CLA-2 CO:R:C:G  085493  CMR
Patrick Gill, Esq.
      Rode & Qualey
      295 Madison Avenue
      New York, New York  10017
      RE: Reconsideration of HRL 084519 of May 18, 1989
      Dear Mr. Gill:
           This ruling is in response to your submission of May 26, 1989,
      requesting reconsideration of HRL 084519 of May 18, 1989.  In that
      ruling, Customs classified cotton money bags under subheading
      6305.20.0000, HTSUSA, which provides for sacks and bags, of a kind
      used for the packing of goods.
      FACTS:
           The merchandise at issue is a 100 percent cotton bag measuring
      approximately 18" by 12" and open at one end.  It is manufactured in
      the People's Republic of China and is used by banks for transporting
      coins, checks and currency.
           NYRL 836656 of March 1, 1989, classified the money bag in
      subheading 4202.92.6000, HTSUSA, which provides for trunks,
      suitcases, vanity cases, etc., and similar containers, other, other,
      of cotton.  In HRL 084519 of May 18, 1989, Customs reconsidered the
      classification decision in NYRL 836656.  It was determined that that
      ruling was in error and that the correct classification of the
      subject money bag was subheading 6305.20.0000, HTSUSA, which provides
      for sacks and bags, of a kind used for the packing of goods, of
      cotton.
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           You are requesting that Customs reconsider HRL 084519, claiming
      that the money bag should be classified in subheading 6307.90.90,
      HTSUSA, as an other made up article, other.
      ISSUE:
           Was the subject money bag properly classified in HRL 084519 in
      subheading 6305.20.0000, HTSUSA, as a cotton sack or bag, of a kind
      used for the packing of goods?
      LAW AND ANALYSIS:
           We have reviewed your submission, as well as your previous
      submissions, regarding the classification of the subject money bag.
      Your most recent submission failed to add anything new to your
      argument.  We find no basis for concluding that the classification of
      the money bag in HRL 084519 is incorrect.
           While you are correct that the Explanatory Notes, which are the
      official interpretation of the HTSUS at the international level, are
      not legally binding, they do provide guidance in the classification
      of merchandise.  Indeed, you relied heavily on the Explanatory Notes
      in your submission of May 5, 1989, when arguing that heading 4202 was
      not the correct heading for the classification of the money bag.
           Although the article at issue may have been classified in the
      Tariff Schedules of the United States in an item number that did not
      carry a quota category, the Harmonized Tariff Schedule of the United
      States is a different tariff system.  Customs and importers must
      expect that some changes are bound to occur in converting from one
      system to another.
      HOLDING:
           The cotton money bag at issue was properly classified in HRL
      084519 in subheading 6305.20.0000, HTSUSA, as a cotton sack or bag,
      of a kind used for the packing of goods.
           The designated textile and apparel category may be subdivided
      into parts.  If so, the visa and quota requirements applicable to the
      subject merchandise may be affected.  Since part categories are the
      result of international bilateral agreements which are subject to
      frequent renegotiations and changes, to obtain the most current
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      information available, we suggest you check, close to the time of
      shipment, the Status Report On Current Import Quotas (Restraint
      Levels), an internal issuance of the U.S. Customs Service, which is
      updated weekly and is available for inspection at your local Customs
      office.
           Due to the changeable nature of the statistical annotation (the
      ninth and tenth digits of the classification) and the restraint
      (quota/visa) categories, you should contact your local Customs office
      prior to importation of this merchandise to determine the current
      status of any import restraints or requirements.
                                      Sincerely,
Harvey B. Fox
                                      Director, Office of
                                      Regulations and Rulings
6cc: Area Director, New York Seaport
      1cc: CITA
      1cc: Legal Reference Section
      1cc: Phil Robins