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U.S. Customs and Border Protection (CBP) has issued operational guidance for obtaining refunds of duties paid under the International Emergency Economic Powers Act (IEEPA), implementing a new electronic process through the Consolidated Administration and Processing of Entries (CAPE) tool in the Automated Commercial Environment (ACE) Secure Data Portal (ACE Portal). Beginning April 20, 2026, CAPE will be the exclusive mechanism for submitting IEEPA refund claims for entries that include at least one dutiable IEEPA Harmonized Tariff Schedule of the United States (HTSUS) Chapter 99 code. CBP has also launched an IEEPA tariff refund website that provides additional resources, including how to apply for an ACE Portal importer account and enroll in Automated Clearing House (ACH) refunds, as well as the mechanics of filing for refunds using the CAPE tool in the ACE Portal.
Threshold Requirements for Refund Eligibility
Before submitting any claim, importers of record (IORs) and customs brokers must ensure:
CBP will not issue refunds until these requirements are satisfied, and will hold funds until valid ACH refund information is provided. ACH refund enrollment must be completed in ACE for a refund‑specific bank account; having ACH set up only for duty payments is not sufficient.
Scope of Phase 1
Phase 1 of CAPE applies to:
In addition, CAPE will not process entries that do not contain IEEPA-related HTSUS Chapter 99 duties.
The following categories of entries are expressly excluded from Phase 1 and may be considered for inclusion in future phases:
CAPE Filings
Refund requests must be submitted by uploading a .csv file (CAPE Declaration) through the CAPE tab in the ACE Portal. CBP provides a CAPE Upload Template (Excel) in the portal; it must be completed and saved as a .csv (comma-delimited) file. Each filing may include up to 9,999 entry numbers, and brokers may submit entries across multiple importers in a single declaration.
The file must include the required header row, contain at least one entry, and be in .csv format (other formats will be rejected). In particular:
Once submitted, CBP validates both the file and the underlying entries. File‑level errors (such as incorrect file format or a missing header row) result in rejection of the entire CAPE Declaration and require resubmission of a corrected file, while entry‑level errors result in rejection of only the affected entries. Accepted filings are assigned a CAPE claim number and proceed to processing, and filers must submit any corrected or additional entries in a new CAPE Declaration.
CAPE Filing Rules
CBP has imposed several constraints:
These requirements make upfront data validation critical.
Processing and Liquidation
For validated entries, CBP will remove the IEEPA-related duties under Chapter 99 of the HTSUS, recalculate the entry, and proceed with liquidation or reliquidation as appropriate. Entries that remain suspended or under review will retain that status, with refunds issued upon liquidation. Validated refunds are typically consolidated by recipient and liquidation date rather than paid on an entry‑by‑entry basis.
Refund Issuance
Monitoring Refunds and Rejects
Importers can monitor activity using ACE reports, including:
Key Compliance Considerations
Notably, CBP has clarified that post summary corrections (PSCs) may not be used to initiate IEEPA refund claims, making CAPE the exclusive mechanism for requesting these refunds for covered entries.
Practical Next Steps
Before the April 20 launch date, importers and customs brokers should:
Conclusion
CAPE establishes a centralized, electronic framework for IEEPA duty refunds that is designed to streamline processing but requires strict adherence to filing and data requirements. Early preparation, particularly with respect to ACE configuration and entry validation, ACH refund enrollment, and confirmation that entries include IEEPA HTSUS Chapter 99 duties, will be essential to securing timely refunds.
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