CLA-2-CO:R:C:F 953625 K
TARIFF No.: 9507.90.7000
Irene Ringwood, Esq.
Bogle & Gates
The Homer Building
Suite 370, South Tower
601 Thirteenth St. N.W.
Washington, D.C. 20005
RE: Classification of Artificial Baits or Lures Combined With
Fishing Hooks
Dear Ms. Ringwood:
This is our response to your request for a classification
ruling dated March 17, 1993, on behalf of Mustard & Son, Inc.
Sample components were submitted.
FACTS:
The merchandise consists of artificial fishing baits or lures
that will be combined with fishing hooks.
ISSUE:
The issue is whether composite articles consisting of
artificial baits or lures and fishing hooks are classifiable by
reference to rule 3(b) of the General Rules of Interpretation
(GRI), Harmonized Tariff Schedule of the United States (HTSUS), as
artificial baits and flies, subheading 9507.90.7000, HTSUS.
LAW AND ANALYSIS:
The classification of goods in HTSUS is governed by the
principles of the GRI. GRI 1 requires that classification be
determined first according to the terms of the headings of the
tariff and any relative section or chapter notes and, unless
otherwise required, according to the remaining GRI, taken in order.
There is no provision in the tariff for a composite article
consisting of bait or a lure affixed to a fishing hook.
Accordingly, the article cannot be classifiable under GRI 1.
-2-
Since the composite article cannot be classified according to
GRI 1, GRI 2(b) then requires that "the classification of goods
consisting of more than one material or substance shall be
according to the principles of rule 3." The article meets the
definition of a composite article because it is partially described
in two subheadings, subheading 9507.90.7000, as artificial baits,
and subheading 9507.20.40 or subheading 9507.20.80, as fish hooks.
GRI 3(a) provides that when classification of goods is under two
or more headings (in this case, subheadings) "the heading which
provides the most specific description shall be preferred to
headings providing a more general description." However, when two
or more headings each refer to part only of the materials or
substance contained in ...composite goods...those headings are to
be regarded as equally specific in relation to those goods, even
if one of them gives a more complete or precise description of the
goods." Accordingly, the composite article cannot be classifiable
by reference to GRI 3(a).
GRI 3(b) provides that "composite goods...made up of different
components...which cannot be classified by reference to 3(a),
shall be classified as if they consisted of the ... component
which gives them their essential character....". You opined that
since the bait or lure cannot catch a fish without the hook and
that a hook can catch a fish (such as the blue-backed herring)
without a bait or lure, then the essential character of the article
is the hook and not the lure and that the composite article is
classifiable under subheading 9507.20.40 or subheading 9507.20.80,
as fish hooks.
In Headquarters Ruling Letter 951921, dated July 6, 1992,
involving similar facts, we concluded that since a hook could not
perform its ultimate function without a lure, then the lure or
artificial bait imparted the essential character of the article
and by reference to GRI 3(b), the article was classified as
artificial baits and flies, subheading 9507.90.7000, HTSUS.
We adhere to our position that the artificial bait or lure
imparts the essential character of the article and not the hook.
A hook is not used to bait a fish but a bait is used to hook a
fish. A lure is designed to imitate in appearance some form of
natural food attractive to fish, such as artificial fish,
angleworms, flies, insects, etc., and to create a type of movement
or action that will provoke the fish to strike the lure. Artificial
baits and flies including lures are of numerous kinds and
varieties, the making of which requires chiefly hand labor of
varying degrees of skill. Lure bodies are sold without hooks
attached. But there are also many types of artificial baits that
are further processed by assembling the lure bodies with the
appropriate hardware (i. e. eye screws, snap swivels, grommets,
and hooks) and they are also known and recognized as fishing lures.
The lure element performs the principal function and
-3-
plays the principal role in the use of the composite article. The
product is commonly and commercially known and referred to as a
fishing lure and not as a fishing hook or a fishing hook with a
lure. The product is designed and marketed principally for its
unique lure configuration and particular application in terms of
the type of fishing and the target fish. The weight, size and
value of the lure component will almost always exceed that of the
embedded or otherwise attached hook.
At best, your opinions may be convincing that each component,
the artificial bait and hook, is equally essential in character.
In that case, GRI 3(c) provides that "when goods cannot be
classified by reference to 3(a) or (b), they shall be classified
under the heading which occurs last in numerical order among those
which equally merit consideration." Accordingly, by referenced to
GRI 3(c), the article would also be classifiable under subheading
9507.90.7000, HTSUS.
HOLDING:
Artificial baits or lures combined with fishing hooks are
classifiable by reference to GRI 3(b), under subheading
9507.90.7000, HTSUS, with duty at 9 percent ad valorem.
Sincerely,
John Durant, Director
Commercial Rulings Division