Home/Trade Route/HS 7607

Cross-Border Trade Guide

🇺🇸 United States 🇰🇷 South Korea

HS 7607 · ALUMINUM FOIL (BACK OR NOT) NOV .2MM TH (EX BACK)Annual bilateral volume: $258M

Estimated Duties

0-8%

MFN + 10% VAT

Transit Time

12-16 days

End to end

Compliance

KS / Mill Test

Korean standards + safety

Export Rebate

N/A

No export VAT (none applies)

Key Rules

United States 🇺🇸 South Korea 🇰🇷

US Export Certifications
Commercial Invoice [USX]
Shipper's Letter of Instruction (SLI) [USX]
Bill of Lading (B/L) or Air Waybill (AWB) [USX]
Electronic Export Information (EEI) / AES Filing [USX]
Certificate of Origin [USX]
Packing List [USX]
Destination Control Statement (DCS) [USX]
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Estimated Cost Breakdown

per $100K shipment · United StatesSouth Korea

DUTY CALCULATION — SOUTH KOREA

Base Duty

0%

MFN (ITA): Free

VAT 10%

10%

on (CIF + duty)

Effective Total

~0%

duty only

Product cost (FOB)$100,000
Ocean freight (est.)$3,500
Marine insurance (0.4%)$400
VAT 10% on $103,900$10,390
Customs broker~$70
Estimated total landed cost~$114,360

* Estimates based on $100K FOB shipment of electronics (HS 85). Actual costs vary by exact HS code, weight/volume, and current rates.

