CLA-2 R:C:S 558987 DEC
Ms. Mary E. Gill
AT&T Corporation
Law Department
Guilford Center 1-3A10
5420 Millstream Road
Greensboro, North Carolina 27420
RE: NAFTA; Article 307; Digital voice terminals;
Repair/Alteration; HRL 555819;
HRL 555758; 19 C.F.R. 181.64; Disassemble; AT&T Merlin
Legend
Dear Ms. Gill:
This is in response to your letter of December 9, 1994,
requesting a ruling regarding the applicability of subheading
9802.00.50, Harmonized Tariff Schedule of the United States
(HTSUS), to voice terminals imported from Mexico.
FACTS:
AT&T Corporation (AT&T) is shipping its Merlin Legend voice
terminals to Elamex, a contract repair facility in Juarez, Mexico
and will be upgrading these articles to correct several problems
with the reliability of the Merlin Legend products. The
reliability problems have been traced to three circuits: (1) the
flex circuit; (2) the Line Interface Processor (IC102), and (3)
the User Interface Processor (IC601). AT&T plans to routinely
replace all three of these circuits in any Merlin Legend sent for
repair regardless of whether the particular article was sent for
repair of these circuits in addition to repairing any other
faulty part.
The flex circuit provides the electrical contacts for the
switches and dial pad on the voice terminal and it contains the
red and green LED lamps that signal call
appearance. These functions are built into the circuit and
cannot be repaired separately. The replacement flex circuit will
appear identical to the original design. All the LED's and
connectors are in identical locations.
You stated that the two integrated circuits contain design
problems that have diminished the reliability of these units.
The IC102 provides the interface between the user designated
choices and the transmission lines. The upgrade versions of this
integrated circuit add an additional check that allows the
processor to reset itself if it locks up. To replace the IC102,
the old integrated circuit must be popped off the printed wiring
board (PWB) and replaced.
The IC601 provides the interface between the user and the
line interface processor, whether that interface involves a
message relayed through buttons, lighted lamps, or a readable
language display. The Merlin Legend is designed with the
capability of displaying certain text in either French, English,
or Spanish. Some of these integrated circuits were incorrectly
coded and have an error in the Spanish language text. To correct
this problem, AT&T will replace the IC601. The functions of this
item will not change in any way except that it will provide
accurate Spanish language displays.
You state that the replacement of the flex circuit, IC102
and IC601 will constitute a change in value of about 13 percent
on the unit's original manufacturing cost. The steps involved in
the operations are as follows:
1. Receipt of the terminals with the handset
separated from the
telephone set housing.
2. Testing of the units for functional problems
or upgrading.
3. Disassembly of units for
a) replacement of damaged parts.
b) upgrading of three circuits with new
functional design circuits.
4. Functionality test - if the unit fails, it goes
to a troubleshooting
center which determines the type of repair
needed.
5. Reassembly of the unit.
6. Surface cleaning of the unit.
7. Replacement of the handset.
8. Further quality control testing and repackaging.
You state that there is no commingling of parts with like
parts from other units. In particular, you state that the PWB
will remain inside the plastic housing unless the
housing is broken. If the housing must be replaced, the serial
number will be removed from the broken housing and re-affixed to
the replacement housing.
ISSUE:
Whether the operations performed to the Merlin Legend voice
terminals constitute repairs or alterations within the meaning of
subheading 9802.00.50, Harmonized Tariff Schedule of the United
States (HTSUS), thereby qualifying the returned voice terminals for
the duty exemption under this tariff provision.
LAW AND ANALYSIS:
Articles exported from and returned to the U.S., after having
been advanced in value or improved in condition by repairs or
alterations in Mexico, may qualify for a duty exemption under HTSUS
subheading 9802.00.50, provided the foreign operation does not
destroy the identity of the exported articles or create new or
commercially different articles through a process of manufacture.
