CLA-2:CO:R:C:G 085931 SER

Mr. Andrew M. Allan
W.L. Gore & Associates (UK) Ltd.
West Pitkerro Industrial Estate
Dundee Tayside, Scotland DD5 3RX

RE: Fluorocarbon resins

Dear Mr. Allan:

This is in reference to your letter of October 19, 1989, requesting the classification of fluorocarbon resins under the Harmonized Tariff Schedule of the United States Annotated (HTSUSA).

FACTS:

This ruling involves the classification of two fluorocarbon resins which are re-imported into the United States after further processing in the United Kingdom. The fluorocarbon resins are purchased in the United States and are then shipped to the United Kingdom. The resins are blended in the United Kingdom into a mixture containing carboxy methyl cellulose, zonyl FSN 100 (a fluoro-surfactant) and water. This blend is to allow for easier application.

Research indicates that the identity of the United States fluorocarbon resins are as follows:

CAS (chemical abstract register number) 26555-00-5 is propane 1,1,1,2,2,3,3,- heptofluoro-3 [(trifluoroethynyl) oxy]- polymer with tetrafluoromethane (HTSUSA 3904.69.00, a fluoropolymer other). CAS 9002-84-0 is polytetrafluorethylene (PTFE), (HTSUSA 3904.61.00)

ISSUE:

What is the proper classification of the products at issue, and are they entitled to a duty exemption under the HTSUSA?

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LAW AND ANALYSIS:

Classification of goods under the HTSUSA is governed by the General Rules of Interpretation (GRI), taken in order. GRI 1 provides that classification shall be determined according to the terms of the Headings and any relative Section or Chapter Notes.

Subheading 3904.69.50, HTSUSA, provides for fluoropolymers, other, other. It should be noted that if the polytetra- fluoroethylene (PTFE) contributes 95 percent or more by weight to the total polymer content, subheading 3901.61.00, HTSUSA, which provides for polytetrafluoroethylene (PTFE), would apply to the fluorocarbon resin mixture as described by Note 4 of Chapter 39. It does not appear that the PTFE in the product at issue constitutes such a large contribution.

Due to the fact that the product at issue consists partially of products of American origin that will be returning to the United States following processing in the United Kingdom, the inquirer requests some duty exemption for the United States originating material. It is Customs position that the product at issue does not qualify for any duty exemptions as allowed in the HTSUSA.

CONCLUSION:

The product at issue is properly classifiable in subheading 3904.69.50, HTSUSA, which provides for fluoropolymers, other, other. The rate of duty is 2.2 cents per kilogram, plus 7.7 percent ad valorem. The product does not meet any requirements that would permit for duty exemption.


Sincerely,

John Durant, Director
Commercial Rulings Division