Enhanced Transparency and Access to Information for Debtors and Sureties in the Automated Commercial Environment, 14899-14902 [2022-05547]
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DEPARTMENT OF HOMELAND
SECURITY
U.S. Customs and Border Protection
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Enhanced Transparency and Access to
Information for Debtors and Sureties in
the Automated Commercial
Environment
DEPARTMENT OF HEALTH AND
HUMAN SERVICES
AGENCY:
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14899
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following meeting.
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public in accordance with the
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U.S. Customs and Border
Protection, Department of Homeland
Security.
ACTION: General notice.
This document announces
that U.S. Customs and Border Protection
(CBP) is making three enhancements to
CBP’s debt management processes to
increase transparency and access to
information for debtors and sureties.
One of the enhancements will support
importers of record, licensed customs
brokers, and other Automated
Commercial Environment (ACE)
account users who owe debts to CBP by
enabling the electronic viewing of bill
sanction status and protest details in the
unpaid, open bill details report in ACE.
The other two enhancements will
facilitate compliance for sureties by
providing electronic access to the
SUMMARY:
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monthly report listing open delinquent
bills by importer name (i.e., the Formal
Demand on Surety for Payment of
Delinquent Amounts Due, also
informally referred to as the 612 Report)
in ACE (in lieu of CBP emailing this
information to sureties) and improving
the content and design of the mailed
612 Report.
DATES: On March 21, 2022, CBP will
deploy updates to enable the electronic
viewing of bill sanction status and
protest details in the unpaid, open bill
details report in ACE. Additionally, on
May 1, 2022, sureties may begin to view
the electronic 612 Report in ACE (in
lieu of CBP emailing this information to
sureties) and CBP will transition to the
updated mailed 612 Report.
ADDRESSES: Comments concerning this
notice may be submitted at any time via
email to the ACE Collections Team,
Investment Analysis Office, Office of
Finance, U.S. Customs and Border
Protection, at ACECollections@
cbp.dhs.gov, with a subject line
identifier reading ‘‘ACE Collections
Debt Management Release.’’
FOR FURTHER INFORMATION CONTACT:
Steven J. Grayson, Program Manager,
Investment Analysis Office, Office of
Finance, U.S. Customs and Border
Protection, at (202) 579–4400, or
steven.j.grayson@cbp.dhs.gov.
SUPPLEMENTARY INFORMATION:
I. Background
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A. Ongoing Modernization of the
Collections System at U.S. Customs and
Border Protection
U.S. Customs and Border Protection
(CBP) is modernizing its collections
system, allowing CBP to eventually
retire the Automated Commercial
System (ACS) and transfer all
collections processes into the
Automated Commercial Environment
(ACE). This modernization effort,
known as ACE Collections, includes the
consolidation of the entire collections
system into the ACE framework, which
will enable CBP to utilize trade data
from ACE modules, benefitting both the
trade community and CBP with more
streamlined and better automated
payment processes. The new collections
system in ACE will reduce costs for
CBP, create a common framework that
aligns with other initiatives to reduce
manual collection processes, and
provide additional flexibility to allow
for future technological enhancements.
ACE Collections will also provide the
public with more streamlined and better
automated payment processes with CBP,
including better visibility into data
regarding specific transactions.
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ACE Collections supports the goals of
the Customs Modernization Act (Pub. L.
103–182, 107 Stat. 2057, 2170,
December 8, 1993, Title VI of the North
American Free Trade Agreement
Implementation Act), of modernizing
the business processes that are essential
to securing U.S. borders, speeding up
the flow of legitimate shipments, and
targeting illicit goods that require
scrutiny. ACE Collections also fulfills
the objectives of Executive Order 13659
(79 FR 10655, February 25, 2014), to
provide the trade community with an
integrated CBP trade system that
facilitates trade, from entry of goods to
receipt of duties, taxes, and fees.
CBP is implementing ACE Collections
through phased releases in ACE. Release
1, which was deployed on September 7,
2019, dealt with statements integration,
the collections information repository
(CIR) framework, and ACH (automated
clearinghouse) processing. See 84 FR
46749 and 84 FR 46678 (September 5,
2019), and 84 FR 49650 (September 23,
2019). Release 2 was deployed on
February 5, 2021, and focused on nonACH electronic receivables and
collections, for Fedwire and Pay.gov,
that included user fees, Harbor
Maintenance Fee (HMF), and Seized
Assets and Case Tracking System
(SEACATS) payments. All of the
changes in Release 2 were internal to
CBP and did not affect the trade
community. Release 3 was deployed on
May 1, 2021, and primarily
implemented technical changes to the
liquidation process, and deferred tax
bills, that were internal to CBP. Release
3 also harmonized the determination of
the due date for deferred tax payments
with the entry summary date,
streamlined the collections system, and
provided importers of record with more
flexibility and access to data when
making deferred payments of internal
revenue taxes owed on distilled spirits,
wines, and beer imported into the
United States. See 86 FR 22696 (April
29, 2021). Release 4 was deployed on
October 18, 2021, and primarily
implemented technical changes to the
production and management of the
internal CBP processes for supplemental
bills, certain reimbursable bills, and
non-reimbursable/miscellaneous bills
issued by CBP to the public. See 86 FR
56968 (October 13, 2021). Release 4 also
made available to importers of record,
licensed customs brokers, and other
ACE account users, an option to
electronically view certain, unpaid,
open bill details as reports in ACE
Reports and adopted a new, enhanced
format for the CBP Bill Form. See id.
