CLA-2 CO:R:C:S 555797 WAW

Mr. Emanuel D. Kepas
The Chamberlain Group, Inc.
P.O. Box 1809
Nogales, AZ 85628-1809

RE: GSP treatment of a random orbital waxer/polisher; Double Substantial Transformation; Texas Instruments; Torrington; C.S.D. 88-37; C.S.D. 85-25; 061620

Dear Mr. Kepas:

This is in reference to your letter of November 29, 1990, in which you request a ruling regarding whether the cost or value of a motor, which is later assembled into a random orbital waxer/polisher, may be counted toward the 35% value-content requirement of the Generalized System of Preferences (GSP) (19 U.S.C. 2461-2466).

FACTS:

The imported merchandise is described as a random orbital waxer/polisher. The article is assembled in Mexico from parts and components produced in various countries. The principal component of the waxer, the electric motor, is produced in Mexico by assembling various parts and components. A summary of the operations performed in Mexico to produce the random orbital waxer/polisher is as follows:

Motor Assembly

1. Shaft E ring is placed on the shaft. The shaft insulators, end fibers, laminations and commutator are machine pressed together to make the shaft, armature and commutator assembly.

2. The above assembly is positioned into a winding machine to complete the armature motor winding process. A visual inspection is performed to insure that the wire is tight and all tangs of the commutator are attached to the wire.

3. Before and after winding, insulation wedge paper is inserted in the motor armatures. The commutator is staked down to secure the wiring. A complete continuity and resistance inspection is then performed. The armature assembly is then placed into a machine which electronically checks the assembly.

4. The commutator is machined smooth to provide clean contact. Another continuity test, similar to the previous inspection, is then performed.

5. The end bell cap assembly is assembled by installing the brushes, brush spring and brush clips. Wire terminals are secured with screws, the rectifier is installed and the spherical bearing is secured by the bearing retainers.

6. The yoke assembly is placed over a rotating fixture. Adhesive is applied to two magnets which are then placed inside the yoke assembly within the fixture, to assure correct location.

7. The motor plate assembly is placed in a fixture. The armature assembly is positioned to the motor plate. The motor yoke assembly is positioned over the armature assembly.

8. The end bell assembly is positioned and secured with screws.

9. The finished motor is "run" tested and checked to insure that the motor runs at the correct speed.

Cord Set Assembly

1. The electrical cord is cut to 18 inches.

2. The jackets on both ends of the cord are stripped 1/2 inch.

3. The paper fillings are removed from the cord ends.

4. The insulating plastic from one end of the cord wires is stripped 1/4 inch.

5. The stripped end wires are dipped into hot tin. The tinned wires are then sowered to the plug black. The plug casing is molded onto the wires. The excess plastic is removed from the plug.

6. The blade terminals are crimped to the untinned wires. The ground pin terminals are crimped. The ring terminals are crimped. The straugh terminals are crimped. The flag terminals are crimped.

Final Assembly

1. The cord set assembly is assembled to the housing bottom by using a cord retainer and then secured.

2. The switch and cap assemblies are installed and wires and the power button are attached to the switch.

3. The assembled motor is installed to the housing bottom. The housing top is placed together with the housing bottom and secured.

4. The guard is secured over the motor plate of the assembled motor.

5. The counterweight is positioned to the motor shaft and hand tightened.

6. The pad assembly and screw are positioned into the counterweight.

7. The unit is connected to electrical current and "run" tested to insure complete safety and quality.

8. The unit is visually inspected for damage and then repackaged.

The importer states that the value added in Mexico is approximately 9% of the total value of the article. Further, the importer claims that the processing time for each article is approximately 30 minutes.

ISSUE:

Whether the cost or value of fabricated components, imported into Mexico and assembled there into an electric motor which is then used to produce a random orbital waxer/polisher, may be counted toward the 35% value-content requirement under the Generalized System of Preferences (GSP).

LAW AND ANALYSIS:

Under the GSP, eligible articles the growth, product or manufacture of a designated beneficiary developing country (BDC) which are imported directly into the United States qualify for duty-free treatment if the sum of (1) the cost or value of the materials produced in the BDC, plus (2) the direct costs involved in processing the eligible article in the BDC, is at least 35% of the appraised value of the article at the time of its entry into the United States. See section 10.176(a), Customs Regulations (19 CFR 10.176(a)).

Mexico is a BDC, See General Note 3(c)(ii)(A), Harmonized Tariff Schedule of the United States Annotated (HTSUSA), and, based on your description, it appears that the random orbital waxer/polisher will be classified under subheading 8508.80.0035, HTSUSA (Electromechanical tools for working in the hand with self-contained electric motor; parts thereof: Other tools: Grinders, polishers and sanders: Other), which is GSP eligible. Accordingly, the articles may be entered without payment of duty if it is considered to be a "product of" Mexico, the GSP 35% value-content minimum is met, and it is "imported directly" into the U.S.

Section 10.177(a), Customs Regulations (CFR 10.177(a)), provides that the words "produced in the beneficiary developing country" refer to the constituent materials of which the eligible article is composed which are either (1) wholly the growth, product, or manufacture of the BDC, or (2) substantially transformed in the BDC into a new and different article of commerce. Therefore, to be included as part of the 35% criterion a constituent element of the eligible article which is not wholly the growth, product, or manufacture of the BDC must have undergone a substantial transformation in the BDC. That substantial transformation must result in a new and different intermediate article of commerce which is then used in the BDC in the production of the final imported article.

