Chapter 70 covers glass and glassware, including glass blocks, glass tubes, glass beads, glass fibers, glassware, glass mirrors, glass bottles, glass cups, etc. The scope of this chapter ranges from raw glass (such as glass blocks and glass balls) to various finished glass products, but excludes imitation jewelry made of glass (Chapter 71), toys made of glass (Chapter 95), and medical devices made of glass (Chapter 90), etc. This chapter is one of the most important classification chapters in international trade in the glass industry. Heading 7013 covers glassware for table, kitchen, toilet, office, indoor decoration or similar purposes, excluding glass containers of heading 7010 (such as glass bottles, jars, and ampoules) and glass beads of heading 7018. This heading includes glass cups, glass plates, glass bowls, glass vases, glass ashtrays, etc. Among them, glass drinking glasses are further subdivided into glass stemware (7013.22), other glass drinking glasses (7013.28), and other subheadings. The first 2 digits 70 represent Chapter 70 (glass and glassware). The 3rd-4th digits 13 represent heading 7013, namely glassware for table, kitchen, toilet, office, indoor decoration or similar purposes. The 5th-6th digits 28 represent subheading 7013.28, namely other glass drinking glasses. This subheading specifically refers to glass drinking glasses other than stemware, such as tumblers, whisky glasses, beer glasses, etc. It should be noted that 7013.28 does not include glass stemware (7013.22) or glass vacuum flasks (9617). This product is a glass drinking glass, belonging to glassware for table or kitchen use, and conforms to the description of heading 7013. Since it is not stemware (7013.22), nor other glass cups such as glass vacuum flasks (9617), it is classified under 7013.28. If it were glass stemware, it would be classified under 7013.22; if it were glass-ceramic drinking glasses, it would be classified under 7013.10; if it were plastic drinking glasses, it would be classified under 3924.
Chapter
Chapter 70 covers glass and glassware, including glass blocks, glass tubes, glass beads, glass fibers, glassware, glass mirrors, glass bottles, glass cups, etc. The scope of this chapter ranges from raw glass (such as glass blocks and glass balls) to various finished glass products, but excludes imitation jewelry made of glass (Chapter 71), toys made of glass (Chapter 95), and medical devices made of glass (Chapter 90), etc. This chapter is one of the most important classification chapters in international trade in the glass industry.
Heading
Heading 7013 covers glassware for table, kitchen, toilet, office, indoor decoration or similar purposes, excluding glass containers of heading 7010 (such as glass bottles, jars, and ampoules) and glass beads of heading 7018. This heading includes glass cups, glass plates, glass bowls, glass vases, glass ashtrays, etc. Among them, glass drinking glasses are further subdivided into glass stemware (7013.22), other glass drinking glasses (7013.28), and other subheadings.
Digit Breakdown
The first 2 digits 70 represent Chapter 70 (glass and glassware). The 3rd-4th digits 13 represent heading 7013, namely glassware for table, kitchen, toilet, office, indoor decoration or similar purposes. The 5th-6th digits 28 represent subheading 7013.28, namely other glass drinking glasses. This subheading specifically refers to glass drinking glasses other than stemware, such as tumblers, whisky glasses, beer glasses, etc. It should be noted that 7013.28 does not include glass stemware (7013.22) or glass vacuum flasks (9617).
Classification Basis
This product is a glass drinking glass, belonging to glassware for table or kitchen use, and conforms to the description of heading 7013. Since it is not stemware (7013.22), nor other glass cups such as glass vacuum flasks (9617), it is classified under 7013.28. If it were glass stemware, it would be classified under 7013.22; if it were glass-ceramic drinking glasses, it would be classified under 7013.10; if it were plastic drinking glasses, it would be classified under 3924.
📝 Declaration Elements
Product Name: The specific name of the declared commodity, such as "glass wine glass", "glass tumbler", etc., and must be consistent with the actual product. Material: Indicate the type of glass, such as soda-lime glass, borosilicate glass, lead crystal glass, etc. Use: Explain the specific use, such as drinking wine, whisky, water, etc. Brand: Fill in the brand name (if no brand, fill in "none"). Model: Fill in the product model or item number. Capacity: Indicate the capacity of the drinking glass, such as 200ml, 350ml, etc. Processing Method: Explain the forming method, such as blowing, pressing, machine-made, etc. Whether It Is Lead Crystal Glass: If it is lead crystal glass, it must be indicated; otherwise, fill in "No". Product Name: Glass wine glass; Material: Soda-lime glass; Use: Drinking whisky; Brand: None; Model: WG-2024; Capacity: 300ml; Processing Method: Machine-made; Whether It Is Lead Crystal Glass: No.
