Canada Border Services Agency (“CBSA”) resets it “audit priority areas” twice a year. This sees CBSA designate certain tariff classification codes as CBSA’s priority areas for custom verifications (i.e., “audits”), which is based on program areas that the CBSA believes pose significant risks for non-compliance. The non-compliance risk is generally in tariff classification, valuation and origin of goods imported.

Right on schedule, CBSA has now released its July 2021 Trade Compliance Verifications, which update where CBSA started in January of this year.

From a TARIFF CLASSIFICATION perspective, some of the more interesting audit priority areas are as follows:

(Footwear was also highlighted as a “valuation” risk which means that importers of footwear can likely expect verifications focusing on both tariff class and value!)

From a VALUATION perspective, one of the more interesting audit priority areas continues to be Apparel - Chapters 61 and 62 - which is subject to duties of 10% to 20%, and is focused on a number of valuation issues in this area, including “price paid or payable” and dutiable assists. CBSA found up to 60% non-compliance in this area.

CBSA has also made ORIGIN a priority, but designated only Bedding & Drapery - Headings 63.01, 63.02 and 63.03. CBSA seems to believe that manufacturers in the US are not using fabrics produced under the applicable preferential agreement (e.g., the former NAFTA or the current CUSMA). CBSA has apparently discovered a potential 53% non-compliance in this area!

Commentary

The takeaway point for all importers is that CBSA is getting back to business in its enforcement of the three main customs programs (tariff class, valuation and origin), and getting back to business, means an increase in audits.

Importers of goods in any of CBSA’s “audit priority areas” should expect to be audited soon and should already be looking for pre-emptive advice!

Do you require assistance in this area? If so, please click here.

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