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639 points CTOSian | 1 comments | | HN request time: 0.212s | source
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zaptheimpaler ◴[] No.45029926[source]
> importers must declare the exact amount of steel, copper, and aluminum in products, with a 100% tariff applied to these materials. This makes little sense—PCBs, for instance, contain copper traces, but the quantity is nearly impossible to estimate.

Wow this administration is f**ing batshit insane. I thought the tariffs would be on raw metals, not anything at all that happens to contain them.

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hnburnsy ◴[] No.45030466[source]
Here is how the EU expects PCB imports...

>For PCBs shipped to the EU, a Certificate of Analysis is not typically required for determining tariffs, as tariffs are based on the HS code (e.g., 8534.00 for bare PCBs), country of origin, and customs value. However, a CoA or similar documentation (e.g., material composition report) may be needed for: Regulatory compliance with REACH or RoHS, especially if the PCBs contain restricted substances like lead or cadmium. Customs verification if the product’s classification or materials are questioned.

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floxy ◴[] No.45030941[source]
That is exactly the same for the U.S., with the same Harmonized code, 8534.00.

https://hts.usitc.gov/search?query=8534

...and has been that way for a long time. Only thing that might be different now is that the de-minimus import exemption is going away for (certain?) countries? (and of course the tariff rate changing).

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1. hluska ◴[] No.45032139[source]
It’s not anymore. Section 232 came into effect on August 1 and totally changes things. I linked to some info on 232 in a previous reply to you.