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Section 232 tariffs on pharmaceuticals: 100% duties on patented drugs and APIs

Starting 31 July 2026, a new 100% tariff on patented pharmaceuticals triggered by Section 232 national security powers is set to reshape drug supply chains and import strategies across the U.S. Key exemptions, reduced rates, and a tight compliance timeline are already in motion.


What are the new Section 232 pharmaceutical tariffs?

On April 6, 2026, the White House issued a presidential proclamation imposing Section 232 national security tariffs on patented pharmaceuticals and associated ingredients, including active pharmaceutical ingredients and key starting materials. The tariff action will affect pharmaceutical manufacturers, U.S. importers, and companies throughout the supply chain.

Section 232 of the Trade Expansion Act of 1962 authorises the president (via a U.S. Department of Commerce investigation) to impose tariffs based on national security concerns. On April 1, 2025, the Department of Commerce initiated the Section 232 investigation into imports of pharmaceuticals and pharmaceutical ingredients and their derivative products.

According to the proclamation, the Department of Commerce completed its investigation and determined that pharmaceuticals and associated active pharmaceutical ingredients (“APIs”), including key starting materials, are being imported into the U.S. in such quantities and under such circumstances as to threaten to impair U.S. national security.

Which pharmaceuticals and APIs are subject to Section 232 tariffs?

Effective July 31, 2026, an additional 100% duty will apply to the following products of certain companies in Annex III of the proclamation:

Effective September 29, 2026, the additional 100% duty will apply to the same covered articles for other companies.

Which pharmaceutical products are exempt from Section 232 tariffs?

Are there reduced tariff rates by country or product type?

How to prepare for Section 232 pharmaceutical tariffs and how AGG can help?

AGG’s International Trade and FDA practices advise companies on import compliance and CBP and FDA enforcement. Our teams can assist with:

About the authors: Luis F. Arandia Jr. and Clinton K. Yu are both Partners at the American law firm, Arnall Golden Gregory.

 

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