As explained more fully below,
Release 5 will be deployed on March 21,
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2022, with delayed implementation for
the enhancements concerning the
Formal Demand on Surety for Payment
of Delinquent Amounts Due (also
informally referred to as the 612 Report)
until May 1, 2022. Release 5 focuses on
debt management processes, and it
includes mainly internal, technical
changes to the production, tracking, and
management of overdue bills and
delinquent accounts and the bonds
associated with them. Release 5 also
includes enhancements that improve
transparency and access to information
through ACE for importers of record,
licensed customs brokers, and other
ACE account users who owe debts to
CBP, as well as for the sureties who
guarantee the bonds to secure the
payment of the debts, if applicable.
Additional releases for ACE Collections
will follow, and any further changes
affecting the public will be announced
by notice in the Federal Register, as
needed.
B. Overview of CBP’s Debt Management
Processes Affected by Release 5 of ACE
Collections
CBP is authorized to collect duties,
taxes, and fees from customs activities.
See generally 19 U.S.C. 58a, 58b, 58b–
1, 58c, 1505; 26 U.S.C. 4461. The
regulations found in part 24 of title 19
of the Code of Federal Regulations (CFR)
address the financial and accounting
procedures for when CBP collects the
duties, taxes, fees, interest, and other
applicable charges from the public due
to customs activities. See generally 19
CFR 24.1 through 24.36. Members of the
public are informed of existing debts to
CBP through the physical mailing of the
CBP Bill Form, the data elements of
which are also available for electronic
viewing in ACE Reports.
CBP is authorized to require such
bonds or other security as deemed
necessary for the protection of the
revenue or to assure compliance with
any provision of law, regulation, or
instruction. See 19 U.S.C. 1623. The
regulations concerning such bonds are
set forth generally in part 113 of title 19
of the CFR, which addresses bond
approval and execution, bond
conditions, general and special bond
requirements, etc. Bonds are required
for a large percentage of the activities for
which CBP produces bills. See 19 CFR
113.61 through 113.75. For example,
CBP requires bonds for the importation
of merchandise (19 CFR 113.62),
accelerated payment of drawback
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refunds (19 CFR 113.65), and operation
of a foreign trade zone (19 CFR 113.73).1
CBP recognizes bonds and the parties
to those bonds, who are the principals
and sureties, through the filing of a CBP
Bond (CBP Form 301) and its
addendums.2 Bond information may be
filed electronically, pursuant to 19
U.S.C. 1623(b), via any CBP authorized
electronic data interchange (EDI)
system. CBP currently accepts the
electronic filing of bonds through the
eBond test program, 79 FR 70881 (Nov.
28, 2014) and 80 FR 899 (Jan. 7, 2015),
which was most recently extended in a
Federal Register notice, 83 FR 12403,
on March 21, 2018.3 When a debtor/
bond principal fails to pay a debt owed
to CBP that is secured by a bond, CBP
may seek to collect from the surety (and
any other co-sureties or liable parties)
under the bond. See, e.g., 19 CFR 113.3
and 144.2. Additionally, the bond
principal(s) and the surety(ies) are
jointly and severally liable to CBP, as set
forth in the bond conditions. See 19
CFR part 113, subpart G.
CBP’s debt management processes
begin when a debt becomes delinquent,
and then involves incrementally
escalating consequences when a debtor/
bond principal does not make full
payment. Generally, a debtor/bond
principal has 30 days to make payment
after the ‘‘bill date’’ (also known as the
‘‘date of issuance of the bill’’), appearing
on the CBP Bill Form, before the bill
‘‘due date’’ (also known as the ‘‘late
payment date’’). 19 CFR 24.3(e). On the
31st day after the bill date, the bill is
considered delinquent, and interest will
accrue in 30-day increments. 19 U.S.C.
1505(d); 19 CFR 24.3a. Thirty (30) days
after the bill due date (60 days after the
bill date), CBP will list the bill for the
first time on the Formal Demand on
Surety for Payment of Delinquent
Amounts Due (also informally referred
to as the 612 Report, which is a monthly
report listing open delinquent bills by
importer name) to the sureties (and any
co-sureties) recognized on the bond that
secures the delinquent debt. 19 CFR
24.3a(d)(2)(i). The elements that
normally appear in the 612 Report are
prescribed in 19 CFR 24.3a(d)(2).
Generally, CBP will mail the debtor/
bond principal a dunning letter if the
debt remains unpaid for 120 days after
1 In certain circumstances, bond requirements can
be waived. See, e.g., 19 CFR 10.31(f), 10.101(d),
142.4(c).
2 A copy of CBP Form 301 and its addendums
may be viewed online at https://www.cbp.gov/
trade/priority-issues/revenue/bonds.
3 Only a surety or a surety agent may submit an
eBond, and additional information about the eBond
test program and how to participate may be found
online at https://www.cbp.gov/trade/priority-issues/
revenue/bonds/ebond.
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the bill date (90 days after the bill due
date). The dunning letter warns of
further consequences if the bill remains
unpaid, such as the imposition of
national sanction, informs about protest
rights, and provides the recipient with
another copy of the details of
outstanding debts owed, for which a
dunning letter has not been sent before.
