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Hybrid page: tool + reportKeyword: rare earth magnets for saleRoute: /rare-earth-magnets-for-sale

Rare earth magnets for sale fit tool first, then the sourcing decision report.

This route is built for teams buying rare-earth magnets across NdFeB and SmCo decision lanes. Run the tool first, then use the report layer to validate thermal boundaries, policy timing, and fallback actions before RFQ lock.

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Main intent
Tool-first buying path + evidence-backed sourcing confidence
Page scope
Rare-earth magnets for sale across stock-vs-custom lanes, route boundaries, and risk-controlled RFQ execution
Published
2026/03/02
Last updated
2026/03/02
ToolConclusionsGap auditKey numbersPolicyMethodEvidenceBoundariesComparisonRiskOpen gapsScenariosFAQ

1) Rare earth magnets for sale fit tool (primary interaction layer)

Input duty conditions and sourcing constraints for rare earth magnets for sale. The tool returns fit classification, route recommendation, boundary note, and immediate next actions.

Input panel

Allowed range: 50 to 1500 mT.

Allowed range: 20 to 240C.

Allowed range: 20 to 260C and must be at least max operating temp.

Allowed range: 100 to 10,000,000 units.

If result is conditional or not fit, keep a contingency lane active until thermal/corrosion evidence is closed.

Thermal gate uses both max operating and peak temperatures so sustained-duty risk is included before RFQ decisions.

Route/compliance gate uses shipment-lane and channel-scope assumptions so air-refusal and consumer-safety risk do not hide behind technical fit alone.

Result panel

No result yet

Run the tool to generate fit classification, grade window, and RFQ action path.

The output includes suitability boundaries and a fallback route when NdFeB is not a safe primary lane.

Reference run (auditable sample output)

Reference run for rare earth magnets for sale: U.S.-bound servo assembly screening NdFeB and SmCo routes under a Q3-2026 launch gate.

  • Target flux density: 805 mT
  • Max operating temp: 118C
  • Peak temp: 154C
  • Corrosion exposure: Humid with intermittent salt-fog handling
  • Shape complexity: Standard block with one thin-wall backup geometry
  • Compliance lane: Industrial + traceability package for export
  • Shipment lane: Surface-first with optional air expedite fallback
  • Channel scope: Industrial with aftermarket spare-parts risk check

Observed output: Typical output is "Conditional fit": NdFeB remains primary for force/cost balance, SmCo fallback stays open for thermal margin, and RFQ release depends on policy-ready cost/version controls.

Why this matters: This run turns broad rare-earth buying intent into a concrete execution path by forcing lane selection, dated evidence checks, and fallback triggers before supplier lock.

2) Report summary (decision-ready conclusions)

These cards summarize the key decisions, core numbers, and applicability boundaries so teams can align quickly.

Tool confidence

Run tool

Confidence is calculated after thermal/corrosion/shape penalties.

Adjusted peak duty

Pending result

Adjusted value includes environment, geometry, and compliance penalties before class mapping.

Planning thermal gate

Pending result

Uses max(adjusted peak, adjusted operating + 8C) so sustained-duty risk is not hidden by transient-only checks.

Reference NdFeB energy window

28-53 MGOe

Source: [S11] plus supplier datasets; usable output still depends on load-line, geometry, and temperature.

Supply concentration signal

35%-40% N-1 coverage

Source: [S4], 2035 shock scenario for graphite + rare earth elements. Use contingency lanes before RFQ freeze.

Heavy-RE import signal

100% U.S. net reliance (2025)

Source: [S2] heavy rare earth chapter. High-temperature programs should disclose Dy/Tb exposure assumptions.

U.S. tariff timing gate

8505.11.00 baseline + 9903.91.06 +25%

Sources: [S33][S34]. For-sale quote comparisons should be versioned by HTS release, origin, and entry date before supplier ranking.

Suitable audiences
  • Engineering teams defining first-pass material lanes before RFQ.
  • Procurement teams that need explicit evidence gates before supplier ranking.
  • Programs balancing compact size requirements with thermal and corrosion boundaries.
Not suitable audiences
  • Teams expecting universal grade answers without duty-cycle evidence.
  • Projects that cannot execute minimum thermal/corrosion validation.
  • Cost-only sourcing workflows with no fallback lane definition.
Commercial suffix ladder (planning convention)N<= 80CM<= 100CH<= 120CSH<= 150CUH<= 180CEH<= 200CAH<= 220CUse as first-pass gate only. Final selection needs BH curve, demag reserve, and test evidence.Relative energy-density index (illustrative)Sintered NdFeB90Bonded NdFeB55SmCo64

2.5) Stage1b gap audit and information deltas

This audit captures where stage1-primary coverage was thin, what evidence was added in stage1b, and which items still need project-specific confirmation.

Gap identifiedWhy it was weakStage1b information deltaCurrent stateSource ref
U.S. landed-cost trigger not encoded in stage1-primaryStage1-primary focused on technical fit and broad supply risk but did not include the 2026 U.S. permanent-magnet tariff timing/classification gate.Added USTR Section 301 line-item data (HTS + timing), plus policy and open-gap actions for entry-date scenario planning.Closed for first-pass planning; final duty stack still requires broker-verified HTS and entry assumptions per shipment.[S29]
Consumer safety legal-status confidence was datedEarlier wording referenced the rule text but did not reflect the 2025 appellate decision confirming rule durability.Added Tenth Circuit outcome and converted it into concrete channel-scope actions for procurement and product teams.Closed for legal-status visibility; SKU-specific scope interpretation still requires compliance review.[S30]
Recent enforcement signal density was insufficientThe page lacked recent public enforcement examples, so teams could underestimate risk for small-volume channel leakage.Added 2025 CPSC warning evidence and minimum controls (listing audits + channel-lock clauses).Partially closed; teams must recheck CPSC warning/recall updates each quarter.[S31]
Classification boundary and tariff comparabilityPrior comparison logic did not explicitly separate magnetic fit from tariff-sensitive classification and entry timing assumptions.Extended comparison and boundary tables with classification/timing guardrails and explicit "no reliable public one-table model" labeling.Closed as of 2026-02-21; keep scenario sheets synchronized with each customs-policy update.[S29]
Heading baseline vs chapter-overlay evidence gapStage1-primary and early stage1b copy highlighted the 25% policy event but did not pin quote logic to the live HTS heading baseline and chapter-99 overlay text in one place.Added USITC current-release and search-endpoint evidence so buyers can verify 8505.11.00 baseline values and 9903.91.06 overlay timing directly.Closed for quote-normalization baseline; broker-confirmed classification remains mandatory for each shipment.[S32][S33][S34]
Suffix-level interpretation ambiguity in commercial quotesSupplier sheets often present 8505.11.00.70 as if it carries a stand-alone duty number, which can blur heading-level duty inheritance.Added explicit boundary guidance that suffix identifiers should be tied back to parent-heading duty and chapter overlays before landed-cost ranking.Partially closed; teams still need a controlled worksheet to prevent manual rate-copy errors.[S33][S34]
Industrial-only exemption proof lacked codified citationPrior wording relied on judicial/enforcement context but lacked a direct CFR text anchor for solely-distributed scope boundaries.Added GovInfo CFR part 1262 source with direct scope and exclusion language to tighten channel-control decision rules.Closed as of 2026-02-21; keep channel-audit controls active because no universal public proof template exists.[S35]

