Certain Wireless Front-End Modules and Devices Containing the Same; Notice of a Commission Determination To Grant a Joint Motion To Terminate the Investigation Based on a Stipulation for Dismissal; Termination of the Investigation
Brief takeaway: A Section 337 investigation into certain wireless front-end modules has been ended by the ITC, so there is no import ban or exclusion order resulting from this case.
What changed: According to the notice, the Commission granted a joint motion to terminate the investigation based on a stipulation regarding dismissal, and the investigation is now terminated. The notice does not indicate any exclusion order, remedy, or ongoing import restriction stemming from this proceeding.
Who's affected: The notice names certain wireless front-end modules and devices containing the same as the subject products. It does not specify HTS codes, countries of origin, or particular importers. If you import wireless front-end modules or downstream devices incorporating them, this notice may be relevant to your monitoring of ITC actions.
What to review:
- Review whether any of your products fall within the general category of wireless front-end modules or devices containing them that this investigation covered.
- Confirm with your broker whether any prior orders or restrictions tied to this investigation were in effect and are now lifted.
- Check the ITC investigation record for the underlying scope, parties, and any related proceedings that may still be active.
- Confirm that no separate or successor Section 337 actions affect the same product category.
This is general information, not legal advice and not a compliance determination — confirm specifics with a licensed customs broker or trade counsel.
Official notice
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This update is a general educational summary based on public CBP CSMS / Federal Register information. It is not legal advice, customs broker advice, a final classification, duty determination, entry instruction, or compliance determination. Importers should confirm applicability, effective dates, HTSUS/Chapter 99 reporting, rates, refunds, PSC procedures, and filing instructions with their licensed customs broker, trade counsel, and/or CBP.