CERTIFICATIONS
US Export Certifications
No general export certification required. However: EAR-controlled items: export license from BIS (Bureau of Industry and Security). ITAR-controlled defense articles: license from DDTC (Directorate of Defense Trade Controls). Nuclear materials: license from NRC. For most commercial goods (electronics, machinery): NO certification needed, only proper ECCN classification.
§REQUIRED DOCUMENTS
Commercial Invoice [USX]
Required for all exports. Must include: exporter and consignee details, description of goods, quantity, unit value, total value (in USD), country of origin, Incoterms, ECCN or EAR99 designation, Schedule B number. No prescribed format but must be complete and accurate.
Shipper's Letter of Instruction (SLI) [USX]
Authorizes the freight forwarder to act on behalf of the exporter for EEI filing and export processing. Contains: exporter info, consignee, intermediate consignee, forwarding agent, transport details, ECCN, Schedule B number, value, license information. Not a government form but industry standard. Essential when using a freight forwarder.
Bill of Lading (B/L) or Air Waybill (AWB) [USX]
Transport document issued by carrier. Ocean: Bill of Lading (negotiable or non-negotiable). Air: Air Waybill (always non-negotiable). Must include ITN from AES filing. Serves as receipt of goods, contract of carriage, and (for negotiable B/L) document of title.
Electronic Export Information (EEI) / AES Filing [USX]
The electronic declaration filed via AESDirect or AES-compatible software. Contains: USPPI (exporter) info, ultimate consignee, intermediate consignee, Schedule B number, ECCN, quantity, value, export carrier, port of export, country of destination, license information. Results in ITN that must accompany shipment.
Certificate of Origin [USX]
Required by many destination countries to verify goods are of US origin. For preferential trade agreements (USMCA, KORUS FTA, etc.): specific certificate format required. General certificates: issued by local Chamber of Commerce. Some countries require consular legalization (additional step).
Packing List [USX]
Detailed list of goods in each package/container. Includes: description, quantity, weight, dimensions, marks and numbers. Used by customs at destination, carrier, and insurance company.
Destination Control Statement (DCS) [USX]
Required on commercial invoice and B/L for items controlled under EAR or ITAR. Standard text: 'These commodities, technology, or software were exported from the United States in accordance with the Export Administration Regulations. Diversion contrary to U.S. law is prohibited.' Required per 15 CFR 758.6.
Export License (if applicable) [USX]
Physical or electronic license from BIS (EAR items) or DDTC (ITAR items). Must be referenced on EEI filing. License number must appear on commercial invoice. BIS licenses: typically valid for 4 years. DDTC licenses: typically valid for 4 years. Some transactions qualify for License Exceptions (no individual license but conditions apply).
PROCESS STEPS
Register in ACE/AES System [USX]
US exporters must register with the Automated Commercial Environment (ACE) system to file Electronic Export Information (EEI). ACE is CBP's primary system; AES (Automated Export System) is the export component within ACE. Register via ACE portal or through a licensed customs broker/freight forwarder. No registration fee. Requires EIN (Employer Identification Number) or SSN for sole proprietors.
Classify Your Product (ECCN / Schedule B) [USX]
Before exporting, determine if your product is controlled. Two classification systems: (1) ECCN (Export Control Classification Number) — determines if an export license is needed under EAR. Check the Commerce Control List (CCL). Most commercial goods are 'EAR99' (no license needed for most destinations). (2) Schedule B Number — the 10-digit statistical classification used for EEI filing. BIS provides a free ECCN classification request service (commodity classification request, SNAP-R). Self-classification is allowed and most common.
Screen Parties and Check Restrictions [USX]
Before any export, screen all transaction parties against the Consolidated Screening List (CSL): Entity List (BIS), Denied Persons List (BIS), Unverified List (BIS), SDN List (OFAC/Treasury), Debarred List (DDTC/State). Free screening tool at trade.gov. Also check destination country for embargo/sanctions (OFAC). Failure to screen can result in civil penalties up to $364,992 per violation or criminal penalties up to $1,000,000 and 20 years imprisonment.
Obtain Export License (if required) [USX]
If your ECCN + destination + end-use/user combination requires a license, apply via BIS SNAP-R system. License types: Individual Validated License (IVL), License Exception (e.g., TMP, LVS, TSR, GOV). Processing time: typically 30-60 days. BIS must respond within 90 days by law. Many commercial electronics to allied countries qualify for License Exception (no individual license needed). ITAR items: apply via DDTC DSP-5 form (different system entirely).
