CLA-2 CO:R:C:T 951218 JED

Mr. Geoff Phillips
Tic-La-Dex Business Systems, Inc.
3443 Camino Del Rio South
Suite 326
San Diego, California 92108-3901

RE: Modification of HQ 950397; Classification of a portfolio in Heading 4820

Dear Mr. Phillips:

On January 23, 1992, Headquarters Ruling (HQ) 950397 was issued to you concerning the classification of a portfolio. It has been brought to our attention that the ruling requires modification.

FACTS:

The merchandise involved in HQ 950397 consisted of a portfolio, with an outer surface of fabric-backed cellular plastics over stiffening pieces of paperboard, which was closeable by lock and key. The portfolio was designed to hold a two year monthly calendar (planner); a built-in calculator; 100 assorted color "calendar" cards (3" x 5"); a removable credit card wallet; a 8" x 10" writing pad; a full-size file folio section; and pockets for business cards and papers.

In the analysis of this matter, HQ 950397 began by eliminating Heading 4202, HTSUSA, as a possible classification for the article. The ruling quoted from and adopted a statement made in Headquarters Ruling Letter (HRL) 088430 (April 11, 1991), a ruling wherein a tri-fold planner was determined not to be the type of merchandise which would fall within the purview of "similar containers" as set forth in Heading 4202, HTSUSA.

"Although the planner may appear to be related to the containers of heading 4202, HTSUSA, they are not similar in that they are not designed or intended for use in a similar manner, nor do they exhibit the requisite physical attributes that Customs has found common to the goods of heading 4202, HTSUSA." -2-

The portfolio in HQ 950397 was primarily intended to organize information and belongings. It was determined not to be a similar article to those containers included in Heading 4202.

Also note that the Explanatory Notes (EN's) at 42.02 (pg. 613) state that Heading 4202, HTSUSA, does not cover "[a]rticles which although they may have the character of containers, are not similar to those enumerated in the heading, for example, book covers and reading jackets, file-covers, document jackets..." The portfolio here protects and organizes its contents much like a file-cover.

Heading 4820, HTSUSA, was the next choice for classification. However, the presence of the calculator, covered by Heading 8470, HTSUSA, precluded a simple GRI 1 classification. Accordingly, a GRI 3(b) analysis resulted in determining the essential character of the article was imparted by the portfolio. "The role of the portfolio with its paper, cards and pockets is indispensable to the overall use of the item. The portfolio is more than a container; it functions to bring together all the component goods to enable the user to employ them in a coordinated and organized fashion." Based on this determination, classification was deemed proper at subheading 4820.10.2050, HTSUSA.

Two concerns were brought to our attention regarding such classification. First, the description of the subject portfolio might be incompatible with Heading 4820, HTSUSA, because an article of subheading 4820.10.20 must be either a diary, notebook, address book, memorandum pad, letter pad, or an article similar to a memorandum pad or letter pad. Secondly, an article of Heading 4820, HTSUSA, must be "of paper or paperboard", and the subject portfolio might not comply.

LAW AND ANALYSIS:

Heading 4820, HTSUSA, reads as follows:

Registers, account books, notebooks, order books, receipt books, letter pads, memorandum pads, diaries and similar articles, exercise books, blotting pads, binders (looseleaf and other), folders, file covers, manifold business forms, interleaved carbon sets and other articles of stationery, of paper or paperboard; albums for samples or for collections and book covers (including cover boards and book jackets) of paper or paperboard:

EN 48.20 (pg. 687) is pertinent to the present analysis:

This heading ... includes: * * * (3) Binders designed for holding loose sheets, magazines, -3-

or the like (e.g., clip binders, spring binders, screw binders, ring binders), and folders, file covers, files (other than box files) and portfolios. (Emphasis added.) * * *

The statement is also made in the EN's that, "[t]he goods of this heading may be bound with materials other than paper (e.g., leather, plastics or textile material) and have reinforcements or fittings of metal, plastics, etc."