Stage1b evidence refresh completed on 2026-02-21. Re-check USTR/HTS duty overlays, channel-scope controls, and CPSC enforcement updates at each quarterly compliance review.

3) Key numbers and scope boundaries

Numeric claims are disclosed with date markers. Unknown or uncertain items are explicitly labeled to avoid false certainty.

MetricValueDate markerDecision implicationSource ref
U.S. rare-earth concentrate output (REO)51,000 t and USD 240MUSGS MCS 2026 chapter, published 2026-02Shows domestic output scale but not full self-sufficiency for downstream NdFeB supply chains.[S1]
U.S. imports of RE compounds/metals+169% volume in 2025; value USD 165M vs USD 168M in 2024USGS MCS 2026 chapter, published 2026-02Procurement risk is driven by product mix and category shifts, not only by headline import value.[S1]
World rare-earth production estimate390,000 t in 2025USGS MCS 2026 foreword (published 2026-02)Global supply expanded, but growth does not remove concentration and policy-shock exposure.[S3]
Heavy rare-earth net import reliance (U.S.)100% in 2025 (compounds and metals)USGS MCS 2026 heavy rare earths chapter, published 2026-02High-temperature NdFeB lanes can inherit geopolitical and licensing risks through Dy/Tb exposure.[S2]
Rare-earth demand change in STEPS+50% to +60% by 2040IEA Global Critical Minerals Outlook 2025Even moderate scenario growth keeps pressure on magnet-material qualification and sourcing plans.[S4]
China projected refining share (battery-grade graphite + rare earths)Around 80% in 2035IEA Global Critical Minerals Outlook 2025Dual-lane sourcing should start before RFQ freeze for high-risk temperature classes.[S4]
N-1 supply coverage for graphite + rare earthsOnly 35% to 40% of N-1 demand in 2035IEA Global Critical Minerals Outlook 2025Single-country disruption can invalidate otherwise "balanced" supply assumptions.[S4]
Salt spray as field-life predictorSeldom correlates when used as stand-alone dataASTM B117-26, last updated 2026-01-19Do not convert fog-test hours directly into service-life commitments without corroborating evidence.[S10]
U.S. net import reliance (RE compounds/metals)About 67% in 2025 (down from >90% in 2024)USGS MCS 2026 Rare Earths chapter, published 2026-02Dependence improved versus 2024, but import exposure remains high enough to require dual-lane planning.[S14]
U.S. apparent consumption (RE compounds/metals)27,000 t REO in 2025 vs 9,010 t in 2024USGS MCS 2026 Rare Earths chapter, published 2026-02Demand rebound can compress lead-time buffers if RFQ and validation gating are delayed.[S14]
China share of U.S. RE imports by valueAverage 71% (2021-2024)USGS MCS 2026 Rare Earths chapter, published 2026-02Country concentration remains material for NdFeB programs even when domestic mine output increases.[S14]
Rare-earth oxide price dispersion (2025, China market)NdPr +25% ($55->69/kg), Tb +24% ($812->1,010/kg), Dy -7% ($257->239/kg)USGS MCS 2026 Rare Earths + Heavy Rare Earths chaptersDo not treat heavy-RE exposure as one blended surcharge; element-specific terms are safer for contracts.[S14][S15]
Chinese permanent-magnet exportsAbout 58,000 t in 2024IEA commentary on export controls, published 2025-12-04Short approval delays can rapidly affect downstream inventories when market dependence is high.[S16]
EU strategic benchmark package (CRMA)2030 targets: 10% extraction, 40% processing, 25% recycling, <=65% single-country dependencyRegulation (EU) 2024/1252, effective 2024-05-23EU-facing RFQs should include origin traceability and recycling disclosure gates before final award.[S12]
Air carriage magnetic-field limit (U.S.)>0.00525 gauss at 4.5 m from any package surface is forbiddenFAA PackSafe page last updated 2023-03-15; eCFR current to 2026-03-19Technical fit alone does not guarantee ship readiness; package-field checks must be part of launch gating.[S19]
U.S. consumer magnet hazard thresholdHazard criteria include small-part fit plus flux index >=50 kG2 mm2; subject products must stay below 5016 CFR part 1262 current text, accessed 2026-02-19Consumer-facing loose-magnet products need compliance screening before using catalog strength claims in go-to-market plans.[S20]
U.S. high-powered magnet injury baselineEstimated 26,600 emergency-department visits (2010-2021) and 7 reported deaths16 CFR part 1262 findings and CPSC final-rule release (2022)If magnets can become loose parts, safety risk can dominate material-choice logic even when force targets are met.[S20][S21]
Rare-earth demand vs secondary supply (2024, STEPS)91 kt demand vs 27 kt secondary supply (~30%, inferred)IEA rare-earth data page, updated 2025-05-21Secondary supply helps but does not replace primary extraction and refining resilience planning.[S22]
Top-three concentration (2024, STEPS)Mining 86%; refining 97%IEA rare-earth data page, updated 2025-05-21Supplier-count diversification can still mask concentration risk if upstream refining remains highly clustered.[S22]
Section 301 rate for permanent magnets (U.S.)25% additional tariff for HTS 8505.11.00USTR final modification notice published 2024-09-18; timing set to 2026U.S.-bound neodymium magnet quotes should separate base material price and tariff-sensitive landed-cost scenarios.[S29]
U.S. entry-date trigger for 2026 tariff step2026 tariff increases apply to goods entered on or after 2026-01-01USTR final modification notice, published 2024-09-18Programs launching near Q1-2026 need pre/post-cutover pricing and inventory timing plans before PO lock.[S29]
USTR capacity rationale for permanent-magnet timingDemand outpaced domestic capacity; three U.S.-headquartered NdFeB production plans cited for 2026USTR final modification notice rationale, 2024-09-18Treat 2026 as a transition window: domestic alternatives may improve, but quote readiness still needs near-term contingency lanes.[S29]
CPSC magnet rule judicial status (U.S.)Tenth Circuit denied petition for review and upheld the rule (case filed 2025-03-03)U.S. Court of Appeals for the Tenth Circuit opinion, 2025-03-03Consumer-channel magnet safety screening should be treated as a durable compliance gate, not a temporary policy debate.[S30]
Recent U.S. enforcement signal for noncompliant magnet productsCPSC warning 26-100 cites approximately 94 units sold (2024-06 to 2025-10) for a product violating the mandatory magnet standardCPSC warning notice published 2025-11-20Even lower-volume aftermarket listings can trigger enforcement risk; channel controls and product-scope checks remain necessary.[S31]
HTS baseline for permanent magnets of metal (U.S.)HTS 8505.11.00 shows General 2.1%, Special Free for listed trade programs, and Other 45%USITC HTS current release 2026HTSRev3, accessed 2026-02-21A single tariff headline can misprice quotes; origin program status must be validated before comparing landed costs.[S32][S33]
Chapter 99 overlay for China-origin entriesHTS 9903.91.06 states applicable subheading duty +25% for covered China-origin articles entered on or after 2026-01-01USITC HTS search endpoint, accessed 2026-02-21For-sale quote sheets should be versioned by entry date and origin instead of reusing pre-2026 assumptions.[S34]
CPSC scope boundary in codified text16 CFR part 1262 defines subject magnet products and keeps industrial/professional channels outside scope only when sold or distributed solely for those usesGovInfo CFR edition date 2025-01-01Mixed-channel resale can collapse exemption assumptions; channel controls must be embedded before launch.[S35]
Aircraft shipment legal trigger (DOT text)49 CFR 173.21 forbids aircraft carriage when package field exceeds 0.00525 gauss at 4.5 m (15 ft)GovInfo CFR edition date 2024-10-01Even with compliant tariff/classification planning, shipping readiness still fails without package-field validation.[S36]