File Electronic Export Information (EEI) via AES [USX]
EEI filing is REQUIRED when: (1) value per Schedule B number exceeds $2,500, OR (2) an export license is required regardless of value, OR (3) goods are destined for certain sanctioned countries. File via AESDirect portal (free) or through AES-compatible software. Deadline: non-ITAR items — 2 hours before export; ITAR items — 8 hours before export. Postdeparture filing: pre-approved exporters can file within 5 calendar days after export. EXEMPTION: Shipments to Canada under $2,500 are exempt from EEI filing. Upon filing, receive Internal Transaction Number (ITN) — must be provided to carrier.
Arrange Transport and Provide ITN to Carrier [USX]
After EEI filing, provide the ITN to the carrier (shipping line, airline, freight forwarder). The carrier must include the ITN on the manifest/bill of lading. For ocean freight: goods must be delivered to port for loading. For air freight: delivered to airline cargo facility. Freight forwarder handles physical logistics, carrier booking, and export customs clearance.
Post-Export Record Keeping [USX]
Exporters must retain all export records for 5 years from date of export. Records include: EEI data, commercial invoices, shipping documents, export licenses, correspondence with BIS/DDTC, end-use statements, screening records. BIS and Census Bureau may audit at any time. Penalty for failure to maintain records: up to $12,000 per violation.
PROCESS STEPS
Register in ACE/AES System [USX]
US exporters must register with the Automated Commercial Environment (ACE) system to file Electronic Export Information (EEI). ACE is CBP's primary system; AES (Automated Export System) is the export component within ACE. Register via ACE portal or through a licensed customs broker/freight forwarder. No registration fee. Requires EIN (Employer Identification Number) or SSN for sole proprietors.
Classify Your Product (ECCN / Schedule B) [USX]
Before exporting, determine if your product is controlled. Two classification systems: (1) ECCN (Export Control Classification Number) — determines if an export license is needed under EAR. Check the Commerce Control List (CCL). Most commercial goods are 'EAR99' (no license needed for most destinations). (2) Schedule B Number — the 10-digit statistical classification used for EEI filing. BIS provides a free ECCN classification request service (commodity classification request, SNAP-R). Self-classification is allowed and most common.
Screen Parties and Check Restrictions [USX]
Before any export, screen all transaction parties against the Consolidated Screening List (CSL): Entity List (BIS), Denied Persons List (BIS), Unverified List (BIS), SDN List (OFAC/Treasury), Debarred List (DDTC/State). Free screening tool at trade.gov. Also check destination country for embargo/sanctions (OFAC). Failure to screen can result in civil penalties up to $364,992 per violation or criminal penalties up to $1,000,000 and 20 years imprisonment.
Obtain Export License (if required) [USX]
If your ECCN + destination + end-use/user combination requires a license, apply via BIS SNAP-R system. License types: Individual Validated License (IVL), License Exception (e.g., TMP, LVS, TSR, GOV). Processing time: typically 30-60 days. BIS must respond within 90 days by law. Many commercial electronics to allied countries qualify for License Exception (no individual license needed). ITAR items: apply via DDTC DSP-5 form (different system entirely).
File Electronic Export Information (EEI) via AES [USX]
EEI filing is REQUIRED when: (1) value per Schedule B number exceeds $2,500, OR (2) an export license is required regardless of value, OR (3) goods are destined for certain sanctioned countries. File via AESDirect portal (free) or through AES-compatible software. Deadline: non-ITAR items — 2 hours before export; ITAR items — 8 hours before export. Postdeparture filing: pre-approved exporters can file within 5 calendar days after export. EXEMPTION: Shipments to Canada under $2,500 are exempt from EEI filing. Upon filing, receive Internal Transaction Number (ITN) — must be provided to carrier.
Arrange Transport and Provide ITN to Carrier [USX]
After EEI filing, provide the ITN to the carrier (shipping line, airline, freight forwarder). The carrier must include the ITN on the manifest/bill of lading. For ocean freight: goods must be delivered to port for loading. For air freight: delivered to airline cargo facility. Freight forwarder handles physical logistics, carrier booking, and export customs clearance.
Post-Export Record Keeping [USX]
Exporters must retain all export records for 5 years from date of export. Records include: EEI data, commercial invoices, shipping documents, export licenses, correspondence with BIS/DDTC, end-use statements, screening records. BIS and Census Bureau may audit at any time. Penalty for failure to maintain records: up to $12,000 per violation.
