CLA-2 CO:R:CV:G  082933  VEA
Ms. Beth C. Brotman, Esq.
            Tompkins & Davidson
            One Whitehall Street
            New York, N. Y. 10004
            RE:  Combination Flashlight/Signaling Device
            Dear Ms. Brotman:
                   Your inquiry of October 12, 1988, on behalf of your
            client, Dorcy International, requests reconsideration of a New
            York ruling dated April 22, 1988 (File # 828324), classifying a
            portable electrical lighting device as a flashlight in heading
            8513 of the Harmonized Tariff Schedule of the United States
            (HTSUS).
            FACTS:
                   The merchandise at issue consists of a portable
            electrical lighting device, style no. 41-0900, imported from
            Hong Kong.  The unit is cylindrical in shape.  It is made of
            plastic and is approximately 6 5/8 inches long and 1 3/4 inches
            in diameter.  It consists of a filament bulb with a reflector
            and socket, a clear lens, a rechargeable nickel cadmium
            battery, and a built-in plug that fits the automobile cigarette
            lighter socket, for recharging the battery.  A magnet is
            attached to the bottom of the unit so that it will adhere to
            metal surfaces.  It is imported and sold with a rechargeable
            battery.
                   The device is designed to be used around automobiles and
            has two functions.  It acts as both a flashlight and an
            emergency blinker.  Pushing forward on the switch located on
            the case activates the flashlight, and pulling forward on the
            grooved area at the head of the flashlight activates the
            emergency blinker.  Although the blinker and flashlight share a
            common power source, a separate circuitry allows each to
            perform their individual functions.
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                   Our New York office classified the lighting device as a
            flashlight in heading 8513.  You disagree with this
            classification and argue that the merchandise should be
            classified in heading 8531 as electrical visual signaling
            apparatus, or as electrical apparatus not specified elsewhere,
            in heading 8543.
            ISSUE:
                   Whether a portable electrical lighting device is
            electric sound or visual signaling apparatus classified in
            heading 8531; electrical machines and apparatus classified in
            heading 8543; or portable electric lamps (flashlights)
            classified in heading 8513.
            LAW AND ANALYSIS:
                   The General Rules of Interpretation (GRI's), the legal
            principles by which merchandise is classified, govern
            classification under the HTSUS.   According to GRI 1, the
            primary consideration in determining whether merchandise should
            be classified in a heading should be given to the language of
            the heading and to any relevant chapter or section notes.  The
            headings at issue in this case, 8531, 8513, and 8543 state:
                   8531      Electric sound or visual signaling
                             apparatus (for example, bells, sirens,
                             indicator panels, burglar or fire alarms),
                             other than those of heading 8512 or 8530;
                             parts thereof:
               *       *      *       *       *        *       *       *
                   8531.80.00    Other apparatus
               *       *      *      *      *    *    *    *    *    *   *
                   8513      Portable electric lamps designed to
                             function by their own source of energy
                             (for example, dry batteries, storage batteries
                             magnetos), other than lighting equipment of
                             heading 8512; parts thereof:
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                   8513.10        Lamps:
                  *      *         *        *       *       *        *
                   8513.10.20         Flashlights
                  *       *        *         *       *       *        *
                   8543    Electrical machines and apparatus, having
                           individual functions, not specified or
                           included elsewhere in this chapter; parts
                           thereof:
                  *       *        *         *       *        *       *
                   8543.80       Other machines and apparatus:
                  *       *        *         *       *        *       *
                   8543.80.90           Other
                   Under GRI 3(a), the article in this case cannot be
            classified in heading 8543.  GRI 3(a) states that the heading
            providing the most specific description shall be preferred to
            headings providing a more general description.  Headings 8531
            and 8513 more specifically describe the article, since it has
            two functions, emergency blinker and flashlight.  Under the
            HTSUS, GRI 3(b) governs when there are two headings which
            describe an article, but each refers to only one of its
            components.  GRI 3(b) states that 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), shall be classified
            as if they consisted of the material or component which gives
            them their essential character.
                   The factor that determines the essential character of an
            article varies between different kinds of articles.  It may be
            the nature of the material or component, its weight, value,
            bulk, or quantity, or its role in relation to the use of the
            goods.
                   The importer argues that it is impossible to determine
            the essential character of the lighting device because it has
            two independent and co-equal functions.  It is not primarily a
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            flashlight or blinker.  Since essential character cannot be
            determined, GRI 3(c) governs.
                   We disagree with the importer that the essential
            character of the lighting device in this case cannot be
            determined.  Based on the facts presented, the nature of the
            device and the role that the flashlight plays in relation to
            the overall use of the article suggest that the flashlight
            gives the device its essential character.
                   Although the flashlight and emergency blinker perform
            two independent functions, the overall design of the product
            indicates that it was intended to be used as a flashlight.  The
            product looks like a flashlight.  It is cylindrical in shape
            and is approximately 6 5/8 inches long and 1 3/4 inches in
            diameter.  A round plastic lens covers the bulb.   Moreover,
            since both the blinker and flashlight operate using the same
            light source (the flashlight bulb), the blinker is only
            operative if the flashlight bulb operates.   Finally, as a
            practical matter, the lighting device would be purchased not
            because of its use as an emergency blinker but because it is a
            flashlight.
                   Under these facts, the flashlight gives the lighting
            device its essential character.  The emergency blinker merely
            serves as an added feature and only enhances the overall
            feature of the lighting device.  Since the merchandise can be
            classified according to GRI 3(b), it is unnecessary to look to
            GRI 3(c).
            HOLDING:
                   The portable electric lighting device is properly
            classified as a flashlight in heading 8513, subheading
            8513.10.20.
                                      Sincerely,
John Durant, Director
                                      Commercial Rulings Division