958942 95 Ruling Active

Request for Review of classification of a "CollarBandana"; NY 816981

Issued April 7, 1997 by U.S. Customs and Border Protection.

Tariff classification

HTS codes: 6307.90.9989

Headings: 6307

GRI rules applied: GRI 1

Product description

The subject article is identified as a collar bandana which is rectagular in shape with rounded ends. The bandana measures approximately 2 and 3/4 inches by 11 and « inches. The bandana consists of an exterior of woven cotton, lined with woven 65% polyester and 35% cotton and has been made with pocket-like openings and a "VELCRO" closure which is designed to contain "heat packs." The heat packs are imported separately and contain a chemical mixture, packaged in an airtight envelope. Upon opening, the chemical mixture within the bags reacts with oxygen to generate heat. The bandana is intended to be worn around the neck, one size fits all, and fits loosely around the neck. NY 816981, dated January 2, 1996, classified the "Collar Bandana", which was imported by itself, in subheading 6217.10.9030, HTSUSA, as "Other made up clothing accessories; parts of garments or of clothing accessories other than those of heading 6212: Accessories: Other, of man-made fibers." In NY 816982, the heat packs were separately classified under subheading 3823.90.9050 (currently, 3824.90.9050), HTSUSA. Printed information on the bandana's packaging indicates it is to be used as a carrier for the heat packs. Upon importation into the United States, the bandanas are always packaged together with the heat packs and the bandanas are never sold separately. - 2 - The importer contends that the "Collar Bandana" is classifiable as "other made up textile articles" under subheading 6307.90.9989, HTSUSA, if imported separately and under subheading 3824.90.9050, HTSUSA, if imported together with the "heat packs" it is used with.

CBP rationale

Classification of goods under the HTSUSA 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. Merchandise that cannot be classified in accordance with GRI 1 is to be classified in accordance with subsequent GRI's taken in order. The article in question has been designed to act as a carrier of replaceable chemnical packs which in turn, provides warmth to the wearer. The bandana fits loosely around the neck, and is neither decorative nor fashionable. If worn alone, it would not provide sufficient warmth to the wearer. In Headquarters Ruling (HQ) 955934, it was ruled that a "cool body bandana" was not a clothing accessory. In this ruling the item had been designed to look like a scarf or headband with polymer crystals sewn inside. When saturated with water, the article provided a cooling effect to the wearer. HQ 955934 concluded that it was not worn for warmth or decoration and had not been designed or marketed as wearing apparel. Similarly, the product now in question, does not function as a clothing accessory because it fails to provide protection or decoration to the wearer when worn alone. Furthermore, the bandana has been designed and marketed for use as a carrier and is intended to be used exclusively with the heat packs, which are being imported separately and packaged with the bandana upon importation into the U.S. Based on the foregoing, it is our