Generally, if a debt continues to
remain unpaid by the debtor/bond
principal, CBP will email the sureties on
the applicable bond a surety demand
follow-up letter that seeks payment of
all overdue debt secured by a bond. In
addition, the debtor/bond principal may
be subject to additional consequences,
such as a requirement to file the entry
summary with payment of estimated
duties, taxes, and fees attached before
CBP will release new entries (informally
referred to as importer sanction or
national sanction).4 See, e.g., 19 CFR
142.13, 142.14, 142.26. Ultimately, CBP
may take further actions against the
surety and/or the debtor/bond principal
in an effort to collect the unpaid debt.
It should be noted that, under certain
circumstances, the debtor/bond
principal and/or surety may file an
administrative protest of certain
decisions by CBP, including the
issuance of and basis for certain bills.
See 19 U.S.C. 1514, 1515. CBP’s
regulations governing administrative
protests may be found at 19 CFR part
174. The timely filing of an
administrative protest may alter CBP’s
debt management approach that is
generally described in the preceding
paragraphs.5
Altogether, CBP’s debt management
processes often entail numerous
mailings and deadlines for CBP and the
trading public. CBP has thus developed
new tools to automate, streamline, and
simplify the processes for debt
collection and protest tracking as part of
Release 5. The resulting benefits to the
public that are announced in this
document will be deployed and
implemented on March 21, 2022, with
delayed implementation for the
4 Additional information on the potential
consequences for the debtor/bond principal may be
found online at https://www.cbp.gov/trade/priorityissues/revenue/bill-payments/importer-sanctions.
5 Generally, within 180 days of liquidation or
other protestable decision made by CBP, the surety
or debtor/bond principal may file a protest against
that decision. Sureties may also file a protest within
180 days of the date of mailing of the first 612
Report concerning the specific bill or unsatisfied
legal claim secured by the surety bond. An
administrative protest must be made on CBP Form
19 and may be filed in paper or electronically in
ACE. Under certain circumstances, the protesting
party may seek further review of a protest.
Following the filing of a protest, CBP will review
and respond. See subpart C of 19 CFR 174.
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14901
enhancements concerning the 612
Report until May 1, 2022.
II. Enhancements to the Debt
Management Processes
Additionally, CBP is announcing
three enhancements to the debt
management processes to increase
transparency and access to information
for the public as part of Release 5. One
of the enhancements will support
importers of record, licensed customs
brokers, and other ACE account users
who owe debts to CBP by enabling the
electronic viewing of whether a bill has
caused consequences under 19 CFR
142.13, 142.14, and 142.26 (informally
referred to as bill sanction status or
sanction status) and protest details in
the unpaid, open bill details report in
ACE. The other two enhancements will
facilitate compliance for sureties by
providing electronic access to the 612
Report in ACE (in lieu of CBP emailing
this information to sureties) and
improving the content and design of the
612 Report.
A. Supplementation of Unpaid, Open
Bill Details in ACE Reports To Enable
Electronic Viewing of Sanction Status
and Protest Details for Importers of
Record, Licensed Customs Brokers, and
Other ACE Account Users Who Owe
Debts to CBP
CBP sends physical bills on the CBP
Bill Form 6 via mail to officially notify
individuals and entities of amounts
owed for duties, taxes, fees, and other
charges. Upon the deployment of
Release 4 on October 18, 2021, ACE
account users were able to electronically
view the data elements appearing on the
CBP Bill Form in ACE Reports for
certain categories of unpaid, open bills.
86 FR 56968 (October 13, 2021). The
unpaid, open bill details report in ACE
Reports provides an ACE account user
with a consolidated, electronic report to
track its open bills for which payment
is owed to CBP. As part of Release 5,
CBP is supplementing the unpaid, open
bill details report in ACE Reports with
new information applicable to sanction
status and protest details for each bill
appearing on the report.
Specifically, the new report
information includes five data elements.
The first data element is an indicator as
to whether the unpaid, open bill has put
the account holder on national sanction.
The other four data elements are details
related to administrative protests filed
pursuant to 19 CFR part 174. If an
6 As CBP advised in the Federal Register notice
that announced Release 4, the CBP Bill Form for
physical bills will remain the primary source of
legal notice of monies owed due to customs
activity, as required by 19 CFR 24.3(a).
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administrative protest is associated with
an open, unpaid bill, then the following
data elements will be included in the
report: The protest number, the date of
filing of the protest, the processing
status of the protest, and the date of
CBP’s decision on the protest (if
applicable). All of the new data
elements will be included in additional
columns added to the unpaid, open bill
details report in ACE Reports and will
be updated within one business day
after the initial processing of sanction
status and/or the relevant administrative
protest information. It is important to
note that any mailed or electronically
communicated information provided by
CBP regarding the sanction status and
protest details may supersede the
information appearing in ACE Reports.
Only members of the public who have
an ACE Portal account can view their
unpaid, open bill details report in ACE
Reports, which will include the new
information applicable to sanction
status and protest details as of March
21, 2022. CBP encourages affected
members of the public (including, but
not limited to, importers of record and
licensed customs brokers) who do not
already have an ACE Portal account to
apply for access to be able to view the
necessary data to make timely bill
payments.7 CBP will provide any
needed support for setting up ACE
Portal accounts. The public may access
the ACE Reports application through the
ACE Secure Data Portal at https://
ace.cbp.dhs.gov.8 Within ACE Reports,
ACE account users may navigate to and
access their unpaid, open bill details
reports in the Workspace Module.9
B. Benefits for Sureties
1. Availability of an Option for Sureties
to Electronically View 612 Reports in
ACE
Currently, CBP mails to sureties the
612 Reports, which are a monthly listing
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7 The
step-by-step instructions to apply for an
ACE Portal account are available online at https://
www.cbp.gov/trade/automated/getting-started/
portal-applying.
