TRA CO:R:IT:I 451487 TPT
Mr. Craig McCarville, Vice President
Manley Toys (USA) Ltd.
Room 1505
1107 Broadway
New York, NY 10010
RE: Admissibility of Toy Guns
Dear Mr. McCarville:
This is in response to your request for a binding ruling
dated July 8, 1991, regarding samples of toy guns which you
intend to import into the commerce of the United States. We
understand that you wish to obtain a ruling as to the
applicability of the new law enacted under the Federal Energy
Management Improvement Act of 1988.
ISSUE:
Whether the samples submitted satisfy the requirements of
title 15, U.S.C., 5001 and title 15, C.F.R., Part 1150?
LAW AND ANALYSIS:
The instant matter is being considered under Part 177 of the
Customs Regulations (19 C.F.R. 177.1(a)(1)), which relates to a
prospective transaction (importation) concerning articles
identical to the submitted samples. A ruling issued in response
to a request for a ruling under Part 177 of the Customs
Regulations reflects Customs' official position as to the
specific question presented regarding the prospective transaction
and is binding on all Customs personnel. 19 C.F.R. 177.9.
Therefore, this ruling is qualified in that it applies to
importations of articles which are identical to the submitted
sample.
Section 5001 (15 U.S.C. 5001) mandates that any toy, look-
alike, or imitation firearms shall have a permanently affixed
blaze orange plug inserted in the barrel of such an imported
article and recessed no more than six (6) millimeters from the
muzzle end of the barrel. See 15 C.F.R. Part 1150.
2
Part 1150 enumerates the types of markings which have been
approved by the Secretary of Commerce. Under section 1150.3(b)
(15 C.F.R. 1150.3(b)) water guns, air-soft guns, light-emitting
guns or other ejecting toy guns must have blaze orange markings
permanently affixed to the exterior of the barrel and cover the
circumference of the barrel from the muzzle end. Devices made
entirely of transparent or translucent material are also approved
if it permits unmistakable observation of the complete contents.
15 C.F.R. 1150.3(c). Also, if the exterior of the article is in
bright red, orange, yellow, green, or blue, singly or as the
predominant color in combination with other colors in a pattern,
the article satisfies the marking requirements. 15 C.F.R.
1150.3(d). Finally, the marking would meet the requirements if
the exterior surface is predominantly in white in combination
with one or more of the colors bright red, orange, yellow, green,
or blue in any pattern. 15 C.F.R. 1150.3(e).
The first toy gun examined is part of the Manley "Official
Police Play Equipment Uzi Gun Target Set," model number 880-09,
made in China. The set includes handcuffs and keys, sunglasses,
three soft darts, and the toy gun. The toy gun is predominantly
blue. The trigger is black. The gun is approximately eight
inches long. The gun has an orange piece covers the exterior
surface of the barrel at the muzzle end for a distance of one
inch. The piece could not be readily removed.
The next gun is part of the Gold Shield Series "Official
Detective Play Equipment Detective Equipment," model number 880-
80, made in China. The set includes a toy plastic pistol,
sunglasses, handcuffs and keys, whistle, shoulder holster, and a
badge. The plastic pistol is completely blue except for an
orange piece which fits over the muzzle end of the barrel and
cannot be pulled off.
The last set is the "Official Police Play Equipment Special
Task Force," model number 880-88, made in China. The set
includes handcuffs and keys, badge, five soft darts, shoulder
holster, a small target, a toy pistol and a toy double barrel
shotgun. The toy pistol in this set is identical to the one
described above in model 880-80 and, therefore, complies with the
marking requirements. The toy shotgun is blue and orange. An
orange piece covers the exterior surface of the muzzle end for a
distance of a inch and a half.
3
HOLDING:
We conclude that all the toy gun samples submitted comply
with 15 U.S.C. 5001 and 15 C.F.R. 1150.3 and, therefore, toys
which are identical to the submitted samples may be imported.
This ruling does not extend to any toy guns which differ in any
way from those presented for the purposes of this ruling.
Sincerely,
John F. Atwood, Chief
Intellectual Property Rights Branch