(Note: The above is a simulated customs declaration form filling format. Actual declaration must provide complete information according to customs requirements.) Misreporting stemware as other drinking glasses, resulting in classification errors. Failure to distinguish glass materials, such as the different classification of lead crystal glass and ordinary glass. Ignoring the processing method, which may affect classification or origin determination.
Product Name
The specific name of the declared commodity, such as "glass wine glass", "glass tumbler", etc., and must be consistent with the actual product.
⚠️ Misreporting it as "stemware" or "glass cup" is too general.
Material
Indicate the type of glass, such as soda-lime glass, borosilicate glass, lead crystal glass, etc.
⚠️ Only writing "glass" without distinguishing the specific material.
Use
Explain the specific use, such as drinking wine, whisky, water, etc.
⚠️ The use description is vague, such as "daily use".
Brand
Fill in the brand name (if no brand, fill in "none").
⚠️ Omitting the brand or filling in the wrong brand.
Model
Fill in the product model or item number.
⚠️ The model does not match the actual product.
Capacity
Indicate the capacity of the drinking glass, such as 200ml, 350ml, etc.
⚠️ Failure to provide capacity information.
Processing Method
Explain the forming method, such as blowing, pressing, machine-made, etc.
⚠️ Failure to indicate the processing method.
Whether It Is Lead Crystal Glass
If it is lead crystal glass, it must be indicated; otherwise, fill in "No".
⚠️ Mistakenly declaring ordinary glass as lead crystal.
Example: Product Name: Glass wine glass; Material: Soda-lime glass; Use: Drinking whisky; Brand: None; Model: WG-2024; Capacity: 300ml; Processing Method: Machine-made; Whether It Is Lead Crystal Glass: No.
(Note: The above is a simulated customs declaration form filling format. Actual declaration must provide complete information according to customs requirements.)
Common Mistakes:
Misreporting stemware as other drinking glasses, resulting in classification errors.
Failure to distinguish glass materials, such as the different classification of lead crystal glass and ordinary glass.
Ignoring the processing method, which may affect classification or origin determination.
🎯 Classification Logic
The core criteria for classification are: whether the product is made of glass, whether it is used for table or kitchen, whether it is a drinking glass, and whether it is stemware. According to the Import and Export Tariff and notes, 7013.28 applies only to other glass drinking glasses (non-stemware). If it is stemware, it is classified under 7013.22; if it is glass-ceramic, it is classified under 7013.10; if it is plastic, it is classified under 3924. 7013.22 Glass stemware: 7013.22 specifically refers to stemware, namely drinking glasses with a stem and base; 7013.28 is other drinking glasses, such as tumblers, whisky glasses, etc. 7013.10 Glass-ceramic table or kitchen ware: 7013.10 is made of glass-ceramic (microcrystalline glass), while 7013.28 is made of ordinary glass. 3924.10 Plastic table or kitchen ware: The material is different. 3924 is made of plastic, while 7013 is made of glass. 9617.00 Vacuum flasks: 9617 is vacuum insulated containers, while 7013.28 is ordinary glass drinking glasses without insulation function. 7010.90 Other glass containers: 7010 is glass containers for transport or packing, such as glass bottles and jars, while 7013.28 is drinking glasses for table use. Is it made of glass? Is it a drinking glass? Is it stemware? Is it used for table or kitchen? Does it have an insulation function?
Basis
The core criteria for classification are: whether the product is made of glass, whether it is used for table or kitchen, whether it is a drinking glass, and whether it is stemware. According to the Import and Export Tariff and notes, 7013.28 applies only to other glass drinking glasses (non-stemware). If it is stemware, it is classified under 7013.22; if it is glass-ceramic, it is classified under 7013.10; if it is plastic, it is classified under 3924.
Confused Codes:
7013.22 - Glass stemware
7013.22 specifically refers to stemware, namely drinking glasses with a stem and base; 7013.28 is other drinking glasses, such as tumblers, whisky glasses, etc.
7013.10 - Glass-ceramic table or kitchen ware
7013.10 is made of glass-ceramic (microcrystalline glass), while 7013.28 is made of ordinary glass.
3924.10 - Plastic table or kitchen ware
The material is different. 3924 is made of plastic, while 7013 is made of glass.
9617.00 - Vacuum flasks
9617 is vacuum insulated containers, while 7013.28 is ordinary glass drinking glasses without insulation function.
7010.90 - Other glass containers
7010 is glass containers for transport or packing, such as glass bottles and jars, while 7013.28 is drinking glasses for table use.
Self-Check:
✓ Is it made of glass?
✓ Is it a drinking glass?
✓ Is it stemware?
✓ Is it used for table or kitchen?
✓ Does it have an insulation function?
