HS Code for Integrated Circuit: 8542.31 vs 8542.32 vs 8542.39 by Function
Integrated circuits classify into HTS 8542 by function: 8542.31 processors and controllers, 8542.32 memory, 8542.33 amplifiers, 8542.39 other. Most ICs are MFN duty-free under the WTO ITA. Section 301 applies to Chinese origin. CHIPS Act incentives affect domestic vs imported sourcing decisions.
Try the calculator
Run a real calculation for this lane in under a minute. Free, no card.
Open calculatorHS Code for Integrated Circuit: 8542.31 vs 8542.32 vs 8542.39 by Function
Integrated circuits are one of the highest-value, most strategically important industrial imports in the US system. HTS 8542 covers all electronic integrated circuits. The 2026 duty environment is favorable for most IC categories thanks to WTO ITA elimination of MFN duties. Chinese-origin ICs still face Section 301 and Section 122 stacking. Korean, Taiwanese, Japanese, German chips ride duty-free through KORUS, USJTA, and the EU framework respectively.
This guide covers the HTS 8542 functional split, the duty stack by origin, the WTO ITA framework, and the CHIPS Act implications for US sourcing decisions.
Heading 8542 structure
HTS 8542 covers electronic integrated circuits. Subheadings:
- 8542.31: Processors and controllers, whether combined with memories, converters, logic, amplifiers, clock circuits.
- 8542.32: Memories.
- 8542.33: Amplifiers.
- 8542.39: Other (sensors, RF ICs, mixed signal, ASIC for non-processor functions).
- 8542.90: Parts (chiplets, dies before packaging).
The functional split matters less for duty (most are 0 MFN) and more for classification audit defensibility.
Worked example: Taiwanese TSMC processor wafers
500,000 USD of HTS 8542.31 processors from TSMC Taiwan.
| Charge | Rate | Base | Amount (USD) |
|---|---|---|---|
| MFN duty | 0 percent (WTO ITA) | 500,000 | 0 |
| Section 301 | N/A on Taiwan | 0 | 0 |
| Section 122 | 10 percent | 500,000 | 50,000 |
| MPF | capped | 500,000 | 614.35 |
| Total | 50,614.35 |
Effective rate 5.1 percent. Taiwanese processors carry Section 122 at the base rate but are otherwise duty-light.
Worked example: Korean Samsung DRAM
200,000 USD of HTS 8542.32 DRAM modules from Samsung Korea.
| Charge | Rate | Base | Amount (USD) |
|---|---|---|---|
| MFN duty | 0 percent | 200,000 | 0 |
| Section 122 (KORUS does not exempt) | 10 percent | 200,000 | 20,000 |
| MPF | 0.3464 percent | 200,000 | 614.35 (capped) |
| Total | 20,614.35 |
Effective rate 10.3 percent. KORUS waives the MFN duty (already zero on most ICs) but does NOT carve out Section 122, so Korean DRAM still pays the 10 percent surcharge through July 23. Korean DRAM is still among the lowest-duty IC import paths for US buyers because the Section 301 layer (China-only) is absent.
Worked example: Chinese-origin chip
100,000 USD of HTS 8542.31 Chinese-origin processor (e.g., from SMIC or a US fabless customer using a Chinese foundry).
| Charge | Rate | Base | Amount (USD) |
|---|---|---|---|
| MFN duty | 0 percent | 100,000 | 0 |
| Section 301 List 1 | 25 percent | 100,000 | 25,000 |
| Section 122 | 10 percent | 100,000 | 10,000 |
| MPF | 0.3464 percent | 100,000 | 346.40 |
| Total | 35,346.40 |
Effective rate 42.3 percent. Chinese-origin chip stacked at near 50 percent. The strategic substitution to Taiwanese, Korean, US-domestic supply has been ongoing since 2018 and is structurally locked in.
Worked example: US-domestic chip via CHIPS Act fab
Chips fabricated at Intel Arizona, TSMC Arizona, Samsung Texas, GlobalFoundries Malta NY are US-origin. Not imported. No duty layer.
CHIPS Act 2022 provides up to 25 percent investment tax credit (ITC) on qualifying fab equipment plus direct grants. The act has accelerated US semiconductor production capacity but the chips themselves have always been US-origin and outside the import duty framework.
WTO ITA framework
The Information Technology Agreement (ITA-1, 1996) eliminated MFN duty on most IT and semiconductor products among WTO members. ITA-2 (2016) expanded coverage to additional product categories including newer chip designs and packaging types.
ITA coverage is the structural reason most chips imported into the US pay zero MFN regardless of origin. Section 301 and Section 122 are independent of the ITA and still apply on Chinese origin.
Specific subheading considerations
8542.31 processors: Includes microprocessors, microcontrollers, SoCs, GPUs, AI accelerators. Some advanced AI accelerators may face BIS export controls when sold TO China, but import INTO the US is standard.
8542.32 memory: DRAM, NAND, NOR, SRAM, EEPROM, MRAM, FeRAM. HBM (high-bandwidth memory) packaged stacks classify here even when used as part of an AI processor system.
8542.33 amplifiers: Operational amplifiers, RF amplifiers, line drivers. Small commercial volume.
8542.39 other: Catch-all for ICs that don't fit 31, 32, or 33. Sensor ICs, RF ICs, mixed-signal, PMICs (power management), ASICs for specific industries.
8542.90 parts: Dies, wafers before packaging, chiplets, IC substrates. Relevant for advanced packaging operations where un-packaged dies are imported for assembly.
Section 301 List 1 coverage
Most 8542 subheadings are on USTR Section 301 List 1 at 25 percent. The list was finalized in July 2018 and survived the 2024 USTR four-year review.