8 For more information about accessing,
navigating, and personalizing ACE Reports, please
review the ACE Reports Trainings online at https://
www.cbp.gov/trade/ace/training-and-referenceguides.
9 The Workspace Module is a window in ACE
Reports that provides ACE account users access to
their standard reports categorized by subject area
(such as Cargo Release, Entry Summary, Manifest,
etc.) and includes a navigation list (a folder
structure of standard reports) and a viewer that
displays the report selected. For additional
information about the Workspace Module, please
consult the specific ACE Report training at https://
www.cbp.gov/trade/ace/training-and-referenceguides or the quick reference card at https://
www.cbp.gov/document/guidance/ace-reports-qrcnavigating-workspace-module.
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of open delinquent bills by importer
name.10 The 612 Reports constitute the
Formal Demand on Surety for Payment
of Delinquent Amounts Due, as required
by 19 CFR 24.3a(d)(2). Each 612 Report
contains certain information, such as
the bill number and principal amount
due, to allow sureties to identify and
track their obligations. Id. In addition to
mailing 612 Reports, CBP makes
available to sureties the ability to
request and receive via email a
downloadable copy of the raw data
underlying the most recent 612 Report
sent to them by mail.
As part of Release 5, CBP will make
available to sureties an option to
electronically view 612 Reports in ACE
(in lieu of CBP emailing this
information to sureties).11 This new
option will, inter alia, reduce the
amount of time sureties spend manually
identifying and tracking their
obligations to CBP, and will allow
sureties to access their report at any
time of the month, eliminating the
constraint of having access to the data
the first day it is generated. Moreover,
this new option will significantly
reduce the current burden on CBP
associated with the emailing of the 612
Reports to the respective sureties. The
default data presented in the electronic
612 Report will be for the most recent
month’s mailed 612 Report. Sureties
will also be able to view data from, at
a minimum, three previous monthly
electronic 612 Reports, but such data
will not remain available indefinitely in
ACE.
The electronic 612 Reports will only
update on, approximately, the first day
of every month to ensure the data
appearing in the electronic 612 Reports
will match the data appearing in the
mailed 612 Reports. The data elements
appearing in the electronic 612 Reports
will be the same as the data elements
appearing in the mailed 612 Reports,
including the new element described
below.
It is important to note that CBP will
continue its current processes for
mailing the 612 Reports, which remain
the official notice to sureties as required
by 19 CFR 24.3a(d). Information and
data that appear on the mailed 612
Report will supersede the data elements
that appear in the electronic 612
Reports, and sureties should continue to
consult the mailed 612 Reports to
determine the extent of their legal
obligations. Moreover, only sureties
who have an ACE Portal account will be
able to view their electronic 612 Reports
that will be available in ACE Reports
beginning on May 1, 2022. CBP
encourages sureties who do not already
have an ACE Portal account to apply for
access to be able to electronically view
their 612 Reports.12
2. Minor Modifications to the
Information in and Appearance of the
Mailed 612 Reports
As part of Release 5, there will be
minor modifications to the information
in and appearance of the mailed 612
Report. The mailed 612 Report will
continue to have the same structure and
provide the same information as it does
now, but CBP will add a new data
element and column, the ‘‘Bill Version
#’’, which is intended to help sureties
track whether a certain bill’s
information is current.13 In addition, the
mailed 612 Report will no longer be
printed on paper with a green bar.
Instead, as of May 1, 2022, the mailed
612 Report will be printed on more
common legal landscape paper.
Dated: March 9, 2022.
Jeffrey Caine,
Chief Financial Officer, U.S. Customs and
Border Protection.
[FR Doc. 2022–05547 Filed 3–15–22; 8:45 am]
BILLING CODE 9111–14–P
DEPARTMENT OF HOMELAND
SECURITY
U.S. Customs and Border Protection
[1651–0NEW]
CBP Hiring Center Medical Records
Release Privacy Act Form
U.S. Customs and Border
Protection (CBP), Department of
Homeland Security.
AGENCY:
10 A
new bill entry is added to a 612 Report when
a bill owed to CBP has not been paid and is more
than 30 days past due (approximately 60 days after
the initial bill date). CBP generates and mails the
612 Report to the surety at the beginning of every
month, and each bill listed will remain on the 612
Report until that bill is paid or otherwise closed.
19 CFR 24.3a(d)(2)(i).
11 CBP will discontinue the option for sureties to
request, through CBP’s Office of Finance, Revenue
Division, the regular emailing of 612 Report data
packets, as of May 1, 2022. The downloadable data
packets are a function of ACS, which will become
obsolete, and the existence of the option to
electronically view 612 Reports supersedes the
emailing of data packets (as the same information
will be downloadable from ACE).
PO 00000
Frm 00083
Fmt 4703
Sfmt 4703
12 CBP will provide any needed support for
setting up ACE Portal accounts. See supra footnotes
7–9 for more information about creating ACE Portal
accounts, navigating ACE Reports, and accessing
612 Reports in the Workspace Module.
13 CBP assigns bills a specific number that
corresponds to a bill as it existed at a specific point
in time. Bills change due to recalculation of
interest, partial payment, etc. and CBP updates the
bill version number when a bill changes. For 612
Reports, the ‘‘Bill Version #’’ will correspond to the
bill as it existed at the time that the mailed 612
Report was generated.
