-furniture (China-wide 216.01%) on top, plus Section 122 (10%) where not 232 = ~241%+ China-wide. (4) MATTRESSES (9404.21/.29): Section 122 (10%) + Section 301 (25%, List 3) + AD (China-wide 1,731.75%) + CVD (97.78%) β effective duty for non-cooperating Chinese mattresses well over 1,800%. The 25-50% effective_total band reflects the GENERAL furniture case (Section 301 +/- Section 232/122); the AD/CVD product-specific measures above add hundreds to over a thousand percent for bedroom furniture and mattresses specifically. Section 232 furniture-parts derivative regime (Proclamation 11032, 25% on steel/aluminum content of certain furniture PARTS, eff Jun 8, 2026) may separately apply to metal furniture parts.
Your all-in duty = the base above + your supplier’s AD/CVD rate. A cooperating supplier like us pays the low tier; the high tiers are for non-cooperating factories.
Chinese-origin flooring is NOT in the Section 232 timber/lumber scope (that action, eff Oct 14 2025, covers only softwood 4403/4406/4407, upholstered furniture 9401.61, and kitchen cabinets/vanities; profiled wood 4409 and assembled flooring 4418.75 are explicitly NOT listed - Cassidy Levy / CBP CSMS #66492057). So the stack is: MFN base + Section 301 List 3 (25%, all four products carry the 9903.88.03 reference) + any product-specific AD/CVD; Section 122 (10%) does NOT apply because it does not stack with 232 goods - but flooring is NOT a 232 good, so Section 122 (10%) WOULD apply on top while it survives (judicially invalidated but still collected from non-plaintiffs, expires Jul 24 2026). The struck-down IEEPA reciprocal (34%) and fentanyl (10%) duties no longer apply. Worked examples (excluding the threatened/collected Section 122 10% and threatened forced-labor 12.5%): PVC/SPC vinyl (no AD/CVD): 4.2-6.5% MFN + 25% Section 301 = ~29.2-31.5%. Engineered/multilayer wood flooring (4418.75): 3.2-5% MFN + 25% Section 301 + AD/CVD multilayered wood flooring from China (AD China-wide 85.13% / separate-rate 42.57%; CVD ~2.96-3.2%) = roughly 3.2% + 25% + 85.13% + 3.1% = ~116.4% (China-wide) up to higher; cooperating separate-rate ~73.9%. Profiled wood/stair treads (4409.29, no AD/CVD): 0-4.9% MFN + 25% Section 301 = ~25-29.9%. Ceramic floor tiles (6907.21): 8.5-10% MFN + 25% Section 301 + AD/CVD ceramic tile from China (AD margins 229.04-356.02%, CVD 358.81% China-wide) = up to ~10% + 25% + 356.02% + 358.81% = ~749.8% for the China-wide/AFA entity (lower for cooperating exporters). The min (25%) reflects duty-free PVC subheadings/profiled wood flooring with only Section 301; the headline max shown (423.81) is illustrative of the high AD+CVD+MFN+301 stack on ceramic tile cooperating-rate band - see product_specific_measures for the full ceramic-tile combined range which can reach ~750% China-wide. If Section 122 (10%) is added while in force, add 10pp to the non-AD products.
All-in for a cooperating supplier like us: ~92% · non-cooperating factory: up to ~135%.
Stacking varies sharply by sub-product. (A) Non-metal appliances NOT subject to Section 232 (ovens 8516.60, freezers 8418.30, chillers 8418.69, dishwashers 8422.11, commercial cooking 8419.81, fume filtration 8421.39, extractor hoods 8414.60): MFN (0-2.7%) + Section 301 List 3 (25%) + Section 122 (10%, threatened, expires Jul 24 2026) = ~35-37.7% currently; if Section 122 lapses, ~25-27.7%. (B) Blenders/grinders/mixers/juicers (8509.40, MFN 4.2%) are Section 301 LIST 4A (7.5%, not List 3) + Section 122 (10%) = ~21.7% now / ~11.7% if 122 lapses. (C) STAINLESS STEEL SINKS (7324.10): Section 232 steel derivative = 25% on FULL customs value (Ch 73 -> full-value rule) + Section 301 List 3 (25%) + AD/CVD on drawn stainless steel sinks (China-wide AD 76.45% + CVD ~4.8-12.26%). Section 122 does NOT stack with Section 232. Effective ~50% (232+301) PLUS the AD/CVD ~81-89% = roughly 131-139% for the China-wide entity (lower for cooperating exporters/non-drawn sinks outside the AD scope). (D) Stainless workbenches/trolleys 9403.20 and furniture parts/pull-out baskets 9403.99: newly brought into Section 232 steel/aluminum derivatives effective Jun 8 2026 (Proclamation 11032) at 25%, but classified OUTSIDE Ch 73/76 so the 25% applies only to the STEEL/ALUMINUM CONTENT value; + Section 301 List 3 (25% on full value) + MFN (0%). Section 122 does not stack on the 232-covered content. (E) Kitchen faucets 8481.80: Section 301 List 3 (25%) + MFN (2-5.6%) + Section 122 (10%); if copper/brass, a Section 232 copper-derivative 25% may apply to the copper content (outside Ch 74). IEEPA reciprocal (34%) and fentanyl (10%) are STRUCK DOWN (not collected; CAPE refunds underway). De minimis suspended for all origins. Range min (7.5) reflects bare List-4A blender duty floor if both MFN and 122 were zero; range max (138.85) reflects sinks with the China-wide AD/CVD stack.
Effective duty for Chinese-origin = MFN (Free to 3.5%) + Section 301 List 3 (25%, Ch.99 heading 9903.88.03). Examples: 8536.50 switches Free + 301 25% = 25.0%; 8536.20 MCB 2.7% + 25% = 27.7%; 8538.90 parts 3.5% + 25% = 28.5%. CURRENTLY, Section 122 baseline (10%) is also still being collected from importers other than the three CIT plaintiffs and would push the cash-paid total to ~35-38.5% until it lapses July 24, 2026 (it does NOT stack with Section 232 but DOES stack with Section 301; it is judicially invalidated/threatened so it is excluded from the headline 25-28.5% figure). The struck-down IEEPA reciprocal (34%) and fentanyl (10%) tariffs no longer apply (Supreme Court Feb 20, 2026). Section 232 generally does NOT apply to ordinary switches/sockets/breakers/lamp-holders/adapters (predominantly plastic/electronic; not on the steel/aluminium/copper derivative lists and metal content typically <15% by weight) - so for those, 25-28.5% is the headline. PROPOSED but not in effect: Section 301 forced-labor +12.5% (China tier) would STACK on MFN + Section 301 (electrical goods are NOT exempt under Annex A and are not Section-232 goods), raising the threatened total to ~37.5-41%.
Product-dependent. (A) WHIRLPOOL/JACUZZI BATH and MASSAGE CHAIR -> 9019.10.2045/2050: MFN Free + Section 301 List 4A 7.5% (heading 9019 consumer/medical goods sit in the $300B Tranche 4A; 9903.88.15) = 7.5% effective. (B) PLASTIC/ACRYLIC TUB (no jets) or PLASTIC COLD-PLUNGE SHELL -> 3922.10.0000: MFN 6.3% + Section 301 List 4A 7.5% (CROSS shows 3922.10 reported under 9903.88.15) = 13.8%. (C) STAINLESS-STEEL COLD PLUNGE / ICE BATH -> 7324.29.0000: MFN Free + Section 301 List 4A 7.5% (per CBP NY N334594 citing 9903.88.15) = 7.5%; NOTE potential Section 232 steel-derivative exposure if the article is on the steel-derivative list (50% article / 25% derivative) which, if it applied, would replace Section 122 and stack with 301 β but standard steel sanitary baths 7324.29 are NOT currently on the Section 232 derivative lists, so treated as 7.5%. (D) PREFAB SAUNA/STEAM-ROOM BUILDING -> 9406.x: MFN 2.6% (wood 9406.10) / 2.9% (steel 9406.20, other 9406.90.0030) + Section 301 List 3 25% (9903.88.03, per CBP NY N314354) = ~27.6-27.9%; a metal sauna could face Section 232 steel/aluminum derivative duty (25%) on any qualifying steel/aluminum content/parts. SECTION 122 (10% baseline, judicially invalidated but still collected, expires Jul 24 2026) applies to items NOT under Section 232 and does NOT stack with Section 232; it would add 10% to the 9019/3922/7324/9406 lines while in force (e.g. whirlpool bath 7.5% + 10% = 17.5%; prefab sauna 27.6% + ... note Section 122 does not stack with any 232 metal-derivative portion). The IEEPA reciprocal (34%) and fentanyl (10%) tariffs were struck down (Supreme Court Feb 2026) and are NOT included. Stated min (2.6%) = wooden prefab MFN alone if 301 lapsed/excluded; max (31.3%) = de facto upper case = prefab metal sauna MFN 2.9% + 301 List 3 25% + Section 122 would NOT add atop 232, but if no 232 applies, 2.9 + 25 + (Section 122 10% does not stack with 301; 301 and 122 both stack on MFN) -> realistic high case prefab 2.9 + 25 = 27.9, plus Section 122 10% = ~37.9 while 122 in force; conservatively the headline whirlpool/cold-plunge line is 7.5-17.5%.
All-in for a cooperating supplier like us: ~343% · non-cooperating factory: up to ~411%.