Note: Grade suffix windows shown here are supplier planning conventions. Final qualification always depends on measured magnetic curves, thermal reserve checks, and application-specific validation.

Evidence refresh timestamp for this section: 2026-02-21.

Need a policy-aware RFQ check before supplier lock?

Share your duty profile, shipment lane, and channel assumptions. We will return an RFQ-ready action list with fallback triggers.

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3.5) Policy and compliance trigger matrix (neodymium route)

This section adds time-bound regulatory and market triggers that materially change NdFeB procurement decisions for EU-facing and globally exposed programs.

TriggerWhat changedTimingSourcing impactMinimum actionSource ref
EU strategic benchmark gate (CRMA Article 5)EU defines 2030 targets: >=10% extraction, >=40% processing, >=25% recycling, and <=65% single-country dependency.Regulation in force since 2024-05-23; benchmark horizon is 2030.EU-bound programs need upstream origin transparency and backup processing lanes earlier in the RFQ cycle.Request country-of-processing disclosure and contingency sources before price-only negotiations.[S12]
Permanent-magnet label and digital data carrier (CRMA Article 28)Products containing permanent magnets in covered categories must carry recycler-readable labels and a data carrier.Delegated act due by 2026-11-24; obligations apply two years after delegated act enters into force.Packaging and traceability workflows may need redesign if label/data fields are not planned upfront.Insert label-readiness clauses in supplier agreements and reserve packaging change budget before SOP.[S13]
Recycled-content statement for magnets (CRMA Article 29)For products with >0.2 kg permanent magnets, recycled-content share for Nd, Dy, Pr, Tb and related elements must be disclosed.Applies from 2027-05-24 or two years after delegated methodology act, whichever is later.Quotes without elemental recycled-content accounting can become non-comparable for EU programs.Add recycled-content traceability fields to RFQ templates and require method disclosure with each quote revision.[S13]
2025 export-control disruption windowIEA reports licensing restrictions and approval bottlenecks after China export-control tightening in 2025.Controls announced 2025-04 and extended by 2025-10; approvals remained constrained through 2025-11.Single-lane NdFeB sourcing can face abrupt lead-time shocks even when nominal capacity exists.Define trigger-based switch rules (lead time, surcharge, and element exposure) before final supplier award.[S15][S16]
Corrosion test comparability gateISO 9227 and IEC 60068-2-11 define controlled salt-mist methods, but they remain comparative screening tools rather than direct field-life predictors.ISO 9227 published 2022-08; IEC 60068-2-11 updated 2021-06-17; ASTM B117 current revision 2026-01-19.Quote claims based only on fog-test hours can overstate lifecycle confidence across real media and duty cycles.Require combined corrosion + thermal-cycle validation criteria in RFQ instead of accepting stand-alone salt-spray hours.[S10][S17][S18]
U.S. air-carriage magnetized-material gateFAA PackSafe and 49 CFR 173.21(d) align on the aircraft carriage limit of >0.00525 gauss at 4.5 m from any package surface.FAA page last updated 2023-03-15; eCFR current to 2026-03-19.High-strength packages can require shielding redesign or route changes even after technical material fit is approved.Add package-field measurement records to logistics release checklists before air-freight booking.[S19]
U.S. consumer loose-magnet safety gate16 CFR part 1262 defines hazardous consumer magnet products by small-part fit and flux index threshold; CPSC attributes major injury burden to this category.Effective since 2022-10-21; current text accessed 2026-02-19.Consumer-facing SKUs can fail compliance even when engineering pull-force targets are met.Screen product scope and flux-index risk before tooling and packaging lock for consumer channels.[S20][S21]
U.S. Section 301 permanent-magnet tariff stepUSTR finalized a 25% tariff rate for permanent magnets under HTS 8505.11.00 with a 2026 implementation window.Final notice published 2024-09-18; 2026 tariff step applies to entries on or after 2026-01-01.U.S.-bound neodymium magnet programs near 2026 cutover can face abrupt landed-cost shifts if RFQ assumptions are not versioned by entry date.Add pre/post-2026 landed-cost scenarios and broker-confirmed HTS assumptions to RFQ approval packs.[S29]
U.S. consumer magnet rule judicial confirmationThe Tenth Circuit denied the petition for review in Magnetsafety.org v. CPSC, leaving the mandatory federal magnet rule in force.Opinion filed 2025-03-03.Consumer-channel neodymium magnet products should be treated as compliance-gated programs, not voluntary-guideline projects.Require documented rule-scope checks and flux-index evidence before approving consumer-facing SKUs.[S30]
Recent CPSC warning activity for magnet productsCPSC warning notice 26-100 publicly flags a magnetic building-set product for violating mandatory safety requirements.Warning published 2025-11-20.Low-volume marketplace sales can still generate public enforcement risk and recall-like disruption.Add quarterly listing audits and product-scope checks for magnet accessories sold through e-commerce channels.[S31]