An interpretation of Heading 4820, HTSUSA, that an article that is not specifically named in the heading can only then be included by similarity to a memorandum pad or letter pad is too restrictive. Similarity to a diary is also a characteristic entitling an article to classification within Heading 4820, HTSUSA. A positive finding of similitude between articles like the portfolio in the instant case and a diary has occurred in other recent classification rulings. For example, in HQ 951076 (March 18, 1992),:

The term "diary" as defined by the Compact Edition of the Oxford English Dictionary 1987, states:

2. A book prepared for keeping a daily record, or having spaces with printed dates for daily memoranda and jottings; also applied to calendars containing daily memoranda on matters of importance to people generally, or to members of a particular profession, occupation, or pursuit. * * * The "Pocket Secretary" ... containing a calendar, address book and note pad is designed to keep daily records and memoranda.

The portfolio of HQ 950397 is designed to facilitate keeping daily records, taking notes, etc., and organizing all such material in a single convenient location. Accordingly, we affirm HQ 950397 on its finding of similitude between the subject portfolio and a dairy and the consequent inclusion of the portfolio within the ambit of Heading 4820. (See also HQ 088791 (March 9, 1992) and HQ 089960 (February 10, 1992).) However, upon reflection, we believe 950397 erred in placing the article in the subheading for "Diaries...bound..." The removable credit card wallet and writing pad in the item were held in place by slipping their backings into appendages on the inside of the portfolio, and the calendar was simply placed inside.

This makes the portfolio quite similar to the "Pocket Secretary" of HQ 951076 (March 18, 1992), "which contains three independent paper articles: a telephone/address book, a 20-month engagement calendar book, and a note pad. These are held in -4-

place by means of cardboard appendages slipped into pockets on the inside of the leather case." HQ 951076 later concluded, "Customs does not consider the submitted article to be bound. As such, proper classification is under subheading 4820.10.4000, HTSUSA, as "other" diaries and similar articles." Similarly, we do not consider the article in HQ 950397 to be bound. Therefore, HQ 950397 is modified to the extent the classification at the subheading level is changed to 4820.10.4000, HTSUSA.

As to the concern over the constituent materials of the portfolio, classification of an article in Heading 4820, HTSUSA, is not precluded by the presence of materials other than paper and/or paperboard.

The discussion in HQ 950397 concerning the application of GRI 1 not being determinative of the classification of the portfolio, and the necessity of applying GRI 3(b) to determine the essential character was appropriate in that instance. In particular, the presence of a calculator, an item not normally associated with paper products, necessitated a specific analysis of whether the calculator contributed the essential character of the item. The analysis concluded, correctly, that the calculator did not establish the essential character of the item. However, upon further consideration, we believe that the conclusion in HQ 950397 that the essential character is derived from the portfolio is incorrect. The essential character comes from the substantial amount of paper products in the item, i.e., the index cards, the note pad, and especially the calendar. If we continued to find essential character from the portfolio, we would no doubt be someday confronted with an item just like the item of HQ 950397, but without the paperboard stiffening present in that item, and therefore be constrained from classifying the article in Heading 4820, HTSUSA.

HOLDING:

HQ 950397 (January 23, 1992) is modified to the extent that classification at the subheading level is changed to 4820.10.4000, HTSUSA, and the analysis concerning "essential character" of the item is modified as discussed above.

In order to ensure uniformity in Customs' classification of this merchandise and eliminate uncertainty, pursuant to section 177.9(d)(1), Customs Regulations (19 CFR 177.9(d)(1)), HQ 950397 is modified to reflect the above classification effective with the date of this letter. If, after review, you disagree with the legal basis for our decision, we invite you to submit any arguments you may have with respect to this matter. Any submission you wish to make should be received within 30 days of the date of this letter.

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This modification is not retroactive. However, HQ 950397 will not be valid for importations of the subject merchandise arriving in the United States after the date of this notice. We recognize that pending transactions may be adversely affected (i.e., merchandise previously ordered and arriving in the United States subsequent to this modification will be classified accordingly). If it can be shown that you relied on HQ 950397 to your detriment, you may apply to this office for relief. However, you should be aware that in some instances involving import restraints, such relief may require separate approvals from other government agencies.

Sincerely,

John Durant, Director
Commercial Rulings Division