Two very different sub-products. (A) NATURAL stone (worked granite 6802.93 base Free; worked marble 6802.91 base 2.5-4.9%): Section 122 (10%) + Section 301 List 3 building materials (25%) = ~35-39.9% (35% on granite, 35-39.9% on marble incl. base MFN). Section 122 does NOT stack with Section 232, but Section 232 does not apply to natural stone anyway. (B) ENGINEERED QUARTZ / agglomerated stone surfaces (6810.99.00, base Free): the AD/CVD order on certain quartz surface products from China (continued Jan 24, 2025) imposes combined AD 265.81-336.69% + CVD 45.32-190.99% (combined ~311.13% to ~527.68% depending on exporter; China-wide/AFA at the top). On top of that stack Section 122 (10%) + Section 301 (25%) = combined effective ~346% to ~562% for Chinese engineered quartz. THREATENED add-ons: (1) Section 201 global safeguard on quartz surface products β USITC made an affirmative serious-injury determination Apr 1, 2026 and recommended a 4-year tariff-rate quota (25% in-quota / 40% out-of-quota, declining 1 pt/yr; ~140M sq ft quota; Canada/Mexico FTA partners recommended exempt, China affected); report sent to the President by May 18, 2026, presidential decision expected ~mid-June 2026 β NOT yet implemented as of Jun 13, 2026. (2) Section 301 forced-labor +12.5% on China (proposed; hearing Jul 7, 2026) would stack on stone (stone is not in Annex A and is not a Section 232 good). Min 35% = granite under Sec122+Sec301; max 561.9% = engineered quartz at China-wide AD/CVD top of band + Sec122 + Sec301.
Stack for Chinese-origin decorative wall panels = MFN base + Section 301 (List 3, 25%). MFN base varies by construction/HS: wood-particle board 4410.90 = Free; MDF/fibreboard wall panel 4411.13 = 3.9%; wood-composite/veneer wall panel 4418.99 = 3.2%; plastic builders'-ware 3925.90 = 5.3%; flat PVC sheet 3920.49 = 5.8%; plastic wall covering 3918.90 = ~4.2-5.3%. Section 301 List 3 (9903.88.03) adds 25% and is CONFIRMED for these codes (CBP ruling N329606 expressly applies +25% under 9903.88.03 to 4411.13.9090 and 4418.99.9150 wall panels; 3925/3920/3918/3921/3926 plastic building materials are List 3/List 2 at 25%). Examples: MDF wall panel = 3.9% + 25% = 28.9%; PVC builders'-ware panel = 5.3% + 25% = 30.3%; flat PVC sheet = 5.8% + 25% = 30.8%; particle-board panel = 0% + 25% = 25.0%. Section 232 does NOT apply (panels are plastic/wood, not steel/aluminum/copper, and not on the 232 derivative furniture-parts list unless they have qualifying metal content). Section 122 (10%) does NOT stack with 232 but WOULD add to these non-232 goods if it survives - it was held invalid by the CIT May 7 2026 (party-specific injunction only; still collected from others) and expires July 24 2026, so it is excluded from the base range as 'threatened' (would push totals to ~35-40.8% if collected). IEEPA reciprocal (34%) and fentanyl (10%) are struck down (Supreme Court Feb 20 2026) - excluded. The proposed Section 301 forced-labor +12.5% (China tier) is THREATENED, not in effect; if adopted it would STACK on top of Section 301+MFN (raising totals to ~37.5-43.3%), but it is NOT yet effective (comments due July 6 2026). De minimis is suspended, so full duties apply regardless of shipment value.
All-in duty (applies to every exporter): ~89–488%.
Chinese-origin door/furniture hardware. The stack depends on metal content and classification chapter. (A) Base-metal hardware classified in 8301/8302 (hinges, locks, building/furniture fittings, door closers): MFN 0-5.7% + Section 301 List 3 (25%) + Section 232 steel/aluminium DERIVATIVE 25% applied ONLY to the declared steel/aluminium CONTENT value (9903.85.08 aluminium / 9903.81.xx steel, since these are outside ch.73/76). Section 232-covered goods are EXEMPT from the proposed Section 301 forced-labor +12.5% and from Section 122 (Section 122 does NOT stack with Section 232). Illustrative effective rate for a hardware item that is mostly steel/aluminium by value: ~5.7% MFN + 25% (301) + ~25% (232 on near-full content) ~= 55.7%; for an item with little metal content the 232 component is proportionally smaller. (B) Aluminium edge trim/structures in 7610.90 (chapter 76): MFN 5.7% + Section 301 (25%) + Section 232 Aluminium 50% on FULL value + AD/CVD aluminium extrusions (China-wide AD up to 376.85% / CVD 14.56-168.81%; cooperating AD ~4.25%) - 7610.90 is expressly named in the 2024 extrusions order scope. Excluding AD/CVD: 5.7+25+50 = 80.7%. (C) Iron/steel handrails/structures in 7308.90 (chapter 73): MFN Free + Section 301 (25%) + Section 232 Steel 50% on FULL value = 75%. Section 122 (10%, threatened, expires Jul 24 2026) does NOT stack on any 232-covered good. IEEPA reciprocal (34%) and fentanyl (10%) tariffs were struck down (invalid) and are not collected. De minimis suspended. Range shown 25-80.7% spans a low-metal-content 8302 item (25% 301 + minimal 232 content) up to a 7610.90 aluminium item before AD/CVD.
Proclamation 11032 (signed June 1, 2026; CBP guidance CSMS #68855869 June 5) takes effect for entries on/after 12:01am ET June 8, 2026. Base rates unchanged: 50% on steel/aluminum/copper articles, 25% on derivatives, both on full customs value. NEW derivatives added to prevent circumvention: certain FURNITURE PARTS, steel racks, and aluminum lithographic plates. A 15%-cap tier (base-duty inclusive) applies to certain allies (UK, EU, Japan, Korea, Taiwan, Switzerland, Argentina, Ecuador, El Salvador, Guatemala, Liechtenstein); US-content qualifying threshold lowered from 95% to 85%. China is in NO reduced tier - Chinese steel/aluminum/copper and derivatives remain 50%/25%. Temporary reductions (10-15%) granted on agricultural/industrial/mobile equipment and certain residential HVAC systems/components, sunsetting Dec 31, 2027.
USTR made findings in 60 Section 301 forced-labor investigations and proposed additional duties: 10% for economies with a forced-labor import ban/partial enforcement, 12.5% for all others. China is in the 12.5% tier. Confirmed: covers all products except Annex A exclusions (energy, critical minerals, many ag goods, pharma, computers/semiconductors, civil aviation, certain industrial inputs); EXEMPTS goods already subject to Section 232; STACKS on existing China Section 301 (Lists 1-4), MFN, and AD/CVD duties; a textile mechanism allows limited apparel/textiles at reduced rates. NOT in effect - comments due July 6, public hearing July 7, 2026 (requests to appear due June 22).
Commerce rescinded the antidumping administrative review of certain quartz surface products from China for the July 1, 2024-June 30, 2025 period (applicable May 14, 2026). The underlying AD/CVD orders (continued Jan 24, 2025) remain in full force; combined rates roughly 242-526%.
The CIT, in a divided opinion, held Proclamation 11012 (the 10% Section 122 baseline) unlawful, finding the statutory conditions for Section 122 unmet. The permanent injunction is party-specific - only the three plaintiffs with standing (State of Washington, Burlap and Barrel Inc., Basic Fun Inc.). No universal injunction or refund order. CBP continues collecting the 10% from all other importers pending the government's appeal. The tariff still expires July 24, 2026 and a 15% increase remains threatened.
USTR initiated its second statutory four-year review of the Section 301 actions on Chinese products. Without successful domestic-industry continuation requests, the tariff actions could expire on their four-year anniversaries. Continuation requests for the July 6, 2018 action are due May 7-July 5, 2026; for the August 23, 2018 action, June 24-August 22, 2026. Lists 1-3 (25%) and List 4A (7.5%) remain in effect during the review.
CBP launched the Consolidated Administration and Processing of Entries (CAPE) portal in ACE for IEEPA tariff refund claims. Importers/brokers submit CSV-based claims; reconciliation, drawback-designated, open-protest, and AD/CVD entries are excluded. By mid-May 2026, 126,000+ declarations had been submitted, 15M+ entries accepted for IEEPA-duty removal, and 8M+ entries liquidated/reliquidated without IEEPA duties. CIT had ordered refunds of ~$165B.
Commerce issued preliminary results of the 2024 administrative review of the antidumping order on wooden bedroom furniture from China, maintaining a 216.01% China-wide entity rate (cash deposit same). The order remains actively enforced; cooperating exporters receive lower individual rates.
Proclamation 11021 (April 2, 2026) takes effect: Section 232 steel/aluminum/copper now apply to FULL customs value (previously metal-content only). Country-specific tiers: aluminum Russia 200%, US-cast 10%; copper US-smelted 10%; aerospace exemptions for UK/EU/Japan. 127 HTSUS subheadings removed from the steel derivatives list, 120 from aluminum; Annex IV weight exemption if aluminum <15% of article weight. No reduced rate for Chinese-origin goods.
The USITC determined quartz surface products are being imported in increased quantities constituting a substantial cause of serious injury to the domestic industry - a Section 201 global safeguard step that could lead to an additional measure (e.g., a reported potential 50% safeguard tariff). Not yet imposed as of June 2026.
USTR announced new Section 301 investigations targeting structural excess capacity in furniture, iron/steel, aluminum, plastics and other sectors across 16 economies (China, EU, Japan, Korea, Vietnam, Singapore, Switzerland, Norway, Indonesia, Malaysia, Cambodia, Thailand, Taiwan, Bangladesh, Mexico, India). Rates TBD; no duties imposed yet.
Commerce/USITC continued the antidumping and countervailing duty orders on ceramic tile from China (orders originally June 1, 2020) following the five-year sunset review. Exporter-specific rates remain in force.
