On April 9, 2025, exactly one week after the announcement of his “Liberation Day” tariffs, President Trump issued a new Executive Order (“Modifying Reciprocal Tariff Rates to Reflect Trade Partner Retaliation and Alignment”) (the “Executive Order”) implementing a temporary 90-day pause on country-specific “reciprocal” tariffs, effective April 10, 2025, except tariffs imposed on China. Consequently, most countries’ products have reverted to the 10 percent “baseline” tariff initially effective April 5, 2025. Two days later, on a Friday evening, the President issued a Presidential Memorandum (“Clarification of Exceptions Under Executive Order 14257 of April 2, 2025, as Amended”) (the “Clarification Memorandum”) that exempts certain smartphones, laptops, and other electronics from these reciprocal and baseline tariffs, including the tariffs on Chinese goods. Both actions indicate that further tariff negotiations and adjustments may be forthcoming. We explore each of these topics below.
Temporary Suspension of Most Reciprocal Tariffs
The 90-day temporary suspension applies to goods that entered the U.S. for consumption, or were withdrawn from the warehouse for consumption, on or after 12:01 a.m. EDT on April 10, 2025, from the majority of countries that were previously subjected to reciprocal tariffs that briefly took effect on April 9, 2025. The Trump administration has emphasized that this pause is temporary and subject to ongoing evaluations and negotiations with U.S. trading partners. The temporary 90-day pause does not apply to the additional ad valorem 10 percent baseline tariff announced on April 2, 2025. As a result, since April 5, 2025, a 10 percent tariff continues to be assessed for almost all goods imported to the U.S. from most countries.
Imports from Canada and Mexico continue to be excluded from the baseline tariff, as the existing executive orders for tariffs on Canadian and Mexican imports from February 2025 and March 2025 remain in effect. This means that USMCA-compliant imports from Canada and Mexico will continue to enter the U.S. free of duty, while most other goods imported from either Canada or Mexico will continue to be subject to 25 percent tariffs. In addition, trading partners with which the U.S. does not have “normal trade relations” (i.e., imports from Belarus, Cuba, North Korea, and Russia) remain subject to special (typically higher) duties under applicable U.S. law and are not subject to the 10 percent baseline tariff.
China-Specific Tariffs
With respect to China, the Executive Order increased the reciprocal tariff on Chinese-origin goods to 125 percent, effective April 10, 2025. Therefore, except for items exempted from the reciprocal or baseline tariffs (such as items enumerated in Annex II of the President’s April 2 executive order (“Regulating Imports with a Reciprocal Tariff to Rectify Trade Practices that Contribute to Large and Persistent Annual United States Goods Trade Deficits”), items subject to a Section 232 tariff, or goods qualifying for certain Chapter 98 special entry provisions), U.S. tariffs on most Chinese-origin goods are currently assessed at 145 percent, which includes the 20 percent tariff imposed by President Trump in March 2025.1 This amount does not include applicable standard “most favored nation” tariffs (as determined by Harmonized Tariff Schedule of the United States (HTSUS) classification) or applicable Section 301, antidumping, and countervailing duties—all of which can be significant.
In addition, rates for de minimis postal shipments from China were updated as follows:
These rates are effective May 2, 2025, and the applicable duty will continue to be determined by the carrier. The specific duty option will be increased to $200 per postal item on June 1, 2025. Carriers will determine monthly which duty they will impose and that selection will apply to all shipments brought in by that carrier.
New Exemptions
On April 11, 2025, President Trump issued the Clarification Memorandum that provides a list of certain products under the HTSUS that are exempt from the reciprocal and baseline tariffs under previous executive orders. The HTSUS codes listed in the memoranda include smartphones, computers, monitors, and various other electronic components. The complete list is as follows:
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What’s Next
These most recent actions indicate that the Trump administration will continue to adjust its position based on reactions from its trading partners and other key stakeholders. While it is difficult to predict what may come next, we’ve outlined below some of the possible next steps:
As we’ve noted in our earlier alerts, even given the uncertainty of the current environment, affected parties can take the following next steps to evaluate their exposure to these tariffs and consider additional actions to mitigate their effects:
Please reach out to Josephine Aiello LeBeau, Anne Seymour, Jahna Hartwig, Navpreet Moonga, Bryan Poellot, or another member of Wilson Sonsini’s Tariffs, Customs, and Import Compliance practice or National Security practice with questions regarding any of the matters discussed above.
Overview of Tariff-Related Executive Orders Since January 20, 2025
| Country |
Scope of Goods |
Summary of Tariff Actions |
Date Effective |
Link to Executive Orders |
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Global (except Canada, Mexico, China, Belarus, Cuba, North Korea, and Russia) |
Virtually all goods except those contained in Annex II or the Clarification Memorandum |
Imposition of 10% IEEPA "baseline" tariff |
April 5, 2025 |
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Global (except Canada, Mexico, China, Belarus, Cuba, North Korea, and Russia) |
Virtually all goods except those contained in Annex II or the Clarification Memorandum |
Imposition of IEEPA “reciprocal” tariffs as provided for in Annex I of the April 2 E.O. |
April 9, 2025 |
April 9
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China |
Virtually all goods |
Imposition of 20% IEEPA tariff |
February 4, 2025 & March 4, 2025 |
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China |
Virtually all goods except those contained in Annex II or the Clarification Memorandum |
Imposition of 125% reciprocal tariff |
April 10, 2025 |
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China |
Postal items eligible for de minimis import |
Wind down of de minimis eligibility; implementation of new duty rate structure for affected goods |
May 2, 2025 |
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Canada |
Non-USMCA goods |
Imposition of 25% IEEPA tariff (10% for energy, energy resources, and potash) |
March 4, 2025 |
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Mexico |
Non-USMCA goods |
Imposition of 25% IEEPA tariff (10% for potash) |
March 4, 2025 |
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Global |
Steel & Aluminum items |
Steel: Maintenance of Section 232 tariff at 25%, expansion of scope of tariffs, removal of exemptions for various countries |
March 12, 2025 |
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Global |
Automobiles |
Imposition of 25% Section 232 tariff for non-U.S. content |
April 3, 2025 |
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Global |
Automobile components |
Imposition of 25% Section 232 tariff for non-U.S. content |
On or before May 3, 2025 |
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Global |
Copper |
Investigation to determine potential future application of Section 232 tariffs |
N/A |
Copper |
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Global |
Goods from countries determined by the Secretary of State to be importing Venezuelan oil |
Imposition of 25% IEEPA tariff for period of one year |
April 2, 2025 |
[1]On April 8, 2025, in response to retaliatory tariffs imposed by China on U.S. imports, President Trump increased reciprocal tariffs against China from 36 percent to 84 percent (“Amendment to Reciprocal Tariffs and Updated Duties as Applied to Low-Value Imports from the People’s Republic of China”) before subsequently increasing the reciprocal tariff to 125 percent in the Executive Order.