CLA-2 CO:R:C:F 088976 RFC

Mr. Peter W. Klestadt
Grunfeld, Desiderio, Lebowitz & Silverman
12 East 49th Street
New York, NY 10017

RE: Tomato-related products

Dear Mr. Klestadt:

This letter is in response to your request of March 28, 1991, on behalf of Rienzi & Sons, Inc., concerning the tariff classification under the Harmonized Tariff Schedule of the United States Annotated (HTSUSA) of certain tomato-related products.

FACTS:

There are three products for which classification rulings are sought. They are identified as follows: Alla Napoletana, Campagnola, and Salsa Sorrentina.

Alla Napoletana

A laboratory analysis of a sample of Alla Napoletana reveals the product to be of uniform texture and containing salt, oil, and a 12.5 percent dry solids content. No acetic acid was found. A visual examination of a sample of Alla Napoletana reveals the product to consist of a tomato concentrate with a thick consistency and containing light amounts of very small pieces of chopped green peppers, olives, and tomato.

Campagnola

A laboratory analysis of a sample of Campagnola reveals the product to be of a heterogeneous texture and containing vegetable parts, spices, salt, oil, and a 11.6 percent dry solids content. No acetic acid was found. A visual examination of a sample of Campagnola reveals the product to consist of a fairly loose tomato concentrate in which are found a considerable number of mushroom pieces, thin onion slices, and tomato pieces. The mushroom pieces range in size from 3/4 inch to 1 and 1/4 inches in length.

Salsa Sorrentina

A laboratory analysis of a sample of Salsa Sorrentina reveals the product to be of a heterogeneous texture and containing parts of various vegetables, spices, oil, and a 11.7 percent dry solids content. No acetic acid was found. A visual examination of a sample of Salsa Sorrentina reveals the product to consist of a tomato concentrate containing many pieces of sliced eggplant, chopped olives, and broken-tomato pieces. The eggplant pieces were in the form of strips ranging in size from 1 and 1/4 to 4 inches in length.

ISSUES:

(1) What is the proper tariff classification of a tomato concentrate containing several large vegetable pieces?

(2) What is the proper tariff classification of a tomato concentrate containing a few very small vegetable pieces?

LAW AND ANALYSIS:

Merchandise imported into the United States is classified under the HTSUSA. The tariff classification of merchandise under the HTSUSA is governed by the principles set forth in the General Rules of Interpretation (GRIs) and, in the absence of special language or context which otherwise requires, by the Additional U.S. Rules of Interpretation. The GRIs and the Additional U.S. Rules of Interpretation are part of the HTSUSA and are to be considered statutory provisions of law for all purposes. See Sections 1204(a) and 1204(c) of the Omnibus Trade and Competitiveness Act of 1988 (19 U.S.C. 1204(a) and 1204(c)).

GRI 1 requires that classification be determined first according to the terms of the headings of the tariff schedule (i.e., (1) merchandise is to be classified under the 4-digit heading that most specifically describes the merchandise; (2) only 4-digit headings are comparable; and (3) merchandise must first satisfy the provisions of a 4-digit heading before consideration is given to classification under a subheading within this 4-digit heading) and any relative section or chapter notes and, provided such headings or notes do not otherwise require, then according to the other GRIs.

GRI 6 prescribes that, for legal purposes, GRIs 1 to 5 shall govern, mutatis mutandis, classification at subheading levels within the same heading. Therefore, merchandise is to be classified at equal subheading levels (i.e., at the same digit level) within the same 4-digit heading under the subheading that most specifically describes or identifies the merchandise.

The Explanatory Notes to the Harmonized Commodity Description and Coding System (hereinafter "Harmonized System") represent the official interpretation of the Customs Cooperation Council on the scope of each heading. See H.R. Conf. Rep. No. 100-576, 100th Cong., 2d Sess. 549 (1988); 23 Customs Bulletin No. 36, 3 (T.D. 89-90, September 6, 1989), 59 F.R. 35127 (August 23, 1989). Although not binding on the contracting parties to the Harmonized System Convention or considered to be dispositive in the interpretation of the Harmonized System, the Explanatory Notes should be consulted on the proper scope of the Harmonized System. Id.