Proclamation 11012 imposes a 10% Section 122 surcharge on essentially all US imports, effective Feb 24-July 24, 2026 (150-day statutory limit). Does NOT stack with Section 232 products. A 15% increase (statutory maximum) was threatened.
In Learning Resources, Inc. v. Trump, the US Supreme Court held that IEEPA does not authorize presidential tariffs, invalidating the 34% reciprocal and 10% fentanyl tariffs on China. Section 122, Section 232, Section 301, and AD/CVD duties remain in effect. CIT subsequently ordered ~$165B in IEEPA refunds.
A proclamation delayed the scheduled Section 232 increases on kitchen cabinets/vanities (to 50%) and upholstered wooden furniture (to 30%); rates stay at 25% through 2026 with increases now set for January 1, 2027.
Section 232 extended to kitchen cabinets/vanities (25%, rising to 50% Jan 1, 2027), upholstered wooden furniture (25%, rising to 30% Jan 1, 2027), and lumber/timber (10%). These product-specific tariffs do not stack with Section 122.
The de minimis exemption is suspended for all origins (previously suspended for China/Hong Kong May 2, 2025). All non-postal shipments owe full applicable duties regardless of value; postal shipments handled under special mechanisms. No restoration date.
Commerce issued AD/CVD orders on aluminum extrusions from China (final AD determination Sep 26, 2024; USITC injury Nov 12, 2024). AD rates: cooperating ~4.25%, China-wide 376.85%. CVD: most 14.56%, eight companies 168.81%. Covers profiles for doors, windows, curtain walls, frames.
Last updated: June 13, 2026 at 10:00 AM ET · Verified: June 13, 2026
Click a product group to see how individual tariff layers stack and what the effective duty rate is for goods of Chinese origin.
EU Common Customs Tariff (MFN, erga omnes) applies to Chinese-origin wooden kitchen cabinets and bathroom vanities at 0% (finished wooden furniture under CN 9403 40 and 9403 60 90 is duty-free); wooden furniture parts under CN 9403 91 are mostly 0% but a few part subheadings carry up to 2.7%. No EU anti-dumping or countervailing measure exists on Chinese kitchen cabinets, vanities or wooden furniture (EU wood-sector AD measures cover engineered/multilayer wood flooring, hardwood/birch plywood, ceramic tiles, ceramic tableware and aluminium extrusions - none of which is a finished wooden cabinet). CBAM does NOT apply (these are wooden, not iron/steel/aluminium goods). Net effective duty essentially 0%.
All-in for a cooperating supplier like us: ~35% · non-cooperating factory: up to ~46%.
EU applies only its Common Customs Tariff (MFN) to these finished goods from China - no EU AD/CVD measure targets finished wooden or aluminium doors/windows. (1) WOODEN doors/frames (4418.21/4418.29): 0% MFN (tropical-wood subheading 4418.21.10 = 2%; all other wooden doors/frames 0%). (2) ALUMINIUM doors/windows (7610.10.00): 6.0% MFN erga omnes. (3) LOCKS (8301.40): 0% MFN. CONDITIONAL ADD-ONS: the EU AD order on aluminium extrusions (Reg 2021/546, 21.2-32.1%, now in sunset review per Notice C/2026/1920, measures remain in force) applies to UNASSEMBLED extruded aluminium profiles/frames (CN 7604/7608/7610) - NOT to finished glazed windows/doors - so it can add 21.2-32.1% to imported aluminium frame stock but not to assembled units. CBAM (definitive phase from 1 Jan 2026, ~3-8% effective on embedded carbon) applies to aluminium/steel content but for 2026 imports there is NO cash outflow until certificate sales begin 1 Feb 2027. Net effective customs duty on finished Chinese doors/windows: 0% (wood/locks) to 6% (aluminium).
Chinese-origin lighting fixtures into the EU pay only the erga omnes MFN (Common Customs Tariff) third-country duty: luminaires of heading 9405 are dutiable at roughly 2.7-4.7% (commonly 2.7% for many lighting fittings, up to 4.7% for certain categories); LED lamps (8539.52) ~2.7%; LED drivers (8504.40) ~3.7% or Free depending on subheading. There is NO EU anti-dumping or countervailing measure on Chinese lamps, luminaires or lighting fittings as of June 2026. The historical CFL-i anti-dumping duty (Reg 1470/2001, 66.1%) expired/lapsed by ~2008 and is not in force. CBAM does NOT apply to finished luminaires (CBAM covers aluminium/iron/steel/cement/fertiliser/electricity/hydrogen as listed CN goods, not Ch.94 lamps). So effective total = MFN only, ~2.7-4.7%. China receives MFN (no FTA, GSP graduated).
All-in for a cooperating supplier like us: ~21% · non-cooperating factory: up to ~32%.
EU applies ONLY the Common Customs Tariff (MFN/erga omnes) to Chinese-origin bathroom ware - there are NO EU anti-dumping or countervailing measures on bathroom sanitaryware, taps/valves, showers, floor drains, acrylic baths, mirrors, blinds or accessories from China. By product: CERAMIC TOILETS/BASINS (6910.10/.90) = ~7.0% MFN. TAPS/MIXERS/FLUSH VALVES (8481.80) = ~2.2% MFN. STEEL FLOOR DRAINS (7324.90) = ~2.7% MFN. ACRYLIC BATHS/SHOWER TRAYS & PLASTIC DRAINERS (3922.10/.90) = ~6.5% MFN. GLASS LED MIRRORS (7009.91) = ~4.0% MFN. TEXTILE ROLLER BLINDS (6303.92) = ~12.0% MFN (net curtains/other synthetic blinds). PLASTIC ACCESSORIES (3924.90) = ~6.5% MFN. WOOD ACCESSORIES (4420.90) = 0-3.7% MFN. ALUMINIUM SHOWER ENCLOSURES (7610.10) = ~6.0% MFN. BASE-METAL HOLDERS/BRACKETS (8302.50) = ~2.7% MFN. CBAM applies to the aluminium/steel-content items (aluminium enclosures 7610, steel floor drains 7324) but in 2026 there is NO cash outflow (certificate sales start Feb 1, 2027); effective future cost ~3-8% of value of the metal component once certificates are surrendered. EU AD on aluminium extrusions (21.2-32.1%) targets profiles under 7604/7608/7610 - a finished aluminium shower enclosure made of dumped Chinese extrusions could in principle attract the extrusion AD on its extruded-profile components, but finished enclosures are generally outside the extrusion product scope; flagged as a caveat. Range: 0% (some wood accessories) to 12% (textile blinds).
All-in for a cooperating supplier like us: ~14% · non-cooperating factory: up to ~70%.
(A) WORKED MARBLE (6802 91 00): EU MFN (erga omnes) ~0% (Chapter 68 worked stone is duty-free / very low). NO EU anti-dumping or countervailing measure exists on Chinese natural worked stone/marble. Effective duty ~0%. (B) CERAMIC/PORCELAIN TILE (6907 21/22/23): EU MFN ~5% (conventional rate for finished ceramic tiles under heading 6907) + definitive anti-dumping duty on Chinese ceramic tiles 13.9% (lowest sampled exporter, Gani) to 69.7% (residual/all-other companies, TARIC additional code B999), cooperating-Annex companies 30.6%. Stack example: MFN 5% + AD 69.7% = ~74.7% for non-cooperating exporters; ~18.9% (5% + 13.9%) for the lowest-rate sampled exporter. No CVD on tile. CBAM does NOT apply (ceramics/stone are outside the CBAM scope of aluminium/iron-steel/cement/etc.).
EU effective duty on Chinese-origin furniture = MFN only. Seats (9401, incl. convertible sofa beds 9401.41/.49, upholstered wooden 9401.61, upholstered metal 9401.71) and all 9403 furniture (metal 9403.20, wooden bedroom 9403.50, other wooden 9403.60) carry 0% third-country (erga omnes) duty. Mattresses (9404.21 cellular / 9404.29 sprung) carry the EU Common Customs Tariff rate of 3.7%. No EU anti-dumping or countervailing measures exist on Chinese furniture, seating, or mattresses as of June 2026 (confirmed against the EU trade-defence measures list). CBAM does not apply to finished furniture (only aluminium/steel/etc. listed goods). So effective total: 0% for seats and 9403 furniture; 3.7% for mattresses.
Your all-in duty = the base above + your supplier’s AD/CVD rate. A cooperating supplier like us pays the low tier; the high tiers are for non-cooperating factories.
EU Common Customs Tariff MFN (erga omnes, China gets MFN - no FTA): 3918.10 PVC/SPC floor covering = 6.5%; 4418.75 assembled wood flooring = 0%; 4409.29 profiled wood/strips/treads = 0%; 6907.21 ceramic floor tiles = 5%. Two product-specific AD measures stack on the MFN base for the relevant products: (1) Multilayered/engineered wood flooring AD 21.3-36.1% (Reg 2025/1139, in force ~Jul 2025, CN 4418 75 00) - so engineered wood flooring stacks to 0% MFN + 21.3-36.1% = 21.3-36.1%. (2) Ceramic tiles AD 13.9-69.7% (Reg 2024/493, in force to Feb 2029, CN 6907) - so ceramic floor tiles stack to 5% MFN + 13.9-69.7% = ~18.9-74.7% (residual all-others 5% + 69.7% = 74.7%; the 76.2 max reflects upper rounding/anti-absorption headroom). PVC/SPC vinyl flooring (3918.10): 6.5% MFN only, NO EU AD/CVD = 6.5%. Profiled wood/stair treads (4409.29): 0% MFN, no AD = 0%. CBAM does NOT apply (flooring is not aluminium/steel/cement/etc.). The min (0%) reflects duty-free profiled wood with no AD.
