Notice of Issuance of Final Determination Concerning Certain Notebook Computer Products, 13589-13591 [2015-05954]
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Federal Register / Vol. 80, No. 50 / Monday, March 16, 2015 / Notices
Section 177.29, CBP Regulations (19
CFR 177.29), provides that a notice of
final determination shall be published
in the Federal Register within 60 days
of the date the final determination is
issued. Section 177.30, CBP Regulations
(19 CFR 177.30), provides that any
party-at-interest, as defined in 19 CFR
177.22(d), may seek judicial review of a
final determination within 30 days of
publication of such determination in the
Federal Register.
[FR Doc. 2015–05846 Filed 3–13–15; 8:45 am]
BILLING CODE 9110–12–P
DEPARTMENT OF HOMELAND
SECURITY
U.S. Customs and Border Protection
Notice of Issuance of Final
Determination Concerning Certain
Notebook Computer Products
U.S. Customs and Border
Protection, Department of Homeland
Security.
ACTION: Notice of final determination.
AGENCY:
This document provides
notice that U.S. Customs and Border
Protection (‘‘CBP’’) has issued a final
determination concerning the country of
origin of certain notebook computer
products known as the EliteBook 840–
G1 Notebook. Based upon the facts
presented, CBP has concluded that in all
four scenarios, the country of origin of
the notebook computer is Country A for
purposes of U.S. Government
procurement.
SUMMARY:
The final determination was
issued on March 10, 2015. A copy of the
final determination is attached. Any
party-at-interest, as defined in 19 CFR
177.22(d), may seek judicial review of
this final determination within April 15,
2015.
FOR FURTHER INFORMATION CONTACT:
Grace A. Kim, Valuation and Special
Programs Branch, Regulations and
Rulings, Office of International Trade
(202) 325–7941.
SUPPLEMENTARY INFORMATION: Notice is
hereby given that on March 10, 2015,
pursuant to subpart B of Part 177, U.S.
Customs and Border Protection
Regulations (19 CFR part 177, subpart
B), CBP issued a final determination
concerning the country of origin of
certain notebook computer products
known as the EliteBook 840–G1
Notebook, which may be offered to the
U.S. Government under an
undesignated government procurement
contract. This final determination, HQ
H240199, was issued under procedures
set forth at 19 CFR part 177, subpart B,
which implements Title III of the Trade
Agreements Act of 1979, as amended
(19 U.S.C. 2511–18). In the final
determination, CBP concluded that in
all four scenarios, the processing in
Country D or F does not result in a
substantial transformation. Therefore,
the country of origin of the notebook
computer in all four scenarios is
Country A for purposes of U.S.
Government procurement.
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DATES:
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Dated: March 10, 2015.
Glen E. Vereb,
Acting Executive Director, Regulations and
Rulings, Office of International Trade.
HQ H240199
March 10, 2015
OT:RR:CTF:VS H240199 GaK
CATEGORY: Origin
Mr. Carlos Halasz
Hewlett-Packard Company
8501 SW 152 St.
Palmetto Bay, FL 33157
RE: U.S. Government Procurement; Country
of Origin of Computer Notebook;
Substantial Transformation
Dear Mr. Halasz:
This is in response to your letter dated
March 14, 2013, and your supplemental
submission dated March 10, 2014 requesting
a final determination on behalf of HewlettPackard Company (‘‘HP’’) pursuant to
Subpart B of Part 177 of the U.S. Customs
and Border Protection (‘‘CBP’’) Regulations
(19 CFR part 177). Under these regulations,
which implement Title III of the Trade
Agreements Act of 1979 (‘‘TAA’’), as
amended (19 U.S.C. 2511 et seq.), CBP issues
country of origin advisory rulings and final
determinations as to whether an article is or
would be product of a designated country or
instrumentality for the purposes of granting
waivers of certain ‘‘Buy American’’
restrictions in U.S. law or for products
offered for sale to the U.S. Government. This
final determination concerns the country of
origin of HP’s EliteBook 840–G1 Notebook
(‘‘Elitebook’’). As a U.S. importer, HP is a
party-at-interest within the meaning of 19
CFR 177.22(d)(1) and is entitled to request
this final determination. A meeting was held
at our office on January 5, 2015.
In your letter, you requested confidential
treatment for certain information contained
in the file. Pursuant to 19 CFR 177.2(b)(7),
the identified information has been bracketed
and will be redacted in the public version of
this final determination.
