HTS heading 9506
CBP ruling case studies where the goods were classified under HTS heading 9506 (Toys, games and sports equipment). Each explains why CBP reached that heading, the duty impact, and the compliance points to watch — educational reading, not a classification determination.
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HTS 9506.91.00.30 N357738 2026-02-11Yoga mat HTS 9506.91.0030: why CBP chose sports equipment, not floor covering
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HTS 9506.91.0030 N260624 2015-01-30CBP case study: why a cork-and-rubber yoga mat set is treated as exercise equipment (9506), not a floor covering
This is general educational information compiled from public CBP CROSS rulings to help importers understand classification reasoning, duty differences and compliance risks. It is not a formal HTS classification, customs-broker service, entry instruction, duty determination, or legal advice for any specific shipment. Final classification depends on a product's actual material, construction, use, accessories, invoice description, country of origin, and current legal status. Importers should confirm with a licensed customs broker or trade counsel, or request a binding ruling from CBP, before entry.