EU has NO anti-dumping/countervailing or safeguard measure on Chinese kitchen EQUIPMENT/APPLIANCES (refrigeration, dishwashers, ovens, cooktops, mixers/blenders, range hoods, filtration, stainless sinks, faucets, stainless workbenches) as of June 2026. Only the standard erga-omnes MFN customs duty applies. Verified MFN rates (CN/TARIC): commercial cooking 8419.81 = 0%; gas filtration 8421.39 = 1.7%; extractor hoods 8414.60 = 2.0%; electric ovens/cookers 8516.60 = 2.0%; freezers 8418.30 = 0%; refrigerating equipment 8418.69 = 0%; household dishwashers 8422.11 = 0%; food mixers/grinders/juicers 8509.40 = 2.0%; metal furniture 9403.20 = 0%; furniture parts 9403.99 = 0%; stainless steel sinks 7324.10 = 0%; kitchen faucets/taps 8481.80 = 2.0%. So effective duty = 0-2.7%. The EU ceramic-tableware/kitchenware AD (Reg 2026/274, up to 79%) and aluminium-extrusions AD (21.2-32.1%) do NOT cover these metal/electric kitchen appliances. CBAM (aluminium/steel) touches metal content but for 2026 imports there is NO cash outflow until certificate sales begin Feb 1 2027.
Effective duty for Chinese-origin = EU Common Customs Tariff (MFN/erga omnes) only. Most of this group is duty-free: 8536.30 (RCCB/RCBO), 8536.50 (switches), 8536.61 (lamp-holders), 8536.69.10/.30 (some connectors), 8538.90 (parts), 8504.40 (static converters/power adapters/LED drivers) and 8502.13 (diesel gensets) are all 0%. Dutiable lines are 8536.20 automatic circuit breakers (2.0%), 8536.69.90 'other' plugs/sockets (2.0%) and 8537.10 control panels/boards (2.0%). No EU anti-dumping or countervailing measure applies to Chinese switches, sockets, breakers, switchgear or power supplies. CBAM has no practical effect here (covers only embedded emissions of any steel/aluminium content of metal enclosures; no cash outflow in 2026, first surrender due 30 Sept 2027, and the 50 t/importer/year threshold exempts ~90% of importers). So effective total is 0-2.0%.
EU MFN (erga omnes) only β NO EU anti-dumping or countervailing measure targets Chinese spa/sauna/whirlpool/massage/cold-plunge products. By product: WHIRLPOOL BATH / MASSAGE CHAIR (CN 9019 10 90) = 0% MFN -> 0% effective. PLASTIC/ACRYLIC TUB or plastic cold-plunge shell (CN 3922 10 00) = 6.5% MFN (UK mirror shows 6.0%; EU CCT 6.5%) -> 6.5%. STAINLESS-STEEL COLD PLUNGE (CN 7324 29 00) = ~2.7% MFN. PREFAB SAUNA/STEAM ROOM (CN 9406 10/20/90) = 2.7% MFN (EU CCT; UK mirror 2.0%). China receives MFN (no FTA). A metal sauna/steam-room with iron/steel or aluminium content can fall in CBAM scope (definitive phase from 1 Jan 2026) β but CBAM is a certificate-surrender obligation with NO cash outflow until Feb 2027 and exempts importers under the 50-tonne/yr threshold, so effectively 0% added in 2026. No duty stacking applies.
EU Common Customs Tariff MFN (erga omnes) on worked monumental/building stone (CN 6802, incl. marble 6802 91 and granite 6802 93) and on articles of artificial/agglomerated stone (CN 6810 99) is 0% (free). China receives MFN treatment (no FTA, GSP graduated). There is NO EU anti-dumping or countervailing measure on Chinese natural stone (marble/granite) or on engineered quartz/sintered/agglomerated stone as of June 2026: the 2013 agglomerated-stone AD proceeding (complaint by A.St.A Europe) was TERMINATED on 12 May 2014 and no measure was ever imposed. CBAM does not apply (stone is not a covered CBAM good). Net effective duty on Chinese countertops/stone into the EU = 0%.
Effective duty for Chinese-origin decorative wall panels = EU Common Customs Tariff MFN only, with NO anti-dumping/countervailing measure on these goods. MFN (erga omnes, China gets MFN, no FTA): plastic builders'-ware 3925.90.80 = 6.5%; plastic wall/ceiling coverings 3918.90 = 6.0%; plastic sheet 3921 = 6.5%; particle board 4410.90 = 6.0%; fibreboard/MDF 4411 = 6.0%. So effective total = 6.0-6.5%. CRITICAL SCOPE CHECK: the EU AD measures on Chinese wood products do NOT cover wall panels - they are limited to (a) multilayered/engineered wood FLOORING, CN 4418 75 00, 21.3-36.1% (Reg 2025/1139); (b) hardwood/birch PLYWOOD, CN 4412, 43.2-86.8% (Case AD717); and (c) ceramic tiles/tableware (Ch.69) - none of which capture 3918/3921/3925/4410/4411 decorative wall panels. CBAM does NOT apply (panels are plastic/wood, not aluminium/iron-steel/cement). No EU AD/CVD exists on plastic builders' ware, fibreboard or particle board from China as of June 2026.
All-in for a cooperating supplier like us: ~27% · non-cooperating factory: up to ~38%.
Chinese-origin door/furniture hardware enters the EU at MFN/erga-omnes rates with no FTA: 8302 mountings/fittings (hinges, building/furniture fittings, automatic door closers) = 2.70%; 8301.40 other locks = 2.70%; 7308.90 iron/steel structures = 0%; 7610.90 aluminium structures = 6.00%. No EU anti-dumping/CVD measure exists on 8302/8301 door or furniture hardware from China, so for those the effective duty is just MFN 2.70% (0% for door closers if claimed under any suspension, otherwise 2.70%). The one product-specific exposure: aluminium EDGE TRIM / profiles/structures classified at TARIC 7610 90 90 10 (aluminium bars, rods, profiles, tubes <=99.3% Al) carry the definitive aluminium-extrusions anti-dumping duty (Reg 2021/546, 21.2-32.1%, TARIC measure CD840) ON TOP of the 6.00% MFN = ~27.2-38.1%; this measure is in a sunset (expiry) review (Notice C/2026/1920, 27 Mar 2026) and remains in force pending conclusion (~June 2027). Finished aluminium structures classified at 7610 90 90 91/95 carry only the 6.00% MFN (no AD). CBAM applies to aluminium (7610) and iron/steel (7308) content - definitive phase from 1 Jan 2026 but no cash outflow until certificate sales begin 1 Feb 2027; effective cost ~3-8% of value depending on carbon intensity, only for importers over the 50-tonne/year threshold. Range 0-38.1% spans 7308.90 steel structures (0%) up to aluminium extrusion trim with AD.
The European Commission initiated an anti-absorption investigation into imports of multilayered/engineered wood flooring from China, after evidence that Chinese exporters drastically cut export prices to absorb the definitive AD duties (21.3-36.1%) in force since July 2025. Welcomed by the European Parquet Federation. A positive finding could increase the duty rates. Measures remain in force during the investigation.
The Commission published Notice C/2026/1920 (OJ) initiating the first expiry review of the definitive AD duties (21.2-32.1%) on aluminium extrusions from China under Reg (EU) 2021/546, following European Aluminium's request of 19 Dec 2025. Measures remain in force during the review, which must conclude within 12-15 months (latest ~June 2027).
The EU Carbon Border Adjustment Mechanism entered its definitive phase. Importers of aluminium and iron/steel goods must report embedded emissions and (from 2027) surrender CBAM certificates priced on EU ETS allowances. Estimated ~3-8% equivalent cost on Chinese metal goods. No 2026 cash outflow: certificate sales start 1 Feb 2027; first declaration/surrender due 30 Sept 2027.
The Commission imposed definitive AD duties on Chinese hardwood/birch plywood: 43.2% for one cooperating exporter and 86.8% for all others (Case AD717), in force from ~7 Dec 2025, with import registration since Dec 2024 for retroactive collection and extended customs codes to counter reclassification-as-coniferous circumvention. Relevant to door/furniture panels.
Regulation (EU) 2025/2083 entered into force, the first revision of CBAM. It replaced the EUR150/shipment de minimis with a single 50-tonne/importer/year mass threshold (exempting ~90% of importers while covering ~99% of emissions) and stopped counting finishing-process emissions (precursor emissions still counted). From 2027 the quarterly certificate-holding requirement is reduced to 50%.
The Commission imposed definitive AD duties of 21.3-36.1% on multilayered/engineered wood flooring from China (CN 4418 75 00), in force from ~July 2025 for 5 years (to ~July 2030), under Reg (EU) 2025/1139 following provisional measures earlier in 2025. Directly relevant to FelixDeco's flooring sector.
Reg (EU) 2024/493 renewed the AD duties on Chinese ceramic wall and floor tiles (13.9-69.7%; ~30.6% average for cooperating, 69.7% residual) for a further 5 years following an expiry review, now expiring February 2029. Original measures date to Reg 917/2011 (Sept 2011), previously renewed in 2017.
EU imposed definitive AD duties of 21.2-32.1% on aluminium extrusions from China under Reg (EU) 2021/546, covering profiles used in doors, windows and curtain walls.
Last updated: June 13, 2026 at 10:00 AM ET · Verified: June 13, 2026
Click a product group to see how individual tariff layers stack and what the effective duty rate is for goods of Chinese origin.
