CLA-2  CO:R:C:V 554850  DBI
District Director of Customs
            Chicago, Illinois  60607
            RE: Request for Internal Advice Regarding GSP Country of Origin
                Criteria of Land Mobile Radios and Radar Detectors
            Dear Sir:
                This is in response to a memorandum of November 17, 1987,
            from your office concerning the requested internal advice
            ruling by Thomas J. O'Donnell, Esq., on behalf of Uniden
            Corporation, dated June 18, 1987.  The request concerns the
            correct application of the Generalized System of Preferences
            (GSP) country of origin criteria to land mobile radios and
            radar detectors from Taiwan.
            FACTS:
                The issue in this case arose when your office questioned
            the GSP duty-free eligibility of the subject merchandise.  A
            review by your office of the applicable Form A's showed that
            the importer incorrectly calculated the country of origin
            value-content percentages for the merchandise on the basis of
            ex-factory prices rather than FOB Taiwan prices.  Applying the
            higher FOB appraised values, many of the items were found not
            to meet the minimum 35 percent Taiwanese origin percentage
            necessary to qualify for GSP duty-free treatment.
                The importer does not contest application of the higher FOB
            appraised values nor does he dispute that, as a result, many of
            the items fall below the minimum 35% value added requirement.
            However, he claims that the subject merchandise includes
            material from outside of Taiwan that undergoes a double
            substantial transformation and, as a result, its value may be
            included in the Taiwanese origin percentage.  You state that
            your office is inclined to accept the claim for substantial
            transformation except for the fact that the origin percentage
            established by such a finding would contradict those already
            certified by the Taiwan certifying authority.
                The manufacturing operations involved in the production of
            land mobile radios and radar detectors are as follows:
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                The Parts Receiving Depot
                 All incoming components go to this depot and are logged
                in, counted, quality control tested and then arranged by
                lot into a proper bin.  The components are then arranged in
                trays and assigned to a worker who is located at a specific
                assembly station.  Components are sent to the appropriate
                section (mounting, subassembly, wiring or adjustment).
                Mounting Section
                This is where discrete components are assembled onto
                printed circuit boards.  The boards are masked to prevent
                adhesion of solder in undesired locations.  The components
                are then soldered and/or glued into place and leads are
                trimmed off by circular saws.  The soldering operations
                include preheating the PCB's prior to entering the solder
                bath, a solder bath, movement over rollers to remove excess
                solder, a second and final solder bath which applies a thin
                smooth solder layer, quality control testing and removal of
                excess solder.  The components on top of the board are then
                straightened and the board is moved through various
                stations via conveyor belting where each section of the
                board is examined to assure placement of components and
                soldering.  The PCB's are then quality control checked for
                proper electrical functioning and then sent to the
                subassembly section.
                Subassembly Section
                The PCB's received from the mounting section then are
                prepared for assembly.  Additional components are assembled
                by hand to the boards, including the attachment of lead
                wires, capacitors, jacks, integrated circuits, and heat
                sinks.  At this stage, the printed circuit boards become
                completed printed circuit board assemblies.
                Wiring Section
                The wiring section essentially completes the product.  The
                various subassemblies (PCBA) are combined together and
                placed in the housing, various switches are assembled,
                input-output plugs are added, the main PCB is attached to
                the housing, LED's are inserted, and speakers are added.
                Again, the unit is quality control checked to assure that
                the unit, with all subassemblies, is operating correctly.
                Adjustment Section
                This involves the final assembly, testing, and packaging of
                the product.  The microphone is installed, the front and
                rear cases are screwed to the frame, and the brand name is
                affixed to the housing.  The completed product is fully
                tested to assure that it is operating correctly and
                conforms to all specifications.
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                Land mobile radios typically take from 250 to 400 minutes
            of actual assembly processing time to produce while radar
            detectors take from 83 to 112 minutes of actual assembly
            processing time to produce.
            ISSUE:
                Whether the operations performed on the component parts of
            land mobile radios and radar detectors result in a dual
            substantial transformation, thereby enabling the cost or value
            of the constituent material to be counted toward the 35 percent
            value-content requirement for purposes of the GSP.
            LAW AND ANALYSIS:
                Section 10.176(a) of the Customs Regulations (19 CFR
            10.176(a)), provides that an article may qualify for duty-free
            treatment under the GSP only if the sum of the cost or value of
            the materials produced in the beneficiary developing country
            (BDC), plus the direct costs of processing operations performed
            in the BDC, are not less than 35 percent of the appraised value
            of the imported article.
                Section 10.177(a), Customs Regulaions (19 CFR 10.177(a)),
            provides that the words "produced in the beneficiary developing
            country" refer to the constituent materials of which the
            eligible article is composed which are either (1) wholly the
            growth, product, or manufacture of the BDC, or (2)
            substantially transformed in the BDC into a new and different
            article of commerce.  In the case of materials imported into a
            BDC (such as the component parts in the instant case), the cost
            or value of that material may be counted toward the 35 percent
            requirement only if the imported material is first
            substantially transformed into a new and different intermediate
            article of commerce which is then used in the BDC in the
            production of the final imported article.
                Since the merchandise at issue is to be produced using
            component parts which are not the product of Taiwan, it is
            clear that they are not wholly the growth, product, or
            manufacture of that beneficiary country.  It is Mr. O'Donnell's
            position that the production of a number of PCB subassemblies,
            and the subsequent assembly of the subassemblies into the final
            product, each constitutes a substantial transformation.  Thus,
            he argues that the cost or value of the subassemblies may be
            counted toward the 35 percent requirement for purposes of
            determining whether the imported land mobile radios and radar
            detectors are eligible for duty-free treatment under the GSP.  