Since the merchandise at issue is to be produced using component parts which are not the product of Mexico, it is clear that they are not wholly the growth, product, or manufacture of that beneficiary country. It is the importer's position that the production of and the subsequent assembly of the motors into the final product, the orbital waxer/polisher, each constitutes a substantial transformation. Thus, the importer maintains that the cost or value of the electric motor may be counted toward the 35% requirement for purposes of determining whether the imported orbital waxer/polisher is eligible for duty-free treatment under the GSP.

A substantial transformation occurs when an article emerges from a process with a new name, character or use different from that possessed by the article prior to processing. See Texas Instruments Inc. v. United States, 69 CCPA 152, 681 F.2d 778 (1982).

Customs application of the double substantial transformation requirement in the context of the GSP received judicial approval in The Torrington Company v. United States, 8 CIT 150, 596 F. Supp. 1083 (1984), aff'd 764 F.2d 1563 (1985). The court, after affirming Customs application of the double substantial transformation concept, said:

Regulations promulgated by Customs define the term "materials produced" to include materials from third countries that are substantially transformed in the BDC into a new and different article of commerce. 19 CFR 10.177(a)(2). It is not enough to transform substantially the non-BDC constituent materials into the final article, as the material utilized to produce the final article would remain non-BDC material.

In C.S.D. 85-25, 19 Cust. Bull. 544 (1985), we stated that while "complex or meaningful" assembly operations may result in a substantial transformation for purposes of the GSP, "minimal, simple, assembly-type operations" will not. Whether an operation is complex or meaningful depends on the nature of the operation. Some of the factors which Customs considers in determining whether a substantial transformation has taken place are the time, cost, and skill involved, the number of components assembled, the number of different operations, the attention to detail, and quality control, as well as the benefit accruing to the BDC in terms of the value added and the employment opportunities generated by the manufacturing process.

In the present case, it is our position that the assembly of the components which make up the motor results in a substantial transformation. The separate components imported into Mexico acquire new attributes, and the motor differs in name, character and use from the materials and components of which it is composed. Furthermore, we find that the production of the motor involves substantial operations (e.g., machining, mounting, soldering, quality control testing), which increase the value of the components and endow them with new characteristics, transforming them into a new article with its own distinct commercial identity. See C.S.D. 88-37, 22 Cust. Bull. 27 (1988).

We must next determine whether a second substantial transformation occurs. The importer maintains that the assembly of the motor into the final product is the type of operation which is complex and meaningful. Specifically, the importer states that a second transformation occurs as a result of the assembly of the motor with other materials to create a random orbital waxer/polisher. According to the importer, the waxer/polisher is used primarily to wax and polish automobiles, with a buffing motion (random orbital) versus a circular motion. The importer claims that the motor cannot perform this function alone, but must be assembled with a guard, counterweight, pad holder assembler, switch and button assembly, cord assembly and enclosed in an external housing. Further, the importer states that as a result of the assembly, a new and different article of commerce with a new name, character and distinct function is created. A second substantial transformation occurs as a result of the assembly of the electric motor with other materials to create a random orbital waxer/polisher. Upon incorporation of the electric motor into the housing of the random orbital waxer/polisher, the electric motor loses its identity as a separate physical and commercial article and becomes a new and different article of commerce with a distinct name, character and use.

It our determination that the operations performed in the production of the random orbital waxer/polisher constitute more than simple assembly operations. Final assembly of the waxer/polisher involves the assembly of several parts and components such as the cord assembly, switch and button assembly and pad holder assembly. Moreover, the assembly of the waxer/polisher into the completed finished product involves approximately 40 individual part numbers. In addition, these parts together with the motor housing and other components are subject to a final assembly and testing to insure complete safety and quality. The total operation requires a significant capital investment in Mexico and results in the employment of more than 50 production personnel. Furthermore, the assembly operation requires a significant attention to detail and quality control and involves numerous tests in the course of assembly to ensure that each step is properly performed. We therefore are of the opinion that the assembly of the electric motor into the random orbital waxer/polisher is a sufficiently complex and meaningful operation so as to result in a substantial transformation.

Finally, this assembly process is not the type of "pass- through" operation which Congress intended to prohibit from receiving GSP benefits. We believe that the operations performed in this instance are the type of substantial operations contemplated by the GSP statute. See HRL 071620 dated December 24, 1984, which held that in view of the overall processing done in the BDC, materials are determined to have undergone a double substantial transformation, although the second transformation is a relatively simple assembly process which, if considered alone, would not confer origin. Accordingly, we find that, when the electric motor is assembled to create a random orbital waxer/polisher, a second substantial transformation of the described components results.

HOLDING:

Based on the foregoing analysis, the fabricated components which are assembled in Mexico into an electric motor which is then used to produce a random orbital waxer/polisher, undergoes a double substantial transformation for purposes of the GSP. Accordingly, the cost or value of the substantially transformed intermediate article (the electric motor) may be counted toward the GSP 35% value-content requirement in determining whether the random orbital waxer/polisher is entitled to duty-free treatment under the GSP.
Sincerely,

John Durant, Director
Commercial Rulings Division