E:\FR\FM\16MRN1.SGM
16MRN1
Agencies
[Federal Register Volume 87, Number 51 (Wednesday, March 16, 2022)]
[Notices]
[Pages 14899-14902]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2022-05547]
=======================================================================
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DEPARTMENT OF HOMELAND SECURITY
U.S. Customs and Border Protection
Enhanced Transparency and Access to Information for Debtors and
Sureties in the Automated Commercial Environment
AGENCY: U.S. Customs and Border Protection, Department of Homeland
Security.
ACTION: General notice.
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SUMMARY: This document announces that U.S. Customs and Border
Protection (CBP) is making three enhancements to CBP's debt management
processes to increase transparency and access to information for
debtors and sureties. One of the enhancements will support importers of
record, licensed customs brokers, and other Automated Commercial
Environment (ACE) account users who owe debts to CBP by enabling the
electronic viewing of bill sanction status and protest details in the
unpaid, open bill details report in ACE. The other two enhancements
will facilitate compliance for sureties by providing electronic access
to the
[[Page 14900]]
monthly report listing open delinquent bills by importer name (i.e.,
the Formal Demand on Surety for Payment of Delinquent Amounts Due, also
informally referred to as the 612 Report) in ACE (in lieu of CBP
emailing this information to sureties) and improving the content and
design of the mailed 612 Report.
DATES: On March 21, 2022, CBP will deploy updates to enable the
electronic viewing of bill sanction status and protest details in the
unpaid, open bill details report in ACE. Additionally, on May 1, 2022,
sureties may begin to view the electronic 612 Report in ACE (in lieu of
CBP emailing this information to sureties) and CBP will transition to
the updated mailed 612 Report.
ADDRESSES: Comments concerning this notice may be submitted at any time
via email to the ACE Collections Team, Investment Analysis Office,
Office of Finance, U.S. Customs and Border Protection, at
[email protected], with a subject line identifier reading
``ACE Collections Debt Management Release.''
FOR FURTHER INFORMATION CONTACT: Steven J. Grayson, Program Manager,
Investment Analysis Office, Office of Finance, U.S. Customs and Border
Protection, at (202) 579-4400, or steven.j.grayson[email protected].
SUPPLEMENTARY INFORMATION:
I. Background
A. Ongoing Modernization of the Collections System at U.S. Customs and
Border Protection
U.S. Customs and Border Protection (CBP) is modernizing its
collections system, allowing CBP to eventually retire the Automated
Commercial System (ACS) and transfer all collections processes into the
Automated Commercial Environment (ACE). This modernization effort,
known as ACE Collections, includes the consolidation of the entire
collections system into the ACE framework, which will enable CBP to
utilize trade data from ACE modules, benefitting both the trade
community and CBP with more streamlined and better automated payment
processes. The new collections system in ACE will reduce costs for CBP,
create a common framework that aligns with other initiatives to reduce
manual collection processes, and provide additional flexibility to
allow for future technological enhancements. ACE Collections will also
provide the public with more streamlined and better automated payment
processes with CBP, including better visibility into data regarding
specific transactions.
ACE Collections supports the goals of the Customs Modernization Act
(Pub. L. 103-182, 107 Stat. 2057, 2170, December 8, 1993, Title VI of
the North American Free Trade Agreement Implementation Act), of
modernizing the business processes that are essential to securing U.S.
borders, speeding up the flow of legitimate shipments, and targeting
illicit goods that require scrutiny. ACE Collections also fulfills the
objectives of Executive Order 13659 (79 FR 10655, February 25, 2014),
to provide the trade community with an integrated CBP trade system that
facilitates trade, from entry of goods to receipt of duties, taxes, and
fees.
CBP is implementing ACE Collections through phased releases in ACE.
Release 1, which was deployed on September 7, 2019, dealt with
statements integration, the collections information repository (CIR)
framework, and ACH (automated clearinghouse) processing. See 84 FR
46749 and 84 FR 46678 (September 5, 2019), and 84 FR 49650 (September
23, 2019). Release 2 was deployed on February 5, 2021, and focused on
non-ACH electronic receivables and collections, for Fedwire and
Pay.gov, that included user fees, Harbor Maintenance Fee (HMF), and
Seized Assets and Case Tracking System (SEACATS) payments. All of the
changes in Release 2 were internal to CBP and did not affect the trade
community. Release 3 was deployed on May 1, 2021, and primarily
implemented technical changes to the liquidation process, and deferred
tax bills, that were internal to CBP. Release 3 also harmonized the
determination of the due date for deferred tax payments with the entry
summary date, streamlined the collections system, and provided
importers of record with more flexibility and access to data when
making deferred payments of internal revenue taxes owed on distilled
spirits, wines, and beer imported into the United States. See 86 FR
22696 (April 29, 2021). Release 4 was deployed on October 18, 2021, and
primarily implemented technical changes to the production and
management of the internal CBP processes for supplemental bills,
certain reimbursable bills, and non-reimbursable/miscellaneous bills
issued by CBP to the public. See 86 FR 56968 (October 13, 2021).
Release 4 also made available to importers of record, licensed customs
brokers, and other ACE account users, an option to electronically view
certain, unpaid, open bill details as reports in ACE Reports and
adopted a new, enhanced format for the CBP Bill Form. See id.