Full text

HQ 958942 April 7, 1997 CLA-2 RR:TC:TE 958942 ASM CATEGORY: Classification Tariff No.: 6307.90.9989 Stephen M. Zelman, Esq. Stephen M. Zelman & Associates 888 Seventh Avenue New York, NY 10106 RE: Request for Review of classification of a "Collar Bandana"; NY 816981 Dear Mr. Zelman: This concerns the request that we review New York Ruling (NY) 816981 regarding the tariff classification of a "Collar Bandana" under the Harmonized Tariff Schedule of the United States Annotated (HTSUSA). FACTS: The subject article is identified as a collar bandana which is rectagular in shape with rounded ends. The bandana measures approximately 2 and 3/4 inches by 11 and « inches. The bandana consists of an exterior of woven cotton, lined with woven 65% polyester and 35% cotton and has been made with pocket-like openings and a "VELCRO" closure which is designed to contain "heat packs." The heat packs are imported separately and contain a chemical mixture, packaged in an airtight envelope. Upon opening, the chemical mixture within the bags reacts with oxygen to generate heat. The bandana is intended to be worn around the neck, one size fits all, and fits loosely around the neck. NY 816981, dated January 2, 1996, classified the "Collar Bandana", which was imported by itself, in subheading 6217.10.9030, HTSUSA, as "Other made up clothing accessories; parts of garments or of clothing accessories other than those of heading 6212: Accessories: Other, of man-made fibers." In NY 816982, the heat packs were separately classified under subheading 3823.90.9050 (currently, 3824.90.9050), HTSUSA. Printed information on the bandana's packaging indicates it is to be used as a carrier for the heat packs. Upon importation into the United States, the bandanas are always packaged together with the heat packs and the bandanas are never sold separately. - 2 - The importer contends that the "Collar Bandana" is classifiable as "other made up textile articles" under subheading 6307.90.9989, HTSUSA, if imported separately and under subheading 3824.90.9050, HTSUSA, if imported together with the "heat packs" it is used with. ISSUE: Whether the collar bandana is properly classified as a "clothing accessory" under subheading 6217.10.9030, HTSUSA, or as an "other made up textile article" under subheading 6307.90.9989, HTSUSA. LAW AND ANALYSIS: Classification of goods under the HTSUSA 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. Merchandise that cannot be classified in accordance with GRI 1 is to be classified in accordance with subsequent GRI's taken in order. The article in question has been designed to act as a carrier of replaceable chemnical packs which in turn, provides warmth to the wearer. The bandana fits loosely around the neck, and is neither decorative nor fashionable. If worn alone, it would not provide sufficient warmth to the wearer. In Headquarters Ruling (HQ) 955934, it was ruled that a "cool body bandana" was not a clothing accessory. In this ruling the item had been designed to look like a scarf or headband with polymer crystals sewn inside. When saturated with water, the article provided a cooling effect to the wearer. HQ 955934 concluded that it was not worn for warmth or decoration and had not been designed or marketed as wearing apparel. Similarly, the product now in question, does not function as a clothing accessory because it fails to provide protection or decoration to the wearer when worn alone. Furthermore, the bandana has been designed and marketed for use as a carrier and is intended to be used exclusively with the heat packs, which are being imported separately and packaged with the bandana upon importation into the U.S. Based on the foregoing, it is our decision that NY 816981 improperly classified the subject item as a "clothing accessory" under subheading 6217.19.9030, HTSUSA, and the "Collar Bandana," when imported separately, should be classified in subheading 6307.90.9989, HTSUSA, as an "other made up article." - 3 - HOLDING: The "Collar Bandana", when imported separately, is classifiable under the provision for "Other made up articles, including dress patterns: Other: Other: Other: Other: Other" under subheading 6307.90.9989, HTSUSA. This provision is dutiable under the general column one rate at 7 percent ad valorem with no textile restraint category. NY 816981 will be modified to reflect the correct classification. Sincerely, John Durant, Director Tariff Classification Appeals Division

View original on CBP CROSS →

Ruling history

More rulings on the same tariff codes

N053260 March 16, 2009

The tariff classification of disposable items from China.

N019940 December 10, 2007

The tariff classification of chef/server aprons from China.

N012508 July 6, 2007

The tariff classification of shoe cover dispensers and shoe covers from China

M81812 April 14, 2006

The tariff classification of children’s costumes from China.

L86374 July 27, 2005

The tariff classification of tool belts and a tote bag from China

966919 February 28, 2005

Internal Advice; Classification of an Insulated Beverage Holder; Heading 5906, HTSUSA; Cellular Material and Textile Fabric; Heading 6307, HTSUSA; Other Made Up Textile Article Dear Sir: This is in reply to your memorandum dated January 9, 2004, forwarding a request for internal advice dated October 25, 2003, mailed November 28, 2003, and received by Customs and Border Protection (CBP) on December 10, 2003, from R.L. Pohler & Co. Customhouse Broker, on behalf of Border Promotional Products, Inc. (hereinafter Border or requester), on the classification, under the Harmonized Tariff Schedule of the United States Annotated (HTSUSA), of an insulated beverage holder. Your memorandum and a sample was received by this office on February 24, 2004. FACTS: The submitted sample is a cylindrical shaped insulated beverage holder, which is described as a "cuzzy". It is made of three layers of material. The outer layer consists of a knit fabric. The middle layer appears to be of cellular materi

K85291 April 26, 2004

The tariff classification of a drink cuff from China

K81093 November 26, 2003

The tariff classification of scrubbing sponges, scour pads, metallic scourers, a plastic spoon and a nylon beauty cape from China

J83245 May 1, 2003

The tariff classification of pillow sham and pillow shell from China and India.

J81336 March 11, 2003

The tariff classification of soccer referee warning card holders from Taiwan.

Searching CBP rulings the smart way

TariffLens semantically searches all 200,000+ CBP rulings, surfaces the ones that actually match your product, and builds defensible classifications backed by ruling citations.

Book a demo →