SHIPPING & TIMELINE
Shipping Timeline from Korea
Korea → China: Ocean 2-4 days, $300-700/FEU. Korea → US (West Coast): Ocean 12-16 days, $2,000-3,500/FEU. Korea → Japan: Ocean 1-3 days, $300-600/FEU. Korea → EU: Ocean 25-32 days, $2,200-3,800/FEU. Customs clearance: same-day (AEO) or 1 day.
Shipping Timeline to Korea
From China: Ocean 2-4 days, $300-700/FEU (very short route). Air 1-2 days, $2-5/kg. From US: Ocean 12-16 days, $2,000-3,500/FEU. Air 2-3 days, $5-8/kg. From Japan: Ocean 1-3 days, $300-600/FEU. Air same-day to 1 day. From EU: Ocean 25-32 days, $2,200-3,800/FEU. Customs clearance: 1-2 days (very fast).
Shipping Timeline to Korea [KRI]
Ocean from China: Shanghai→Busan 2-3 days, Shenzhen→Busan 4-6 days. Cost: $300-800/FEU. Ocean from US: LA→Busan 12-16 days, NY→Busan 25-30 days. Cost: $2,000-4,000/FEU. Ocean from Japan: Tokyo/Osaka→Busan 1-2 days. Cost: $200-500/FEU. Ocean from EU: Rotterdam→Busan 28-35 days. Cost: $2,500-5,000/FEU. Air from China: 2-4 hours. Air from US: 12-14 hours. Cost: $3-8/kg. Customs clearance: ~1 hour (UNI-PASS green channel), 1-3 days standard, 3-7 days with inspection. Major Korean ports: Busan (largest), Incheon, Gwangyang, Pyeongtaek.
Shipping Timeline from US
US → China: Ocean (LA→Shanghai) 15-20 days, $2,500-4,000/FEU. Air 3-5 days, $5-8/kg. US → Japan: Ocean (LA→Tokyo) 10-14 days, $2,000-4,000/FEU. Air 2-3 days, $5-8/kg. US → EU: Ocean (NY→Rotterdam) 10-14 days, $2,000-3,500/FEU. Air 1-2 days, $4-7/kg. US → Korea: Ocean 12-16 days, $2,000-3,500/FEU. EEI filing: must be done before export. AES processing: near-instant.
§REQUIRED DOCUMENTS
Import Declaration (UNI-PASS)
Filed electronically. Includes HS code, value, origin, quantity.
Import Declaration Form (수입신고서) [KRI]
Primary customs document filed electronically via UNI-PASS. Contains: consignee, HS code (HSK), quantity, CIF value, trade terms, transport mode, country of origin. One declaration per B/L or consolidated for same-consignment shipments.
Commercial Invoice
Standard commercial invoice with full details.
Commercial Invoice (상업송장) [KRI]
Must include: seller, buyer, product description, quantity, unit price, total amount, trade terms (Incoterms), currency, payment terms. Used for customs valuation. Korean Customs may challenge declared value if below reference price database.
Packing List
Detailed breakdown per package.
Packing List (포장명세서) [KRI]
Detailed contents per package: item description, quantity, gross/net weight, dimensions, marks and numbers. Must correspond to commercial invoice.
Bill of Lading / Air Waybill
Transport document.
Bill of Lading / Air Waybill (선하증권/항공화물운송장) [KRI]
Ocean: Original B/L (3 originals). Air: Air Waybill. B/L number linked to UNI-PASS declaration. Required for cargo release from port/terminal. Electronic B/L accepted via approved platforms.
Certificate of Origin
Required for FTA preferential rates. Korea-China FTA, RCEP, KORUS FTA, Korea-EU FTA each have specific origin rules.
Certificate of Origin (원산지증명서) [KRI]
Required for claiming preferential tariff rates under FTAs (KORUS, Korea-China FTA, RCEP, Korea-EU FTA). Format varies by FTA: KORUS uses self-certification by exporter/producer/importer. Korea-China FTA requires government-issued certificate. RCEP allows both. For MFN treatment: may be requested by customs to verify origin.
Import License (수입승인서) — If Required [KRI]
Required for goods in the Import Restricted List (수입제한품목). Includes: certain agricultural products, fishery products, pharmaceuticals, medical devices, radioactive materials, weapons/ammunition. Issued by relevant ministry (MOTIE, MFDS, etc.). Most industrial/electronics goods do NOT require import license.
Inspection/Quarantine Certificate (검역증명서) [KRI]
Required for food, agricultural products, animal products, plants. Issued by exporting country's competent authority. Korea's Animal and Plant Quarantine Agency (APQA, 동식물검역본부) handles inspection at port.
PROCESS STEPS
Import Declaration via UNI-PASS
All import declarations processed through UNI-PASS (Korean Customs Electronic System). Can file pre-arrival declaration for faster clearance. Steps: arrival → bonded area → declaration → examination → duty payment → release.
Register as Importer with Korea Customs [KRI]
Importers must register with the Korea Customs Service (KCS, 관세청) to obtain a Customs Business Registration Number (통관고유부호). Foreign companies must import through a Korean entity (subsidiary, branch office, or appointed customs broker/agent). Registration is done via UNI-PASS portal (unipass.customs.go.kr). AEO (Authorized Economic Operator) certification available for trusted importers — provides expedited clearance and reduced inspection rates.
Customs Examination & Release