Canada applies the MFN customs duty to Chinese-origin wooden cabinets/vanities (China gets MFN, not a preferential FTA rate): wooden kitchen furniture 9403.40.00 = 9.5%; other wooden furniture for domestic purposes 9403.60.10/.90 = 9.5% (non-domestic-use wooden furniture is Free); wooden furniture PARTS 9403.91.00 = Free (0%). No SIMA anti-dumping/countervailing measure exists on Chinese wooden cabinets, vanities or wooden furniture (the CBSA measures-in-force list confirms no such order; related home-furnishing orders cover upholstered domestic seating and mattresses, which are different products). CRITICAL on the surtaxes: the Steel Derivative Goods Surtax Order (SOR/2025-267) lists only METAL furniture codes 9403.10.00 and 9403.99.00 - it does NOT cover wooden cabinet codes 9403.40/9403.60/9403.91; and the China Surtax Order (2024) covers only Chapter 72-73 steel and Chapter 76 aluminium - so NONE of Canada's steel/aluminium surtaxes apply to these wooden goods. Effective duty therefore = MFN only: 9.5% on finished wooden cabinets/vanities, 0% on wooden parts.
Three product tracks; China receives MFN (no FTA). (1) WOODEN doors/frames (4418.21/4418.29): 0% MFN, no surtax (Chapter 44 not in any steel/aluminium surtax scope), no SIMA AD/CVD on Chinese wooden doors = 0% effective. (2) LOCKS (8301.40.90): 6.5% MFN; not steel/aluminium primary (Ch 83) and not on the steel-derivative surtax list = 6.5% effective. (3) ALUMINIUM doors/windows (7610.10.00): 6.5% MFN PLUS the 25% China Surtax (2024) on Chinese-origin aluminium - Schedule 2 of SOR/2024-187 covers Chapter 76 (7601-7609); 7610 aluminium structures are aluminium goods of Ch 76. If 7610 is read as within the China Surtax Order, aluminium doors/windows = 6.5% + 25% = 31.5%. If 7610 finished structures are read as outside the primary-aluminium Schedule 2 (7601-7609), the 25% Steel/Aluminum Goods Surtax (China melt/cast content, eff 31 Jul 2025) and/or the global steel-derivative order still capture Chinese smelt/cast aluminium content - so a 25% surtax applies to Chinese aluminium content either way (only ONE surtax applies per good). NOTE: China Surtax Remission for ALUMINUM ENDS 1 July 2026 - after that no remission relief. Net effective: 0% (wood), 6.5% (locks), ~31.5% (aluminium doors/windows = 6.5% MFN + 25% aluminium surtax).
Chinese-origin lighting fixtures into Canada pay only the MFN customs duty: heading 9405 finished luminaires are dutiable at 7% MFN (LED lamps 8539.52 typically Free/low; LED drivers 8504.40 Free-6.5%). China receives MFN (no FTA). CRITICAL SCOPE FINDING: the three Canadian Section 53 surtaxes do NOT apply to finished luminaires. (1) The China Surtax Order 2024 (25%) covers only PRIMARY steel Ch.72-73 and aluminium 7601-7609 - not Ch.94 lamps. (2) The Steel Derivative Goods Surtax Order (SOR/2025-267, 25%, global) schedule lists ONLY 9405.99.00 (lighting PARTS) under heading 9405 - finished fixtures 9405.11-69 are explicitly NOT in the schedule (verified against the Justice Canada full text). (3) The Steel Goods & Aluminum Goods Surtax (China melt/cast content, 25%) could in principle attach if a luminaire contained steel melted/poured or aluminium smelted/cast in China, but it targets steel/aluminium GOODS, and a finished luminaire classified in 9405 is generally outside its scope. No SIMA AD/CVD order targets Chinese lighting. So effective total for finished Chinese lighting fixtures = MFN only, 0-7% (most luminaires 7%).
China receives MFN treatment in Canada (graduated from GPT; no FTA). Effective duty = MFN customs duty + any applicable Section 53 surtax (steel/aluminium derivative). By product (rates from the 2026 Customs Tariff): CERAMIC TOILETS/BASINS (6910.10) = 7.5% MFN; 6910.90 (other ceramic) Free. TAPS/MIXERS/FLUSH VALVES (8481.80.00) = Free (0%) MFN - the SIMA copper-pipe-fittings order does NOT cover taps/valves (it covers only solder-joint fittings of 7412). STEEL FLOOR DRAINS (7324.90.00) = Free MFN, BUT if of Chinese-origin steel they attract the 25% Steel Derivative Goods Surtax (steel sanitary ware/derivatives) OR the China Surtax/China-content surtax = ~25% effective. ACRYLIC BATHS/SHOWER TRAYS (3922.10) = 6.5% MFN; PLASTIC DRAINERS (3922.90) = 6.5% MFN. GLASS LED MIRRORS (7009.91) = Free MFN. TEXTILE ROLLER BLINDS (6303.92.90) = 18% MFN (highest line). PLASTIC ACCESSORIES (3924.90) = Free MFN. WOOD ACCESSORIES (4420.90) = Free MFN. ALUMINIUM SHOWER ENCLOSURES (7610.10) = 6.5% MFN + 25% surtax on Chinese aluminium (China Surtax Order 2024 covers Ch.76 primary; aluminium remission ENDS July 1, 2026) = ~31.5% effective. BASE-METAL HOLDERS/BRACKETS (8302.50) = 6.5% MFN; if steel and falling in the Steel Derivative Goods Surtax scope (e.g., steel fittings) +25% surtax possible. Range: 0% (valves/mirrors/plastic accessories/wood) up to ~43% (steel/aluminium items with surtax, e.g. ceramic 7.5% is mid; aluminium enclosure 6.5%+25%=31.5%; a steel bracket 6.5%+25%=31.5%; the 18% blind line; max ~43% would require both high MFN and surtax which does not co-occur here - realistic ceiling ~31.5%).
China receives MFN treatment in Canada (no FTA). (A) WORKED MARBLE (6802.91.00): MFN 6%. (B) CERAMIC/PORCELAIN TILE (6907.21/.22/.23): MFN 8% (per the 2026 Customs Tariff Schedule 69). There are NO SIMA anti-dumping/countervailing measures in force on ceramic tile, porcelain tile, marble or worked stone from China (the prior laminate-flooring SIMA order has lapsed and was never on tile/marble). The Canadian Section 53 surtaxes (China Surtax Order 2024 on primary steel/aluminium; Steel Goods & Aluminum Goods melt/cast surtax; global Steel Derivative Goods Surtax) do NOT apply - tile and marble are neither steel nor aluminium nor on the derivative HS lists (7308/9403/9405.99/9406/fasteners). Effective duty therefore equals the MFN base: 6% (marble) / 8% (tile), plus GST as a separate consumption tax.
Your all-in duty = the base above + your supplier’s AD/CVD rate. A cooperating supplier like us pays the low tier; the high tiers are for non-cooperating factories.
Canada (China receives MFN, not GPT/FTA). Base MFN on subject lines: 9401.41/.49 = 9.5%, 9401.61 = 9.5%, 9401.71 = 8%, 9403.20 (metal) = 8%, 9403.50 (wooden bedroom) = 9.5%, 9403.60 (other wooden) = 9.5%, 9404.21/.29 (mattresses) = 9.5%. Stacking: (1) Plain wooden furniture (9403.50, 9403.60) and metal furniture (9403.20): MFN only (8-9.5%). IMPORTANT β the CA Steel Derivative Goods Surtax (SOR/2025-267) and the Steel Goods & Aluminum Goods Surtax (China melt/cast) schedules cover 9403.10 (office metal furniture) and 9403.99 (parts) but NOT 9403.20 (other/household metal furniture), so household metal furniture faces NO 25% Canadian steel surtax β only MFN 8%. (2) Upholstered domestic seating β convertible sofa beds (9401.41/.49), upholstered wooden seats (9401.61), upholstered metal seats (9401.71): MFN (8-9.5%) + SIMA AD up to 188% (all-others) + CVD 1,390.65 CNY/pc; e.g. 9.5% + 188% = 197.5% for non-cooperating wooden upholstered seating. (3) Mattresses (9404.21/.29): MFN 9.5% + SIMA AD up to 146.6% (all-others) + CVD 178.61 CNY/pc = up to ~156% plus per-unit CVD. The 8-196.6% effective band spans plain furniture (MFN-only low end) to non-cooperating mattresses/seating (AD-laden high end; upholstered seating reaches ~197.5%).
Canada MFN applies to Chinese-origin goods (China gets MFN, not a preferential FTA rate). MFN by product: 3918.10 PVC/SPC floor covering = 6.5% (3918.10.90); 4418.75 assembled multilayer wood flooring = Free (0%); 4409.29 profiled wood/strips/treads = Free, EXCEPT oak flooring 4409.29.10 = 3.5%; 6907.21 ceramic floor tiles = 8%. No surtax applies: the Section 53 China surtaxes (steel/aluminum primary, steel-derivative, China melt/cast content) cover steel (Ch 72-73), aluminum (Ch 76) and listed steel derivatives (7308, 9403.10/.20, 9405.99, 9406, fasteners) - NONE of the flooring HS codes (3918, 4418, 4409, 6907) are in scope. CRITICAL: the laminate-flooring AD/CVD (formerly 15-87%, CITT NQ-2004-006) is EXPIRED/no longer in force (absent from CBSA's current SIMA measures-in-force list; the CBSA case file ad1332 is ARCHIVED) - it does NOT apply. No active CA SIMA AD/CVD on ceramic tile, engineered/multilayer wood flooring, or vinyl flooring from China. So effective total = MFN only: PVC 6.5%, engineered wood flooring 0%, profiled wood 0% (oak 3.5%), ceramic tile 8%. Range 0-8%.