See A.F. Burstrom v. United States, 44 CCPA 27, C.A.D. 631 (1956),
aff'g C.D. 1752, 36 Cust. Ct. 46 (1956); Guardian Industries Corp.
v. United States, 3 CIT 9 (1982). Articles are entitled to this
duty exemption provided the documentary requirements of section
181.64 of the North American Free Trade Agreement (NAFTA), Interim
Rules (19 CFR 181.64) are met.
Repairs are operations aimed at restoring articles to their
original condition, but cannot be so extensive as to destroy the
identity of the exported article or to create a new and different
article. Press Wireless, Inc. v. United States, 6 Cust. Ct. 102,
C.D. 438 (1941). In Press Wireless, radio tubes were sent abroad
for repairs which involved the use of heavier filament than that
used in the original manufacture of the tubes. Also, the markings
on the articles were erased, and new numbers were substituted to
facilitate matching the tubes for use in transmitters. The court
held that the use of improved materials in the restoration was
immaterial, as long as the article was not considered a new and
different article of commerce or its identity was destroyed.
You cite Headquarters Ruling Letter (HRL) 555819, dated
October 11, 1991, where up to 17 parts were replaced in combination
telephone answering machines. Customs stated that the replacement
and/or addition of parts to restore products to their original
condition may constitute repair operations for purposes of
subheading 9802.00.50, HTSUS, if the particular article does not
lose its identity and the replacements and/or additions are not so
extensive as to create a new or different article. Furthermore,
Customs stated that where the foreign repair operations entail the
complete disassembly of the exported article and numerous component
parts of the article are replaced, the concept of essential
identity may come into play. This concept is employed to insure
that the article imported is the same as the article exported, and
operates by identifying certain component parts of an exported
article as embracing the essential identity of the particular
article exported. Component parts so identified are to be
maintained together throughout
the repair operation as a matched set. It was held in HRL 555819,
that under the
circumstances of that case, the foreign operations constituted
"repairs" within the meaning of subheading 9802.00.50, HTSUS.
You also cite HRL 555758 dated June 10, 1991, where Customs
considered modifications to NATO Hawk missiles, which included
replacing old gaskets, painting covers, replacing and adding
components, and modifying the printed circuit boards which did not
include reprogramming. One of the purposes of these operations was
to upgrade the missiles to combat recently developed
countermeasures. Customs held that the processes qualified as
alterations under subheading 9802.00.50, HTSUS, because the
missiles were altered to comply with changed specifications, and
performed the same function after the alterations were performed.
It is claimed that since the essential identity of the Merlin
Legend voice terminals is imparted by the main PWB which will not
be replaced, and the upgraded flex circuit, the IC102, and the
IC601 which are replaced will make the Merlin Legend product
perform more reliably, or in the case of the IC601, with corrected
language.
We agree. We find that the operations performed in Mexico,
consisting of testing, disassembly, the replacement of damaged
parts, the upgrade of the three circuits (flex circuit, IC102, and
IC601), the functionality testing, and reassembly, constitute
repairs or alterations since the Merlin Legend voice terminals will
have the same function and their essential identity is imparted by
the PWB which is not replaced. Consistent with the rulings cited
above, the completed units qualify for the duty exemption under
subheading 9802.00.50, HTSUS, when returned to the United States,
provided the documentary requirements of 19 CFR 181.64 are met.
Basically, information must be presented in the required documents
which enables Customs to verify that the articles returned are the
same as the articles exported. For example, identification marks
or numbers, such as serial numbers, for the units must be stated in
the repair declaration, when they are available.
HOLDING:
On the basis of the information submitted, it is our opinion
that the Mexican operations enumerated above constitute repairs or
alterations since the essential identity of the voice terminals is
retained. The repaired digital voice terminals are entitled to
duty-free treatment under subheading 9802.00.50, HTSUS, when
returned to the United States provided the documentary requirements
of section 181.64 are satisfied.
A copy of this ruling letter should be attached to the entry
documents filed at the time the goods are entered. If the
documents have been filed without a copy, this ruling should be
brought to the attention of the Customs officer handling the
transaction.
Sincerely,
John Durant, Director
Commercial Rulings Division