As explained more fully below, Release 5 will be deployed on March
21, 2022, with delayed implementation for the enhancements concerning
the Formal Demand on Surety for Payment of Delinquent Amounts Due (also
informally referred to as the 612 Report) until May 1, 2022. Release 5
focuses on debt management processes, and it includes mainly internal,
technical changes to the production, tracking, and management of
overdue bills and delinquent accounts and the bonds associated with
them. Release 5 also includes enhancements that improve transparency
and access to information through ACE for importers of record, licensed
customs brokers, and other ACE account users who owe debts to CBP, as
well as for the sureties who guarantee the bonds to secure the payment
of the debts, if applicable. Additional releases for ACE Collections
will follow, and any further changes affecting the public will be
announced by notice in the Federal Register, as needed.
B. Overview of CBP's Debt Management Processes Affected by Release 5 of
ACE Collections
CBP is authorized to collect duties, taxes, and fees from customs
activities. See generally 19 U.S.C. 58a, 58b, 58b-1, 58c, 1505; 26
U.S.C. 4461. The regulations found in part 24 of title 19 of the Code
of Federal Regulations (CFR) address the financial and accounting
procedures for when CBP collects the duties, taxes, fees, interest, and
other applicable charges from the public due to customs activities. See
generally 19 CFR 24.1 through 24.36. Members of the public are informed
of existing debts to CBP through the physical mailing of the CBP Bill
Form, the data elements of which are also available for electronic
viewing in ACE Reports.
CBP is authorized to require such bonds or other security as deemed
necessary for the protection of the revenue or to assure compliance
with any provision of law, regulation, or instruction. See 19 U.S.C.
1623. The regulations concerning such bonds are set forth generally in
part 113 of title 19 of the CFR, which addresses bond approval and
execution, bond conditions, general and special bond requirements, etc.
Bonds are required for a large percentage of the activities for which
CBP produces bills. See 19 CFR 113.61 through 113.75. For example, CBP
requires bonds for the importation of merchandise (19 CFR 113.62),
accelerated payment of drawback
[[Page 14901]]
refunds (19 CFR 113.65), and operation of a foreign trade zone (19 CFR
113.73).\1\
---------------------------------------------------------------------------
\1\ In certain circumstances, bond requirements can be waived.
See, e.g., 19 CFR 10.31(f), 10.101(d), 142.4(c).
---------------------------------------------------------------------------
CBP recognizes bonds and the parties to those bonds, who are the
principals and sureties, through the filing of a CBP Bond (CBP Form
301) and its addendums.\2\ Bond information may be filed
electronically, pursuant to 19 U.S.C. 1623(b), via any CBP authorized
electronic data interchange (EDI) system. CBP currently accepts the
electronic filing of bonds through the eBond test program, 79 FR 70881
(Nov. 28, 2014) and 80 FR 899 (Jan. 7, 2015), which was most recently
extended in a Federal Register notice, 83 FR 12403, on March 21,
2018.\3\ When a debtor/bond principal fails to pay a debt owed to CBP
that is secured by a bond, CBP may seek to collect from the surety (and
any other co-sureties or liable parties) under the bond. See, e.g., 19
CFR 113.3 and 144.2. Additionally, the bond principal(s) and the
surety(ies) are jointly and severally liable to CBP, as set forth in
the bond conditions. See 19 CFR part 113, subpart G.
---------------------------------------------------------------------------
\2\ A copy of CBP Form 301 and its addendums may be viewed
online at https://www.cbp.gov/trade/priority-issues/revenue/bonds.
\3\ Only a surety or a surety agent may submit an eBond, and
additional information about the eBond test program and how to
participate may be found online at https://www.cbp.gov/trade/priority-issues/revenue/bonds/ebond.
---------------------------------------------------------------------------
CBP's debt management processes begin when a debt becomes
delinquent, and then involves incrementally escalating consequences
when a debtor/bond principal does not make full payment. Generally, a
debtor/bond principal has 30 days to make payment after the ``bill
date'' (also known as the ``date of issuance of the bill''), appearing
on the CBP Bill Form, before the bill ``due date'' (also known as the
``late payment date''). 19 CFR 24.3(e). On the 31st day after the bill
date, the bill is considered delinquent, and interest will accrue in
30-day increments. 19 U.S.C. 1505(d); 19 CFR 24.3a. Thirty (30) days
after the bill due date (60 days after the bill date), CBP will list
the bill for the first time on the Formal Demand on Surety for Payment
of Delinquent Amounts Due (also informally referred to as the 612
Report, which is a monthly report listing open delinquent bills by
importer name) to the sureties (and any co-sureties) recognized on the
bond that secures the delinquent debt. 19 CFR 24.3a(d)(2)(i). The
elements that normally appear in the 612 Report are prescribed in 19
CFR 24.3a(d)(2).
Generally, CBP will mail the debtor/bond principal a dunning letter
if the debt remains unpaid for 120 days after the bill date (90 days
after the bill due date). The dunning letter warns of further
consequences if the bill remains unpaid, such as the imposition of
national sanction, informs about protest rights, and provides the
recipient with another copy of the details of outstanding debts owed,
for which a dunning letter has not been sent before.