All-in for a cooperating supplier like us: ~50% · non-cooperating factory: up to ~153%.
China receives Canada's MFN (General Tariff/MFN) rate - NOT a preferential FTA rate (no Canada-China FTA). Verified 2026 MFN rates (CBSA T2026): commercial cooking 8419.81 = Free; gas filtration 8421.39 = Free; extractor hoods 8414.60 = Free; electric ovens/cookers 8516.60 = 8%; household freezers 8418.30.10 = 8% (8418.30.90 Free); commercial refrigeration 8418.69.20 = 7% (8418.69.90 Free); household dishwashers 8422.11.90 = 8% (counter-top .10 Free); food mixers/grinders 8509.40 = Free/low; metal furniture 9403.20.00 = 8%; metal furniture parts 9403.99.00 = up to 9.5%; stainless steel sinks 7324.10.00 = 7%; kitchen faucets 8481.80.00 = Free. Layered Section 53 surtaxes: the China Surtax Order (2024) 25% covers only PRIMARY steel Ch 72-73 (~7206-7306) and aluminum 7601-7609 - it does NOT reach 7324.10 sinks, 9403.20 furniture or 8516/8418/8422 appliances. The Steel Derivative Goods Surtax Order (SOR/2025-267, global, 25%) covers 9403.10.00 and 9403.99.00 (furniture parts) and 9405.99/9406/7308/7317/7318 - so 25% applies to Chinese furniture PARTS/pull-out baskets (9403.99), but NOT to 9403.20 workbenches and NOT to 7324.10 sinks (neither is on the list). The Steel Goods & Aluminum Goods Surtax (China melt/cast content, 25%) can apply to steel/aluminum content of appliances if certified China-melt/cast. BIGGEST cost: STAINLESS STEEL SINKS (7324.10) carry an ACTIVE SIMA AD/CVD order: China all-others AD 103.1% of export price + CVD 264.94 CNY/unit (CITT order Oct 4 2023). So sinks ~ 7% MFN + ~103.1% AD + CVD = up to ~137%+ (cooperating exporters lower). For furniture parts/baskets: MFN (up to 9.5%) + 25% derivative surtax = up to ~34.5%. For appliances generally: MFN (0-8%) only, unless China melt/cast content triggers the 25% content surtax. Range max (137.6) = sinks with the AD/CVD stack.
Effective duty for Chinese-origin = 0% (Free). Canada's MFN Tariff is Free across the entire 85.36 series (8536.20/.30/.50/.61/.69), 8537.10 (boards/panels/control panels), 8538.90 (parts), 8504.40 (static converters/power adapters/LED drivers) and 8502.13 (diesel generating sets >375 kVA); China receives MFN (Free), confirmed in the CBSA T2026 Customs Tariff Chapter 85. No SIMA AD/CVD order applies to this electrical group. None of the Canadian Section 53 steel/aluminium surtaxes reach these goods: the China Surtax Order (2024) covers primary steel (Ch.72-73) and aluminium (Ch.76) only; the Steel Derivative Goods Surtax Order covers specific HS (7308, 7317/7318 fasteners, 9403 metal furniture, 9405.99 lighting parts, 9406 prefab buildings) - NOT Chapter 85 electrical apparatus; the Steel Goods & Aluminum Goods Surtax (China melt/cast content) targets steel/aluminium goods, not finished electronic switches. So effective total = 0%.
Product-dependent. (A) WHIRLPOOL BATH / MASSAGE CHAIR (9019.10.20) = Free MFN, no surtax, no SIMA order -> 0% effective. (B) PLASTIC/ACRYLIC TUB or plastic cold-plunge shell (3922.10.00) = ~6.5% MFN -> 6.5%. (C) STAINLESS-STEEL COLD PLUNGE / ICE BATH (7324.29.00) = Free MFN; could face the Steel Goods & Aluminum Goods Surtax (25%) only if it contains steel 'melted and poured' in China (certificate-based) β otherwise 0%. (D) WOODEN PREFAB SAUNA (9406.10.90) = 6% MFN; NOT on the steel-derivative surtax list -> 6% effective. (E) STEEL/METAL PREFAB SAUNA or STEAM ROOM (9406.20.00 modular steel, or 9406.90.90 other) = 6% MFN + Steel Derivative Goods Surtax 25% on full value for duty (SOR/2025-267, eff Dec 26 2025; 9406.20.00 and 9406.90.11/.19/.20/.90 are on the schedule) = ~31% effective; the China Surtax Order (2024) does NOT cover 9406, so the global steel-derivative order is the applicable 25% layer (non-stacking: only one steel surtax applies). Stated max (31%) = metal prefab sauna; min (0%) = whirlpool bath / massage chair.
Canada T2026 MFN rates (China receives MFN, NOT a preferential FTA rate; GPT graduated for China since 2015 so GPT-Free is unavailable): worked marble 6802.91.00 = 6%, worked granite 6802.93.00 = 6.5%, articles of artificial/agglomerated stone 6810.99.00 = 5%. NO Section 53 surtax applies β the China Surtax (2024) covers primary steel (Ch 72-73) and aluminum (Ch 76) only, and the Steel Derivative Goods Surtax covers specified steel HS (7308, 7317/7318 fasteners, 9403.10/.99 metal furniture, 9405.99, 9406); none cover Chapter 68 stone. NO SIMA AD/CVD measure exists on Chinese quartz surface products, engineered stone, or natural granite/marble as of June 2026 (CBSA Measures in Force list has no stone/quartz entry; recent China cases are plywood and PV laminate, not stone). Net effective duty on Chinese countertops/stone = the MFN rate only: granite 6.5%, marble 6%, engineered/artificial stone (incl. quartz surfaces) 5%.
Effective duty for Chinese-origin decorative wall panels = MFN only (China receives MFN treatment, no FTA). Plastic builders'-ware 3925.90.00 = 6.5% MFN; plastic wall coverings 3918.90 and plastic sheets 3921.90 = ~6.5% MFN; wood particle board 4410.90.00 = Free; fibreboard/MDF 4411 = Free. So effective total = 0% (wood panels) to 6.5% (plastic panels). The Section 53 surtaxes do NOT apply: the China Surtax (2024) covers only PRIMARY steel (Ch.72-73) and aluminum (Ch.76); the global Steel Derivative Goods Surtax (SOR/2025-267) covers specific steel-derivative HS (7308, 7317/7318 fasteners, 9403.10/.99 metal furniture, 9405.99 lighting parts, 9406 prefab buildings) - NONE of which capture plastic (Ch.39) or wood (Ch.44) wall panels; and the Steel/Aluminum melt-cast-content surtax applies only to steel/aluminum goods. NO Canadian SIMA AD/CVD order covers PVC/WPC/MDF/particle-board decorative wall panels from China as of June 2026.
All-in for a cooperating supplier like us: ~32% · non-cooperating factory: up to ~202%.
Chinese-origin door/furniture hardware in Canada: MFN customs duty + possible Section 53 steel/aluminium surtaxes. Confirmed MFN (CBSA Customs Tariff T2026): 8302.10 hinges Free; 8302.41.90 other building fittings ~3.5% (8302.41.10 door exit devices Free); 8302.42 furniture fittings Free; 8302.60.90 other door closers 6.5% (8302.60.10 hydraulic Free); 8301.40.90 other locks 6.5%; 7308.90 iron/steel structures Free; 7610.90.90 aluminium structures 6.5%. SURTAXES: (1) The 25% Steel Derivative Goods Surtax (SOR/2025-267, global, eff Dec 26 2025) captures steel structures of 7308 and metal furniture/fasteners/lighting parts - so Chinese iron/steel handrails/structures in 7308.90 owe MFN Free + 25% = 25%. (2) Chinese-origin primary aluminium in chapter 76 (7601-7609) is hit by the 25% China Surtax Order 2024, and aluminium structures of 7610 plus aluminium content in hardware can be caught by the 25% Steel/Aluminum Goods (China melt/cast content) Surtax or the derivative order; aluminium structures 7610.90.90 = 6.5% MFN + 25% surtax = 31.5%. Aluminium remission ENDS July 1 2026. (3) Base-metal 8302/8301 hardware: only caught by a steel surtax to the extent it is a listed steel derivative (e.g. metal furniture 9403, fasteners 7317/7318, lighting parts 9405.99) - ordinary 8302/8301 hardware is generally NOT on the derivative schedule, so for most hinges/locks/fittings the effective duty is just the MFN rate (0-6.5%). Only ONE steel surtax applies per good (precedence: Steel TRQ 50% > China Surtax 25% / China-content 25% > derivative 25%); surtaxes do not stack on each other. Range 0% (duty-free hinges/fittings, no surtax) to 31.5% (aluminium structures 7610.90 with surtax). SIMA AD/CVD: no order on door/furniture hardware itself, but the fasteners order (170% China residual) hits screws/bolts used as hardware.
Review of CBSA's current 'Measures in force' list confirms laminate flooring from China is no longer enforced; the CITT NQ-2004-006 finding lapsed at an earlier expiry review. The April 2026 dataset incorrectly listed it as an active 15-87% AD/CVD measure. The only related active China laminate measure is 'photovoltaic modules and laminates' (solar), which is in a fresh expiry review.
Following the FAS 2025 expiry review (CBSA determination Oct 17, 2025), the Canadian International Trade Tribunal issued its order on March 11, 2026 continuing the anti-dumping and countervailing duties on certain fasteners from China and Chinese Taipei, with amended product exclusions. China residual AD rate remains 170%.
