CLA-2 CO:R:C:M 953353 MMC
District Director
U.S. Customs Service
40 South Gay Street
Baltimore, Maryland 21202
RE: Protest No. 1303-92-100006; Calcium Silicon; 7202.21.10;
Chapter 72 Note 1(c), Subheading Note (2); HRL 088637
Dear District Director:
The following is our decision regarding the request for
further review of Protest No. 1303-92-100006, which concerns the
classification of calcium silicon under the Harmonized Tariff
Schedule of the United States (HTSUS). The shipment was
liquidated on October 18, 1991 and a protest was timely filed on
January 13,1992.
FACTS:
The merchandise in question is calcium silicon. Protestant
argues that the calcium silicon is classifiable under subheading
7202.21.10, HTSUS, which provides for ferrosilicon containing by
weight more than 3 percent of calcium. The alloys were
classified, upon liquidation, under subheading 7202.99.50, HTSUS,
which provides for other ferroalloys.
The lot consisted of 128 drums packed on 32 pallets packed
in 2 20ft. containers. The calcium silicon contained in the
different containers that comprise the shipment are composed of
the following elements:
35,968kgs. 18,000kgs. 53.952kgs.
CA 32.30% CA 31.90% CA 32.15%
SI 60.80% SI 61.10% SI 61.20%
The subheadings under consideration are as follows:
7202.21.10 Ferroalloys: [f]errosilicon: [c]ontaining by
weight more than 55 percent of silicon:
[c]ontaining by weight more than 55 percent
but not more than 80 percent of silicon:
[c]ontaining by weight more than 3 percent of
calcium (1.1%)
7202.99.50 Ferroalloys: [o]ther: [o]ther (5%)
ISSUE:
Whether the calcium silicon is classifiable as ferrosilicon
containing more than 55 percent silicon but not more than 80
percent and more than 3 percent calcium under subheading
7202.21.10, HTSUS, or as other ferroalloys under subheading
7202.99.50, HTSUS?
LAW AND ANALYSIS:
Classification of merchandise under the HTSUS is in
accordance with the General Rules of Interpretation (GRI's),
taken in order. GRI 1, HTSUS, states in part that for legal
purposes, classification shall be determined according to the
terms of the headings and any relative section or chapter notes.
Heading 7202, HTSUS, provides for ferro-alloys. Note 1(c)
to Chapter 72 provides the following:
(c) Ferro-alloys
Alloys in pigs, blocks, lumps or similar primary forms, in
forms obtained by continuous casting and also in granular or
powder forms, whether or not agglomerated, commonly used as
an additive in the manufacture of other alloys or as
deoxidants, desulfurizing agents or for similar uses in
ferrous metallurgy and generally not usefully malleable,
containing by weight 4 percent or more of the element iron
and one or more of the following:
-more than 10 percent of chromium
-more than 30 percent of manganese
-more than 3 percent of phosphorus
-more than 8 percent of silicon
-a total of more than 10 percent of other elements,
excluding carbon, subject to a maximum content of 10
percent in the case of copper.
In addition, Chapter 72 Subheading Note (2) states the following:
2. For the classification of ferroalloys in the subheadings
of heading 7202 the following rule should be observed:
A ferroalloy is considered as binary and classified
under the relevant subheading (if it exists) if only
one of the alloy elements exceeds the minimum
percentage laid down in chapter note 1(c); by analogy,
it is considered respectively as ternary or quaternary
if two or three alloy elements exceed the minimum
percentage.
For the application of this rule, the unspecified
"other elements" referred to in chapter note 1(c) must
each exceed 10 percent by weight.
The contents of each container are ferroalloys, because they
meet the requirements of Note 1(c) to Chapter 72. Note 1(c) to
Chapter 72 requires a 4% or higher amount of iron and other
minimum amounts of additional elements as listed. Protestant's
lab reports indicate that the contents of each drum contain more
than 8% silicon which is an additional listed element. While
protestant's lab reports do not indicate an iron content higher
than 4%, we assume this to be the case.
In addition, the contents are ternary because two or more
alloy elements exceed the minimum percentage promulgated in
Chapter 72, Note 1(c). According to Subheading Note 2 of Chapter
72, an article is ternary, for heading 7202 purposes, if two of
the listed elements in Note 1(c) to Chapter 72 exceed their
specified minimum. Protestant's lab reports indicate that the
contents of the drums are composed of silicon and calcium. The
silicon exceeds the required 8% specified in Note 1(c) to Chapter
72 and another "other elements", calcium, exceeds 10%.
Therefore, the ferroalloys are ternary.
This finding is consistent with HQ 088637, dated April 26,
1991, which held that calcium silicon cored wire, which
contained 60.5% silicon, 30.8% calcium, 1.28% aluminum, 4.7%
iron, and 0.37% carbon, was classifiable under subheading
7202.99.50, HTSUS.
Because the contents of the containers are ternary, they are
classifiable in subheading 7202.99.50, HTSUS.
HOLDING:
The calcium silicon is classifiable under subheading
7202.99.50, HTSUS.
The protest should be denied in full. A copy of this
decision should be attached to the Customs Form 19 and provided
to the protestant as part of the notice of action on the protest.
Sincerely,
John Durant, Director