MAR-2-05 CO:R:C:V RSD

Mr. Thomas W. Tolleson, Project Manager
Weslock Corporation
7700 Irvine Center Drive
Suite 670
Irvine, California 92718

RE: Country of origin marking of door locksets; door knobs; locks; lock cylinders, assembling; combining; substantial transformation; 19 CFR 134.35

Dear Mr. Tolleson:

This is in response to your letter dated December 3, 1992, addressed to the District Director, Los Angeles, regarding the country of origin marking for a door lockset made with Chinese and U.S. components. Your letter was forwarded to us for a reply. A meeting was held with you and Mr. Brent Reider at our office to discuss this case. You have made additional submissions dated April 1, 1993, and April 15, 1993. We have received samples of a complete door lockset and the various components. You request that certain cost information in this ruling and the diagrams in the accompanying file remain confidential. The confidential information contained in this ruling will be in brackets and will not be in copies of this ruling released to the public. All confidential information in the case file will remain confidential.

FACTS:

Weslock Corporation, a division of American Builders Hardware, is in the process of developing a new door lockset. The lockset will be marketed under the name "Series 300" as a high quality residential door lockset with a low retail price. The lockset will contain components made in China and the United States. The Chinese components consist of an outside rosette and an inside rosette assembly and parts of a latch mechanism. The U.S. components of the lockset consist of two door knobs, a locking cylinder, the face plate and parts of the latch mechanism. The lockset will be sold together in one package. The two knobs are attached to the rosettes in the package, but the back door knob is intended to be easily screwed off so that the lockset can be installed in a door. The latch is totally unattached, but it will be assembled with the other components when the lockset is installed into a door. The package also contains other items necessary to install the lockset, such as screws.

Weslock indicates that the three basic imported subcomponents will cost about [ and will comprise about of the total cost of the finished lock set of The remaining U.S. costs are attributed to processing consisting of .]

The knobs and rosettes are made out of brass. When the lockset is installed, only the outside section of the rosettes will remain visible. The manufacture of the rosettes is done in China with only a single machine through a single stamping operation. The rosettes do not require tight tolerances, and therefore the stamping and machining operations do not require a great deal of precision. No annealing or heat treating is involved in making the rosettes. The polishing of the rosettes is done by one brush.

The door knobs are to be made in the U.S. They are one piece knobs and require extremely tight tolerances in order for the lockset to function properly. The manufacture of the knobs involves multiple stamping, drawing, and machining operations, which require a good deal of precision, involved in making the knobs. Five different machines are used to produce the knobs. Some of these machines are especially designed for Weslock and can be highly complex. For example, one of these machines has 9 different tools on it. To ensure the elasticity of the brass and to strengthen the knobs, they must be annealed at a very high temperature. In order to polish the knobs, five different brushes are used.

The locking cylinder is the portion of the door lockset which allows it to lock and function as a security device. It is the part in which the key is placed into the door knob to unlock or lock the door. It is also manufactured in the U.S. Weslock puts the lock cylinder into the outside of the front door knob. Because there are 100,000 key combinations, the design of the lock cylinder is complex. The cylinder works with a system of pins which are triggered when the key is inserted. Because each locking cylinder is unique, the pins which make the cylinder function must be individually made for each cylinder and to ensure that the lock operates properly they must be precisely cut. In your submission of April 15, 1993, you indicate that the latch mechanism will include U.S. made components and that it will be assembled in the United States. Weslock states that it will import one loose component known as the cam, which is a part of the latch that has two tabs and a square 5/16" hole through the center and the cam assembly (7/8" diameter 1 1/4" long). Weslock will manufacture the two side plates and the conversion plate in the United States.

The faceplate is a part on the outside of the latch which also will be manufactured and assembled onto the latch in the United States. It will be manufactured by designing and building a 5 to 7 station progressive die to produce the "facepart" of the faceplate. The setting up of the die and the stamping out of the part will be done with a 60 ton punch press. The stamped out piece is wet tumbled and deburred in a vibra-hone machine. Then it is barrel plated and pro-sealed in the plating line. The faceplate is attached to the sub-assembly using a custom built staking press. A similar process is used to manufacture and assemble the conversion plate. It is inserted into the latch assembly with a custom designed assembly tool.

ISSUE:

Are the imported components, the rosettes and the parts of a latch mechanism, substantially transformed when they are combined with U.S. made parts to make door lockset?

LAW AND ANALYSIS:

Section 304 of the Tariff Act of 1930, as amended (19 U.S.C. 1304), provides that unless excepted, every article of foreign origin imported into the U.S. shall be marked in a conspicuous place as legibly, indelibly, and permanently as the nature of the article (or its container) will permit, in such a manner as to indicate to the ultimate purchaser in the U.S. the English name of the country of origin of the article. Congressional intent in enacting 19 U.S.C. 1304 was "that the ultimate purchaser should be able to know by an inspection of the marking on the imported goods the country of which the goods is the product. The evident purpose is to mark the goods so that at the time of purchase the ultimate purchaser may, by knowing where the goods were produced, be able to buy or refuse to buy them, if such marking should influence his will." United States v. Friedlaender & Co. 27 C.C.P.A. 297 at 302; C.A.D. 104 (1940).

Part 134, Customs Regulations (19 CFR Part 134), implements the country of origin marking requirements and the exceptions of 19 U.S.C. 1304. Section 134.1(b), Customs Regulations (19 CFR 134.1(b)), defines "country of origin" as the country of manufacture, production or growth of any article of foreign origin entering the U.S. Further work or material added to an article in another country must effect a substantial transformation in order to render such other country the "country of origin" within the meaning of the marking laws and regulations. The case of U.S. v. Gibson-Thomsen Co., Inc., 27 C.C.P.A. 267 (C.A.D. 98) (1940), provides that an article used in manufacture which results in an article having a name, character or use differing from that of the constituent article will be considered substantially transformed and that the manufacturer or processor will be considered the ultimate purchaser of the constituent materials. In such circumstances, the imported article is excepted from marking and only the outermost container is required to be marked (see section 134.35, Customs Regulations).

