CLA-2 CO:R:C:M 955615 LTO
Ms. Tracy Ann Ehme
The A.W. Fenton Co., Inc.
1157 Rarig Avenue
Columbus, Ohio 43219-2357
RE: Instrument stands; stand arms; HQ 954174; "furniture";
General EN to chapter 94; EN 94.02
Dear Ms. Ehme:
This is in response to your letters of December 8, 1993, on
behalf of The R.H. Burton Co., requesting the classification of
instrument stands and stand arms under the Harmonized Tariff
Schedule of the United States (HTSUS). Your letters were
referred to this office for a response.
FACTS:
The instrument stands consist of two models: BUR1100 and
RHB3200. They are both used to hold ophthalmic equipment. They
are made of metal and are designed to stand on the floor. Both
models include control panels which are, according to information
you have supplied, merely elaborate on/off switches to operate
the lamp on top of the instrument stand and the various control
arms.
The control arms consist of four models: BUR1010; BUR1040;
RHB2010 and RHB3004. The RHB3004 and the BUR1040 are spring-
balanced while the other two are not. You state that the arms
are options that are designed to be used with the stands and have
no other purpose. The arms hold either Keratometer or slit lamps
for an eye examination.
ISSUE:
Whether the instrument stands and stand arms, when imported
separately, are classifiable as medical furniture or parts
thereof under heading 9402, HTSUS.
- 2 -
LAW AND ANALYSIS:
The General Rules of Interpretation (GRI's) to the HTSUS
govern the classification of goods in the tariff schedule. GRI 1
states in pertinent part that "for legal purposes, classification
shall be determined according to the terms of the headings and
any relative section or chapter notes . . . ." You contend that
the articles in question are classifiable under heading 9402,
HTSUS, which provides for "[m]edical, surgical, dental or
veterinary furniture (for example, operating tables, examination
tables, hospital beds with mechanical fittings, dentists'
chairs); . . . parts of the foregoing articles."
The Harmonized Commodity Description and Coding System
Explanatory Notes (EN) constitute the Customs Co-operation
Council's official interpretation of the Harmonized System.
While not legally binding, the ENs provide a commentary on the
scope of each heading of the Harmonized System, and are generally
indicative of the proper interpretation of these headings.
In HQ 954174, dated November 23, 1993, Customs classified
Ceiling Services Units as accessories for machines, appliances,
instruments or apparatus of chapter 90, not specified or included
elsewhere, under subheading 9033.00.00, HTSUS. These units were
specially designed for use in hospital operating rooms and
intensive care units. The units provided a single base for all
necessary instrumentation, thus contributing to the effectiveness
of that instrumentation. However, unlike the stands in question,
the Ceiling Services Units are not "furniture," as that term is
defined in the General EN to chapter 94.
General EN to chapter 94 states that for the purposes of
this chapter, the term furniture is defined, in part, as follows:
Any 'movable' articles (not included under other more
specific headings of the Nomenclature), which have the
essential characteristic that they are constructed for
placing on the floor or ground, and which are used,
mainly with a utilitarian purpose, to equip . . .
laboratories, hospitals, dentists' surgeries, etc.
. . . [emphasis in original].
The stands in question meet this above definition and are
considered "furniture" for tariff purposes.
While the instrument stands are not specifically mentioned
in EN 94.02, pg. 1576-7, the note states that the medical,
surgical, dental or veterinary furniture of heading 9402, HTSUS,
"is restricted to furniture of a type specially designed for
medical, surgical, dental or veterinary use; furniture for - 3 -
general use not having such characteristics is therefore excluded
[emphasis in original]." The instrument stands in question are
specially designed for use with ophthalmic equipment.
Accordingly, the stands are classifiable under heading 9402,
HTSUS.
With regard to the classification of the stand arms, the
General EN to chapter 94 states that the chapter covers parts "of
the goods of headings 94.01 to 94.03 and 94.05, when identifiable
by their shape or other specific features as parts designed
solely or principally for an article of those headings. They are
classified in this Chapter when not more specifically covered
elsewhere." The stand arms in question are used solely with the
instrument stands which were found to be classifiable under
heading 9402, HTSUS. As such, the stand arms, when imported
separately, are also classifiable under heading 9402, HTSUS.
HOLDING:
The instrument stands and stand arms, when imported
separately, are classifiable under subheading 9402.90.00, HTSUS.
The corresponding rate of duty for articles of this subheading is
5.3% ad valorem.
Sincerely,
John Durant, Director