H185695 H1 Ruling Active

Reconsideration of NY N133401; classification of upper body garment

Issued June 12, 2015 by U.S. Customs and Border Protection.

Tariff classification

HTS codes: 6205.30.20

Headings: 6205

Product description

Reconsideration of NY N133401; classification of upper body garment

CBP rationale

we agree that the garment possesses the characteristics of a men’s shirt of heading 6205, HTSUS. You contend that the instant garment is properly classified in heading 6211, HTSUS, as an “other” garment. You argue that this is a hybrid, unisex garment that cannot be classified either as a men’s or women’s jacket in heading 6203 or 6204, or as a men’s or women’s shirt in heading 6205 or 6206. However, the garment does in fact have the physical characteristics of a men’s shirt of heading 6205, HTSUS, as set out in Note 8 to Chapter 62 and described in the Informed Compliance Publication (ICP), Apparel Terminology under the HTSUS.

Full text

HQ H185695 June 12, 2015 CLA-2 OT:RR:CTF:TCM H185695 CkG CATEGORY: Classification TARIFF NO: 6205.30.20 Elise Shibles Sandler, Travis & Rosenberg, P.A. 505 Sansome St., Ste. 1475 San Francisco, CA 94111 RE: Reconsideration of NY N133401; classification of upper body garment Dear Ms. Shibles, This is in response to your request dated September 12, 2011, on behalf of Pinnacle Textile Industries, Inc., for the reconsideration of New York Ruling Letter (NY) N133401, issued to the John A. Steer Co. (on behalf of Pinnacle Textile Industries) on December 16, 2010. In NY N133401, CBP classified a restaurant worker’s upper body garment in heading 6205, HTSUS, as a men’s shirt. You request classification of the instant garment in heading 6211, HTSUS, as an “other” garment. We affirm NY N133401 because we agree that the garment possesses the characteristics of a men’s shirt of heading 6205, HTSUS. You contend that the instant garment is properly classified in heading 6211, HTSUS, as an “other” garment. You argue that this is a hybrid, unisex garment that cannot be classified either as a men’s or women’s jacket in heading 6203 or 6204, or as a men’s or women’s shirt in heading 6205 or 6206. However, the garment does in fact have the physical characteristics of a men’s shirt of heading 6205, HTSUS, as set out in Note 8 to Chapter 62 and described in the Informed Compliance Publication (ICP), Apparel Terminology under the HTSUS. Note 8 to Chapter 62 states that garments designed for left over right closure are to be regarded as men’s or boy’s garments, unless the cut of the garment clearly indicates that it is designed for one or other of the sexes. The instant garment is designed for left over right closure, and the cut of the garment does not clearly indicate that it is designed for either sex. Pursuant to Note 8, it is thus a men’s or boy’s garment. You note that the instant garments have pockets below the waist. However, pursuant to EN 62.05, only those shirts “having the character…of jackets of heading 62.03, which generally have pockets below the waist” are not covered by heading 6205. Similarly, the ICP on Apparel Terminology notes that shirts of heading 6205 “may have pockets below the waist provided that the garments do not exhibit the character of jackets of heading 6203.” Indeed, CBP has classified numerous garments with pockets below the waist in heading 6205. See e.g. HQ 957934, dated May 30, 1995; HQ 082467, dated August 24, 1989; HQ 961836, dated July 20, 1999; NY N248549, dated December 26, 2013; NY N208426, dated April 4, 2012; NY N092138, dated February 18, 2010; NY M86374, dated October 4, 2006. You further argue that the instant garment possesses three characteristics listed in the ICP on Apparel Terminology which indicate that a hybrid garment having features of both shirts and jackets (a “shirt-jacket”) has the character of a jacket. These features include: pockets below the waist, large jacket or coat style buttons, and a means of tightening at the waist. We do not find that the garments at issue possess these three cited features. First, we do not agree that the adjustable tabs at the sides of the garment are a tightening element within the meaning of the ICP. We note that the characteristics listed in the ICP are not intended to distinguish between blazers or suit jackets of heading 6203, which are meant for indoor use, and those of heading 6205. Rather, these characteristics are intended to delineate anoraks, windbreakers and similar garments, which are worn outdoors, over other clothing, and for protection against the elements, from shirts. Thus, the tightening elements referred to in the ICP are those found on outdoors jackets and coats to protect against wind, rain and cold. The tabs on the instant garments do not tighten sufficiently to provide any measure of protection against the elements; they are merely designed to provide a slightly more contoured fit for the jacket. Second, we also note that buttons found on anoraks and windbreakers are typically larger and reinforced with heavy duty thread to support the heavier material used in outdoors clothing. Thus, we find that the instant garment definitely possesses only one of the criteria for jackets listed in the ICP (i.e., they have pockets below the waist). We therefore find that the instant garments possess the characteristics of a garment of heading 6205, HTSUS, and are classified therein. This finding is consistent with prior rulings classifying substantially similar merchandise, such as chef’s coats, as shirts. See, e.g., HQ H025783, dated October 3, 2008; HQ 082339, dated August 5, 1988; HQ 960332, dated December 14, 1998; HQ 953464, dated April 22, 1993; NY F83646, dated March 13, 2000; and NY K85214, dated May 3, 2004 Accordingly, the instant garment was correctly classified in NY N133401 as a men’s shirt in heading 6205, HTSUS. As such, it cannot be classified as an “other” garment in heading 6211, HTSUS. Sincerely, Myles B. Harmon, Director, Commercial and Trade Facilitation Division

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Ruling history

Related ruling 957934
May 30, 1995

Revocation of DD 808080, dated March 31, 1994; Heading 6205 v. Heading 6211

Related ruling 082467
August 24, 1989

Classification of men's woven cotton pullovers

Related ruling 961836
July 20, 1999

Reconsideration of NY C81601; Classification of BDU Jackets; Shirt vs. Jacket

Related ruling M86374
October 4, 2006

The tariff classification of a men’s woven fabric jacket and four men’s woven fabric shirts from China

Related ruling 082339
August 5, 1988

Request to review New York Ruling Letter (NYRL) 828040 of February 3, 1988, pursuant to 19 CFR 177.2(b)(2)(ii)(C).

Related ruling 960332
December 14, 1998

Revocation of classification ruling NY 801738; chef's jacket and pants from South Africa; headings 6211, 6204 and 6206, HTSUSA; garments not protective clothing

Related ruling 953464
April 22, 1993

Classification of a quilted shirt; classifiable in Heading 6205

Related ruling F83646
March 13, 2000

The tariff classification of a laboratory coat, counter jacket, chef’s jacket, shirt and trousers from Pakistan.

Related ruling K85214
May 3, 2004

The tariff classification of chef’s jackets from Hong Kong.

Related ruling N133401
December 16, 2010

The tariff classification of a chef’s jacket from Sri Lanka

Related ruling N248549
December 26, 2013

The tariff classification of a men’s woven shirt from China.

Related ruling N208426
April 4, 2012

The tariff classification of a mens’s woven shirt from China.

Related ruling N092138
February 18, 2010

The tariff classification of four men’s shirt-styled jackets and one men’s shirt from Bangladesh and China

Related ruling H025783
October 3, 2008

Tariff Classification of Unisex Woven Chef’s Coat; Reconsideration of NY N021836, dated January 28, 2008

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