Korea Customs uses automated risk scoring. Low-risk: immediate release. Medium: document review. High: physical inspection. AEO-certified importers get priority. Average clearance time: 1-2 days (one of the fastest globally).
Submit Import Declaration via UNI-PASS [KRI]
All import declarations are filed electronically through UNI-PASS (Korea's Electronic Customs Clearance System, operational since 2005). UNI-PASS is a 100% e-clearance portal providing one-stop service including declaration, payment, and tracking. Pre-arrival declaration allowed — importers can file before goods arrive at port for faster clearance. Declaration includes: HS code (10-digit HSK), declared value (CIF), country of origin, quantity, consignee, trade terms. Must be filed by licensed customs broker (관세사) or importer directly.
Pay Customs Duty + VAT
Pay customs duty (MFN or FTA preferential rate) + 10% VAT. VAT base = CIF value + customs duty. VAT-registered businesses can claim input credit.
Customs Examination and Inspection [KRI]
Korea Customs uses a risk-based examination system. Goods imported by companies with no record of trade law violations are released immediately upon acceptance of the import declaration without inspection. High-risk items (public health, national security, environment) require additional documentation and technical tests. UNI-PASS has reduced processing time to approximately 1 hour for standard green-channel goods (previously 4+ hours). AEO-certified importers receive significantly reduced inspection rates.
Pay Customs Duties and VAT [KRI]
After customs release, duties and taxes must be paid in Korean Won (KRW) within 15 days of clearance. Components: (1) Import duty — per HSK tariff rate applied to CIF value. (2) Import VAT — 10% flat rate on (CIF + duty). (3) Special consumption tax — only for luxury goods (furs, jewelry, automobiles >2000cc). (4) Education tax — surcharge on certain goods. Payment via bank transfer, electronic payment through UNI-PASS, or customs guarantee. De minimis threshold: KRW 150,000 (~USD 110) — imports below this are exempt from duty and VAT.
Goods Release and Post-Clearance Audit [KRI]
After duties paid and declaration accepted, goods are released. Korea Customs can conduct post-clearance audits for up to 5 years after import. Record retention requirement: 5 years. Penalties for under-declaration: additional duty + 10-40% surcharge + potential criminal prosecution.
¤TARIFF & DUTIES
Korean Tariff — Electronics (HS 85)
Korean Tariff — Electronics (HS 85): Most electronics: 0% under WTO ITA. Korea is ITA signatory. Non-ITA products: MFN rates typically 0-8%. KORUS FTA (US goods): most tariffs eliminated since 2012. Electronics: already Free (ITA). Korea-EU FTA: tariffs eliminated for EU goods. Electronics: already Free. Korea-China FTA (2015): gradual tariff reduction over 20 years. Electronics: mostly Free (ITA). RCEP: additional coverage for products not in bilateral FTAs. US TARIFF ON KOREA (April 2026 status): After IEEPA tariffs struck down by Supreme Court (Feb 20, 2026), the 15% IEEPA reciprocal tariff on Korea was voided. Korea now subject to 15% Section 122 temporary tariff (expires July 24, 2026). Sectoral tariffs remain: Section 232 on steel (TRQ), aluminum, autos. The US-Korea trade deal ($350B Korean investment commitment) remains in effect but its enforcement mechanism is uncertain post-IEEPA ruling.
Korea MFN Tariff — Electronics (HS 85) [KRI]
Korea is a WTO ITA (Information Technology Agreement) signatory since 1996. Most electronics have 0% MFN tariff under ITA: HS 8471 (computers): 0%. HS 8517 (telecom equipment, smartphones): 0%. HS 8518 (speakers, headphones): 0%. HS 8528 (monitors, TVs): 0%. HS 8541/8542 (semiconductors, ICs): 0%. Non-ITA electronics: HS 8509 (household appliances): 8%. HS 8516 (heaters): 8%. Korea's average applied MFN tariff overall: ~13.4% (2024 WTO data). Agricultural products have significantly higher rates (average ~56.9%).
Korean VAT (부가가치세) — 10%
Standard VAT rate: 10%. Applied on (CIF + customs duty). No reduced rate. VAT-registered businesses can claim input tax credit. Individual consumers cannot reclaim.
Korea Import VAT — 10% Flat Rate [KRI]
Korea applies a flat 10% Value Added Tax on ALL imports and domestically produced goods. Calculation: Import VAT = (CIF value + customs duty) x 10%. Example: $100,000 ITA electronics (0% duty) → VAT = $100,000 x 10% = $10,000. Example: $100,000 non-ITA goods (8% duty) → VAT = $108,000 x 10% = $10,800. VAT-registered businesses can claim import VAT as input tax credit against output VAT. De minimis: imports under KRW 150,000 (~$110) are exempt from both duty and VAT. No reduced VAT rate — Korea has only one standard rate (unlike EU or Japan).
KORUS FTA (US-Korea Free Trade Agreement)
In effect since March 2012. Comprehensive FTA. Most industrial tariffs eliminated. Electronics (HS 85): already Free under ITA, KORUS adds no extra benefit. Key for: auto parts (phased elimination), textiles, agricultural products. Rules of origin: product-specific, generally requires substantial transformation in US/Korea.