FACTS:
The Elitebook is a commercial notebook
computer. The components of the Elitebook
are sourced from various countries. The
components include:
• Base Unit: The base unit is the bottom
of the finished notebook made of a metal
frame, with metal or plastic skins. The base
unit includes antennae, a printed circuit
assembly (‘‘PCA’’), the central processing
unit (‘‘CPU’’), the BIOS chip, the keyboard,
cables, connectors and speakers. The CPU is
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sourced in Country A, [******] or Country G,
[******]. The base unit is assembled in
Country A, a non-TAA designated country.
• Hinge-Up: The hinge-up is the top of the
finished notebook. It consists of an LCD
display, surrounding frame, and hinges for
attachment to the base unit. The hinge-up is
assembled in Country A.
• Hard Disk Drive/Solid State Drive: The
drives store data, including the operating
system and value-added software. Both
drives are sourced in Country A or Country
B, [******] a TAA designated country.
• WLAN Card: The WLAN card establishes
wireless connections with other devices. It
consists of a printed circuit board, radio
frequency transmit/receive components and
baseband processor. The country of origin of
the WLAN card is Country A.
• Random Access Memory (RAM): The
RAM are integrated circuits affixed to a
printed circuit board. It has direct access to
the CPU and is the main memory system. It
is produced in Country A, Country B, or
Country C, [******] a TAA designated
country.
• Battery: The country of origin of the
battery is Country A.
• BIOS: The BIOS executes the
instructions that start the notebook and
prepares the hardware for use. It loads the
operating system and passes control of many
functions to the operating system. The BIOS
is developed and written at HP’s laboratory
in Country D, [******] a TAA designated
country.
• Operating system (‘‘OS’’): The OS works
with application programs to perform user
interface, job management, task management,
data management, device management, and
security. The OS is a third-party product that
HP downloads onto most Elitebooks, and is
developed in Country D.
• Other minor components such as cables,
brackets, screws, CD’s and manuals are
sourced from a variety of countries, and
comprise less than 2% of the Elitebook.
The BIOS is electronically transmitted
from Country D to Country E, [******] a
TAA designated country, where it is
maintained by a HP team. BIOS maintenance
includes adding device support, such as a
new wireless LAN card, and improving field
issues that were not discovered during
standard testing. HP states that the Elitebook
is non-functional without the BIOS because
it executes the instructions that start the
notebook and provides the basic instructions
for controlling the system hardware, and
includes all necessary hardware drivers and
provides a uniform interface for the OS to
access the hardware. HP further states that
the BIOS authenticates the hardware, OS,
and application programs before they are
loaded.
According to your letter, HP will assemble
the Elitebook by one of the four scenarios
described below.
Scenario 1: This scenario applies when all
the components are imported to Country F,
[******] a TAA designated country for
assembly.
1. The base unit is placed over the hingeup.
2. The hinges are closed and screwed shut.
3. Cables for the display and the antennae
are routed and secured to avoid damage.
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4. The unit is moved to a station where the
memory, hard disk/solid state drive, and
WLAN are installed into the unit, connected
and secured in place.
5. The battery is inserted into the base unit.
6. The unit is moved to the next station
where the OS is downloaded onto the hard
disk/solid state drive. The BIOS is
downloaded on the flash device (BIOS chip)
that is inside the base unit.
After assembly is complete, the unit goes
through a testing phase, where the operator
performs tests as indicated by HP developed
diagnostic software and addresses any
problems that arise. The acceptable units are
sent to packaging and 4% of the units are
reviewed for quality assurance, which
consists of a ‘‘hood off’’ audit to ensure that
all components are present, a ‘‘pre-test’’
using a software diagnostic program, and a
‘‘run-in’’ software diagnostic program to
identify possible errors that are fixed after the
run. After packaging, 2% of the units are
opened for an ‘‘out of the box audit’’ to
ensure that all accessories are included and
the ‘‘run-in’’ test is executed.
Scenario 2: This scenario is identical to
Scenario 1 except that the base unit and the
hinge-up are combined in Country A and
imported into Country F for remaining
assembly processes, testing, quality control
and packaging.
Scenario 3: This scenario is identical to
Scenario 1 except that all the hardware
components are assembled in Country A
before they are imported to Country F. The
production/assembly that occurs in Country
F are the BIOS and the OS download as well
as the testing, quality control and packaging.
Scenario 4: In this scenario, all the
hardware components are assembled in
Country A and imported to Country D. The
BIOS and the OS is downloaded in Country
D then the notebook goes through testing,
quality control and packaging.