Excluded items per active USTR exclusion grants: limited list of specific consumer-grade processors and memory modules. Verify against the current exclusion database.
CHIPS Act and the sourcing decision
Pre-2022, US semiconductor consumption was met primarily by Taiwanese, Korean, US, Japanese, and Chinese fab capacity. The CHIPS Act + post-2022 administration trade policy + Section 301 have shifted the calculus:
- Taiwanese supply remains dominant in advanced nodes (3nm, 5nm).
- Korean supply remains dominant in DRAM and NAND.
- US-domestic supply has grown rapidly (Intel Foundry, TSMC Arizona, Samsung Texas, GlobalFoundries NY, Micron Boise expansion).
- Chinese supply has shrunk for US-bound product due to Section 301 plus BIS export controls plus customer derisking.
For mid-market US importers buying ICs in 2026:
- Direct Korean or Taiwanese sourcing remains efficient.
- US-domestic options have expanded materially.
- Chinese-origin remains uneconomic given the 47 percent stack.
Documentation that supports the classification
- Chip data sheet specifying device function (processor, memory, amplifier, other).
- Manufacturer name and country of fabrication.
- For BIS-controlled items, ECCN classification on the commercial invoice.
- For 8542 entries claiming WTO ITA preference, the ITA participant declaration is implicit (no separate document required for ITA itself).
Run your IC entry now
The LandedFees calculator handles 8542 with the WTO ITA framework (most lines 0 MFN), the Section 301 List 1 application for Chinese origin, the Section 122 stacking, the KORUS preference for Korean ICs, and the BIS Entity List flag for controlled items.
Section 122 status as of June 20 2026
The May 7 2026 Court of International Trade ruling in Oregon v. United States (consolidated with Burlap and Barrel v. United States) struck down the Section 122 proclamation. The Federal Circuit issued an administrative stay on May 12 2026, so CBP is still collecting the duty pending appeal. Importers paying now should preserve protest rights and refund claims in case the government loses on the merits. The underlying Section 122 authority sunsets July 24 2026 under the statutory 150-day ceiling, regardless of the appeal outcome, unless Congress extends or a fresh proclamation restarts the clock.
Citations
- USITC Harmonized Tariff Schedule heading 8542: https://hts.usitc.gov/?query=8542
- WTO Information Technology Agreement: https://www.wto.org/english/tratop_e/inftec_e/inftec_e.htm
- USTR Section 301 List 1: https://ustr.gov/issue-areas/enforcement/section-301-investigations
- CHIPS and Science Act 2022: https://www.commerce.gov/chips
- BIS Entity List and Export Administration Regulations: https://www.bis.doc.gov
Frequently asked questions
What is the right HTS for a microprocessor?
HTS 8542.31 covers processors and controllers, whether or not combined with memories, converters, logic circuits, amplifiers, clock and timing circuits, or other circuits. This includes CPUs, microcontrollers, SoCs, GPUs, and ASIC designs primarily focused on processing.
Where does memory go?
HTS 8542.32 covers memory devices: DRAM, NAND flash, NOR flash, SRAM, EEPROM, MRAM, etc. Stacked DRAM (HBM) classifies in 8542.32 even when packaged with a processor; if the assembly is principally a processor with HBM, the principal function rule may push the assembly to 8542.31.
Are ICs duty-free?
Most are MFN duty-free under the WTO Information Technology Agreement (ITA-1 from 1996 and ITA-2 from 2016). The vast majority of 8542 subheadings are at 0 percent MFN. Section 301 still applies to Chinese-origin ICs at 25 percent on List 1. Section 122 applies.
How does the CHIPS Act affect IC sourcing?
The 2022 CHIPS Act provides production tax credits and grants to US semiconductor manufacturers. The credits incentivize domestic production, not import duties. For importers, the practical effect is that more chips are being fabricated in the US (Intel Arizona, TSMC Arizona, Samsung Texas, GlobalFoundries NY), reducing the need to import from Asia for many categories.
What about Chinese chip export controls?
BIS Export Administration Regulations restrict export TO China of advanced chips. Import of chips FROM China into the US is governed by the standard 8542 framework plus Section 301. Some specific Chinese-origin items (advanced AI chips designed for Chinese military end use) face additional BIS Entity List restrictions.
Ready to calculate?
Get a real number for your shipment in under a minute.
Free, no card, full breakdown of duty, VAT, freight, and fees.
Related guides
HS Code Guides
HTS 8504 USMCA Eligibility: Transformers, Inverters, Static Converters
Power transformers, inverters, and static converters classify into HTS 8504. USMCA preference applies if the chapter 85 rule of origin is satisfied. Here is how the tariff shift and regional value content tests work for 8504, with worked examples.
HS Code Guides
HTS 7218 vs 7219: Stainless Billet, Slab, or Flat Product
Stainless ingot, billet, and slab classify into HTS 7218. Flat-rolled stainless product classifies into HTS 7219. Misclassifying between the two changes Section 232 exposure and downstream USMCA eligibility.
HS Code Guides
HS Code for Stainless Steel Pipe: 7306.40 and the ADCVD Map
Stainless steel pipe classifies into HTS 7306.40 (welded stainless circular cross section). Seamless stainless pipe goes in 7304.41. Both are subject to Section 232 at 50 percent and multiple active ADCVD orders. Here is the classification and worked tariff math by origin.
HS Code Guides
HS Code for Solar Panel Module: 8541.43 and the Inverter Sub-Assembly Trap
Crystalline-silicon solar PV modules classify into HTS 8541.43. Thin-film cells go in 8541.42. Integrated DC-AC microinverter assemblies push some module sub-assemblies into 8504.40. Here is the decision tree with Section 201, AD/CVD, and UFLPA implications.