❓ FAQ
How can I check the tariff rate for HS code 701328? You can check through the official website of the General Administration of Customs, China International Trade Single Window, or the Import and Export Tariff. Enter HS code 701328 to view the MFN rate, general rate, VAT rate, etc. Note that tariff rates may be adjusted with policy changes, and the latest published version should prevail. What is the difference in classification between glass drinking glasses and stemware? Stemware is classified under 7013.22, and other drinking glasses are classified under 7013.28. The difference lies in whether there is a stem and base. If the drinking glass has a slender stem, it is usually stemware; if there is no stem, it is another drinking glass. Are lead crystal glass drinking glasses classified under 701328? If lead crystal glass drinking glasses are stemware, they are classified under 7013.22; if they are other drinking glasses, they are still classified under 7013.28. However, note that lead crystal glass may involve additional declaration requirements, such as lead content. How can cross-border e-commerce sellers determine the HS code for glass drinking glasses? First confirm that the material is glass, the use is for drinking, and it is not stemware. If it is an ordinary glass tumbler, it is classified under 7013.28. If it is stemware, it is classified under 7013.22. It is recommended to consult a professional customs broker or use a customs classification advance ruling. What are the common errors in the declaration elements for glass drinking glasses? Common errors include: the product name is generally written as "glass cup" without indicating it is a drinking glass; the material is only written as "glass" without distinguishing the type; the use is written as "daily use" without being specific; and brand, model, capacity, etc. are omitted. These may lead to classification disputes or customs clearance delays. What is the difference between 701328 and 701310? 701310 is glass-ceramic table or kitchen ware, made of microcrystalline glass; 701328 is ordinary glass drinking glasses. The difference lies in the material. Glass-ceramic has a lower coefficient of thermal expansion and is often used for heat-resistant ware. What documents are required to import glass drinking glasses? Usually, a packing list, invoice, contract, bill of lading, certificate of origin (if applicable), declaration elements, etc. are required. If it is lead crystal glass, a composition test report may be required. The specific requirements shall be subject to customs requirements. How can I determine whether a glass drinking glass is stemware? Stemware usually has a slender stem and base, with the bowl separated from the base. If the bowl is directly connected to the base or there is no stem, it is another drinking glass. You may refer to customs classification decisions or consult a professional institution.
Q: How can I check the tariff rate for HS code 701328?
A: You can check through the official website of the General Administration of Customs, China International Trade Single Window, or the Import and Export Tariff. Enter HS code 701328 to view the MFN rate, general rate, VAT rate, etc. Note that tariff rates may be adjusted with policy changes, and the latest published version should prevail.
Q: What is the difference in classification between glass drinking glasses and stemware?
A: Stemware is classified under 7013.22, and other drinking glasses are classified under 7013.28. The difference lies in whether there is a stem and base. If the drinking glass has a slender stem, it is usually stemware; if there is no stem, it is another drinking glass.
Q: Are lead crystal glass drinking glasses classified under 701328?
A: If lead crystal glass drinking glasses are stemware, they are classified under 7013.22; if they are other drinking glasses, they are still classified under 7013.28. However, note that lead crystal glass may involve additional declaration requirements, such as lead content.
Q: How can cross-border e-commerce sellers determine the HS code for glass drinking glasses?
A: First confirm that the material is glass, the use is for drinking, and it is not stemware. If it is an ordinary glass tumbler, it is classified under 7013.28. If it is stemware, it is classified under 7013.22. It is recommended to consult a professional customs broker or use a customs classification advance ruling.
Q: What are the common errors in the declaration elements for glass drinking glasses?
A: Common errors include: the product name is generally written as "glass cup" without indicating it is a drinking glass; the material is only written as "glass" without distinguishing the type; the use is written as "daily use" without being specific; and brand, model, capacity, etc. are omitted. These may lead to classification disputes or customs clearance delays.
Q: What is the difference between 701328 and 701310?
A: 701310 is glass-ceramic table or kitchen ware, made of microcrystalline glass; 701328 is ordinary glass drinking glasses. The difference lies in the material. Glass-ceramic has a lower coefficient of thermal expansion and is often used for heat-resistant ware.
Q: What documents are required to import glass drinking glasses?
A: Usually, a packing list, invoice, contract, bill of lading, certificate of origin (if applicable), declaration elements, etc. are required. If it is lead crystal glass, a composition test report may be required. The specific requirements shall be subject to customs requirements.
Q: How can I determine whether a glass drinking glass is stemware?
A: Stemware usually has a slender stem and base, with the bowl separated from the base. If the bowl is directly connected to the base or there is no stem, it is another drinking glass. You may refer to customs classification decisions or consult a professional institution.
⚠️ Disclaimer: HS code classification, declaration elements, tariff rates and regulatory conditions on this page are for reference only and do not constitute legal advice on customs classification. Tariff rates and regulations are subject to change; the latest announcements from the General Administration of Customs and on-site determinations shall prevail. Please consult professional customs brokers or customs authorities before import/export.