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                The test for determining whether a substantial
            transformation has occurred is whether an article emerges from
            a process with a new name, character or use, different from
            that possessed by the article prior to processing.  See Texas
            Instruments Inc. v. United States, 69 CCPA 152, 681 F.2d 778
            (1982).
                In the present situation, in order for the imported
            component parts to be counted toward satisfying the 35 percent
            value-content requirement, a finding of a double substantial
            transformation must be made.  The double substantial
            transformation concept has its origins in the administrative
            and judicial interpretations of 19 CFR 10.177(a).  See T.D. 76-
            100, 10 Cust. Bull. 176 (1976) and C.S.D. 85-25 (071827), 19
            Cust. Bull. 544 (1985).
                Customs application of the double substantial
            transformation requirement in the context of the GSP received
            judicial approval in The Torrington Company v. United States, 8
            CIT 150, 596 F.Supp. 1083 (1984), aff'd 764 F.2d 1563 (1985).
            The court, after affirming Customs application of the double
            substantial transformation concept, said:
                Regulations promulgated by Customs define the term
                "materials produced" to include materials from third
                countries that are substantially transformed in the BDC
                into a new and different article of commerce.  19 CFR
                10.177(a)(2).  It is not enough to transform substantially
                the non-BDC constituent materials into the final article,
                as the material utilized to produce the final article would
                remain non-BDC material.  There must first be a substantial
                transformation of the non-BDC material into a new and
                different article of commerce which becomes "material
                produced," and these materials produced in the BDC must
                then be substantially transformed into the new and
                different article of commerce.  It is noted that 19 CFR
                10.177(a) distinguishes between "merchandise produced in a
                BDC" and the cost or value of the "materials produced in
                the BDC" which demonstrates the contemplation of a dual
                substantial transformation requirement.
                We have previously held in a ruling dated June 28, 1985 (HQ
            553217), that the process of incorporating component parts
            manufactured in Romania and component parts imported into
            Romania onto a printed circuit board subassembly constituted a
            processing sufficiently complex so as to result in the
            subassembly being considered a substantially transformed
            constituent material of an imported matrix printer.  We took
            into account the number of steps, the careful attention to
            detail and quality control, and the large number of discrete
            components assembled onto the PCB.
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            We also held that the PCB subassembly represented a distinct
            article, different from both the components from which it was
            made and the matrix printer into which it was incorporated and,
            therefore, the assembled PCB constituted an intermediate
            article within the meaning of 19 CFR 10.177(a).  In that case,
            the cost or value of the PCB subassemblies were counted toward
            the GSP 35 percent value-content requirement.  See also C.S.D.
            85-25.
                In the present case, we find that the manufacture of the
            PCB subassemblies constitutes a substantial transformation.
            The separate components imported into Taiwan acquire new
            attributes, and the PCB subassembly differs in character and
            use from the component parts of which it is composed.  The
            production of the subassembly involves substantial operations
            (cutting, mounting, soldering, quality control testing),
            increasing the components' value and endowing them with new
            qualities which transform them into an article with a new
            distinct commercial identity.
                We also find that the further complex assembly of the PCB
            subassemblies, creating the final product, results in a second
            substantial transformation.  The further assembly operation of
            the PCB's changes the character of the constituent material
            (PCB subassemblies) to enable it to become land mobile radios
            and radar detectors.  The PCB's are separate articles of
            commerce that manufacturers wish to buy and sell for their own
            purposes.  As a result of the final assembly of the PCB's into
            land mobile radios and radar detectors, a finished product
            emerges with a separate identity and, therefore, is a new
            article of commerce.
                Additionally, the further complex assembly of the PCB
            subassemblies involves a large number of components and a
            significant number of different operations, requires a
            relatively significant period of time as well as skill,
            attention to detail, and quality control, and results in
            significant economic benefit to the beneficiary developing
            country from the standpoint of both the value added to each PCB
            and the overall employment generated by the operations.
                Finally, these assemblies are not the type of "pass-
            through" operations which Congress intended to prohibit from
            receiving GSP benefits.  "Keep[ing] in mind the GSP's
            fundamental purpose of fostering industrialization in
            beneficiary developing countries," we believe that the
            operations performed in this instance are the type of
            substantial operations contemplated by the GSP statute.  See
            Torrington v. United States, 764 F.2d at 1571.
                Regarding the issue of certification of the Form A, section
            10.173(a) of the Customs Regulations (19 CFR 10.173(a)), as
            amended on July 9, 1986, reads as follows:
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                The Form A shall be properly completed and signed by the
                exporter of the merchandise, or other appropriate party
                having knowledge of the relevant facts.  The Form A need
                not be certified by the designated governmental authority
                of that country unless that country has a verification
                agreement with the U.S. Customs Service.
            Since Taiwan does not have a verification agreement with the
            U.S. Customs Service, then your office may accept corrected
            Form A's completed and signed by the exporter or appropriate
            party.  They need not be certified by the Taiwan government.
            HOLDING:
                The component parts imported into Taiwan and subject to the
            processing described in the importer's submission, may be
            regarded as a material produced in Taiwan within the meaning of
            19 CFR 10.177, and its value may be included towards the
            satisfaction of the GSP's 35 percent value-content requirement.
                                      Sincerely,
John Durant
                                       Director, Commercial
                                       Rulings Division
1cc:  CLA-2 CO:R:C:DBI:MM:9/7/88