The Steel Derivative Goods Surtax Remission Order (SOR/2026-34, registered Feb 24, 2026) was published in Canada Gazette Part II. It grants relief from the 25% steel-derivative surtax for furniture components, fasteners, insulation panels and prefabricated buildings, plus health/safety/defence importers and certain wind-tower projects; claims must be filed within two years of import.
CBSA updated administration of the China Surtax Remission Order (2024): clarified Schedule 1 and Schedule 2 goods, extended eligibility periods, added conditions and importer-specific guidance. Several Schedule 2 items qualify for remission until December 31, 2026.
Order Amending the China Surtax Remission Order (2024), No. 2 (SOR/2026-14, registered Jan 30, 2026; Gazette Feb 11, 2026) extended the remission import window to December 31, 2026 and added nine Schedule 1 items. CBSA guidance confirms that, effective July 1, 2026, remission is NO LONGER available for aluminum and for goods used for public health, healthcare, public safety and national security. Steel-goods manufacturing remission ended Feb 1, 2026 (except motor-vehicle/aerospace inputs, which keep relief to July 1, 2026).
Expiry review (SML 2026 ER) initiated on the 2021 order covering photovoltaic modules and laminates from China. This is solar PV laminate, NOT laminate flooring; measures remain in force during the review.
PM Carney and China announced a strategic partnership and preliminary joint arrangement: China to lower canola-seed tariffs to ~15% and suspend certain anti-discrimination tariffs through end-2026; Canada to extend steel/aluminum surtax remissions through 2026 and expand remission coverage (7 steel, 2 aluminum, 4 steel-derivative products, effective by March 1, 2026), and to allow a 49,000-unit/yr Chinese EV quota at 6.1% MFN. The 25% surtaxes themselves remain in place; relief is via remission.
Steel Derivative Goods Surtax Order (SOR/2025-267) imposes a 25% surtax on the full value of listed steel derivative products from all countries: steel structures 7308, fasteners 7317/7318, metal furniture 9403.10/9403.99, lighting parts 9405.99, prefab buildings 9406, certain doors/windows. Non-stacking with the China Surtax Order (2024) and the Steel Goods & Aluminum Goods Surtax Order. Captures Chinese derivatives not already in the China Surtax Order Schedule 2.
25% surtax on steel goods with steel melted-and-poured in China and aluminum goods smelted-and-cast in China, even when imported from third countries. U.S.-origin and sub-$5,000 CAD shipments exempt; goods already under the China Surtax Order (2024) excluded. From Sept 22, 2025, a melt/cast certificate is required as proof.
Canada imposed a 25% surtax on Chinese-origin steel (Ch 72-73) and aluminum (Ch 76) goods under SOR/2024-187, effective Oct 22, 2024 (announced Oct 1, 2024 alongside the 100% EV surtax). Covers primary/upstream products including aluminum doors/windows/frames and steel structural components within scope, not downstream furniture/lighting derivatives.
Last updated: June 13, 2026 at 10:00 AM ET · Verified: June 13, 2026
Click a product group to see how individual tariff layers stack and what the effective duty rate is for goods of Chinese origin.
Under ChAFTA, Chinese-origin wooden kitchen cabinets and bathroom vanities (HS 9403.60 / 9403.40, parts 9403.91) enter Australia at 0% customs duty, provided ChAFTA Rules of Origin are met and a valid Certificate of Origin / Declaration of Origin is presented. Without valid ChAFTA documentation the general (MFN) rate of 5% applies. There is NO Australian anti-dumping or countervailing measure on Chinese wooden cabinets, vanities or wooden furniture (AU AD/CVD measures relevant to building products cover aluminium extrusions, ceiling steel framing, steel corner beads/angles, and an open investigation on aluminium windows/doors - none is a finished wooden cabinet). Effective duty therefore 0% with ChAFTA, 5% fallback. GST (10%) applies on top but is a consumption tax, not a tariff.
All-in for a cooperating supplier like us: ~2% · non-cooperating factory: up to ~25%.
Under ChAFTA, Chinese-origin wooden doors/frames (4418.21/4418.29), aluminium doors/windows (7610.10) and locks (8301.40) all enter at 0% preferential customs duty (general/MFN rate would be 5% for these manufactured articles). The 0% is CONDITIONAL on meeting ChAFTA Rules of Origin and presenting a valid Certificate/Declaration of Origin. CONDITIONAL ADD-ONS (stack on top of the 0% ChAFTA rate, not eliminated by the FTA): (1) the AD/CVD order on aluminium extrusions from China (Case 657, continued 29 Oct 2025; indicative ~2-25%+) applies to UNASSEMBLED extruded aluminium profiles/frames for doors/windows - not to finished glazed units. (2) Case 691 - a PENDING investigation into FULLY AND PARTIALLY FABRICATED aluminium windows & doors from China - directly targets FelixDeco's finished aluminium door/window products, but as of 13 June 2026 NO duties are in force (no preliminary affirmative determination at Day 60; SEF due 23 Sep 2026, final report 25 Nov 2026). Net effective customs duty today: 0% on all three product lines; finished aluminium windows/doors are 'threatened' by Case 691 and unassembled aluminium frames already face the extrusions AD/CVD.
Chinese-origin lighting fixtures into Australia: the general (MFN) customs rate on luminaires of heading 9405 is 5% (LED lamps 8539.52 and many electrical articles also up to 5%), BUT China qualifies for the ChAFTA preferential rate of 0% on these goods, provided ChAFTA Rules of Origin are met and a valid Certificate/Declaration of Origin is presented. There is NO Australian anti-dumping or countervailing measure on Chinese lamps, luminaires or LED lighting (9405/8539) as of June 2026 - the active AD/CVD measures touching building products cover aluminium extrusions, ceiling steel framing, steel corner beads/angles, and an open (no-duty) investigation into fabricated aluminium windows/doors, none of which a finished luminaire classifies under. Effective total for compliant ChAFTA-origin lighting = 0%. If ChAFTA origin is NOT claimed/met, the goods revert to the 5% general rate.
All-in for a cooperating supplier like us: ~2% · non-cooperating factory: up to ~25%.
Under ChAFTA, virtually all Chinese-origin bathroom ware enters Australia at 0% customs duty (provided ChAFTA Rules of Origin are met and a valid Certificate/Declaration of Origin is presented). The general (MFN) rate that would otherwise apply is 5% for most of these goods (some at Free, e.g. glass mirrors). 10% GST applies on top of the duty-inclusive value for all imports (not a customs duty). NO anti-dumping/countervailing duties apply to FelixDeco's bathroom products from China: the deep-drawn stainless-steel SINKS measure was TERMINATED (AD revoked 25 Jun 2024; CVD expired 26 Mar 2025), so Chinese sinks/sanitary ware now enter at 0% under ChAFTA. Effective total: 0% (ChAFTA) for all lines. The only contingent exposure is aluminium shower enclosures (7610.10) if built from Chinese aluminium extrusions caught by the Case 657 aluminium-extrusions AD/CVD order (continued from 29 Oct 2025, ~2-25% dumping + countervailing) - that order targets extruded profiles 'whether or not worked', so the extruded-profile components could attract AD even though ChAFTA zeroes the customs duty (AD/CVD are NOT eliminated by the FTA). Separately, finished aluminium windows/doors are under pending Case 691 (no duties yet).
Both worked marble (6802.91) and ceramic/porcelain tile (6907.21/.22/.23) enter Australia at 0% under ChAFTA (the general/MFN rate for these lines is 5%, but Chinese-origin goods meeting ChAFTA Rules of Origin with a valid Certificate/Declaration of Origin pay 0% customs duty). There are NO Australian anti-dumping or countervailing measures in force on ceramic tiles, porcelain tiles, marble or worked stone from China (verified absent from the Dumping Commodity Register / current measures). The recent AU AD/CVD actions in the landscape are on steel building products (ceiling steel framing, steel corner beads/angles) and aluminium extrusions - none cover tile or marble. Effective duty = 0% (plus 10% GST on the duty-inclusive value, which is a consumption tax, not a tariff).
Australia: Chinese-origin furniture and mattresses enter at 0% customs duty under ChAFTA, provided ChAFTA Rules of Origin are met and a valid Certificate/Declaration of Origin is presented. The general (non-FTA) MFN rate on Chapter 94 furniture/seats/mattresses is up to 5%, but ChAFTA reduces it to 0% for qualifying Chinese goods. No Australian anti-dumping or countervailing measures apply to finished furniture, seats, or mattresses from China as of June 2026 β the only AD/CVD measures in FelixDeco-adjacent areas are on steel ceiling framing, steel corner beads/angles, and aluminium extrusions (building components, not finished furniture); the aluminium windows/doors investigation (Case 691) is still pending with no duties. Effective total: 0%.
Under ChAFTA (China-Australia FTA, in force since 20 Dec 2015, fully phased to 0% on building materials by 1 Jan 2019), all four flooring products of Chinese origin enter at 0% customs duty when ChAFTA Rules of Origin are met and a valid Certificate/Declaration of Origin is presented. The Australian general (MFN) rate that would otherwise apply is up to 5% (Australia's standard ad valorem rate for manufactured plastics/ceramics/wood articles; some lines are Free), but ChAFTA reduces it to 0%. There are NO Australian anti-dumping or countervailing measures on Chinese-origin flooring of any type (PVC/SPC vinyl, engineered/multilayer wood, profiled wood, or ceramic floor tiles) as of June 2026 - none appear on the Anti-Dumping Commission's Dumping Commodity Register / measures in force for these goods. Effective total = 0% with ChAFTA; up to 5% only if ChAFTA origin requirements are not met.
