⚡️Weekly news review:

⚡️ 17.10 Amendments to the Customs Code of Ukraine regarding customs formalities for the clearance of oil, oil products, fertilizers and ethylene polymers (codes of goods according to UKTZED 2709, 2710, 2711, 3102, 310‍, 3104, 3105, 3901) temporarily, until the termination or lifting of martial law in Ukraine.

 

The declarant or carrier is obliged to provide:

✅ quality characteristics of the goods from the manufacturer;

✅ documents confirming the route of delivery of the goods from the manufacturer to the recipient.

✅ certificate of origin of the goods

Source.

 

⚡️19.10 The Government has simplified the import of raw materials for UAV shells

Registration of a UAV shell manufacturer with the State Export Control Service:

✅ the manufacturer sends an application with the CEP;

✅ registration of manufacturers for specific goods or groups of goods;

✅ issuing a certificate of registration as an entity engaged in international transfers of such goods together with relevant explanations on the specifics of their transfer.

Source.

Resolution of the Cabinet of Ministers of Ukraine No. 1070 dated 10.10.2023

 

⚡️20.10 The holders of the authorization for the use of the “release at location” simplification procedure may carry out some of the customs formalities on their own

✅ The company sends an electronic message to the ASMO about the arrival of goods.

✅Based on the results of unloading, the company sends an electronic notification of unloading to the customs office, which is a new type of customs declaration TS.

✅The customs office makes a note of the conditional completion of the movement, the release of the guarantee that was applied, and the blocking of the amount of the guarantee used for the temporary storage of goods. The latter will be unlocked at the time of customs clearance of the goods under the selected customs regime.

Source.

 

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This publication has been prepared within the framework of the project Support to the Public Initiative “For Fair and Transparent Customs” with the assistance of the European Union), implemented by the Institute for Economic Research and Policy Consulting. The contents of this publication are the sole responsibility of the Ukrainian Association of Customs Brokers and can in no way be taken to reflect the views of the European Union