In view of the composition of each of the above-described products, the competing headings in the instant classification analysis are 2005 and 2103. Heading 2103 provides for, among other things, sauces. Guidance concerning what does and does not constitute a "sauce" for purposes of classification under heading 2103 can be found in the Explanatory Notes to that heading. Those notes state, in part, that:

Sauces are generally in liquid form...[Heading 2103]...includes certain products based on vegetables...but these differ from the preserved products in Chapter 20 (and more especially those under heading 20.01) in that they are mainly liquids, emulsions or suspensions containing very little solid matter, - see the Explanatory Note to heading 20.01 regarding these preparations (underscoring added).

See Explanatory Notes to Heading 21.03 to the Harmonized Commodity Description and Coding System.

Turning to the Explanatory Notes to heading 2001, one finds the following comment on "sauces":

[S]auces of heading 21.03...are generally liquids, emulsions or suspensions containing practically no pieces of fruit, vegetables or other edible parts of plants (underscoring added).

See Explanatory Notes to Heading 20.01 to the Harmonized Commodity Description and Coding System.

One can only conclude from the above-cited Explanatory Notes that for a product to be classified in heading 2103 as a sauce, it must contain little or no pieces of vegetable; and those pieces that it might contain must be very small in size.

The second heading under consideration in the instant classification analysis is 2005. That heading provides for "other vegetables prepared or preserved otherwise than by vinegar or acetic acid, not frozen." Guidance concerning the coverage of that heading can be found in the Explanatory Notes thereto. Those notes state, in part, that:

The term "vegetables" in this heading is limited to the products referred to in Note 3 to this Chapter. These products (other than vegetables prepared or preserved by vinegar or acetic acid of heading 20.01 and frozen vegetables of heading 20.04) are classified in the heading when they have been prepared by processes not provided for in Chapter 7 or 11.

Such products fall in the heading irrespective of the type of container in which they are put up (often in cans or other airtight containers).

These products, whole, in pieces or crushed, may be preserved in water, in tomato sauce or with other ingredients ready for immediate consumption. They may also be homogenised or mixed together (salads) (underscoring added).

See Explanatory Notes to Heading 20.05 to the Harmonized Commodity Description and Coding System.

In view of the above-cited Explanatory Notes and of the above- cited Explanatory Notes to headings 2301 and 2001, one can only conclude that a product consisting of a tomato concentrate with several large vegetable pieces and not prepared or preserved otherwise than by vinegar or acetic acid and not frozen is properly classified in heading 2005.

Alla Napoletana

As Alla Napoletana is a tomato concentrate containing a few very small vegetable pieces, it is properly classified in heading 2103 as a "sauce."

Campagnola

As Campagnola is a tomato concentrate containing several large vegetable pieces and contains no vinegar or acetic acid and is not frozen, it is properly classified in heading 2005 as "other vegetables prepared or preserved otherwise than by vinegar or acetic acid, not frozen."

Salsa Sorrentina

As Salsa Sorrentina is a tomato concentrate containing several large vegetable pieces and contains no vinegar or acetic acid and is not frozen, it is properly classified in heading 2005 as "other vegetables prepared or preserved otherwise than by vinegar or acetic acid, not frozen."

HOLDING:

Alla Napoletana

The product identified above as "Alla Napoletana" is properly classified as follows: If imported in containers holding less than 1.4 kg., then it is classified under the statistical- reporting number 2103.20.4020, HTSUSA, which provides for sauces, tomato ketchup and other tomato sauces, other, in containers holding less than 1.4 kg. On the other hand, if imported in containers holding more than 1.4 kg, then it is classified under the statistical-reporting number 2103.20.4040, HTSUSA, which provides for sauces, tomato ketchup and other tomato sauces, other, other. The general rate of duty for both of those statistical-reporting numbers is 13.6 percent ad valorem.

Campagnola

The product identified above as "Campagnola" is properly classified under the statistical-reporting number 2005.90.9500, HTSUSA, which provides for other vegetables prepared or preserved otherwise than by vinegar or acetic acid, not frozen, other vegetables and mixtures of vegetables, other. The general rate of duty is 17.5 percent ad valorem.

Salsa Sorrentina

The product identified above as "Salsa Sorrentina" is properly classified under the statistical-reporting number 2005.90.9500, HTSUSA, which provides for other vegetables

prepared or preserved otherwise than by vinegar or acetic acid, not frozen, other vegetables and mixtures of vegetables, other. The general rate of duty is 17.5 percent ad valorem.

Sincerely,

John Durant, Director
Commercial Rulings Division