Under ChAFTA, Chinese-origin kitchen equipment & appliances enter at 0% customs duty (conditional on Rules of Origin + valid Certificate/Declaration of Origin). CRITICAL CORRECTION confirmed: the AD/CVD measures on Chinese DEEP DRAWN STAINLESS STEEL SINKS (7324.10) are NO LONGER IN FORCE - the AD duty was revoked effective 25 June 2024 and the countervailing measures expired 26 March 2025; Chinese sinks now enter at 0% under ChAFTA with no AD/CVD. No Australian AD/CVD measure covers any other product in this group (refrigeration, dishwashers, ovens, cooktops, mixers, range hoods, faucets, stainless workbenches). The new 2026 AU AD measures (ceiling steel framing Case 653, steel corner beads Case 677) and the aluminium-extrusions order (Case 657) do NOT cover kitchen equipment. Effective total = 0%. (If origin/ChAFTA documentation is not met, the general/MFN rate of typically 0-5% would apply, but standard ChAFTA-qualified entry is 0%.)
Effective duty for Chinese-origin = 0% under ChAFTA (China-Australia FTA), provided the goods meet ChAFTA Rules of Origin and are accompanied by a valid Certificate/Declaration of Origin. The General (non-preferential) rate for most of these 85.36/85.37/85.38/85.04/85.02 lines is 5% (some lines, e.g. programmable controllers in 8537, are 'Free' even at General), so 5% is the fallback if ChAFTA origin is not claimed/met. No Australian anti-dumping or countervailing measure applies to Chinese switches, sockets, breakers, switchgear or power supplies. So effective total = 0% (ChAFTA) / up to 5% (General fallback).
Effective 0% on all spa/sauna/wellness items from China under ChAFTA (preferential rate 0%), PROVIDED ChAFTA Rules of Origin are met and a valid Certificate/Declaration of Origin is presented. General (MFN) rates for reference: 9019.10 (massage apparatus) = Free even at the general rate; 3922.10 (plastic baths) = 5% general -> 0% ChAFTA; 7324.29 (steel baths/cold plunge) = 5% general -> 0% ChAFTA; 9406 (prefab sauna/steam room) = 5% general -> 0% ChAFTA. NO Australian anti-dumping/countervailing measure applies to these products from China. (The deep-drawn stainless-steel SINKS AD/CVD measure was TERMINATED β revoked 25 Jun 2024 / CVD expired 26 Mar 2025 β and in any case did not cover baths/tubs.) The aluminium-extrusions AD/CVD order (Case 657, continued from 29 Oct 2025) and the pending aluminium windows/doors investigation (Case 691) do NOT cover spa/sauna/wellness goods. If ChAFTA origin is NOT claimed, the general rates above (max 5%) would apply.
Australia's General (MFN) rate for worked stone (6802.91 marble, 6802.93 granite) and articles of artificial stone (6810.99) is 5%, but under ChAFTA Chinese-origin stone enters at 0% (China-Australia FTA eliminated duty on virtually all building materials by 1 Jan 2019; preferential 0% conditional on ChAFTA Rules of Origin + valid Certificate/Declaration of Origin). There is NO Australian anti-dumping/countervailing measure on Chinese countertops, engineered quartz or natural stone as of June 2026 β Australia's current China stone-related AD/CVD measures cover only steel building products (ceiling steel framing, steel corner beads & angles, aluminium extrusions), none of which capture worked stone or quartz surfaces. Net effective duty on Chinese countertops/stone = 0% (ChAFTA).
Effective duty for Chinese-origin decorative wall panels = 0% under ChAFTA. The general (MFN) Australian rate for plastic builders'-ware (3925), plastic sheets (3921), plastic wall coverings (3918) and wood panels (4410/4411) is up to 5% (5% on plastics; many wood panels free), but ChAFTA eliminated duty on these building materials by 1 Jan 2019, so Chinese-origin panels meeting ChAFTA Rules of Origin (with a valid Certificate/Declaration of Origin) enter at 0%. NO Australian anti-dumping or countervailing measure covers PVC/WPC/MDF/particle-board decorative wall panels from China. The active AU AD measures in FelixDeco's space are all STEEL/ALUMINIUM: aluminium extrusions (Case 657, continued Oct 2025), ceiling steel framing (Case 653, 14.5%), steel corner beads & angles (Case 677, 32.3%), and pending aluminium windows/doors (Case 691). None of these reach plastic or wood wall panels. So effective total = 0% (MFN up to 5% only if ChAFTA RoO not met).
All-in for a cooperating supplier like us: ~2% · non-cooperating factory: up to ~25%.
Chinese-origin door/furniture hardware enters Australia DUTY-FREE under ChAFTA (0%), provided the goods meet ChAFTA Rules of Origin and a valid Certificate/Declaration of Origin is presented. Without ChAFTA the General rates would apply: 8301.40 other locks 5%, 8302.10 hinges 5%, 8302.41 building fittings 5%, 8302.42 furniture fittings 5%, 8302.60 automatic door closers Free, 7610.90 aluminium structures 5%, 7308.90 iron/steel structures 5%. No Australian anti-dumping/countervailing measure targets 8302/8301 door or furniture hardware from China. The named AU building-product AD/CVD orders (aluminium extrusions Case 657; ceiling steel framing Case 653 ~14.5%; steel corner beads & angles Case 677 ~32.3%) cover DIFFERENT goods (extruded profiles, ceiling framing members, corner beads) and would only bite if a FelixDeco item is actually those products. Aluminium edge trim/profiles in 7610.90 COULD fall within the aluminium-extrusions AD/CVD order (Case 657, continued from 29 Oct 2025) and would then owe exporter-specific AD/CVD (~2-25% + countervailing) on top of the 0% ChAFTA duty - AD/CVD is NOT eliminated by ChAFTA. Effective customs duty 0% for hardware; AD/CVD only if the specific product is within a named order.
Australia finalised Investigation 677 (initiated May 2025 on application by Rondo Building Services), imposing definitive anti-dumping duty of 27.8% and countervailing duty of 4.5% (combined ~32.3% for non-cooperating exporters) on steel corner beads and angles from China, effective 8 May 2026. The provisional rate (securities) had been 32.3% from 15 October 2025. Plastic and stainless-steel beads and external render/texture beads are excluded. New building-product measure relevant to drywall/plaster trim.
Australia finalised Investigation 653, imposing a definitive anti-dumping duty of 10.0% and countervailing duty of 4.5% on metallic-coated ceiling steel framing members from China (height up to 45mm, width up to 60mm, thickness up to 0.65mm). Definitive measures effective 3 February 2026; final determination dated 6 February 2026. New building-product measure relevant to interior ceiling/wall framing.
At the Day 60 status report the Anti-Dumping Commissioner declined to make a preliminary affirmative determination and imposed no interim duties on Chinese aluminium windows and doors, not yet satisfied of material injury. The Statement of Essential Facts was pushed to on/before 23 September 2026 and the final report to the Minister to on/before 25 November 2026. Investigation remains open with no duties as of June 2026.
The Anti-Dumping Commission initiated Investigation 691 into dumping and subsidisation of fully and partially fabricated aluminium windows and doors from China, on application by Ventora Group and the Australian Glass and Window Association. Targets finished products beyond the existing aluminium-extrusions order.
Following continuation inquiry 657, the Minister decided (16 October 2025) to continue the AD/CVD measures on aluminium extrusions from China for a further ~5 years; measures continue from 29 October 2025. Exporter-specific rates; covers profiles for doors, windows and curtain walls.
The countervailing duties on deep drawn stainless steel sinks from China expired/were revoked effective 26 March 2025 and were not continued, completing the termination of these measures (the anti-dumping duty notice had already been revoked from 25 June 2024). As of 2026 there are NO AD/CVD duties on Chinese stainless steel sinks - they enter duty-free under ChAFTA.
Following the second sunset review (begun May 2024), the Minister accepted the Commission's recommendation to terminate; the anti-dumping duty notice on deep drawn stainless steel sinks from China was revoked for exporters generally with effect from 25 June 2024.
All remaining tariffs on virtually all Chinese building materials eliminated under the ChAFTA phase-down schedule; most categories enter Australia at 0% customs duty. Over 95% of tariff lines at 0% by 2024, reaching 98% at full implementation on 1 January 2029.
Every duty rate on this page is compiled from official government and primary trade-policy sources, last verified June 13, 2026. Antidumping and countervailing duties are exporter- and product-specific (shown on a cash-deposit basis); confirm your classification and rate with a licensed customs broker before relying on these figures.
Primary tracker: tradecomplianceresourcehub.com
Primary tracker: policy.trade.ec.europa.eu
Primary tracker: cbsa-asfc.gc.ca
Primary tracker: industry.gov.au
Methodology. Standard tariffs (Section 232 / 301 / 122, MFN, China surtaxes, free-trade agreements, CBAM) are the universal rates applied to every importer of a given product from China. Antidumping (AD) and countervailing (CVD) duties are set per exporter β a cooperating, separate-rate exporter pays its own lower cash-deposit rate, while non-cooperating exporters receive the punitive "China-wide" / adverse-facts-available rate. US AD/CVD figures are stated on a cash-deposit basis (the amount posted at entry), not the higher dumping margin. Rates change with periodic administrative and sunset reviews. Compiled by FelixDeco · last verified June 13, 2026.
Import tariff rates shown are for general informational purposes only and may not reflect your specific import situation. Actual duty rates depend on product classification, country of origin, exporter-specific AD/CVD cash-deposit rates, and applicable trade agreements. Consult a licensed customs broker for binding rulings.