ISSUE:
In each scenario, what is the country of
origin of the Elitebook for purposes of U.S.
government procurement?
LAW AND ANALYSIS:
Pursuant to Subpart B of Part 177, 19 CFR
177.21 et seq., which implements Title III of
the Trade Agreements Act of 1979, as
amended (19 U.S.C. 2511 et seq.), CBP issues
country of origin advisory rulings and final
determinations as to whether an article is or
would be a product of a designated country
or instrumentality for the purposes of
granting waivers of certain ‘‘Buy American’’
restrictions in U.S. law or practice for
products offered for sale to the U.S.
Government.
Under the rule of origin set forth under 19
U.S.C. 2518(4)(B):
An article is a product of a country or
instrumentality only if (i) it is wholly the
growth, product, or manufacture of that
country or instrumentality, or (ii) in the case
of an article which consists in whole or in
part of materials from another country or
instrumentality, it has been substantially
transformed into a new and different article
of commerce with a name, character, or use
distinct from that of the article or articles
from which it was so transformed.
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See also 19 CFR 177.22(a).
In determining whether the combining of
parts or materials constitutes a substantial
transformation, the determinative issue is the
extent of operations performed and whether
the parts lose their identity and become an
integral part of the new article. Belcrest
Linens v. United States, 573 F. Supp. 1149
(Ct. Int’l Trade 1983), aff’d, 741 F.2d 1368
(Fed. Cir. 1984). Assembly operations that are
minimal or simple, as opposed to complex or
meaningful, will generally not result in a
substantial transformation. See C.S.D. 80–
111, C.S.D. 85–25, C.S.D. 89–110, C.S.D. 89–
118, C.S.D. 90–51, and C.S.D. 90–97. If the
manufacturing or combining process is a
minor one which leaves the identity of the
article intact, a substantial transformation has
not occurred. Uniroyal, Inc. v. United States,
3 Ct. Int’l Trade 220, 542 F. Supp. 1026
(1982), aff’d 702 F. 2d 1022 (Fed. Cir. 1983).
‘‘The term ‘character’ is defined as ‘one of
the essentials of structure, form, materials, or
function that together make up and usually
distinguish the individual. ’’’ Uniden
America Corporation v. United States, 120 F.
Supp. 2d. 1091, 1096 (citations omitted) (Ct.
Int’l Trade 2000), citing National Hand Tool
Corp. v. United States, 16 Ct. Int’l Trade 308,
311 (1992). In Uniden (concerning whether
the assembly of cordless telephones and the
installation of their detachable A/C
(alternating current) adapters constituted
instances of substantial transformation), the
Court of International Trade applied the
‘‘essence test’’ and found that ‘‘[t]he essence
of the telephone is housed in the base and
the handset.
In Data General v. United States, 4 Ct. Int’l
Trade 182 (1982), the court determined that
for purposes of determining eligibility under
item 807.00, Tariff Schedules of the United
States (predecessor to subheading
9802.00.80, Harmonized Tariff Schedule of
the United States), the programming of a
foreign PROM (Programmable Read-Only
Memory chip) in the United States
substantially transformed the PROM into a
U.S. article. In programming the imported
PROMs, the U.S. engineers systematically
caused various distinct electronic
interconnections to be formed within each
integrated circuit. The programming
bestowed upon each circuit its electronic
function, that is, its ‘‘memory’’ which could
be retrieved. A distinct physical change was
effected in the PROM by the opening or
closing of the fuses, depending on the
method of programming. This physical
alteration, not visible to the naked eye, could
be discerned by electronic testing of the
PROM. The court noted that the programs
were designed by a U.S. project engineer
with many years of experience in ‘‘designing
and building hardware.’’ In addition, the
court noted that while replicating the
program pattern from a ‘‘master’’ PROM may
be a quick one-step process, the development
of the pattern and the production of the
‘‘master’’ PROM required much time and
expertise. The court noted that it was
undisputed that programming altered the
character of a PROM. The essence of the
article, its interconnections or stored
memory, was established by programming.
The court concluded that altering the non-
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functioning circuitry comprising a PROM
through technological expertise in order to
produce a functioning read only memory
device, possessing a desired distinctive
circuit pattern, was no less a ‘‘substantial
transformation’’ than the manual
interconnection of transistors, resistors and
diodes upon a circuit board creating a similar
pattern.
