GDLSK: Grunfeld Desiderio Lebowitz Silverman & Klestadt LLP
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The Office of the U.S. Trade Representative (“USTR”) has issued a notice requesting comments on whether certain expiring China 301 List 4 tariff exclusions should be extended.  The exclusions at issue are those covered by the five notices of product exclusion issued as of June 12, 2020.  Unless extended, all of the List 4 exclusions are scheduled to expire on September 1, 2020.  The underlying notices of exclusion can be accessed below:

Exclusions Granted March 10, 2020

Exclusions Granted March 17, 2020

Exclusions Granted March 31, 2020

Exclusions Granted May 13, 2020

Exclusions Granted June 8, 2020

The USTR will evaluate the potential extensions on a case-by-case basis. The focus will be on whether the particular product remains available only from China.  Factors to be considered include:

  • Whether the particular product and/or a comparable product is available from sources in the United States and/or in third countries.
  • Any changes in the global supply chain with respect to the particular product or any other relevant industry developments.
  • The efforts, if any, the importers or U.S. purchasers have undertaken to source the product from the United States or third countries.
  • Whether the imposition of additional duties on the products covered by the exclusion will result in severe economic harm to the commenter or other U.S. interests.

Any comments must be submitted in a specified format on the UTRS’s 301 web portal and address particular data points solicited by the portal.  A separate comment must be submitted for each exclusion.  A docket for the above action will remain open from July 1, 2020 to July 30, 2020.

Should you have any questions or would like assistance in preparing comments in support of extensions for the above China 301 exclusions, please do not hesitate to contact our office.


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