CLA-2 CO:R:C:T 955201 HP
Ms. Pat Flynn
Senior Consultant
Tower Group International, Inc.
128 Dearborn Street
Buffalo, New York 14207-3198
RE: Street hockey equipment.
Dear Ms. Flynn:
This is in reply to your letter of September 9, 1993. That
letter concerned the tariff classification, under the Harmonized
Tariff Schedule of the United States Annotated (HTSUSA), of
street hockey equipment, produced in China and Canada. Please
reference your client FRIKON of Mississauga, Ontario.
FACTS:
The merchandise at issue consists of street hockey sports
equipment: goalie pads, goalie blocker pads (gloves with pad)
made of either nylon or a nylon/leather combination, and goalie
trappers (gloves) also made of either nylon or a nylon/leather
combination. The trappers and blockers are fully manufactured in
China by Cortina International. All merchandise will be imported
through the ports of Buffalo, Detroit and Champlain.
The goalie pads are constructed of an outer nylon shell
manufactured in China and a foam pad manufactured in Canada. The
outer nylon shell, manufactured by Cortina International, is
imported into Canada in a finished state; it has been stitched
and screened and is otherwise ready to be combined with the
Canadian-made foam pad component. This joining process consists
of stuffing the nylon shell with the foam insert and presumably
applying a closing stitch. The finished goalie pad, as well as
the remaining items, are separately packaged in polybags and
sealed with header cards.
In addition to a classification decision, you originally
requested a U.S.-Canada Free Trade Act eligibility determination
for the goalie pads. In your facsimilie dated January 18, 1994,
you changed this request to an eligibility determination under
the North American Free Trade Agreement (NAFTA). The NAFTA
eligibility determination will be addressed in a separate
correspondence.
The outer nylon shell of the goalie pads is valued at
US$1.65. The foam pad is valued at US$1.03. Canadian
administrative overhead costs associated with the construction
and packaging of the pad is US$3.30. In your January 18, 1994,
communication, you further defined "Canadian administrative
overhead costs" as:
Factory Costs
- machinery depn & mtce $0.05
- storage costs $0.10
- receiving $0.05
$0.20
General & Admin Costs
- management @ production facility $0.03
- benefits (not included in direct labour) $0.01
- building depn & mortgage interest $0.10
- utilities $0.03
- insurance $0.01
$0.18
$0.38
ISSUE:
Whether the street hockey equipment is considered hockey
equipment or merely sports equipment?
LAW AND ANALYSIS:
Blocker Pads & Trappers
Heading 9506, HTSUSA, provides for articles, equipment and
accessories for sports. The General Rules of Interpretation
(GRIs) to the HTSUSA govern the classification of goods in the
tariff schedule. GRI 1 states, in pertinent part, that such
"classification shall be determined according to the terms of the
headings and any relative section or chapter notes. . . ." Goods
which cannot be classified in accordance with GRI 1 are to be
classified in accordance with subsequent GRIs, taken in order.
Note 1(u) to Chapter 95, HTSUSA, states that the chapter does not
cover, inter alia, gloves. The blocker and trapper must
therefore be classified according to their constituent materials.
100% Nylon Blocker Pads & Trappers
Heading 6216, HTSUSA, provides for gloves, mittens and
mitts of textile materials. Within this heading, statistical
breakouts exist for "ice hockey and field hockey gloves" and
"other gloves ... specially designed for use in sports." The
former provision is, in our opinion, not applicable. Subheading
6216.00.4300, HTSUSA, is clearly an eo nomine provision. "An eo
nomine designation is one which describes a commodity by a
specific name, usually one well known to commerce." 2 R. Sturm,
Customs Law and Administration 53.2 (3rd ed. 1990). The
merchandise at issue, street hockey equipment, is not
specifically named in the tariff provision. Compare this
provision with, i.e., 6211.32.0030, HTSUSA (washsuits, sunsuits,
one-piece playsuits and similar apparel). In addition, by
carrying the "ice hockey and field hockey" language over from the
previous tariff schedule (734.80, TSUS), Congress specified their
intent to continue the practice of classifying only ice and field
hockey equipment within the eo nomine provision. Accordingly,
the merchandise is classifiable as other man-made fiber gloves
specifically designed for sports.
Nylon/Leather Blocker Pads & Trappers
The palm and the front of the thumb of the blocker pad
is constructed of leather. The palm and the inner portion of the
webbing of the trapper is similarly constructed. GRI 3 states,
in pertinent part:
When by application of Rule 2(b) [goods
of more than one material or substance] or
for any other reason, goods are, prima facie,
classifiable under two or more headings,
classification shall be effected as follows:
* * *
(b) Mixtures, composite goods consisting of
different materials or made up of
different components, and goods put up
in sets for retail sale, which cannot be
classified by reference to 3(a) [which
requires that goods be classified, if
possible, under the more specific of the
competing provisions], shall be
classified as if they consisted of the
material or component which gives them
their essential character, insofar as
this criterion is applicable.
Explanatory Note (IX) to GRI 3 provides:
For the purposes of [GRI 3(b)], composite
goods made up of different components shall
be taken to mean not only those in which the
components are attached to each other to form
a practically inseparable whole but also
those with separable components, provided
these components are adapted to one another
and are mutually complementary and that
together they form a whole which would not
normally be offered for sale in separate
parts.
[C]lassification [of composite goods] is made
according to the component, or components
taken together, which can be regarded as
conferring on the set as a whole its
essential character.
The factors which determine essential character of an
article will vary from case to case. It may be the nature of the
materials or the components, its bulk, quantity, weight, value,
or the role a material plays in relation to the use of the goods.
In general, essential character has been construed to mean the
attribute which strongly marks or serves to distinguish what an
article is; that which is indispensable to the structure or
condition of an article. In this case, it is clear that the
nylon portions of the blocker and trapper imparts the essential
character. The hard blocking portion, attached to the back of
the glove, is what makes the blocker what it is. The nylon in
the trapper forms the shape of the article. In both cases, the
leather merely imparts a degree of softness to the gloves.
Accordingly, as with the above-discussed 100% nylon gloves, the
merchandise is classifiable as other man-made fiber gloves
specifically designed for sports.
Goalie Pads
Heading 9506, HTSUSA, provides for articles, equipment and
accessories for sports. Since no exclusionary legal note exists
for this merchandise, it is appropriately classifiable herein.
HOLDING:
As a result of the foregoing, the instant merchandise is
classified as follows:
100% Nylon Blocker Pads & Trappers and Nylon/Leather Blocker Pads
& Trappers
... under subheading 6216.00.4600, HTSUSA, as other gloves
of man-made fibers, specially designed for use in sports.
If this merchandise is considered an originating good under
the North American Free Trade Agreement, the applicable rate
of duty is 2.2 percent ad valorem; otherwise, the general
rate of duty is 5.5 percent ad valorem.
Goalie Pads
... under subheading 9506.99.6080, HTSUSA, as other sports
equipment.
A copy of this ruling letter should be attached to the entry
documents filed at the time this merchandise is imported. 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