In Texas Instruments v. United States, 681
F.2d 778, 782 (CCPA 1982), the court
observed that the substantial transformation
issue is a ‘‘mixed question of technology and
customs law.’’
In C.S.D. 84–85, 18 Cust. B. & Dec. 1044,
CBP stated:
We are of the opinion that the rationale of
the court in the Data General case may be
applied in the present case to support the
principle that the essence of an integrated
circuit memory storage device is established
by programming; . . . [W]e are of the opinion
that the programming (or reprogramming) of
an EPROM results in a new and different
article of commerce which would be
considered to be a product of the country
where the programming or reprogramming
takes place.
Accordingly, the programming of a device
that confers its identity as well as defines its
use generally constitutes substantial
transformation. See also Headquarters Ruling
Letter (‘‘HQ’’) 558868, dated February 23,
1995 (programming of SecureID Card
substantially transforms the card because it
gives the card its character and use as part
of a security system and the programming is
a permanent change that cannot be undone);
HQ 735027, dated September 7, 1993
(programming blank media (EEPROM) with
instructions that allow it to perform certain
functions that prevent piracy of software
constitute substantial transformation); and,
HQ 733085, dated July 13, 1990; but see HQ
732870, dated March 19, 1990 (formatting a
blank diskette does not constitute substantial
transformation because it does not add value,
does not involve complex or highly technical
operations and did not create a new or
different product); and, HQ 734518, dated
June 28, 1993, (motherboards are not
substantially transformed by the implanting
of the central processing unit on the board
because, whereas in Data General use was
being assigned to the PROM, the use of the
motherboard had already been determined
when the importer imported it).
Scenario 1 and 2:
In Scenario 1, the base unit containing a
PCA, CPU, BIOS chip, amongst other
components is placed over the hinge-up
(which contains a LCD display) in Country F.
The hard disk drive and WLAN are installed
and the OS and BIOS are downloaded. In
Scenario 2, the base unit and hinge-up are
already assembled in Country A before
importation into Country F. After the
hardware components are assembled, the
BIOS is downloaded onto the flash device.
HP claims that as a result of the assembly
operations performed in Country F, the
various foreign components undergo a
substantial transformation, such that the
finished Elitebook becomes a product of
Country F for purposes of U.S. Government
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procurement. HP cites HQ 560677, dated
February 3, 1998, to support the argument
that the assembly operations coupled with
the BIOS download transform discrete and
inoperable components into a finished
product with a different name, character and
use. In HQ 560677, CBP considered two
different notebook computers manufactured
in the U.S. with parts and components from
various countries. In the first scenario, the
imported chassis included the LCD and the
CPU from various countries, but the BIOS
and memory modules were not included.
Other imported components were the hard
disk drive (Thailand), BIOS chip (U.S.),
floppy disk drive (China), AC adapter
(China), CD ROM (Japan), fax modem cards
(U.S.), a docking station (Taiwan), and
memory board (Korea, Japan, or Singapore).
The assembly process in the U.S. consisted
of installing the BIOS chip (which was of
U.S. origin), the memory modules, the hard
disk drive, the network interface card, and
downloading the flash BIOS into non-volatile
RAM. In the second scenario, the imported
chassis included the LCD screen (Taiwan),
the floppy disc drive (China), and the BIOS
chip but neither the keyboard, the CPU nor
other primary chips were included. Similar
components as in the first scenario were
imported and the assembly process in the
U.S. consisted of installing the CPU
processor module (of U.S. origin), the hybrid
cooler, the keyboard, the memory modules,
the hard disk drive, the PCMCIA modem
card, and downloading the flash BIOS into
non-volatile RAM. CBP concluded that the
foreign components used in the manufacture
of the notebook computers lost their separate
identities and became an integral part of a
notebook computer as a result of the
operations performed in the U.S.
HQ H241177, dated December 3, 2013,
Ethernet switches were assembled to
completion in Malaysia and then shipped to
Singapore, where U.S.-origin software was
downloaded onto the switches. CBP found
that the software downloading performed in
Singapore did not amount to programming
and that the country of origin was Malaysia,
where the last substantial transformation
occurred.
In this case, the base unit is assembled in
Country A and it includes the antennae,
printed circuit assembly, CPU, BIOS chip,
keyboard, cables, connectors, and speakers.
The base unit is imported into Country F and
the BIOS from Country D is downloaded.