Generally, if a debt continues to remain unpaid by the debtor/bond
principal, CBP will email the sureties on the applicable bond a surety
demand follow-up letter that seeks payment of all overdue debt secured
by a bond. In addition, the debtor/bond principal may be subject to
additional consequences, such as a requirement to file the entry
summary with payment of estimated duties, taxes, and fees attached
before CBP will release new entries (informally referred to as importer
sanction or national sanction).\4\ See, e.g., 19 CFR 142.13, 142.14,
142.26. Ultimately, CBP may take further actions against the surety
and/or the debtor/bond principal in an effort to collect the unpaid
debt. It should be noted that, under certain circumstances, the debtor/
bond principal and/or surety may file an administrative protest of
certain decisions by CBP, including the issuance of and basis for
certain bills. See 19 U.S.C. 1514, 1515. CBP's regulations governing
administrative protests may be found at 19 CFR part 174. The timely
filing of an administrative protest may alter CBP's debt management
approach that is generally described in the preceding paragraphs.\5\
---------------------------------------------------------------------------
\4\ Additional information on the potential consequences for the
debtor/bond principal may be found online at https://www.cbp.gov/trade/priority-issues/revenue/bill-payments/importer-sanctions.
\5\ Generally, within 180 days of liquidation or other
protestable decision made by CBP, the surety or debtor/bond
principal may file a protest against that decision. Sureties may
also file a protest within 180 days of the date of mailing of the
first 612 Report concerning the specific bill or unsatisfied legal
claim secured by the surety bond. An administrative protest must be
made on CBP Form 19 and may be filed in paper or electronically in
ACE. Under certain circumstances, the protesting party may seek
further review of a protest. Following the filing of a protest, CBP
will review and respond. See subpart C of 19 CFR 174.
---------------------------------------------------------------------------
Altogether, CBP's debt management processes often entail numerous
mailings and deadlines for CBP and the trading public. CBP has thus
developed new tools to automate, streamline, and simplify the processes
for debt collection and protest tracking as part of Release 5. The
resulting benefits to the public that are announced in this document
will be deployed and implemented on March 21, 2022, with delayed
implementation for the enhancements concerning the 612 Report until May
1, 2022.
II. Enhancements to the Debt Management Processes
Additionally, CBP is announcing three enhancements to the debt
management processes to increase transparency and access to information
for the public as part of Release 5. One of the enhancements will
support importers of record, licensed customs brokers, and other ACE
account users who owe debts to CBP by enabling the electronic viewing
of whether a bill has caused consequences under 19 CFR 142.13, 142.14,
and 142.26 (informally referred to as bill sanction status or sanction
status) and protest details in the unpaid, open bill details report in
ACE. The other two enhancements will facilitate compliance for sureties
by providing electronic access to the 612 Report in ACE (in lieu of CBP
emailing this information to sureties) and improving the content and
design of the 612 Report.
A. Supplementation of Unpaid, Open Bill Details in ACE Reports To
Enable Electronic Viewing of Sanction Status and Protest Details for
Importers of Record, Licensed Customs Brokers, and Other ACE Account
Users Who Owe Debts to CBP
CBP sends physical bills on the CBP Bill Form \6\ via mail to
officially notify individuals and entities of amounts owed for duties,
taxes, fees, and other charges. Upon the deployment of Release 4 on
October 18, 2021, ACE account users were able to electronically view
the data elements appearing on the CBP Bill Form in ACE Reports for
certain categories of unpaid, open bills. 86 FR 56968 (October 13,
2021). The unpaid, open bill details report in ACE Reports provides an
ACE account user with a consolidated, electronic report to track its
open bills for which payment is owed to CBP. As part of Release 5, CBP
is supplementing the unpaid, open bill details report in ACE Reports
with new information applicable to sanction status and protest details
for each bill appearing on the report.
---------------------------------------------------------------------------
\6\ As CBP advised in the Federal Register notice that announced
Release 4, the CBP Bill Form for physical bills will remain the
primary source of legal notice of monies owed due to customs
activity, as required by 19 CFR 24.3(a).
---------------------------------------------------------------------------
Specifically, the new report information includes five data
elements. The first data element is an indicator as to whether the
unpaid, open bill has put the account holder on national sanction. The
other four data elements are details related to administrative protests
filed pursuant to 19 CFR part 174. If an
[[Page 14902]]
administrative protest is associated with an open, unpaid bill, then
the following data elements will be included in the report: The protest
number, the date of filing of the protest, the processing status of the
protest, and the date of CBP's decision on the protest (if applicable).
All of the new data elements will be included in additional columns
added to the unpaid, open bill details report in ACE Reports and will
be updated within one business day after the initial processing of
sanction status and/or the relevant administrative protest information.
It is important to note that any mailed or electronically communicated
information provided by CBP regarding the sanction status and protest
details may supersede the information appearing in ACE Reports.
Only members of the public who have an ACE Portal account can view
their unpaid, open bill details report in ACE Reports, which will
include the new information applicable to sanction status and protest
details as of March 21, 2022. CBP encourages affected members of the
public (including, but not limited to, importers of record and licensed
customs brokers) who do not already have an ACE Portal account to apply
for access to be able to view the necessary data to make timely bill
payments.\7\ CBP will provide any needed support for setting up ACE
Portal accounts. The public may access the ACE Reports application
through the ACE Secure Data Portal at https://ace.cbp.dhs.gov.\8\
Within ACE Reports, ACE account users may navigate to and access their
unpaid, open bill details reports in the Workspace Module.\9\
---------------------------------------------------------------------------
\7\ The step-by-step instructions to apply for an ACE Portal
account are available online at https://www.cbp.gov/trade/automated/getting-started/portal-applying.
