CLA-2 CO:R:C:F 088196 SLR
Kathleen M. Murphy, Esq.
Katten, Muchin & Zavis
525 West Monroe Street
Suite 1600
Chicago, IL 60606-3693
RE: Blood Diagnostic Test Strips; Composite Diagnostic
or Laboratory Reagents of Heading 3822, HTSUSA;
Composite Diagnostic or Laboratory Reagents Containing
Antigens or Antisera of Subheading 3822.00.10, HTSUSA.
Dear Ms. Murphy:
This is in response to your letter of November 6, 1990,
written on behalf of your client, MediSense, Inc., requesting
the classification of certain glucose test strips under the
Harmonized Tariff Schedule of the United States Annotated
(HTSUSA). A sample was submitted for our examination.
FACTS:
The merchandise at issue consists of glucose test strips
designed for use with the MediSense Exactech Blood Glucose
Monitoring System. Diabetics use the system to monitor their
blood glucose levels.
The test strips are made of plastic and contain glucose
oxidase, along with other ingredients which are proprietary.
Each test strip has a target area whereupon droplets of
human blood combine with the glucose oxidase and the other
ingredients to produce electrical microcurrents. The ExacTech
Meter measures these currents and displays a digital read-out
of the user's glucose level.
In your letter, you posit that the merchandise in question
is classifiable in heading 3822, HTSUSA, the provision for
diagnostic or laboratory reagents other than those of
heading 3002 or 3006. Furthermore, you maintain that the
test strips are classifiable in subheading 3822.00.10, HTSUSA,
the provision for diagnostic or laboratory reagents other than
those of heading 3002 or 3006, containing antigens or antisera.
You insist that glucose oxidase qualifies as an antigen.
-2-
You and several of your colleagues have met with Customs
Headquarters personnel to discuss the instant case. You have
since forwarded numerous submissions containing information
designed to bolster your position that glucose oxidase is an
antigen.
ISSUE:
What is the proper classification of the glucose test strips
under the HTSUSA?
LAW AND ANALYSIS:
Customs agrees that the glucose test strips are classifiable
in heading 3822, HTSUSA, the provision for composite diagnostic
or laboratory reagents. The question is whether the test strips
contain "antigens" for the purposes of subheading 3822.00.10,
HTSUSA.
Subheading 3822.00.10, HTSUSA, provides, in pertinent part,
for composite diagnostic or laboratory reagents containing
antigens. Neither the Harmonized Tariff Schedule nor the
Explanatory Notes offers guidance in what constitutes an
"antigen" for tariff purposes. As a result, reference must
be made to dictionaries and other lexicographic sources.
According to Taber's Cyclopedic Medical Dictionary,
(13th ed. 1979), at p. A-97, an antigen is a substance
which induces the formation of antibodies. Taber's defines
"antibodies" as protein substances developed by the body,
usually in response to the presence of an antigen which has been
administered parenterally or has otherwise gained access to the
body.
Customs has not been persuaded that glucose oxidase is an
antigen. Nonetheless, your most recent submission has provided
Customs with information regarding the reactive qualities of
the test strips' other ingredients; and, on this basis, we
acknowledge the presence of an antigen on the test strips.
Accordingly, the test strips are classificable in
subheading 3822.00.10, HTSUSA.
HOLDING:
The glucose test strips are classifiable in subheading
3822.00.1090, HTSUSA, which provides for composite diagnostic
or laboratory reagents, other than those of heading 3002 or 3006:
Containing antigens or antisera, other (than containing methyl
chloroform (1,1,1-trichloromethane) or carbon tetrachloride).
-3-
Merchandise classifiable in subheading 3822.00.1090, HTSUSA,
may enter the United States duty free.
Sincerely,
John Durant, Director
Commercial Rulings Division