USITC current-release change-control gateUSITC currentRelease endpoint identifies the live tariff dataset (2026HTSRev3), creating a version marker that can be attached to every quote assumption set.Current release endpoint accessed 2026-02-21.Without release markers, teams can mix outdated duty assumptions into live RFQ comparisons.Record HTS release ID in quote templates and revalidate duty assumptions when release revisions change.[S32]
Heading-plus-Chapter-99 landed-cost gate for 2026 entriesUSITC data shows 8505.11.00 baseline rates and the separate Chapter 99 line 9903.91.06 that adds +25% for covered China-origin entries from 2026-01-01.Chapter line text references entries on or after 2026-01-01; endpoints accessed 2026-02-21.Price deltas can be misread as supplier margin differences when tariff layering assumptions are not normalized.Require origin + entry-date scenario columns in RFQ matrices before selecting a preferred supplier.[S33][S34]
Codified consumer-scope boundary (16 CFR part 1262)GovInfo CFR text codifies subject-product scope and the solely-distributed industrial/professional exclusion boundary for magnet products.CFR edition date 2025-01-01.Mixed-channel distribution can invalidate early exemption assumptions and trigger additional compliance obligations.Add channel-intent controls and listing-monitoring checkpoints before approving broad resale routes.[S35]
Pending itemCurrent statusImpactMinimum actionSource ref
CRMA Article 28 magnet-label implementation templatePending delegated act text (deadline 2026-11-24). As of 2026-02-18, no reliable public final label template is available.Teams may under-scope packaging, serialization, or data-carrier changes if they wait for late-stage interpretation.Track Official Journal updates monthly and require suppliers to provide draft label/data payload mapping in advance.[S13]
CRMA Article 29 recycled-content calculation methodDelegated methodology act is due by 2026-05-24; as of 2026-02-18, no reliable public finalized method text is available.Supplier recycled-content declarations may use inconsistent assumptions, reducing quote comparability.Ask each supplier for current method assumptions and third-party verification path until EU method is finalized.[S13]
Part-level Dy/Tb intensity for specific commercial gradesNo reliable public open dataset; supplier formulas are typically confidential and program-specific.Element-specific price and export-license exposure can remain hidden until late quote revisions.Use NDA-backed composition range disclosure and element-indexed surcharge clauses before committing long-horizon POs.[S15]
Carrier-specific acceptance workflow for magnetized packagesNo single reliable public cross-carrier template; regulatory thresholds are clear but acceptance workflows vary by route and operator.Programs can hit late booking friction even after in-house technical and compliance reviews pass.Collect route-specific carrier checklists and sample package-field evidence before ramp milestones.[S19]
Cumulative duty-stack visibility for U.S. entriesNo reliable public one-table source consolidates all tariff programs and exceptions for every neodymium magnet assembly scenario.Teams may underprice bids when they model only one duty layer or assume identical treatment across all BOM variants.Maintain broker-reviewed landed-cost calculators by HTS candidate, entry date, and Incoterm before PO approval.[S29]
Industrial-only exemption durability in mixed channelsNo reliable public universal template defines minimum evidence needed when product distribution can drift from industrial to consumer-adjacent channels.Programs can lose exemption assumptions after launch if channel controls are not documented and monitored.Set channel-lock controls in contracts and run recurring marketplace audits for magnet-bearing SKUs.[S30][S31]
Release-to-release tariff delta traceabilityNo reliable public one-click feed explains every duty-impacting change for a saved quote book across HTS revisions.Procurement teams may unknowingly compare suppliers using mixed tariff baselines from different release snapshots.Pin each quote to a named HTS release and rerun rate extraction before PO finalization.[S32][S33]
Operational proof of solely-industrial channel controlNo reliable public standardized audit package defines sufficiency for maintaining the solely-distributed industrial/professional boundary in dynamic resale channels.Compliance posture can drift after launch when distribution practices change without evidence controls.Maintain channel attestations, contractual resale restrictions, and periodic listing audits as standing controls.[S35]

Pending labels use explicit status wording when no reliable public implementation text is available as of 2026-02-21.

4) Methodology

The method combines technical feasibility and sourcing execution in one path so output can directly drive next actions.

InputsAdjustGateAction
Computation and decision steps
  1. Step 1 - Convert max and peak temperatures into planning duty

    For this neodymium magnets route, the tool adjusts both max operating and peak temperatures, then applies an 8C planning guard band on sustained duty.