Korea Special Consumption Tax (개별소비세) [KRI]
Special consumption tax applies ONLY to specific luxury/high-value goods — most electronics EXEMPT. Taxed categories: automobiles (5-10% based on displacement/price), furs (20%), jewelry/precious metals (20%), high-end watches (20%), air conditioners >10,000 BTU (residential, exempted since 2022 for energy-efficient models). Standard electronics (HS 85): NOT subject to special consumption tax. Education tax: 30% surcharge on special consumption tax (when applicable).
Korea-China FTA (한중 FTA) — Effective December 2015 [KRI]
The Korea-China FTA entered into force on December 20, 2015. Coverage: Korea will eliminate tariffs on 79% of tariff lines from China over 20 years. China eliminates tariffs on 91% of tariff lines from Korea over 20 years. Electronics (HS 85): MOST already 0% under ITA — FTA provides NO additional benefit for ITA products. Key benefits for Korean imports from China: certain chemicals, machinery parts, textiles, plastic products, steel products (phased reduction). IMPORTANT: Many sensitive goods were excluded from liberalization (rice, seafood, many agricultural products). Requires Certificate of Origin issued by Chinese government (CCPIT or local commerce bureau). Service trade and investment chapters open market access in specific sectors.
RCEP Preferential Tariffs (Korea) — Effective February 2022 [KRI]
RCEP entered into force for Korea on February 1, 2022. 15 member countries. Korea's tariff commitments: immediate duty-free on 50.4% of tariff lines from China, 41.4% from Japan (RCEP is the first-ever Korea-Japan tariff arrangement). Full implementation over 20 years: ~92% coverage. Electronics (HS 85): No additional benefit — ITA already provides 0% MFN rate. Key benefit sectors: chemicals, auto parts, machinery components, processed foods, textiles. Regional cumulation: content from all 15 RCEP members counts toward origin requirements. RCEP coexists with Korea-China FTA and Korea-ASEAN FTA — importers can choose most favorable rate.
KORUS FTA (한미 FTA) — Effective March 2012 [KRI]
Korea-US FTA entered into force on March 15, 2012. Eliminates tariffs on ~95% of bilateral trade. KOREA SIDE: Most US industrial goods enter Korea duty-free or at reduced rates. Electronics (HS 85): already 0% under ITA — KORUS provides no additional tariff benefit. Key Korea import benefits from KORUS: US beef (40% → 0% by 2026, now in final phase), US pork (22.5% → 0%), US agricultural products (various reductions), US automobiles (8% → 0%, already completed). US SIDE under KORUS: Most Korean industrial goods enter US duty-free. However: as of April 2026, the 15% Section 122 tariff applies ON TOP of KORUS rates for Korean goods entering US. KORUS eliminates the MFN base duty, but does NOT override Section 122 or Section 232. Self-certification: KORUS uses importer/exporter/producer self-certification for origin claims.
Korea-EU FTA (한-EU FTA) — Effective July 2011 [KRI]
The Korea-EU FTA provisionally applied since July 1, 2011 (ratified December 2015). Eliminates 98.7% of tariffs on bilateral trade. First EU FTA with an Asian country. Electronics: tariffs fully liberalized by 2016 (5-year phase-out from 2011). Consumer electronics (TVs, monitors, LCD panels) — 0% since 2016. Key sectors: automobiles (both directions), chemicals, pharmaceuticals, agricultural products. Korea-EU Digital Trade Agreement: concluded March 2025, covers cross-border data flows, privacy, e-commerce, no customs duties on electronic transmissions. Origin verification: EUR.1 certificate or approved exporter self-declaration.
Korea-Japan Trade Relations [KRI]
Korea and Japan do NOT have a bilateral FTA. RCEP is the only preferential tariff arrangement between them (first ever, effective 2022). 2019 DISPUTE RESOLUTION: Japan removed Korea from its export control 'white list' in July 2019 and restricted exports of 3 semiconductor materials (hydrogen fluoride, fluorinated polyimide, photoresist). Korea filed WTO complaint (DS590). RESOLVED March 2023: Japan restored Korea to 'Group A' (white list), Korea withdrew WTO complaint. January 2026: Japan-Korea summit in Nara reaffirmed economic cooperation, agreed to deepen trade, technology, and supply chain collaboration. Public sentiment improving: 56.4% of Koreans had favorable view of Japan (late 2025 poll). No current trade restrictions between Korea and Japan as of April 2026.
CERTIFICATIONS
KC Mark (Korea Certification)
Mandatory for electrical/electronic products. Covers safety (based on K-standard, aligned with IEC). Managed by KATS (Korean Agency for Technology and Standards). Self-declaration for low-risk items, third-party testing for high-risk. Timeline: 4-8 weeks. Cost: $3,000-10,000.
KC Mark — Safety Certification (안전인증) [KRI]
