Service

IEEPA Tariff Refund Recovery

Reclaim IEEPA duties paid in 2025 after the 2026 Supreme Court ruling.

GingerControl files the full IEEPA refund package after the 2026 Supreme Court ruling. Each entry is routed through Post Summary Correction, protest, or CIT complaint based on liquidation status.

  • Post Summary Correction
  • Protest under 19 USC 1514
  • CIT Complaint Coordination
  • CBP Phased Refund Tracking

Quick Estimate

How Much Could You Be Owed?

No ES-003 needed. Pick your import country, rough value, and time period to see a ballpark refund in under a minute.

Step 1 of 3

Country

Where did you import from?

Pick the country โ€” we'll match it to the right IEEPA rate.

Tool

IEEPA Refund Calculator

Drop your ES-003 from the ACE Portal to see IEEPA duties paid and estimated refundable. Parsed in your browser, nothing uploaded.

Drop your ES-003 CSV here

or click to select a file

Your file stays in your browser. Nothing is uploaded.

How It Works

01

Local CSV Parse

ES-003 is parsed locally with papaparse. No upload, no telemetry, nothing leaves your device.

02

HTS Classification by Prefix

Lines route by Chapter 99 prefix: 9903.01 / 9903.02 to IEEPA, 9903.88 to Section 301, 9903.80 / 9903.81 / 9903.85 to Section 232, 9903.03 to Section 122. Only IEEPA flows into the refund total.

03

180-Day Window Sorting

Entries bucket into CAPE Phase 1, Form 19 Protest, or Time-Barred per 19 USC 1514. Deadline runs from the latest liquidation date. Anything within 30 days is flagged and sorted to the top.

Background

Why IEEPA Refunds Are on the Table

01

The 2025 IEEPA Tariffs

In 2025, IEEPA was used to impose reciprocal tariffs up to 145%, collected through 9903.01 and 9903.02 on top of base duty, Section 301, and 232.

02

Supreme Court and CIT Rulings

In Learning Resources v. Trump (Feb 2026), the Supreme Court ruled IEEPA does not authorize unilateral tariffs. Judge Eaton's CIT order on Mar 4, 2026 mandated nationwide refunds.

03

Recovery Routes

Unliquidated entries go through Post Summary Correction. Liquidated entries within the 180-day window use CBP Form 19 under 19 USC 1514. Past that, only CIT complaint remains.

What We Do

IEEPA Tariff Refund Recovery

CBP's phased automatic refund covers most formal entries, but many need active filing. We map your entries against the rollout, sort by 180-day protest deadline, and file the right route per batch.

Four Recovery Routes

01

Automatic CBP Refund

Most formal entries refund automatically under the CIT order. We track CBP's rollout and flag entries at risk of slipping through.

02

Post Summary Correction (PSC)

For unliquidated entries. Refund flows through ACE, the lowest-friction route while the window is open.

03

Protest under 19 USC 1514

For liquidated entries still within the 180-day window. After it closes, only CIT complaint remains.

04

CIT Complaint Coordination

For entries past administrative routes. We coordinate with outside customs counsel as your single point of contact through litigation.

Once an entry liquidates, the 180-day window starts running. Miss it and the route shifts from administrative to litigation. Order matters: IEEPA first by liquidation date, then PSC, then protest. Doing drawback first while IEEPA windows close is how importers leave money behind.

Talk to Us About Your IEEPA Refund Opportunity

Talk to Us About Your IEEPA Refund Opportunity

Talk to Us About Your IEEPA Refund Opportunity

Tell us about your IEEPA tariff exposure and entry status. We will reply within one business day with whether there is a recoverable claim and a proposed next step.

Send us a message

Fill out the form and a member of our team will get back to you within one business day.

We typically respond within one business day.

Email Us

For general inquiries, partnership opportunities, or product questions:

chen@gingercontrol.com

Existing Customers

Already using GingerControl? Log in to your account for support:

app.gingercontrol.com

Office

Unit 12-324, 701 Tillery Street
Austin, TX 78702
United States

Compliance Reminder

This is an HTS classification researcher. Results are for general reference, educational, and planning purposes only, designed to enable better communication between trade compliance teams, importers, and licensed customs brokers. Per CBP Ruling HQ H290535, providing HTS classifications beyond 6 digits for specific imports constitutes "customs business" under 19 U.S.C. ยง 1641. Do not use these results directly in customs entry documents without independent review by a licensed customs broker.

Read full compliance disclaimer โ†’

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