CLA-2 CO:R:C:M 955804 DFC
Andrew S. Harris CHB
604 Merrick Road
Lynbrook, NY 11563
RE: Footwear, women's; Espadrille; Open heels; T.D. 93-88;
HRL 955282
Dear Mr. Harris:
This is in reference to your letter dated October 21, 1993,
to the Area Director of Customs in New York, on behalf of Buckray
Inc., concerning the tariff classification under the Harmonized
Tariff Schedule of the United States (HTSUS) of a woman's
espadrille type shoe produced in Spain. Your letter, together
with the sample submitted, has been referred to this office for a
response.
FACTS:
The sample shoe, identified as style "Valenciana", has a
vegetable fiber textile upper, rubber outsole [the material
mostly in contact with the ground] and a thick jute rope midsole.
The textile upper has a closed front vamp section which fully
encloses the toes, a full back heel section with a trapezoidal
shaped opening [approximately 3/4 inch high by 1-1/4 inch wide]
at the bottom of the heel, and an open midsection that has a 5/8
inch wide textile strap which passes through a central loop at
the front and two eyelets on each side of the heel at the back.
The strap is used to tie the shoe to the wearer's foot. It is
assumed that the shoe contains less than 10% by weight of rubber
or plastics based on the weight breakdown submitted.
ISSUE:
Does style "Valenciana" qualify as having an "open heel" for
tariff purposes?
LAW AND ANALYSIS:
Classification of goods under the HTSUS is governed by the
General Rules of Interpretation (GRI's). GRI 1 provides that
"classification shall be determined according to the terms of the
headings and any relative section or chapter notes, and, provided
such headings or notes do not otherwise require, according to
[the remaining GRI's taken in order]." In other words,
classification is governed first by the terms of the headings of
the tariff and any relative section or chapter notes.
Subheading 6404.19.25, HTSUS, provides for footwear with
outer soles of rubber, plastics, leather or composition leather
and uppers of textile materials, footwear with outer soles of
rubber or plastics, other, footwear with open toes or open heels,
less than 10 percent by weight of rubber or plastics, with uppers
of vegetable fibers.
According to our research, the question of how large an
opening or how much of the heel needs to be uncovered to classify
a shoe as having "open heels" has not been previously addressed.
The HTSUS and the Harmonized Commodity Description and Coding
System Explanatory Notes (EN) provide no answers to this
question. However, on November 17, 1993, in T.D. 93-88 (27 Cust.
Bull. & Dec. No. 46), Customs published certain footwear
definitions used by Customs import specialists in classifying
footwear under Chapter 64, HTSUS. Inasmuch as these definitions
were provided merely as guidelines and are not to be construed as
Customs rulings, they are not dispositive. However, we believe
they should be consulted. On page 6 of that document the term
"Open" was defined in pertinent part, as follows:
. . .[i]n open heeled shoes, all or part of the back of the
wearer's heel can be seen.
Following this definition, it is our view that style
"Valenciana" qualifies as having an "open heel" for tariff
purposes. It is our observation that part of the back of the
wearer's heel will be visible through the opening at the bottom
of the heel. See Headquarters Ruling Letter 955282 dated March
4, 1994, in which this office reached the same conclusion on
similar footwear.
HOLDING:
Style "Valenciana" is dutiable at the rate of 7.5% ad
valorem under subheading 6404.19.25, HTSUS.
Sincerely,
John Durant, Director
Commercial Rulings Division