The KC (Korea Certification) mark is MANDATORY for products sold in Korea. Managed by KATS (Korean Agency for Technology and Standards, 국가기술표준원) under MOTIE. Four certification schemes based on risk: (1) Safety Certification (안전인증) — highest risk: third-party testing + factory audit. Covers 32 product categories (e.g., power tools, industrial equipment). (2) Safety Confirmation (안전확인) — medium risk: third-party testing, no factory audit. Covers 27 product categories (e.g., adapters, LED lights, household appliances). (3) Supplier Conformity Declaration (공급자적합성확인) — lower risk: self-testing accepted. Covers 18 product categories (e.g., simple electronic components). (4) Children's Product Safety (어린이제품안전) — specific to children's products. Timeline: 4-8 weeks for Safety Certification. Cost: $3,000-$10,000 per product depending on category. Products without KC mark cannot be sold domestically. Periodic factory audits for Safety Certification.
KCC (Korea Communications Commission) for Radio Equipment
Mandatory for all wireless/radio devices sold in Korea. Similar to FCC (US), TELEC (JP), RED (EU). Three types: Certification (high-power), Registration (low-power Wi-Fi/BT), Compatibility (passive RF). Must obtain before import. Timeline: 3-6 weeks.
KC Mark — EMC Certification (전자파적합성) [KRI]
Electromagnetic Compatibility (EMC) certification is mandatory for electronic/electrical equipment. Managed by RRA (National Radio Research Agency, 국립전파연구원) under MSIT. Two categories: (1) Class A — industrial equipment. (2) Class B — residential/commercial equipment. Testing at RRA-designated labs. Self-declaration (SDoC) is accepted for some product types since the 2017 reform. Products must display KC mark with EMC certification number. Timeline: 2-4 weeks. Cost: $1,500-$4,000.
KFDA (Korean Food & Drug Administration)
Required for food, food additives, health functional foods, medical devices, cosmetics. Pre-market approval/registration required. Foreign manufacturers must designate a Korean agent.
KC Mark — Radio Equipment Certification (방송통신기자재적합성) [KRI]
Mandatory for ALL devices with radio/wireless functionality (Wi-Fi, Bluetooth, cellular, NFC, etc.). Formerly known as KCC certification (Korean Communications Commission) or MSIP certification. Now unified under KC mark system, managed by RRA under MSIT (Ministry of Science and ICT). Three types: (1) Type Approval (형식등록) — for radio equipment, requires RRA-designated lab testing. (2) Designation of Conformity (적합인증) — for broadcasting/telecom equipment. (3) Conformity Assessment (적합등록) — simplified registration for low-power devices. SAR (Specific Absorption Rate) testing required for devices held near body (phones, wearables). Timeline: 4-8 weeks. Cost: $3,000-$8,000 per model. Must be obtained BEFORE import for domestic sale.
MFDS Registration — Food, Drugs, Medical Devices (식품의약품안전처) [KRI]
The Ministry of Food and Drug Safety (MFDS, formerly KFDA) regulates imports of: food, pharmaceuticals, medical devices, cosmetics, and health functional foods. FOOD: Overseas manufacturers must register with MFDS. Importers need a 'food import business' registration. All imported food undergoes inspection at port. MEDICAL DEVICES: Risk-based 4-class system (Class 1-4). Class 1: notification (신고). Class 2: certification (인증) by designated body. Class 3-4: approval (허가) by MFDS — requires clinical data for Class 4. Foreign manufacturers must appoint a Korea License Holder (KLH). KGMP (Korea Good Manufacturing Practice) certification required for Class 2-4. ISO 13485 alone is NOT sufficient — KGMP audit required separately. PHARMACEUTICALS: Import license from MFDS required, local clinical trials often needed. Timeline: Medical device Class 2: 6-12 months. Class 3-4: 1-3 years. Drugs: 2-5 years.
Korea RoHS (전기전자제품의 자원순환에 관한 법률) [KRI]
Korea restricts hazardous substances in EEE (Electrical and Electronic Equipment) under the Act on Resource Circulation of Electrical and Electronic Equipment and Vehicles. Restricts 10 substances: lead, mercury, cadmium, hexavalent chromium, PBB, PBDE, plus 4 phthalates (DEHP, BBP, DBP, DIBP) — aligned with EU RoHS (recast). Applies to 10 product categories including large/small household appliances, IT/telecom equipment, consumer electronics, lighting, toys/leisure/sports equipment. Manufacturers/importers must self-declare compliance. Random testing by authorities. Non-compliant products may be recalled or barred from sale.
Korea Electrical Safety — KC Electrical (전기용품안전) [KRI]
Electrical appliances and components connected to AC mains must comply with Korea's Electrical Appliances and Consumer Products Safety Control Act (전기용품 및 생활용품 안전관리법). Unified under KC mark system. Testing to KS (Korean Standards) or equivalent IEC standards. Specific requirements: rated voltage, frequency (220V/60Hz in Korea), plug type (Type C/F). Products designed for other voltage/frequency systems must be adapted for Korean market.