Based on the facts in this case and consistent
with the Customs rulings cited above, we
find that under Scenarios 1 and 2, the last
substantial transformation of the Elitebook
components occurs in Country A. Most of the
major components are sourced in Country A,
unlike HQ 560677, where the components
came from various countries and in each
scenario a major component (BIOS chip or
CPU) was of U.S. origin, where the assembly
occurred. Further, downloading the BIOS
does not substantially transform the
Elitebook. Therefore, we find that the country
of origin for purposes of U.S. Government
procurement in Scenarios 1 and 2 is Country
A.
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Scenario 3:
In Scenario 3, all of the hardware
components are assembled in Country A and
imported into Country F. The operations that
occur in Country F are BIOS download, OS
download, testing, quality control and
packaging. The issue is whether the
downloading of the BIOS and OS
substantially transforms the notebook
computer. As indicated above, the
programming of a device that defines its use
generally constitutes a substantial
transformation. Software downloading by
itself, however, does not amount to
programming, which involves writing, testing
and implementing code necessary to make a
computer function in a certain way. See HQ
H241177 (Dec. 3, 2013) supra, see also Data
General supra.
Consistent with the Customs rulings cited
above, we find that the BIOS and OS
downloading does not result in a substantial
transformation in Country F. Given these
facts, we find that the country where the last
substantial transformation occurs is Country
A, where the major assembly processes are
performed. The country of origin for
purposes of U.S. Government procurement in
Scenario 3 is Country A.
Scenario 4:
Here, all of the hardware components are
assembled in Country A and imported into
Country D. In Country D, the BIOS and OS
are downloaded and the Elitebook is tested
for quality assurance and packaged. As
indicated above, software downloading by
itself does not result in a substantial
transformation. Consistent with the Customs
rulings cited above, we find that the country
where the last substantial transformation
occurs is Country A, where the major
assembly processes are performed. The
country of origin for purposes of U.S.
Government procurement in Scenario 4 is
Country A.
HOLDING:
Based on the facts of this case, we find that
in Scenarios 1, 2, 3, and 4, the last substantial
transformation takes place in Country A. The
country of origin of the Elitebook is Country
A for purposes of U.S. Government
procurement and country of origin marking.
Notice of this final determination will be
given in the Federal Register, as required by
19 CFR § 177.29. Any party-at-interest other
than the party which requested this final
determination may request, pursuant to 19
CFR § 177.31, that CBP reexamine the matter
anew and issue a new final determination.
Pursuant to 19 CFR § 177.30, any party-atinterest may, within 30 days of publication
of the Federal Register Notice referenced
above, seek judicial review of this final
determination before the Court of
International Trade.
Sincerely,
Glen E. Vereb
Acting Executive Director, Regulations and
Rulings, Office of International Trade
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13591
DEPARTMENT OF HOMELAND
SECURITY
Federal Emergency Management
Agency
[Docket ID FEMA–2015–0006]
Notice of Public Meetings on the
Proposed Revised Guidelines for
Implementing Executive Order 11988,
Floodplain Management, As Revised
Through the Federal Flood Risk
Management Standard
Federal Emergency
Management Agency, DHS.
ACTION: Notice.
AGENCY:
This notice is to announce
two public meetings to solicit public
input on the proposed ‘‘Revised
Guidelines for Implementing Executive
Order 11988, Floodplain Management.’’
DATES: The first public meeting will be
held in Fairfax, VA on March 24, 2015,
from 9:00 a.m. to 12:00 p.m. Eastern
Time (ET). The second public meeting
will be held by webinar on March 25,
2015, from 3:00 p.m. to 6:00 p.m.
Eastern Time (ET).
ADDRESSES: The first public meeting
will be held in Fairfax, VA, at George
Mason University, 4400 University
Drive, Jackson Center Building #30,
Fairfax, VA 22030. The second public
meeting will be by webinar.
For information on facilities or
services for individuals with disabilities
or to request special assistance at the
meeting, please contact the person listed
in the FOR FURTHER INFORMATION
CONTACT section by March 20.
Due to space constraints of the
facility, seating will be limited to 300
participants for the Fairfax, VA meeting.
To reserve a seat in advance for this
meeting, or the webinar, please provide
a request via email or mail with the
contact information of the participant
(including name, mailing address, and
email address), the meeting(s) to be
attended, and include the subject/
attention line (or on the envelope if by
mail): Reservation Request for FFRMS
Meeting. Advance reservations must be
received 3 business days prior to each
meeting to ensure processing.
