Chapter 70 covers glass and glassware, including flat glass, glass fibers, glassware, glass instruments, glass beads, etc. This chapter ranges from raw glass to finished glass products, but excludes certain special glass (such as optical glass, imitation gemstones) and products combined with other materials. Heading 7013 specifically addresses glassware for table, kitchen, toilet, office, indoor decoration or similar purposes, and is the part of glass products most closely related to daily life. Heading 7013 includes glass tableware, kitchenware, toilet ware, office ware, indoor decorative ware, etc. It specifically covers glass cups, plates, bowls, saucers, pots, jars, bottles (non-packaging), ashtrays, vases, etc. However, note that this heading does not include glass packaging containers (such as medicine bottles, food jars, classified under 7010) or glass-ceramic tableware (classified under 6911 or 6912). Under 7013, further subdivision is based on glass material (such as lead crystal glass, other glass) and use. The first 2 digits 70 indicate Chapter 70 (glass and glassware). Digits 3-4, 13, indicate heading 7013, i.e., glassware for table, kitchen, toilet, office, indoor decoration or similar purposes. Digits 5-6, 33, indicate subheading 701333, specifically lead crystal glass tableware. Among these, lead crystal glass refers to glass with a lead oxide content of not less than 24% by weight, featuring high refractive index, high density, and a clear ring. This subheading only covers tableware, such as lead crystal glass cups, plates, bowls, etc., and does not include lead crystal glassware for kitchen, toilet, or other uses (these may be classified under other subheadings such as 701337). This product is lead crystal glass tableware. Because its material is lead crystal glass (lead oxide content ≥24%) and its use is tableware, it is classified under 701333. If it were tableware made of other glass, it would be classified under 701337 (other glass tableware); if it were lead crystal glass kitchenware, it would be classified under 701335 (lead crystal glass kitchenware); if it were glass-ceramic tableware, it would be classified under 6911. Therefore, material and use are the key distinctions.
Chapter
Chapter 70 covers glass and glassware, including flat glass, glass fibers, glassware, glass instruments, glass beads, etc. This chapter ranges from raw glass to finished glass products, but excludes certain special glass (such as optical glass, imitation gemstones) and products combined with other materials. Heading 7013 specifically addresses glassware for table, kitchen, toilet, office, indoor decoration or similar purposes, and is the part of glass products most closely related to daily life.
Heading
Heading 7013 includes glass tableware, kitchenware, toilet ware, office ware, indoor decorative ware, etc. It specifically covers glass cups, plates, bowls, saucers, pots, jars, bottles (non-packaging), ashtrays, vases, etc. However, note that this heading does not include glass packaging containers (such as medicine bottles, food jars, classified under 7010) or glass-ceramic tableware (classified under 6911 or 6912). Under 7013, further subdivision is based on glass material (such as lead crystal glass, other glass) and use.
Digit Breakdown
The first 2 digits 70 indicate Chapter 70 (glass and glassware). Digits 3-4, 13, indicate heading 7013, i.e., glassware for table, kitchen, toilet, office, indoor decoration or similar purposes. Digits 5-6, 33, indicate subheading 701333, specifically lead crystal glass tableware. Among these, lead crystal glass refers to glass with a lead oxide content of not less than 24% by weight, featuring high refractive index, high density, and a clear ring. This subheading only covers tableware, such as lead crystal glass cups, plates, bowls, etc., and does not include lead crystal glassware for kitchen, toilet, or other uses (these may be classified under other subheadings such as 701337).
Classification Basis
This product is lead crystal glass tableware. Because its material is lead crystal glass (lead oxide content ≥24%) and its use is tableware, it is classified under 701333. If it were tableware made of other glass, it would be classified under 701337 (other glass tableware); if it were lead crystal glass kitchenware, it would be classified under 701335 (lead crystal glass kitchenware); if it were glass-ceramic tableware, it would be classified under 6911. Therefore, material and use are the key distinctions.
📝 Declaration Elements
Product Name: The Chinese and English names of the declared commodity should accurately reflect the product characteristics, such as "lead crystal glass cup." Material: Clearly specify the type of glass, such as lead crystal glass, and indicate the lead oxide content (e.g., ≥24%). Use: Explain the specific use, such as tableware, kitchenware, decorative, etc. Brand: Fill in the brand name (if any); if no brand, write "none." Model: Fill in the product model or article number for identification. Specification: Fill in dimensions, capacity, etc., such as diameter, height, capacity in milliliters. Processing Method: Explain the forming method, such as blowing, pressing, hand carving, etc. Packaging Type: Fill in the packaging method, such as boxed, set, etc. Product Name: lead crystal glass cup; Material: lead crystal glass (lead oxide content 24%); Use: tableware; Brand: none; Model: ABC123; Specification: capacity 300ml, height 15cm; Processing Method: blowing; Packaging Type: boxed. Failure to indicate lead oxide content, making it impossible to prove it is lead crystal glass, and it may be classified as other glass tableware. Confusing tableware with kitchenware, leading to errors between subheadings 701333 and 701335. Ignoring the processing method; if hand-carved, it may involve artwork classification, but generally it is still classified under 7013.
