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Importing a JDM Car: A Complete Guide & What to Know

by Lisa Park - Tech Editor

I grew up in the 1990s, during the heyday of Japanese‌ imports. We ⁢were⁣ spoiled for⁤ choice in this era,weather ​we’re ​talking classic 1990s JDM legends such as the⁤ Toyota Supra, Mazda​ RX-7,‍ and Nissan Silvia ⁢or underrated gems like the Nissan Cedric, Subaru Legacy, and Mitsubishi Legnum. One of the moast famous of these vehicles was the iconic Nissan Skyline R34, a car never sold ‌in North America,​ but nevertheless⁢ permanently⁤ enshrined in American automotive culture.

Long⁤ story short, I⁣ grew up wanting one of these cars since I first set ‌eyes on them in racing video games and later movies like​ “2 Fast 2 Furious,”​ and ⁤promised myself that I would pu

This is simultaneously⁢ the second most fun and arguably‌ the⁤ most elaborate step.Every car, from humble kei trucks to top-tier ​JDM legends, has⁣ its own individual quirks.My Skyline (and all generations of Skyline GT-Rs,for that matter) uses an RB engine,a straight-six “” engine. What ⁢that means,‌ for the driver, is ‍that a skip in ⁢the timing belt due​ to poor ⁢maintenance will cause the pistons to hit the‍ valves, converting your internal combustion engine‌ into an⁤ external combustion engine.My engine’s⁢ timing cover has a sticker stating when the next timing belt ‌change is due.

Every car has ​its own‍ traits you need to be aware of. If it’s ‍not something you’re equipped ‌to handle, you’ll have to factor​ in that labor to the final cost. Moreover, other cost overheads‍ can sneak⁣ up on you, especially with perishable⁤ or rubberized parts. If you’re importing into the U.S., your⁢ car⁤ legally must be over ‍25 years⁣ old.That means you’ll have to replace ⁢things like fuel lines, bushings, brake lines, any rusted (or rust-prone) ‌parts, and so on. This is part of daily ​driving any classic car.

My‌ advice⁣ here is ⁣to⁤ do your research. I didn’t know what ‍the‍ service interval⁢ for an RB25’s timing belt was until I was ​shopping ). If you’re​ buying an old car,know it will have ⁢typical ‍old⁤ car problems,and you may want to avoid driving it daily,especially‍ if the engine‌ was⁢ never‌ produced stateside or is hard ⁣to find parts‌ for. Or else, get used to waiting for parts to be delivered from Japan at a premium.

This is genuinely the most⁣ crucial and trickiest step. Timing ⁣is essential ‍here: you will want ‍to contact an export⁤ broker and ⁣explain​ the ‌situation before ‌anything happens. Export ⁤brokers are companies that specialize in bringing goods and merchandise⁣ to the United States. Many, like the one I⁤ used, operate nationally, while others service specific states.Several ports ⁢accept these cars, and the one I used ‍was the Port ⁣of Newark in New Jersey. You inform the‌ dealer which port you chose ​at checkout, send them the​ cash, and than ⁤they ⁢will send you various documents in the mail.

The most crucial⁤ document here is called⁢ the⁣ ; this will be ‍your major ⁢focus (though you will likely receive other ⁤documents, like ⁤the ‌vehicle’s export certificate and its translation,‌ inspection‌ documents, and so on). The bill of lading details what is ⁣being ⁣shipped, where it’s shipped‍ from, and where it’s going. you must ⁣submit⁣ this form to file what’s known as ⁢an

TSCA⁣ Reform and EPA Chemical regulation Updates⁢ (as of January 27, 2026)

The Toxic Substances Control Act (TSCA)‍ continues to​ be a central ‌focus of environmental regulation in the United States, ‍with ongoing developments related to chemical risk ⁤evaluation⁤ and management‍ as of January ​27, 2026.the Environmental​ Protection ‌Agency (EPA) is actively implementing reforms mandated⁣ by the 2016 Frank R. Lautenberg Chemical⁤ Safety for ⁤the 21st Century act, which amended TSCA.

Recent Risk Evaluations and Rulemakings

The ⁣EPA completed ​initial ‍risk evaluations ⁢for the first ten ​chemicals designated as⁤ high-priority ⁣substances in 2016. These ⁣evaluations, published between 2020 and 2024, identified unreasonable risks associated with several chemicals, leading to proposed and final rules to address those risks. As of January 27, 2026, the EPA ⁣is‌ focused on ⁣implementing these rules and initiating risk⁤ evaluations ⁤for the next set of high-priority chemicals.

For example, the EPA finalized a rule on December 18,⁣ 2024, restricting certain uses‌ of methylene ‌chloride to protect workers and consumers from acute ‌health risks. Methylene Chloride Final Rule. This rule followed a risk evaluation published in 2020 that identified‍ unreasonable risks associated​ with ‌several uses of the chemical.

Ongoing Litigation and challenges

TSCA reform and ​EPA’s implementation of ⁣the law have faced legal challenges from⁤ both industry ‌groups ​and environmental organizations. ‌These⁤ challenges frequently enough center on the adequacy of risk ‌evaluations, the scope of​ restrictions,⁣ and the EPA’s⁢ prioritization of chemicals for review.

In ⁢ American Chemistry Council v. EPA, Case No. ‍23-1142 (D.C. Cir.), arguments were heard on November 15, 2025, concerning the EPA’s⁢ risk evaluation for trichloroethylene (TCE). American ⁢Chemistry Council v. EPA – Trichloroethylene. The American Chemistry Council argued that the EPA’s evaluation relied on ⁣insufficient data and ⁤failed to ‌adequately consider economic impacts. A ​ruling is expected ⁢by February 2026. Similar‍ challenges have been filed regarding risk evaluations for other⁣ chemicals, including perfluorooctanoic acid (PFOA) and perfluorooctanesulfonic acid (PFOS).

New Chemical Review Process

TSCA requires companies to notify ​the EPA before manufacturing​ or importing new chemicals. The EPA reviews ⁣these submissions to determine whether⁤ the⁢ new chemical poses an ⁣unreasonable risk to health or⁤ the environment.​ The agency⁤ can issue Significant New Use‌ Rules⁤ (SNURs) to require⁢ companies to notify the EPA before using a‍ new chemical in a⁢ way that could⁣ create a risk.

on January 10, 2026, ​the EPA ⁢issued a SNUR for⁣ a new class ‍of flame retardants, requiring ⁣manufacturers to submit a Significant ‌New⁣ Use​ Notice (SNUN)⁤ before using the chemicals in⁢ certain ‌consumer products. Significant​ New Use Rule for Flame Retardants. This action reflects the EPA’s increased scrutiny of chemicals used ​in consumer products.

Small Business compliance and Resources

Complying with TSCA​ regulations can be complex and⁣ costly, particularly for small businesses. ​The EPA provides resources and guidance to help small businesses understand their obligations under⁣ TSCA. These ‌resources include webinars, fact sheets, and⁤ compliance assistance tools.

The EPA’s Small Business Ombudsman provides a point ⁣of ​contact for small businesses with questions or concerns about TSCA⁣ compliance. EPA Small Business Ombudsman. the agency also‍ offers reduced fees for certain TSCA submissions from​ small businesses.

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