HSChapter 94
U.S. imports of furniture of bamboo, nesoi (HS 940382) totaled $2.3M in April 2026, traded with 25 countries.
Last updated: April 2026 dataBamboo furniture occupies its own HS6 heading — separate from wooden and rattan furniture — reflecting bamboo's classification as a grass rather than timber, which also has implications for Lacey Act plant declarations. The US schedule distinguishes cribs (9403820001), toddler beds, bassinets, and cradles (9403820002), and general household bamboo furniture (9403820015) from the broader NESOI line (9403820030). Bamboo furniture imports have been subject to Section 301 tariffs when originating from certain countries, and the material's rapid-growth, sustainability profile is increasingly relevant to buyers seeking to document environmental sourcing claims.
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Yes. Although bamboo is technically a grass rather than a tree, it is a plant product and falls within the Lacey Act's declaration requirements. Importers must file a PPQ 505 declaration identifying the genus and species of bamboo, the country of harvest, and the quantity. Suppliers should provide chain-of-custody documentation to support accurate filing.
Bamboo furniture classifies under heading 9403.82 rather than the wooden furniture headings (9403.30–9403.60) because bamboo is botanically a grass, not wood. The distinction matters because the two groups may carry different duty rates and different Section 301 exposure depending on origin. Misclassifying bamboo furniture as wooden furniture — or vice versa — can result in underpayment or overpayment of duties and potential CBP penalties.
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Monthly import values over time