  2. Step 2 - Gate against thermal class and flux demand

    Planning duty maps to N/AH planning windows while requested flux density screens for sintered, bonded, or fallback routes.

  3. Step 3 - Add coating and validation burden

    Corrosion exposure determines coating stack and required validation evidence before RFQ lock.

  4. Step 4 - Produce action path with confidence

    The output reports confidence, risk rows, and next actions so teams can move directly into RFQ or fallback planning.

  5. Step 5 - Run trade and channel scope gates before RFQ lock

    For this route, the report layer adds U.S. tariff timing/classification checks plus consumer-channel scope review so technical fit is not mistaken for commercial readiness.

  6. Step 6 - Version landed-cost assumptions by HTS release

    This for-sale route appends an HTS release checkpoint (current release ID, heading baseline, and chapter-99 overlay) so quote comparisons remain auditable when tariff data updates.

5) Data sources and evidence trail

Every key conclusion maps to a source and date marker so reviewers can validate or challenge assumptions quickly.

RefSourceSignal used on this pageDate marker
S1USGS MCS 2026 - Rare Earths chapterReports U.S. REO concentrate output (51,000 t, USD 240M) and import shift (+169% volume; value USD 165M vs USD 168M in 2024).Published 2026-02
S2USGS MCS 2026 - Heavy Rare Earths chapterShows U.S. net import reliance at 100% in 2025 and documents 2025 export-control timeline affecting heavy rare earths.Published 2026-02
S3USGS Mineral Commodity Summaries 2026 (foreword)States world rare-earth production estimate reached 390,000 tons in 2025.Manuscript approved 2026-02-06
S4IEA Global Critical Minerals Outlook 2025Rare-earth demand rises 50%-60% by 2040 in STEPS; China around 80% refining share in 2035; N-1 coverage for graphite + rare earths only 35%-40%.Published 2025
S5DOE Critical Materials Assessment 2023Executive summary states Nd, Pr, Dy, Tb used in EV motor and wind generator magnets continue to be critical.Published 2023-07-31
S6IEC 60404-5:2015Defines measurement methods for magnetic flux density, polarization, field strength, demagnetization curve, and recoil line for permanent magnets.Publication date 2015-04-16
S7IEC 60404-8-1:2023Specifies minimum magnetic-property values and dimensional tolerances for magnetically hard materials, including updated REFeB grades.Publication date 2023-09-20
S8IEC 60404-18:2025Defines open-circuit superconducting-magnet methods (SCM-VSM and SCM-extraction) and self-demagnetizing-field corrections.Publication date 2025-02-20
S9IEC TR 62518:2009Details flux-loss behavior of Nd-Fe-B and SmCo sintered magnets from 50C to 200C for up to 1000 h; explicitly excludes corrosion-coupled stability modeling.Publication date 2009-03-17
S10ASTM B117-26Defines salt-spray apparatus as a controlled comparative test and warns that stand-alone correlation to natural environment is seldom reliable.Last updated 2026-01-19
S11Review paper on bonded NdFeB (Journal of Alloys and Compounds 2025)Notes isotropic bonded NdFeB is often <=16 MGOe while anisotropic bonded routes can approach ~25 MGOe.Published 2025-07-15
S12Regulation (EU) 2024/1252 (CRMA), Article 5Sets 2030 EU benchmarks: >=10% extraction, >=40% processing, >=25% recycling, and <=65% single-country dependency at each strategic stage.Entered into force 2024-05-23
S13Regulation (EU) 2024/1252 (CRMA), Articles 28-29Defines permanent-magnet labeling/data-carrier obligations and recycled-content statement requirements for Nd, Dy, Pr, Tb and related elements.Entered into force 2024-05-23
S14USGS MCS 2026 - Rare Earths chapterReports U.S. 2025 net import reliance at about 67%, consumption at 27,000 t REO, China import share averaging 71% (2021-2024), and NdPr oxide rising from $55/kg to $69/kg in 2025.Published 2026-02
S15USGS MCS 2026 - Heavy Rare Earths chapterDocuments 2025 export-control timeline for seven medium/heavy rare-earth items; terbium oxide increased from $812/kg to $1,010/kg while dysprosium oxide declined from $257/kg to $239/kg.Published 2026-02
S16IEA commentary: China’s export restrictions and strategic responsesNotes roughly 58,000 t Chinese permanent-magnet exports in 2024 and reports 2025 licensing disruptions affecting downstream inventories.Published 2025-12-04
S17ISO 9227:2022 Corrosion tests in artificial atmospheresDefines NSS/AASS/CASS test methods and warns that salt-spray performance does not translate directly into corrosion behavior in other environments.Published 2022-08
S18IEC 60068-2-11:2021 Environmental testing - Test KaProvides an electrotechnical salt-mist test protocol used for comparative corrosion qualification and test reproducibility.Published 2021-06-17
S19FAA PackSafe magnets page + 49 CFR 173.21(d)States that any package or magnet above 0.00525 gauss at 4.5 m (15 feet) from any package surface cannot fly and points to the codified DOT rule.FAA page last updated 2023-03-15; accessed 2026-03-22
S20eCFR 16 CFR part 1262 - Safety standard for magnetsDefines hazard criteria using small-part fit and flux index >=50 kG2 mm2, with an effective date of 2022-10-21.Current text (last amended 2023-09-20), accessed 2026-02-19
S21CPSC final-rule release for magnet safetyReports estimated 26,600 emergency-department visits (2010-2021) and seven deaths linked to high-powered magnet ingestion incidents.Published 2022-09-22
S22IEA data: Rare earth elements supply, demand, diversification and policy supportShows 2024 STEPS values of 91 kt demand, 27 kt secondary supply, and top-three concentration of 86% (mining) and 97% (refining).Updated 2025-05-21
S29USTR final Section 301 modification notice (Federal Register framework PDF)Confirms permanent magnets under HTS 8505.11.00 move to 25% in 2026, with 2025/2026 rate steps applying to entries on or after January 1 of the corresponding year; rationale cites domestic-capacity gap and planned U.S. NdFeB facilities.Published 2024-09-18
S30U.S. Court of Appeals for the Tenth Circuit, Magnetsafety.org v. CPSCOpinion filed 2025-03-03 denies the petition for review and leaves the CPSC magnet safety rule in force, while discussing rule scope and exemptions.Filed 2025-03-03
S31CPSC warning notice 26-100 (magnetic building sets)Publishes a 2025 warning for products that can exceed mandatory magnet-safety limits, reporting approximately 94 units sold during 2024-06 through 2025-10.Published 2025-11-20
S32USITC HTS API - current release metadataCurrent release endpoint reports 2026HTSRev3 (Revision 3, 2026), enabling quote sheets to pin assumptions to an auditable tariff release state.Endpoint accessed 2026-02-21
S33USITC HTS API - subheading 8505.11.00 searchReturns permanent magnets of metal baseline fields: General 2.1%, Special Free (listed programs), Other 45%, with statistical suffix lines under the same heading.Endpoint accessed 2026-02-21
S34USITC HTS API - Chapter 99 line 9903.91.06 searchStates entries on or after 2026-01-01 for covered China-origin products are subject to the applicable subheading duty plus 25%.Endpoint accessed 2026-02-21
S35GovInfo CFR 2025 Title 16 Part 1262 (CPSC magnet rule text)Codifies scope, hazard threshold (50 kG2 mm2), and the solely-distributed industrial/professional exclusion boundary for subject magnet products.CFR edition date 2025-01-01
S36GovInfo CFR 2024 Title 49 §173.21 (DOT forbidden materials)Codifies the aircraft prohibition threshold for magnetic-field intensity above 0.00525 gauss measured at 4.5 m (15 feet).CFR edition date 2024-10-01

