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GACC Registration

To sell into China, the establishment behind your product must be registered with GACC, China's General Administration of Customs. Here's what that means and how the pathway runs.

China's overseas-producer registration framework now runs under Decree 280, which took effect June 1, 2026 and replaced the Decree 248 regime. Registration is managed through GACC's online portal, CIFER. For anyone searching "GACC registration Canada", this is the system behind the phrase: the register of foreign food establishments China's customs authority will accept product from.

Aquatic products sit in the higher-risk category, which means a plant cannot simply self-register: it must be recommended to GACC by its home country's competent authority. In Canada, that's the CFIA. The CFIA certifies the establishment's CIFER account and submits the recommendation. This is the single most common surprise for first-time exporters: the pathway to China runs through Ottawa before it reaches Beijing.

A successful registration produces a China registration number for the establishment, which must then appear in the labelling on product shipped to China. Registrations carry a validity period and renewal obligations, so this is a maintained status, not a one-time stamp. Changes at the plant, from name and ownership to scope of production, can trigger update obligations in CIFER, and a lapsed registration stops shipments as surely as never having one.

It is worth being clear about what registration is not. It is not a sale, not a buyer and not a price: it is eligibility. Plenty of establishments hold registration and ship nothing, because registration answers China's question ("is this plant acceptable?") and not the commercial one ("who is buying, at what spec, at what terms?"). We work both sides of that: the eligibility pathway here, and a vetted buyer purchasing at multiple-container volume on the other end.

Where we fit: we are a navigator and coordinator, not an issuer. We help you determine whether your plant qualifies, assemble what the CIFER application needs, work the process with your CFIA contacts, and keep the registration details consistent across your labelling and documentation. The certification itself always comes from the authorities. What you avoid is the false starts: applications that stall on scope, labels that omit the registration number, renewals that lapse unnoticed.

Go deeper

Registration attaches to the establishment. Every carton it ships to China carries its number.
Registration attaches to the establishment. Every carton it ships to China carries its number.

We coordinate; authorities certify

We are a navigator, not an issuer: certifications and registrations always come from CFIA and GACC. Our job is making sure what reaches them is right the first time.

What this means for you

For a small or mid-size plant, GACC registration is the gate between you and the Chinese market. It is procedural, it is navigable, and it is much faster with someone who has walked it before.

  • You cannot self-register: the CFIA must recommend your establishment through CIFER.
  • Registration is eligibility, not a sale. We bring the buyer; the registration lets the product move.
  • The registration number becomes part of your labelling. Consistency across documents is mandatory.
  • It is a maintained status: renewals and change notifications keep it alive.
Eligibility is the establishment's; the paperwork discipline is shipment by shipment.
Eligibility is the establishment's; the paperwork discipline is shipment by shipment.

Division of labour

What we handle, what you handle

We handle

  • Assessing whether and how your establishment qualifies
  • Assembling what the CIFER application needs, in the form it needs
  • Working the recommendation process with your CFIA contacts
  • Keeping registration details consistent across labels and documents
  • Tracking validity, renewals and update obligations

You handle

  • Holding a valid SFC licence covering the activities
  • Providing accurate establishment and production information
  • Maintaining the food-safety standards the registration attests to
  • Flagging plant changes (ownership, scope, name) as they happen

GACC readiness, in order

  • SFC licence in place and covering export activities
  • Establishment on Canada's approved list with its CFIA ID
  • CIFER account created and certified through the CFIA
  • Product scope in the application matches what you will actually ship
  • Registration number flowed into labelling artwork
  • Renewal and change-notification calendar established

Related reading

GACC registration explained

The plain-language guide to China's registration regime for Canadian processors.

GACC registration explained

How to GACC-register your plant

Step by step: from SFC licence to a live registration number in CIFER.

How to GACC-register your plant

How to export seafood to China from Canada

The 2026 starting guide: the whole pathway in one narrative read.

How to export seafood to China from Canada

Where does your operation sit on this pathway?

Licence scope, registration status, gaps and timeline, assessed in one conversation.

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