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1. What this review is
The CBEC Second Opinion Review is a written, independent assessment of an existing cross-border e-commerce (CBEC) import plan related to China.
It is designed for situations where you already have:
- A proposed CBEC import structure
- A platform or service-provider recommendation
- An internal or third-party execution plan
This review focuses on structural soundness and compliance risk exposure, based strictly on publicly available rules and regulatory logic.
2. What this review is NOT
This review is not:
- An execution or implementation service
- A substitute for legal advice or regulatory approval
- A step-by-step operational guide
- A guarantee of customs clearance or policy outcome
No filing, declaration, or platform onboarding is included.
3. How this review works
This review is conducted asynchronously and entirely in writing.
Process:
- You submit written background information and materials
- The review is conducted based on publicly available regulations
- A written Second Opinion summary is delivered
There are no live calls or real-time discussions required.
4. What you need to prepare
To request a Second Opinion Review, please be prepared to provide:
- A brief description of your product(s)
- Your proposed CBEC import path (model, platform, or service provider)
- Target market and expected scale
- Key timing constraints (if any)
- Any existing materials or documents (optional)
- Your primary concern or uncertainty
All materials should be submitted in writing.
5. Request a Second Opinion
If you believe a Second Opinion Review may be appropriate, please proceed via the link below.
5.1 Before you submit (2–3 minutes)
This review assesses structural feasibility and compliance risk under China’s cross-border e-commerce (CBEC) framework.
Please provide factual inputs only.
If something is undecided, state “Not decided”.
5.2 Field guidance
- Company / Brand Name
- Country / Region
- Product Description
- Product Category (client wording)
- Proposed Entry Path
- Current Plan or Advice Received
- Primary Concern / Question
- Timeline Sensitivity
- Supporting Documents (optional)
Brand or entity operating the CBEC structure.
Product origin and export location.
What the product is and how consumers use it.
Your internal category label used on platforms or internally.
CBEC (9610 or 1210).
Any platform guidance, warehouse model, or prior CBEC advice received.
The main uncertainty around CBEC eligibility, structure, or risk.
Planned launch, campaign timing, or shipment schedule.
Product listing draft, platform rules, labels, or screenshots.
5.3 What happens after submission
You will receive a written Second Opinion focused on CBEC structural logic, eligibility boundaries, and risk signals under public rules.