Rare earth magnets for sale stage1b refs [S12]-[S22], [S29]-[S31], and [S32]-[S36] refreshed on 2026-02-21.

6) Concept boundaries and applicability rules

These boundaries are used to prevent over-interpretation of catalog labels and to define where additional evidence is mandatory.

Supply-shock interpretation (index view)Global balance (index)100%N-1 coverage (RE + graphite)38%U.S. heavy-RE import reliance100%N-1 coverage uses IEA 2035 scenario context; import reliance uses USGS 2025 heavy-RE chapter.
BoundaryMeaningUse whenDo not use whenSource ref
BHmax headline is not assembly forceEnergy-product labels compare material potential, not guaranteed pull force in your magnetic circuit.Use BHmax as first-pass screening with geometry and load-line assumptions declared.Do not rank suppliers by BHmax alone when measurement method or working point is undisclosed.[S6][S7][S8]
Grade suffix is a planning shortcutN/M/H/SH/UH/EH/AH ranges are commonly used in commerce but are not a standalone release criterion.Use suffix classes for early lane gating before detailed BH-curve and demag checks.Do not treat suffix labels as universal guarantees across vendors without material test disclosure.[S6][S7]
Salt spray is comparative, not life predictionSalt-fog testing helps compare coating options in controlled chambers.Use as a screening gate with replication and clear acceptance criteria.Do not map salt-spray hours directly to field-life commitments without corroborating long-term exposure data.[S10]
High-temperature NdFeB can raise heavy-RE exposurePrograms near EH/AH lanes can become more sensitive to Dy/Tb availability and export controls.Trigger dual-lane sourcing and fallback windows before RFQ lock when adjusted peak duty is high.Do not assume global supply expansion alone removes element-specific licensing or concentration risks.[S2][S4][S5]
Thermal stability data has defined scopePublished stability studies include specific time/temperature windows and may exclude corrosion-coupled behavior.Use the tested windows (for example 50C to 200C, up to 1000 h) as boundary references only.Do not extrapolate beyond reported conditions without additional testing for corrosion, duty cycling, and geometry effects.[S9]
Air-shipment eligibility is package-levelAir transport screening uses measured package field at distance, not grade labels or nominal BHmax claims.Apply before booking aircraft lanes for strong assemblies, kits, or mixed shipments.Do not assume a magnet is flyable because the material passes engineering performance targets.[S19]
Consumer magnet safety scope is conditionalU.S. 16 CFR part 1262 addresses consumer products containing hazardous loose magnets defined by size and flux index.Use when end products can release accessible loose magnets in consumer channels.Do not overgeneralize as a universal industrial exemption; verify product scope and exemptions first.[S20][S21]
Tariff logic is classification- and timing-specificThe USTR 2026 permanent-magnet rate increase is mapped to HTS 8505.11.00 and entry timing, not to every generic "neodymium magnet" quote headline.Use before committing U.S.-bound pricing, especially for shipments around 2025-Q4 to 2026-Q1 cutover.Do not assume one universal duty outcome without broker-confirmed classification and entry-date assumptions.[S29]
Consumer-magnet compliance scope has explicit limitsThe CPSC magnet rule addresses subject consumer products and excludes products sold solely for educational, research, professional, commercial, or industrial use.Use when SKUs can cross from industrial into aftermarket or mixed consumer channels.Do not claim full exemption for mixed-channel SKUs without documented distribution controls and product-scope review.[S30]
Enforcement activity can remain material at low sales volumeRecent CPSC warnings show that even relatively small sales counts can trigger public enforcement communications.Use when evaluating aftermarket kits, pilot e-commerce channels, or accessory bundles containing accessible magnets.Do not treat low unit volume as a substitute for formal rule-scope and flux-index screening.[S31]
Statistical suffix is not a stand-alone duty tableIn the USITC dataset, 8505.11.00.70 identifies sintered NdFeB as a statistical line, while the baseline duty values are published on the parent heading 8505.11.00.Use when normalizing vendor quotes that list statistical suffixes without explicit parent-duty assumptions.Do not infer a separate tariff rate from the suffix line alone when parent-heading rates and chapter-99 overlays are not documented.[S33][S34]
Industrial-only channel exclusion requires strict scope control16 CFR part 1262 keeps products outside subject-magnet scope only when distribution is solely for educational/research/professional/commercial/industrial purposes.Use when drafting channel-lock clauses, distributor terms, and SKU scoping for magnet products sold for industrial use.Do not assume exemption durability if the same SKU can appear in consumer-intent listings or mixed resale channels.[S35]

7) Material comparison and tradeoffs

Compare material routes using reproducible dimensions instead of marketing-only descriptors.

