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  5. CSMS 8257301
CSMS 8257301·Trade policy·September 14, 2018·View on csms.cbp.gov ↗

Correction of message 8250302

Plain-English explanation

CSMS 8257301 is a U.S. Customs and Border Protection (CBP) Cargo Systems Messaging Service bulletin (trade policy), published on September 14, 2018. It carries the official CBP guidance brokers and importers must follow for the topic — "Correction of message 8250302". It links to 1 AD/CVD case in Tandom's catalog. CSMS messages are the operational layer between Commerce determinations and at-the-border collections: when Commerce publishes a new rate, scope ruling, or instruction, CBP turns it into a CSMS that ACE/ACS systems and brokers act on.

Linked AD/CVD cases(1)

Cases referenced or affected by this CSMS message

A-549-835

Message body

Full text as published by U.S. Customs and Border Protection

1. This is a correction to message 8250302, dated 09/07/2018, to add information about companies that were inadvertently omitted. 2. Specifically, producers and exporters Liang Hah Heng International Rubber Co., Ltd./Hah Shung Heng Co. were inadvertently not listed in the message. Below is the fully corrected message. 3. On 09/06/2018, Commerce published in the Federal Register its affirmative preliminary determination of sales at less than fair value and postponement of the final determination in the antidumping duty investigation of rubber bands from Thailand (83 FR 45220). 4. The products subject to this investigation are bands made of vulcanized rubber, with a flat length, as actually measured end-to-end by the band lying flat, no less than ½ inch and no greater than 10 inches; with a width, which measures the dimension perpendicular to the length, actually of at least 3/64 inch and no greater than 2 inches; and a wall thickness actually from 0.020 inch to 0.125 inch. Vulcanized rubber has been chemically processed into a more durable material by the addition of sulfur or other equivalent curatives or accelerators. Subject products are included regardless of color or inclusion of printed material on the rubber band's surface, including but not limited to, rubber bands with printing on them, such as a product name, advertising, or slogan, and printed material (e.g., a tag) fastened to the rubber band by an adhesive or another temporary type of connection. The scope includes vulcanized rubber bands which are contained or otherwise exist in various forms and packages, such as, without limitation, vulcanized rubber bands included within a desk accessory set or other type of set or package, and vulcanized rubber band balls. The scope excludes products that consist of an elastomer loop and durable tag all-in-one, and bands that are being used at the time of import to fasten an imported product. Excluded from the scope of this investigation are vulcanized rubber bands of various sizes with arrow shaped rubber protrusions from the outer diameter that exceeds at the anchor point a wall thickness of 0.125 inches and where the protrusion is used to loop around, secure and lock in place. Excluded from the scope of this investigation are yarn/fabric-covered vulcanized rubber hair bands, regardless of size. Merchandise covered by this investigation is currently classified in the Harmonized Tariff Schedule of the United States (HTSUS) under subheading 4016.99.3510. Merchandise covered by the scope may also enter under HTSUS subheading 4016.99.6050. While the HTSUS subheadings are provided for convenience and customs purposes, the written description of the scope of the investigation is dispositive. 5. This proceeding has been assigned case number A-549-835. 6. For imports of rubber bands from Thailand, CBP shall suspend liquidation of such shipments entered, or withdrawn from warehouse, for consumption on or after 09/06/2018. Effective 09/06/2018, CBP shall require, for such entries, a cash deposit equal to the margin for the producer and/or exporter listed below: Producer and/or Exporter: U. Yong Industry Co., Ltd. Case number: A-549-835-001 Cash deposit rate: 5.86% All Others Case Number: A-549-835-000 Cash Deposit Rate: 5.86% 7. Commerce found that a de minimis margin of 0.00 percent exists for imports of rubber bands from Thailand that were produced and exported by Liang Hah Heng International Rubber Co., Ltd./Hah Shung Heng Co. Therefore, CBP shall not suspend liquidation of such shipments entered, or withdrawn from warehouse, for consumption on or after 09/06/2018. 8. If any entries of this merchandise are exported by a firm other than the producer, then the following instructions apply: A. If the exporter of the subject merchandise does not have its own rate but the producer has its own rate, the cash deposit rate will be the producer's rate. B. Where neither the exporter nor the producer has its own rate or the producer is unknown, use the all-others rate of 5.86 percent to establish the cash deposit. 9. If there are any questions by the importing public regarding this message, please contact the Call Center for the Office of AD/CVD Operations, Enforcement and Compliance, International Trade Administration, U.S. Department of Commerce at (202) 482-0984. CBP ports should submit their inquiries through authorized CBP channels only. (This message was generated by OIII:SB) 10. There are no restrictions on the release of this information. Alexander Amdur

Frequently asked questions

What is CSMS 8257301?

CSMS 8257301 is a U.S. Customs and Border Protection (CBP) Cargo Systems Messaging Service bulletin titled "Correction of message 8250302". CSMS bulletins are the operational instructions CBP issues to brokers, importers, and ACE filers covering rate changes, system updates, scope guidance, and other day-to-day customs-operations changes.

When was CSMS 8257301 published?

CBP published CSMS 8257301 on September 14, 2018. The bulletin's instructions are typically operative as of the publication date unless the body specifies a different effective date.

Which AD/CVD cases does CSMS 8257301 affect?

CSMS 8257301 references 1 AD/CVD case (A-549-835). The links on this page take you to each linked order with its current scope, rates, and history.

Is the CBP CSMS the legally binding instruction?

Yes — for at-the-border filing and entry collection. CSMS messages translate Commerce's Federal Register determinations into operational CBP instructions that ACE/ACS systems and brokers execute. The Federal Register notice is the underlying legal authority; the CSMS is the operational implementation. Both should be read together when reconciling a rate or scope change.

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