Customs on several occasions has considered whether imported components used in making a locking apparatus were substantially transformed when they were combined with U.S. components. In HQ 734440 (March 30, 1992), Custom ruled that a lock apparatus was substantially transformed in the U.S. as a result of combining it with the U.S. manufactured pieces. We noted that the predominant expense of the assembled lock was in the parts produced in the U.S. The imported piece was a generic mechanism which was inserted into the remaining pieces which required extensive manufacturing and development.

In HQ 734629 (October 1, 1992), we ruled that a lock cylinder was not substantially transformed after entry into the U.S. The lock cylinder was not attached to the remaining pieces of the lock until after it was received by the installer. The lock cylinder did not lose its separate identity when combined with the remaining pieces. The cylinder remained visible even after assembly by the installer. The attachment process was a simple screw mount, that was easily screwed in or out to replace.

In HQ 734227 (June 26, 1992), Customs found that chrome plated levers that were to be assembled with locksets did not lose their separate identity when they were combined with domestic locksets to form completed lever locksets. The levers were a significant component of the completed article and their assembly in no way changed the character of the lever. The levers were clearly recognizable both before and after the assembly. The lever was a separate component which had to be disassembled from the rest of the lockset prior to its installation.

In this case, the question that must be resolved is whether the imported components of the lockset retain or lose their separate identity when they are combined with the domestic components to make the door locksets. Although assembly of the imported rosettes with the other components of the lockset is not especially complex, these parts do not have any independent function and do not have a separate commercial use other than to be combine with the knobs and the locking cylinder to make a door lockset. They are subcomponents which are intended to be joined with other components to make the finished article. The finished article, the door lockset is a distinct article with a name, character, and use which is different from its individual components. Rather than being a collection of individual components, when it is fully assembled, the door lockset functions as one unit, a door opening and closing security device. Unlike the levers in HQ 734227 or the lock cylinder in HQ 734639, the character of the rosettes is changed as they become part of this unit, and they do not remain separate articles. We also note that unlike the levers or the cylinder in those two cases, the rosettes are attached to the knobs when the installer receives the lockset.

In addition, Customs has previously considered the origin of the components used as a relevant factor and the addition of significant U.S. components as a significant indicia of a substantial transformation in cases where the manufacturing operation is performed in the U.S. For example in 730069 (December 23, 1986), a substantial transformation of imported jack components was found based in large part on the fact that significant domestic components were added in the U.S. See also 734259 (April 13, 1992), (imported baler housing substantially transformed when combined with essential U.S. components to make high density hydraulic balers) and HQ 709570 (November 24, 1978) imported electric motor substantially transformed when combined in the U.S. with abrasive belt machine consisting of all domestic components; however, no substantial transformation if an essential components of the abrasive belt machine was foreign). In this case, the most complex parts of the finished lockset, which require the most skill and the precision to make, are the knobs and lock cylinder. As in HQ 734440, the parts which are most important and determine the basic character of the finished article, are made in the United States. Although the rosettes are significant parts of the lockset, they are not as important nor are they as complex as the domestic components in the lockset.

Based on the above considerations, we conclude that the imported rosettes lose their identity when they are combined with U.S. made door knobs and the lock cylinder to make a door lockset, and are substantially transformed. Therefore, under 19 CFR 134.35, they do not have to be individually marked to indicate their country of origin.

However, we also note that when the latch is packaged for the door lockset installer, it is not attached to the rest of the lockset. Under Weslock's original manufacturing scheme, the entire latch would be manufactured in China. Since, it was a separate piece, not connected to the rest of the lockset, we would consider it as a separate article in a collection of other articles which would have to be individually marked to indicate its own country of origin. However, in its most recent submission Weslock has proposed significant changes in the way the latch will be manufactured. Important components of the latch, including the two side plates, the face plate and the conversion plate will be manufactured in the U.S. Additionally, the assembly necessary to complete the actual latch cage will be done in the U.S. According to this new manufacturing plan, the major imported components of the latch will consist of the "cam assembly" and the "cam" itself. Under this scenario, we find that significant processing on the latch is done in the U.S. The imported components as imported are not a latch, but when they are assembled together with the U.S. made parts, the become part of a new article, the finished latch. Accordingly, under Weslock's most recent proposal, we find that the imported components of the latch are also substantially transformed as a result of the work done in the U.S.

Accordingly, under 19 CFR 134.35, Weslock is the ultimate purchaser of the imported components involved in making the lockset and these parts are excepted from individual country of origin marking. Only the outermost containers must be marked to indicate the country of origin of the imported components.

Finally, you indicate in your submission of December 3, 1992, that you want to mark the finished lockset "Made in the USA". The Customs Service does not have the authority to approve such a marking. The Federal Trade Commission has jurisdiction over the use of phrases such as "Made in the USA". It is our understanding that in order to mark a product "Made in the USA", all the components of the article must be made in the United States. We suggest that you contact FTC before you put a "Made in the USA" marking on your products.

HOLDING:

The imported components of a door lockset, the rosettes and parts of the latch, are substantially transformed when they are assembled together with significant U.S. components in the U.S. to make the finished door lockset. Accordingly, under 19 CFR 134.35, the individual components do not have to be marked as long as the outermost containers of the imported articles are properly marked.

Sincerely,

John Durant, Director
Commercial Rulings Division


cc: District Director of Customs
Los Angeles District

Area Director, New York Seaport