Export-Side Restrictions

Controls imposed by United States

EAR Export Controls — Commerce Control List (CCL) [USX]
The Export Administration Regulations (EAR) govern export of commercial and dual-use items. The CCL has 10 categories: 0-Nuclear, 1-Materials, 2-Materials Processing, 3-Electronics, 4-Computers, 5-Telecom/InfoSec, 6-Sensors/Lasers, 7-Navigation, 8-Marine, 9-Aerospace. Each category has 5 product groups: A-Equipment, B-Test/Production, C-Materials, D-Software, E-Technology. Items NOT on CCL are designated EAR99 — generally exportable without license to most destinations. License requirements determined by ECCN + destination country + end-use + end-user. Country Chart (Supplement No. 1 to Part 738) maps ECCNs to country-specific requirements.
EAR — ECCN Classification and De Minimis Rules [USX]
ECCN is a 5-character code (e.g., 3A001 = certain ICs, 5A002 = encryption equipment). Self-classification is permitted; exporters can also request BIS classification (CCATS, free, 30-day response). DE MINIMIS RULE for re-exports: Foreign-made items incorporating US-origin controlled content are subject to EAR if US content exceeds 25% of total value (10% for embargoed destinations like Cuba, Iran, North Korea, Syria). This triggers license requirements for re-exports. FOREIGN DIRECT PRODUCT RULE (FDPR): Extended in 2022 to cover items produced using US technology/software for Entity List parties — applies globally, affects non-US semiconductor fabs.
EAR — Entity List Restrictions (April 2026) [USX]
The Entity List (Supplement No. 4 to Part 744) includes ~3,163 entities as of late 2025. Majority are Chinese entities in telecom, AI, biotech, quantum, and semiconductors. Export/re-export/transfer to listed entities requires BIS license with presumption of denial for most. Notable Chinese entities: Huawei, SMIC, YMTC, Sophgo, numerous AI/chip companies. BIS '50% Ownership Rule' (Oct 2025): extends restrictions to entities 50%+ owned by listed parties. Affiliates Rule: suspended for 1 year (Nov 2025) under Busan Agreement, reimposed Nov 10, 2026.
ITAR — International Traffic in Arms Regulations [USX]
ITAR regulates defense articles, defense services, and related technical data on the US Munitions List (USML). Administered by DDTC (Directorate of Defense Trade Controls) under State Department. USML has 21 categories (I-Firearms, II-Guns, III-Ammunition, IV-Launch vehicles, V-Explosives, etc.). KEY DISTINCTION: ITAR covers items 'specifically designed or modified' for military use. Commercial electronics are generally NOT ITAR-controlled unless specifically designed for defense. A commercial power supply is EAR99; a power supply 'specifically designed' for a fighter jet is ITAR. ITAR items require State Department license (DSP-5) for ANY export, regardless of destination. Penalties: civil up to $1,213,423/violation; criminal up to $1,000,000 and 20 years.
US Export to China — Semiconductor/AI Chip Controls (April 2026) [USX]
Advanced computing chip exports to China are heavily restricted under EAR. TIMELINE: Oct 2022 — initial controls on advanced chips and semiconductor equipment. Oct 2023 — expanded to close loopholes, tightened thresholds. Dec 2024 — new controls on HBM, advanced equipment, and 140+ new Entity List additions. Jan 2026 — license review policy revised: chips below 21,000 TPP and 6,500 GB/s DRAM bandwidth (roughly H200/MI325X class) evaluated case-by-case instead of presumption of denial. Chips above these thresholds: still presumption of denial. All advanced semiconductor manufacturing equipment: license required, presumption of denial. 16 new entities added to Entity List in Jan 2026 (including Sophgo). 25% tariff on covered AI chips NOT destined for US supply chain (Jan 2026 proclamation).
US Export to China — Technology Transfer Controls [USX]
Beyond physical goods, the US controls 'deemed exports' — release of controlled technology/source code to foreign nationals in the US is treated as an export to their home country. For Chinese nationals working at US companies: access to ECCN-controlled technology may require a deemed export license from BIS. This applies to Categories 3-5 especially (electronics, computers, telecom). Cloud computing: BIS 'IaaS Rule' (Jan 2024+) requires cloud providers to implement KYC for foreign users training large AI models. Expanded in 2025 to cover more compute thresholds. Technical data shared with Chinese subsidiaries/partners also requires EAR compliance review.
US Export to China — Broad EAR Restrictions Summary [USX]
China (including Hong Kong and Macau for many purposes) faces the most comprehensive US export restrictions: (1) Entity List: ~2,000+ Chinese entities. (2) Military End-User (MEU) List: license required for items in Supplement 2 to Part 744. (3) Advanced computing: TPP/bandwidth thresholds. (4) Semiconductor equipment: all advanced tools. (5) Quantum computing: all exports controlled. (6) Supercomputer technology. (7) Certain biotech equipment. (8) Surveillance technology (limited). However: most standard commercial electronics (consumer smartphones, laptops, basic networking) are EAR99 and can be exported to China without a license, as long as no listed entity/end-use is involved.
US Export to Japan — Minimal Restrictions [USX]
Japan is a close US ally and member of all major multilateral export control regimes (Wassenaar Arrangement, MTCR, Australia Group, NSG). Japan is in Country Group A:1 (most favorable treatment under EAR). RESULT: Most items on the CCL can be exported to Japan under License Exceptions, particularly STA (Strategic Trade Authorization) which covers the vast majority of controlled items. EAR99 items: no restrictions. Most ECCN items: License Exception available. Still requires screening against Consolidated Screening List (rare for Japanese entities). EEI filing still required for shipments over $2,500. Japan's own export controls on semiconductors (2023+) align with US controls on China, making Japan a trusted partner in the US export control ecosystem.
US Export to Korea — Minimal Restrictions [KRE]
Korea is a close US ally and member of all 4 multilateral export control regimes. Korea is in US Country Group A:1 (most favorable treatment under EAR). Most items on the CCL can be exported to Korea under License Exceptions, particularly STA (Strategic Trade Authorization). EAR99 items: no restrictions. Still requires Consolidated Screening List check (rare for Korean entities). US-Korea Strategic Trade and Investment Deal (Nov 2025) further strengthens alliance and includes semiconductor supply chain cooperation commitments.

Recent Advisories

Product recalls in the destination market

2026-04-09BISSELL Recalls Over One Million Steam Shot OmniReach Steam Cleaners Due to Risk of Serious Burn Hazard from Attachments
2026-04-09Easymake Adult Portable Bed Rails Recalled Due to Risk of Serious Injury or Death from Entrapment and Asphyxiation; Violates Mandatory Standard for Adult Portable Bed Rails; Imported by ZFZG-US
2026-04-09Halloween Pumpkin Carving Kits Recalled Due to Risk of Serious Injury or Death from Battery Ingestion; Violates Mandatory Standard for Consumer Products with Button Cell Batteries; Sold on Amazon by Besslly Store
2026-04-09LED Lights Recalled Due to Risk of Serious Injury or Death from Battery Ingestion; Violates Mandatory Standard for Consumer Products with Coin Batteries; Sold on Amazon by Happiness Light
2026-04-09Magnetic Drinkware Charms Recalled Due to Risk of Serious Injury or Death from Magnet Ingestion; Violate Mandatory Standard for Magnets; Sold on Amazon by Maitys

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Disclaimer: Figures are best-effort estimates based on April 2026 public regulations (§122, §232, §301, CBAM, RCEP, etc.). Verify with the relevant customs authority before trade decisions.Report data issue ↗