Product Name
The Chinese and English names of the declared commodity should accurately reflect the product characteristics, such as "lead crystal glass cup."
⚠️ Writing only "glass cup" without indicating lead crystal, leading to classification errors.
Material
Clearly specify the type of glass, such as lead crystal glass, and indicate the lead oxide content (e.g., ≥24%).
⚠️ Failure to provide lead oxide content, making it impossible to prove it is lead crystal glass.
Use
Explain the specific use, such as tableware, kitchenware, decorative, etc.
⚠️ Confusing tableware with kitchenware, leading to subheading errors.
Brand
Fill in the brand name (if any); if no brand, write "none."
⚠️ Confusing brand with trademark, or omitting it and causing intellectual property issues.
Model
Fill in the product model or article number for identification.
⚠️ Confusing model with specification, or providing incomplete information.
Specification
Fill in dimensions, capacity, etc., such as diameter, height, capacity in milliliters.
⚠️ Failure to provide capacity or dimensions, affecting customs valuation and statistics.
Processing Method
Explain the forming method, such as blowing, pressing, hand carving, etc.
⚠️ Failure to indicate the processing method, which may affect classification (e.g., whether it belongs to artwork).
Packaging Type
Fill in the packaging method, such as boxed, set, etc.
⚠️ Confusing packaging with the commodity, such as including the value of the packaging box in the commodity.
Failure to indicate lead oxide content, making it impossible to prove it is lead crystal glass, and it may be classified as other glass tableware.
Confusing tableware with kitchenware, leading to errors between subheadings 701333 and 701335.
Ignoring the processing method; if hand-carved, it may involve artwork classification, but generally it is still classified under 7013.
🎯 Classification Logic
The core basis for classification is: 1. The material is lead crystal glass, i.e., lead oxide content ≥24%; 2. The use is tableware, such as cups, plates, bowls, etc.; 3. It is not glass-ceramic and not a packaging container. According to Chapter 70 notes and subheading notes of the Import and Export Tariff, lead crystal glass tableware is explicitly classified under 701333. If the lead oxide content is less than 24%, it is classified under 701337 (other glass tableware). If it is for kitchen use, it is classified under 701335. 701337 Other glass tableware: The material is not lead crystal glass, or the lead oxide content is less than 24%, such as ordinary soda-lime glass tableware. 701335 Lead crystal glass kitchenware: The use is kitchen use, such as cooking, storage, etc., rather than direct table service. 701349 Other glass tableware (possibly another subheading): In the actual tariff, 701349 may be other glass kitchenware; the latest tariff should be checked. Here it refers to a potentially confusing similar code. 691110 Porcelain tableware: The material is ceramic, not glass. 701090 Glass packaging containers: Used for packaging and transport, not tableware. Is the lead oxide content ≥24%? Is the use tableware? Is it not glass-ceramic? Is it not a packaging container? Is it not for kitchen use?
Basis
The core basis for classification is: 1. The material is lead crystal glass, i.e., lead oxide content ≥24%; 2. The use is tableware, such as cups, plates, bowls, etc.; 3. It is not glass-ceramic and not a packaging container. According to Chapter 70 notes and subheading notes of the Import and Export Tariff, lead crystal glass tableware is explicitly classified under 701333. If the lead oxide content is less than 24%, it is classified under 701337 (other glass tableware). If it is for kitchen use, it is classified under 701335.
Confused Codes:
701337 - Other glass tableware
The material is not lead crystal glass, or the lead oxide content is less than 24%, such as ordinary soda-lime glass tableware.
701335 - Lead crystal glass kitchenware
The use is kitchen use, such as cooking, storage, etc., rather than direct table service.
701349 - Other glass tableware (possibly another subheading)
In the actual tariff, 701349 may be other glass kitchenware; the latest tariff should be checked. Here it refers to a potentially confusing similar code.
691110 - Porcelain tableware
The material is ceramic, not glass.
701090 - Glass packaging containers
Used for packaging and transport, not tableware.