Unregistered participants will be
accepted after all participants with
reservations have been accommodated
and will be admitted on a first-come,
first-serve basis, provided the person
capacity is not exceeded. To submit
reservations, please email: FEMA–
FFRMS@fema.dhs.gov or send by mail
to the address listed in the FOR FURTHER
INFORMATION CONTACT caption.
To facilitate public participation,
members of the public are invited to
SUMMARY:
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Agencies
[Federal Register Volume 80, Number 50 (Monday, March 16, 2015)]
[Notices]
[Pages 13589-13591]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2015-05954]
-----------------------------------------------------------------------
DEPARTMENT OF HOMELAND SECURITY
U.S. Customs and Border Protection
Notice of Issuance of Final Determination Concerning Certain
Notebook Computer Products
AGENCY: U.S. Customs and Border Protection, Department of Homeland
Security.
ACTION: Notice of final determination.
-----------------------------------------------------------------------
SUMMARY: This document provides notice that U.S. Customs and Border
Protection (``CBP'') has issued a final determination concerning the
country of origin of certain notebook computer products known as the
EliteBook 840-G1 Notebook. Based upon the facts presented, CBP has
concluded that in all four scenarios, the country of origin of the
notebook computer is Country A for purposes of U.S. Government
procurement.
DATES: The final determination was issued on March 10, 2015. A copy of
the final determination is attached. Any party-at-interest, as defined
in 19 CFR 177.22(d), may seek judicial review of this final
determination within April 15, 2015.
FOR FURTHER INFORMATION CONTACT: Grace A. Kim, Valuation and Special
Programs Branch, Regulations and Rulings, Office of International Trade
(202) 325-7941.
SUPPLEMENTARY INFORMATION: Notice is hereby given that on March 10,
2015, pursuant to subpart B of Part 177, U.S. Customs and Border
Protection Regulations (19 CFR part 177, subpart B), CBP issued a final
determination concerning the country of origin of certain notebook
computer products known as the EliteBook 840-G1 Notebook, which may be
offered to the U.S. Government under an undesignated government
procurement contract. This final determination, HQ H240199, was issued
under procedures set forth at 19 CFR part 177, subpart B, which
implements Title III of the Trade Agreements Act of 1979, as amended
(19 U.S.C. 2511-18). In the final determination, CBP concluded that in
all four scenarios, the processing in Country D or F does not result in
a substantial transformation. Therefore, the country of origin of the
notebook computer in all four scenarios is Country A for purposes of
U.S. Government procurement.
Section 177.29, CBP Regulations (19 CFR 177.29), provides that a
notice of final determination shall be published in the Federal
Register within 60 days of the date the final determination is issued.
Section 177.30, CBP Regulations (19 CFR 177.30), provides that any
party-at-interest, as defined in 19 CFR 177.22(d), may seek judicial
review of a final determination within 30 days of publication of such
determination in the Federal Register.
Dated: March 10, 2015.
Glen E. Vereb,
Acting Executive Director, Regulations and Rulings, Office of
International Trade.
HQ H240199
March 10, 2015
OT:RR:CTF:VS H240199 GaK
CATEGORY: Origin
Mr. Carlos Halasz
Hewlett-Packard Company
8501 SW 152 St.
Palmetto Bay, FL 33157
RE: U.S. Government Procurement; Country of Origin of Computer
Notebook; Substantial Transformation
Dear Mr. Halasz:
This is in response to your letter dated March 14, 2013, and
your supplemental submission dated March 10, 2014 requesting a final
determination on behalf of Hewlett-Packard Company (``HP'') pursuant
to Subpart B of Part 177 of the U.S. Customs and Border Protection
(``CBP'') Regulations (19 CFR part 177). Under these regulations,
which implement Title III of the Trade Agreements Act of 1979
(``TAA''), as amended (19 U.S.C. 2511 et seq.), CBP issues country
of origin advisory rulings and final determinations as to whether an
article is or would be product of a designated country or
instrumentality for the purposes of granting waivers of certain
``Buy American'' restrictions in U.S. law or for products offered
for sale to the U.S. Government. This final determination concerns
the country of origin of HP's EliteBook 840-G1 Notebook
(``Elitebook''). As a U.S. importer, HP is a party-at-interest
within the meaning of 19 CFR 177.22(d)(1) and is entitled to request
this final determination. A meeting was held at our office on
January 5, 2015.
In your letter, you requested confidential treatment for certain
information contained in the file. Pursuant to 19 CFR 177.2(b)(7),
the identified information has been bracketed and will be redacted
in the public version of this final determination.
