US rescinds antidumping review on Chinese quartz surface products
The U.S. Department of Commerce has rescinded the administrative review of the antidumping duty order on certain quartz surface products from China for the July 1, 2024–June 30, 2025 review period. This rescission affects importers and producers of quartz surfacing materials subject to the existing antidumping order. Shippers and importers should verify their product classification and any ongoing duty obligations under the order.
Photo: Edward Jenner / PexelsAntidumping Review Rescission on Chinese Quartz Products
The U.S. Department of Commerce announced on May 14, 2026, that it is rescinding the administrative review of the antidumping duty order on certain quartz surface products from the People's Republic of China. The review covered the period of July 1, 2024, through June 30, 2025.
What's Affected
This rescission applies to importers and domestic producers of quartz surface products—engineered stone materials commonly used in countertops and architectural applications. The affected merchandise originates from China and has been subject to an antidumping duty order.
The rescission of the administrative review means Commerce is not issuing a new determination for the 2024–2025 period. Existing antidumping duties remain in effect under the original order.
"The U.S. Department of Commerce (Commerce) is rescinding the administrative review of the antidumping duty (AD) order on certain quartz surface products from the People's Republic of China (China). The period of review (POR) is July 1, 2024, through June 30, 2025."
Implications for Importers
Importers currently subject to the antidumping order should continue to pay applicable duty rates established under the original investigation. The rescission does not lift or modify the antidumping duty order itself—it only closes the administrative review process for that specific period.
Shippers and freight forwarders handling quartz surface products from China should ensure their landed-cost calculations and customs-entry documentation reflect the standing antidumping duty rate.
What this means for shippers
Verify immediately that your quartz surface product entries are classified under the correct HS code and that you are posting the applicable antidumping duty rate at entry. Failure to do so will result in duty-assessment errors and potential penalties. Document your supplier's country of origin and review your commercial invoices to ensure full transparency with U.S. Customs and Border Protection. Check the Federal Register for the original order and applicable duty rates, then update your landed-cost model accordingly.