Decision dimensionSintered NdFeBBonded NdFeBSmCoCommentSource ref
Typical magnetic energy density window28-53 MGOe<=16 MGOe (isotropic), up to ~25 MGOe (anisotropic)20-33 MGOeValues are orientation windows from cited source sets; geometry and working point still shift usable output.[S11]
Planning temperature ceilingCommercial planning classes often run through AH around 220C (verify by curve and load-line)Typically lower than sintered due to polymer binder constraintsUsed as high-temperature fallback; IEC TR 62518 discusses elevated-temperature stability behaviorUse adjusted peak temperature, not ambient. Final limit must come from vendor curves under your duty profile.[S9]
Shape freedom and manufacturingStrong but brittle; machining tolerance management is criticalHigher shape freedom for complex and thin-wall geometriesBrittle ceramic-like behavior; machining control requiredShape complexity can justify bonded routes even when peak BHmax is lower.[S11]
Corrosion baselineCoating usually required (Ni-Cu-Ni, epoxy, or equivalent)Binder contributes baseline protection but media compatibility must still be verifiedBetter inherent corrosion behavior in many environmentsASTM B117 / IEC 60068-2-11 are gate checks, not direct life models.[S10]
Supply concentration exposure (2035 view)High for Nd/Pr, and potentially Dy/Tb in high-temperature coercivity lanesStill tied to rare-earth feedstock plus binder/process dependenciesDifferent critical-material exposure profile (includes cobalt)IEA N-1 analysis shows concentration shock can leave only 35%-40% coverage for rare-earth linked chains.[S4]
Measurement comparability baselineRequire demag curve + recoil line under disclosed methodRequest the same measurement family and working-point disclosureNormalize by same method before ranking across vendorsIEC 60404-5 and IEC 60404-18 describe measurement methods; IEC 60404-8-1 defines minimum property specifications.[S6][S7][S8]
Best-fit program conditionsGeneral high-flux motors, sensors, compact electromechanicsComplex geometry, high-volume molding, lower peak flux density demandsVery high-temperature or severe thermal-cycle dutyAlways close loop with demag, corrosion, and thermal evidence before release.[S5][S9]
Logistics and consumer-compliance frictionHigh-field packages can breach air-carriage thresholds; loose consumer magnet formats need explicit safety screening.Lower energy density can reduce some package-field pressure, but product-level safety checks still apply.No automatic exemption; package-field and end-use safety scope must still be verified.Inference from [S11][S19][S20]: compliance is tested at package/product level, not guaranteed by material family alone.[S11][S19][S20]
U.S. landed-cost sensitivity after 2026-01-01Most common route for high-flux assemblies, but U.S. tariff exposure can materially shift landed-cost ranking when HTS 8505.11.00 applies.May trade lower energy density for cost stability in some geometries if classification and route assumptions differ.Different chemistry may alter exposure profile, but no automatic exemption from trade/compliance analysis.Inference from [S29]: policy-sensitive cost comparisons need classification and entry-date assumptions alongside technical fit.[S29]
Tariff baseline confidence for quoted sale lanesFor permanent magnets of metal under HTS 8505.11.00, baseline shows General 2.1% and program-sensitive special rates; China-origin exposure can add a Chapter 99 +25% layer.If sold as permanent magnets under the same HTS heading, the same baseline and overlay logic applies; if classified differently, rerun duty assumptions before PO.Material chemistry does not replace tariff workflow discipline; heading and Chapter 99 checks still determine landed-cost comparability.Inference from [S33][S34]: quote comparability fails when teams merge origin, entry-date, and classification assumptions into one undifferentiated number.[S33][S34]

8) Risk matrix and mitigation

Misuse risk, cost risk, and scenario mismatch risk are shown together so the team can sequence mitigation actions.

ProbabilityImpactCoatingMethodSupplyThermal
RiskProbabilityImpactMitigation
Thermal misclassification versus real hotspot dutyLowMediumRecalculate adjusted operating + peak duty with measured cycle data and confirm class with demag-curve checks before PO.
Coating-lifecycle mismatch under real media exposureMediumMediumMap media profile to explicit corrosion + thermal-cycle tests and define pass/fail criteria up front.
Supplier data non-comparability (test method mismatch)MediumMediumRequire method disclosure (IEC 60404 family) and normalize working points before ranking quotes.
High-temperature lane heavy-rare-earth exposureMediumMediumWhen adjusted duty approaches EH/AH lanes, request Dy/Tb exposure disclosure and define export-control fallback triggers before award.
Supply concentration shock during launch windowHighMediumMaintain contingency lane and pre-define switch triggers for temperature, lead time, and cost tolerance.
Air-lane rejection despite technical material fitMediumMediumMeasure shipment-ready package fields before booking, prepare shielding iterations, and pre-authorize a surface-transport fallback workflow.
Consumer-channel compliance mismatchLowMediumBefore release, confirm whether the SKU enters consumer magnet scope, then align flux-index testing, warnings, and channel restrictions.

9) Open evidence gaps and minimum closure path

Where public evidence is incomplete, this page does not force a hard conclusion. Each gap includes a minimal executable closure action.