FACTS:
The Elitebook is a commercial notebook computer. The components
of the Elitebook are sourced from various countries. The components
include:
Base Unit: The base unit is the bottom of the finished
notebook made of a metal frame, with metal or plastic skins. The
base unit includes antennae, a printed circuit assembly (``PCA''),
the central processing unit (``CPU''), the BIOS chip, the keyboard,
cables, connectors and speakers. The CPU is sourced in Country A,
[******] or Country G, [******]. The base unit is assembled in
Country A, a non-TAA designated country.
Hinge-Up: The hinge-up is the top of the finished
notebook. It consists of an LCD display, surrounding frame, and
hinges for attachment to the base unit. The hinge-up is assembled in
Country A.
Hard Disk Drive/Solid State Drive: The drives store
data, including the operating system and value-added software. Both
drives are sourced in Country A or Country B, [******] a TAA
designated country.
WLAN Card: The WLAN card establishes wireless
connections with other devices. It consists of a printed circuit
board, radio frequency transmit/receive components and baseband
processor. The country of origin of the WLAN card is Country A.
Random Access Memory (RAM): The RAM are integrated
circuits affixed to a printed circuit board. It has direct access to
the CPU and is the main memory system. It is produced in Country A,
Country B, or Country C, [******] a TAA designated country.
Battery: The country of origin of the battery is
Country A.
BIOS: The BIOS executes the instructions that start the
notebook and prepares the hardware for use. It loads the operating
system and passes control of many functions to the operating system.
The BIOS is developed and written at HP's laboratory in Country D,
[******] a TAA designated country.
Operating system (``OS''): The OS works with
application programs to perform user interface, job management, task
management, data management, device management, and security. The OS
is a third-party product that HP downloads onto most Elitebooks, and
is developed in Country D.
Other minor components such as cables, brackets,
screws, CD's and manuals are sourced from a variety of countries,
and comprise less than 2% of the Elitebook.
The BIOS is electronically transmitted from Country D to Country
E, [******] a TAA designated country, where it is maintained by a HP
team. BIOS maintenance includes adding device support, such as a new
wireless LAN card, and improving field issues that were not
discovered during standard testing. HP states that the Elitebook is
non-functional without the BIOS because it executes the instructions
that start the notebook and provides the basic instructions for
controlling the system hardware, and includes all necessary hardware
drivers and provides a uniform interface for the OS to access the
hardware. HP further states that the BIOS authenticates the
hardware, OS, and application programs before they are loaded.
According to your letter, HP will assemble the Elitebook by one
of the four scenarios described below.
Scenario 1: This scenario applies when all the components are
imported to Country F, [******] a TAA designated country for
assembly.
1. The base unit is placed over the hinge-up.
2. The hinges are closed and screwed shut.
3. Cables for the display and the antennae are routed and
secured to avoid damage.
[[Page 13590]]
4. The unit is moved to a station where the memory, hard disk/
solid state drive, and WLAN are installed into the unit, connected
and secured in place.
5. The battery is inserted into the base unit.
6. The unit is moved to the next station where the OS is
downloaded onto the hard disk/solid state drive. The BIOS is
downloaded on the flash device (BIOS chip) that is inside the base
unit.
After assembly is complete, the unit goes through a testing
phase, where the operator performs tests as indicated by HP
developed diagnostic software and addresses any problems that arise.
The acceptable units are sent to packaging and 4% of the units are
reviewed for quality assurance, which consists of a ``hood off''
audit to ensure that all components are present, a ``pre-test''
using a software diagnostic program, and a ``run-in'' software
diagnostic program to identify possible errors that are fixed after
the run. After packaging, 2% of the units are opened for an ``out of
the box audit'' to ensure that all accessories are included and the
``run-in'' test is executed.
Scenario 2: This scenario is identical to Scenario 1 except that
the base unit and the hinge-up are combined in Country A and
imported into Country F for remaining assembly processes, testing,
quality control and packaging.
Scenario 3: This scenario is identical to Scenario 1 except that
all the hardware components are assembled in Country A before they
are imported to Country F. The production/assembly that occurs in
Country F are the BIOS and the OS download as well as the testing,
quality control and packaging.
Scenario 4: In this scenario, all the hardware components are
assembled in Country A and imported to Country D. The BIOS and the
OS is downloaded in Country D then the notebook goes through
testing, quality control and packaging.
ISSUE:
In each scenario, what is the country of origin of the Elitebook
for purposes of U.S. government procurement?
