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Top 5 Tips for Importing Goods into Canada

1. ⚠️ Pitfall: Incorrect or Missing Documentation

The single biggest reason for border delays, fines, and shipment seizures is incomplete or inaccurate paperwork.

  • ✅ Best Practice: Master Your Paperwork Checklist

    • Commercial Invoice: Must be accurate, complete, and clearly state the correct currency of the sale, the accurate value (transaction value + any applicable costs like royalties), a detailed product description (including material composition), country of manufacture, and the correct Incoterm® (e.g., FOB, EXW, CIF) that defines who is responsible for what.

    • Proof of Origin: Essential if you are claiming a preferential tariff rate under a Free Trade Agreement (like the CUSMA). Missing this means paying full duty rates.

    • Required Permits/Certificates: Verify if your goods (e.g., food, cosmetics, electronics) require permits from a Participating Government Agency (PGA) like Health Canada or the Canadian Food Inspection Agency (CFIA).

2. 💰 Pitfall: Misclassifying Goods and Underestimating Landed Costs

Using the wrong tariff code or only budgeting for the product price leads to surprise costs and potential penalties.

  • ✅ Best Practice: Get the HS/HTS Code Right & Calculate the Total Landed Cost

    • Harmonized System (HS) Code: Every product must be classified using the correct 10-digit Canadian Customs Tariff (HS) code. This code determines the rate of duty. A simple error can lead to overpayment or being subject to a CBSA audit and penalties for underpayment.

    • Total Cost: Always factor in all expenses: Product Cost, Shipping/Freight and Insurance, Duties, Tariffs, and Taxes (GST/HST/PST), and Customs Broker/Clearance Fees.

3. 🧑‍💼 Pitfall: Ignoring Importer Responsibility (Even with a Broker)

Many small businesses assume their customs broker or courier handles all liability.

  • ✅ Best Practice: Understand You are Ultimately Responsible

    • The Importer of Record (your business) is legally responsible for the accuracy of the information provided, the correct valuation, and payment of duties and taxes, even if you use a licensed customs broker.

    • Partner Wisely: Choose a reputable broker who specializes in your type of goods and is proactive about compliance. Communicate with them regularly and provide them with detailed product information.

4. 💻 Pitfall: Not Keeping the CARM Portal Registered and Up-to-Date

Ignoring the Canada Border Services Agency (CBSA) Assessment and Revenue Management (CARM) system, which is the new mandatory online portal for importers.

  • ✅ Best Practice: Register, Delegate, and Maintain Your CARM Account

    • Register and Onboard: Ensure your business is registered on the CARM Client Portal and has completed all required steps. The portal is becoming mandatory for managing your import activities.

    • Financial Security: Understand the requirement for a financial security bond (surety bond) to be posted through CARM to secure payment of duties and taxes.

    • Delegate Authority: Ensure you have properly delegated authority to your customs broker within the CARM portal so they can act on your behalf and clear your shipments without delays.

5. 🗣️ Pitfall: Lack of Communication with Your Customs Broker

Not sending documents in advance or failing to communicate changes.

  • ✅ Best Practice: Proactive and Timely Communication

    • Advance Documents: Send your broker all required documents (commercial invoice, bill of lading, certificate of origin, etc.) as soon as the shipment is booked or, ideally, before the goods leave the factory. This gives us time to review and classify the shipment.

    • Communicate Changes: Immediately inform your broker of any changes to the shipment, such as adjustments to the value, product composition, expected departure or arrival dates, or quantity. This prevents the broker from submitting incorrect information to the CBSA.

    • Pre-Clearance is Key: Giving your broker advance notice allows them to submit the necessary data to the CBSA for pre-clearance, significantly speeding up the process at the border.

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New CARM Updates: Your RPP Financial Security and Review Timeline

We have important news on CARM's RPP financial security review. The annual review is now in October, not July, giving importers more time. The new deadline for any security adjustments is January 15, 2026. The CBSA can also review more frequently. Your bond renewal date might differ, but we can adjust it anytime to meet requirements.

Important news regarding the annual review of financial security requirements for Release Prior to Payment (RPP).

The annual review, which was originally scheduled for July, has been rescheduled to October of each year. CBSA made this change to give importers more time to adapt to the new CARM requirements.

Here's a breakdown of the new timeline:

  • Review Period: The CARM system will now calculate our updated financial security requirement based on our import transactions from October of the previous year to October of the current year.

  • Notification: We'll be notified through the CARM portal if our financial security needs to be adjusted.

  • Deadline: If a change is required, we will have until January 15, 2026, to ensure our financial security meets the new amount. This January 15 deadline will be the new standard for all future review cycles.

  • * Important * Your Bond Renewal Timelines May be Different! While CBSA reviews your financial security requirements every October (with a new amount due by January 15th), your annual bond renewal date with your surety provider may be different. If your renewal date doesn't align with the CBSA's review, we can update your bond amount at any time to ensure you always meet the new requirements.

Please let me know if you have any questions.

 

New CARM Updates: Your RPP Financial Security and Review Timeline

Important news regarding the annual review of financial security requirements for Release Prior to Payment (RPP).

The Canada Border Services Agency (CBSA) has rescheduled the annual review from July to October of each year. This change provides importers with more time to adapt to the new CARM requirements.

Key Details of the New Timeline:

  • Review Period: The CARM system will now calculate your updated financial security requirement based on import transactions from October of the previous year to October of the current year.

  • Notification: You will be notified of any changes to your required security amount directly within your CARM Client Portal. It is essential to regularly check your notifications in the portal.

  • Deadline: If a change is required, you will have until January 15th to ensure your financial security meets the new calculated amount. This January 15th deadline will be the standard for all future review cycles.

Important Considerations:

While the CBSA reviews your financial security annually, they can also perform more frequent reviews if there are significant changes in your import volume or payment compliance.

Additionally, your company's bond renewal date with a surety provider may not align with the CBSA's October review. This is not a problem; we can adjust your bond amount at any time to ensure you always meet the required financial security.

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