Self-Check:
✓ Is the lead oxide content ≥24%?
✓ Is the use tableware?
✓ Is it not glass-ceramic?
✓ Is it not a packaging container?
✓ Is it not for kitchen use?
❓ FAQ
How can it be determined whether glass is lead crystal glass? Lead crystal glass refers to glass with a lead oxide content of not less than 24% by weight. It can be confirmed through laboratory testing or a composition report provided by the supplier. If it cannot be confirmed, it is recommended to classify it as other glass tableware. How are lead crystal glass tableware and kitchenware distinguished? Tableware refers to vessels used directly on the dining table, such as cups, plates, bowls, saucers, etc.; kitchenware refers to vessels used for cooking, storage, and other kitchen operations, such as pots, jars, kettles, etc. Use is the key distinction. If lead crystal glassware can be used both for the table and in the kitchen, how should it be classified? Classify according to the principal use. If the principal use is tableware, classify under 701333; if the principal use is kitchenware, classify under 701335. If it cannot be determined, it is recommended to consult customs or obtain an advance classification ruling. In the declaration elements for HS code 701333, must the lead oxide content be provided? Yes, lead oxide content is the key indicator proving lead crystal glass. When declaring, the specific content must be provided, such as "lead oxide content 24%." If not provided, customs may question the classification. What is the import tariff rate for lead crystal glass tableware? Tariff rates vary by country, trade agreement, time, and other factors. It is recommended to check the latest Import and Export Tariff or inquire through the customs official website or single window. For reference, attention may be paid to the MFN rate, agreement rate, etc. For cross-border e-commerce sales of lead crystal glass cups, how should the HS code be selected? If they are lead crystal glass table cups, 701333 should be selected. It is necessary to ensure that the material and use meet the requirements and to prepare relevant supporting documents. Note that HS codes may differ slightly among countries, but the first 6 digits are usually the same. Do cracks or defects in lead crystal glassware affect classification? They do not affect classification, but they may affect the dutiable value. Classification is still determined by material and use. If they are waste or second-hand goods, other regulations may apply. How can the regulatory conditions for HS code 701333 be checked? Regulatory conditions, such as whether commodity inspection or licenses are required, can be checked through the official website of the General Administration of Customs of China, the single window, or the Import and Export Tariff. A customs broker or customs office may also be consulted.
Q: How can it be determined whether glass is lead crystal glass?
A: Lead crystal glass refers to glass with a lead oxide content of not less than 24% by weight. It can be confirmed through laboratory testing or a composition report provided by the supplier. If it cannot be confirmed, it is recommended to classify it as other glass tableware.
Q: How are lead crystal glass tableware and kitchenware distinguished?
A: Tableware refers to vessels used directly on the dining table, such as cups, plates, bowls, saucers, etc.; kitchenware refers to vessels used for cooking, storage, and other kitchen operations, such as pots, jars, kettles, etc. Use is the key distinction.
Q: If lead crystal glassware can be used both for the table and in the kitchen, how should it be classified?
A: Classify according to the principal use. If the principal use is tableware, classify under 701333; if the principal use is kitchenware, classify under 701335. If it cannot be determined, it is recommended to consult customs or obtain an advance classification ruling.
Q: In the declaration elements for HS code 701333, must the lead oxide content be provided?
A: Yes, lead oxide content is the key indicator proving lead crystal glass. When declaring, the specific content must be provided, such as "lead oxide content 24%." If not provided, customs may question the classification.
Q: What is the import tariff rate for lead crystal glass tableware?
A: Tariff rates vary by country, trade agreement, time, and other factors. It is recommended to check the latest Import and Export Tariff or inquire through the customs official website or single window. For reference, attention may be paid to the MFN rate, agreement rate, etc.
Q: For cross-border e-commerce sales of lead crystal glass cups, how should the HS code be selected?
A: If they are lead crystal glass table cups, 701333 should be selected. It is necessary to ensure that the material and use meet the requirements and to prepare relevant supporting documents. Note that HS codes may differ slightly among countries, but the first 6 digits are usually the same.
Q: Do cracks or defects in lead crystal glassware affect classification?
A: They do not affect classification, but they may affect the dutiable value. Classification is still determined by material and use. If they are waste or second-hand goods, other regulations may apply.
Q: How can the regulatory conditions for HS code 701333 be checked?
A: Regulatory conditions, such as whether commodity inspection or licenses are required, can be checked through the official website of the General Administration of Customs of China, the single window, or the Import and Export Tariff. A customs broker or customs office may also be consulted.
⚠️ 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.