\8\ For more information about accessing, navigating, and
personalizing ACE Reports, please review the ACE Reports Trainings
online at https://www.cbp.gov/trade/ace/training-and-reference-guides.
\9\ The Workspace Module is a window in ACE Reports that
provides ACE account users access to their standard reports
categorized by subject area (such as Cargo Release, Entry Summary,
Manifest, etc.) and includes a navigation list (a folder structure
of standard reports) and a viewer that displays the report selected.
For additional information about the Workspace Module, please
consult the specific ACE Report training at https://www.cbp.gov/trade/ace/training-and-reference-guides or the quick reference card
at https://www.cbp.gov/document/guidance/ace-reports-qrc-navigating-workspace-module.
---------------------------------------------------------------------------
B. Benefits for Sureties
1. Availability of an Option for Sureties to Electronically View 612
Reports in ACE
Currently, CBP mails to sureties the 612 Reports, which are a
monthly listing of open delinquent bills by importer name.\10\ The 612
Reports constitute the Formal Demand on Surety for Payment of
Delinquent Amounts Due, as required by 19 CFR 24.3a(d)(2). Each 612
Report contains certain information, such as the bill number and
principal amount due, to allow sureties to identify and track their
obligations. Id. In addition to mailing 612 Reports, CBP makes
available to sureties the ability to request and receive via email a
downloadable copy of the raw data underlying the most recent 612 Report
sent to them by mail.
---------------------------------------------------------------------------
\10\ A new bill entry is added to a 612 Report when a bill owed
to CBP has not been paid and is more than 30 days past due
(approximately 60 days after the initial bill date). CBP generates
and mails the 612 Report to the surety at the beginning of every
month, and each bill listed will remain on the 612 Report until that
bill is paid or otherwise closed. 19 CFR 24.3a(d)(2)(i).
---------------------------------------------------------------------------
As part of Release 5, CBP will make available to sureties an option
to electronically view 612 Reports in ACE (in lieu of CBP emailing this
information to sureties).\11\ This new option will, inter alia, reduce
the amount of time sureties spend manually identifying and tracking
their obligations to CBP, and will allow sureties to access their
report at any time of the month, eliminating the constraint of having
access to the data the first day it is generated. Moreover, this new
option will significantly reduce the current burden on CBP associated
with the emailing of the 612 Reports to the respective sureties. The
default data presented in the electronic 612 Report will be for the
most recent month's mailed 612 Report. Sureties will also be able to
view data from, at a minimum, three previous monthly electronic 612
Reports, but such data will not remain available indefinitely in ACE.
---------------------------------------------------------------------------
\11\ CBP will discontinue the option for sureties to request,
through CBP's Office of Finance, Revenue Division, the regular
emailing of 612 Report data packets, as of May 1, 2022. The
downloadable data packets are a function of ACS, which will become
obsolete, and the existence of the option to electronically view 612
Reports supersedes the emailing of data packets (as the same
information will be downloadable from ACE).
---------------------------------------------------------------------------
The electronic 612 Reports will only update on, approximately, the
first day of every month to ensure the data appearing in the electronic
612 Reports will match the data appearing in the mailed 612 Reports.
The data elements appearing in the electronic 612 Reports will be the
same as the data elements appearing in the mailed 612 Reports,
including the new element described below.
It is important to note that CBP will continue its current
processes for mailing the 612 Reports, which remain the official notice
to sureties as required by 19 CFR 24.3a(d). Information and data that
appear on the mailed 612 Report will supersede the data elements that
appear in the electronic 612 Reports, and sureties should continue to
consult the mailed 612 Reports to determine the extent of their legal
obligations. Moreover, only sureties who have an ACE Portal account
will be able to view their electronic 612 Reports that will be
available in ACE Reports beginning on May 1, 2022. CBP encourages
sureties who do not already have an ACE Portal account to apply for
access to be able to electronically view their 612 Reports.\12\
---------------------------------------------------------------------------
\12\ CBP will provide any needed support for setting up ACE
Portal accounts. See supra footnotes 7-9 for more information about
creating ACE Portal accounts, navigating ACE Reports, and accessing
612 Reports in the Workspace Module.
---------------------------------------------------------------------------
2. Minor Modifications to the Information in and Appearance of the
Mailed 612 Reports
As part of Release 5, there will be minor modifications to the
information in and appearance of the mailed 612 Report. The mailed 612
Report will continue to have the same structure and provide the same
information as it does now, but CBP will add a new data element and
column, the ``Bill Version #'', which is intended to help sureties
track whether a certain bill's information is current.\13\ In addition,
the mailed 612 Report will no longer be printed on paper with a green
bar. Instead, as of May 1, 2022, the mailed 612 Report will be printed
on more common legal landscape paper.
---------------------------------------------------------------------------
\13\ CBP assigns bills a specific number that corresponds to a
bill as it existed at a specific point in time. Bills change due to
recalculation of interest, partial payment, etc. and CBP updates the
bill version number when a bill changes. For 612 Reports, the ``Bill
Version #'' will correspond to the bill as it existed at the time
that the mailed 612 Report was generated.
Dated: March 9, 2022.
Jeffrey Caine,
Chief Financial Officer, U.S. Customs and Border Protection.
[FR Doc. 2022-05547 Filed 3-15-22; 8:45 am]
BILLING CODE 9111-14-P