Evidence gapCurrent statusDecision impactMinimum closure actionSource ref
Cross-supplier suffix mapping to guaranteed demag marginNo single public standard mapping N/M/H/SH/UH/EH/AH suffix labels to guaranteed in-application demag reserve.Quote comparisons can look equivalent while actual thermal headroom differs by method and working point.Request vendor-specific BH curves, recoil data, and temperature conditions before release decisions.[S6][S7]
Salt-spray hours to field-life conversionNo reliable universal conversion model in open standards; ASTM B117 warns stand-alone correlation is seldom robust.Warranty and lifecycle assumptions can be overstated if fog-hour data is treated as direct service-life evidence.Pair chamber tests with application-specific thermal/media cycling and clearly documented acceptance criteria.[S10]
Corrosion-coupled high-temperature flux-loss dataset for each coating stackPublic IEC thermal-stability report excludes corrosion-coupled behavior modeling for full lifecycle prediction.High-temperature and aggressive-media programs may underestimate long-term drift and reserve loss.Run combined thermal + corrosion + load-line validation for each candidate stack before final PO.[S9]
Program-specific heavy-rare-earth exposure breakdownPublic macro data confirms concentration risk, but part-level Dy/Tb intensity is typically supplier-confidential.Lead-time and export-license risk can remain hidden until late sourcing stages.Add material disclosure checkpoints and contingency triggers in RFQ templates.[S2][S4]
Package-field prediction from CAD/BHmax aloneNo reliable universal public model converts part-level grade and geometry into certified package-field outcomes at transport distance.Teams can discover non-compliant shipping configurations late, after packaging design and launch schedules are locked.Run measured package-field checks on shipment-ready units and reserve shielding iteration time before booking.[S19]
Cross-HTS landed-cost model for finished magnet assembliesNo reliable public dataset provides one-click duty outcomes across all neodymium magnet assembly classifications, add-on tariff programs, and entry-date scenarios.Programs can understate landed-cost variance when they model a single duty assumption for all BOM variants.Build broker-reviewed scenario sheets per HTS candidate and entry window before final supplier award.[S29]
Mixed-channel proof for industrial-only exemption claimsNo reliable public universal template defines evidence sufficiency when products move between industrial and consumer-adjacent channels.Teams may rely on informal channel labels that fail when marketplace distribution or aftermarket bundling changes.Define channel-lock controls, contractual restrictions, and periodic listing audits before launch.[S30][S31]
Automatic quote-book updates across HTS release revisionsNo reliable public open tool maps each legacy quote line to current-release HTS headings, statistical suffix inheritance, and chapter-99 overlays in one pass.Teams can carry stale tariff assumptions into RFQ comparisons when release revisions are not version-controlled.Store release ID with each quote baseline and require a fresh HTS check before final landed-cost approval.[S32][S33][S34]
Evidence threshold for proving solely-industrial distributionNo reliable public universal checklist defines sufficient evidence for maintaining the solely-industrial channel boundary across marketplaces.Programs may overstate exemption confidence and face late compliance rework if channel drift is discovered post-launch.Define channel-lock controls, distributor attestations, and recurring listing audits before scale-up.[S35]

Labeling policy: when reliable public data is insufficient, status is marked as "no reliable public data" and converted into a validation task instead of a forced conclusion.

10) Scenario examples

Each scenario includes assumptions, tool outcome, and minimum executable next step.

Scenario A - Compact servo actuator

Assumptions

Peak 145C, humid but sealed enclosure, target flux 820 mT, annual volume 120k.

Outcome

Fit: SH/UH sintered NdFeB lane with epoxy-over-Ni coating and standard validation depth.

Next step

Proceed with NdFeB primary lane and run salt-mist + thermal cycle validation before pilot freeze.

Scenario B - E-drive auxiliary motor

Assumptions

Peak 198C, coolant splash exposure, target flux 960 mT, annual volume 45k, automotive compliance.

Outcome

Conditional: EH/AH planning window with tighter demag reserve checks and contingency lane recommendation.

Next step

Open parallel SmCo contingency lane until demag and corrosion evidence both pass program criteria.

Scenario C - Downhole sensing module

Assumptions

Peak 238C, high corrosion medium, target flux 680 mT, low annual volume, medical-grade audit controls.

Outcome

Not fit: adjusted thermal duty exceeds AH planning envelope for NdFeB.

Next step

Prioritize SmCo fallback or architecture redesign before spending cycle budget on high-risk NdFeB trials.

Scenario D - EU robotics platform launch

Assumptions

Peak 172C, humid industrial floor, target flux 910 mT, annual volume 80k, products destined for EU compliance lanes.

Outcome

Conditional: NdFeB is technically feasible but procurement path is gated by CRMA traceability and recycled-content disclosure readiness.

Next step

Hold dual-source lane and lock supplier traceability payload (origin + recycled content assumptions) before line-freeze milestone.

Scenario E - U.S.-bound actuator line crossing 2026 tariff cutover

Assumptions

Peak 142C, target flux 840 mT, industrial automation assembly shipping into the U.S. with first commercial entries planned for 2026-Q1.

Outcome

Conditional: technical fit remains viable, but landed-cost confidence depends on HTS verification and pre/post-2026 entry-date planning.

Next step

Prepare two RFQ baselines (pre-cutover and post-cutover), validate classification with broker support, and hold a fallback route until landed-cost uncertainty closes.

Scenario F - Aftermarket kit with potential consumer resale

Assumptions

Peak 118C, target flux 760 mT, small batch accessories sold first to integrators but at risk of downstream consumer listing.

Outcome

Conditional: magnetic performance is acceptable, yet compliance risk rises because consumer-scope assumptions can change after channel expansion.

Next step

Document channel controls, verify rule scope early, and enforce periodic listing audits to avoid late enforcement surprises.

Scenario G - Same technical spec, different origin and channel path

Assumptions

Identical 8505.11.00.70 magnet geometry quoted by two suppliers; one lane enters the U.S. from China after 2026-01-01, the other lane is priced under a special-rate eligible origin path.

Outcome

Conditional: engineering fit is equivalent, but landed-cost and compliance confidence diverge because duty overlays and channel-scope obligations differ.

Next step

Split RFQ scoring into technical-fit, tariff-layer, and channel-scope columns; keep both lanes open until origin evidence and distribution controls are confirmed.

11) FAQ (decision-focused)

Questions are grouped by decision intent so teams can move from explanation to execution.

Basics and terminology

Selection and application boundaries

Risk, sourcing, and execution

Policy and compliance timing

Logistics and market-entry constraints

Tariff timing and channel-scope decisions

Quote normalization and channel proof

12) Next action

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Coatings & Corrosion

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Storage, handling, and packaging guidance to avoid chipping, demagnetization, and injury.

2026/01/25
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