The U.S. Department of Commerce's Bureau of Industry and Security (BIS) has announced a series of new export controls to further counter Russian aggression in Ukraine. These measures include a significant focus on restricting the export of more goods destined for Russia and Belarus by using Harmonized Tariff System (HTS) codes and Schedule B codes. This represents a notable shift in the traditional U.S. export control landscape.
Whether or not your shipment requires an export license from the U.S. government has typically been determined by the Export Control Numbers (ECNs) of your products, of which there are two types:
The new Russian Industry Sector Sanctions—both those just announced in June 2024 and earlier controls beginning in the wake of Russia’s invasion—are unique in that they are based on Schedule B codes and Harmonized Tariff Schedule (HTS) codes instead of ECNs. Schedule B and HTS are the general commodity schedules for export from and import into the U.S., respectively. They are based on the global Harmonized System (HS), and are designed to be able to classify every product imaginable.
This time around, BIS has added controls on more than 500 additional 6-digit HTS codes, covering 22 entire 2-digit chapters. This means that a wide array of goods that previously may not have been subject to stringent export controls now require a license when destined for Russia or Belarus.
BIS explained that it is adding controls to hundreds of HTS codes to keep exporters from changing the classification of an item that requires a license to the classification of a similar item with an HTS code that does not require a license. But remember, if you misclassify your product, you’re committing fraud and could face delays, fines or other penalties.
Learn how to properly classify your products in our free guide, Classifying Your Products for International Trade: The Harmonized System, Harmonized Tariff Schedule and Schedule B Codes.
How can U.S. exporters keep abreast of so many new restrictions? The Shipping Solutions Export Controls Software has been updated to reflect the new restrictions. Running a screening is easy (try it for yourself here):
Enter the Schedule B number for your product as well as other basic information in the Export Controls Software main screen. In this example, we have entered the Schedule B number 9031.80.8060 - Equipment For Testing Electrical Characteristics Of Internal Combustion Engines. Click the Next button.
Shipping Solutions returns your results. The top of the screen summarizes the details of the product you entered into the Export Controls Software. The Export Controls Summary clearly indicates if any restrictions apply. In our example, an embargo/sanction may apply, and an export license is definitely required. The bottom of the screen provides more details to help you determine if an embargo or sanction applies to your specific export situation.
The Export Controls Detail section of the screening results explains why in the case of this Schedule B code an export license is required. The Export Control Software will also provide the references you need to confirm your screening results.
Want a closer look at how the Export Controls Software can help your company stay compliant with export regulations? Register here for a free trial subscription.
Or if you have questions, sign up here for a free online demonstration. We'd love to show you how all of our compliance software—including our Restricted Party Screening Software and Product Classification Software—can keep you compliant with the new restrictions. In either case, there's absolutely no obligation!
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This article, originally written by Arnesh Roy in June 2022, has been updated to include current information.