LAW AND ANALYSIS:
Pursuant to Subpart B of Part 177, 19 CFR 177.21 et seq., which
implements Title III of the Trade Agreements Act of 1979, as amended
(19 U.S.C. 2511 et seq.), CBP issues country of origin advisory
rulings and final determinations as to whether an article is or
would be a product of a designated country or instrumentality for
the purposes of granting waivers of certain ``Buy American''
restrictions in U.S. law or practice for products offered for sale
to the U.S. Government.
Under the rule of origin set forth under 19 U.S.C. 2518(4)(B):
An article is a product of a country or instrumentality only if
(i) it is wholly the growth, product, or manufacture of that country
or instrumentality, or (ii) in the case of an article which consists
in whole or in part of materials from another country or
instrumentality, it has been substantially transformed into a new
and different article of commerce with a name, character, or use
distinct from that of the article or articles from which it was so
transformed.
See also 19 CFR 177.22(a).
In determining whether the combining of parts or materials
constitutes a substantial transformation, the determinative issue is
the extent of operations performed and whether the parts lose their
identity and become an integral part of the new article. Belcrest
Linens v. United States, 573 F. Supp. 1149 (Ct. Int'l Trade 1983),
aff'd, 741 F.2d 1368 (Fed. Cir. 1984). Assembly operations that are
minimal or simple, as opposed to complex or meaningful, will
generally not result in a substantial transformation. See C.S.D. 80-
111, C.S.D. 85-25, C.S.D. 89-110, C.S.D. 89-118, C.S.D. 90-51, and
C.S.D. 90-97. If the manufacturing or combining process is a minor
one which leaves the identity of the article intact, a substantial
transformation has not occurred. Uniroyal, Inc. v. United States, 3
Ct. Int'l Trade 220, 542 F. Supp. 1026 (1982), aff'd 702 F. 2d 1022
(Fed. Cir. 1983).
``The term `character' is defined as `one of the essentials of
structure, form, materials, or function that together make up and
usually distinguish the individual. ''' Uniden America Corporation
v. United States, 120 F. Supp. 2d. 1091, 1096 (citations omitted)
(Ct. Int'l Trade 2000), citing National Hand Tool Corp. v. United
States, 16 Ct. Int'l Trade 308, 311 (1992). In Uniden (concerning
whether the assembly of cordless telephones and the installation of
their detachable A/C (alternating current) adapters constituted
instances of substantial transformation), the Court of International
Trade applied the ``essence test'' and found that ``[t]he essence of
the telephone is housed in the base and the handset.
In Data General v. United States, 4 Ct. Int'l Trade 182 (1982),
the court determined that for purposes of determining eligibility
under item 807.00, Tariff Schedules of the United States
(predecessor to subheading 9802.00.80, Harmonized Tariff Schedule of
the United States), the programming of a foreign PROM (Programmable
Read-Only Memory chip) in the United States substantially
transformed the PROM into a U.S. article. In programming the
imported PROMs, the U.S. engineers systematically caused various
distinct electronic interconnections to be formed within each
integrated circuit. The programming bestowed upon each circuit its
electronic function, that is, its ``memory'' which could be
retrieved. A distinct physical change was effected in the PROM by
the opening or closing of the fuses, depending on the method of
programming. This physical alteration, not visible to the naked eye,
could be discerned by electronic testing of the PROM. The court
noted that the programs were designed by a U.S. project engineer
with many years of experience in ``designing and building
hardware.'' In addition, the court noted that while replicating the
program pattern from a ``master'' PROM may be a quick one-step
process, the development of the pattern and the production of the
``master'' PROM required much time and expertise. The court noted
that it was undisputed that programming altered the character of a
PROM. The essence of the article, its interconnections or stored
memory, was established by programming. The court concluded that
altering the non-functioning circuitry comprising a PROM through
technological expertise in order to produce a functioning read only
memory device, possessing a desired distinctive circuit pattern, was
no less a ``substantial transformation'' than the manual
interconnection of transistors, resistors and diodes upon a circuit
board creating a similar pattern.
In Texas Instruments v. United States, 681 F.2d 778, 782 (CCPA
1982), the court observed that the substantial transformation issue
is a ``mixed question of technology and customs law.''
In C.S.D. 84-85, 18 Cust. B. & Dec. 1044, CBP stated:
We are of the opinion that the rationale of the court in the
Data General case may be applied in the present case to support the
principle that the essence of an integrated circuit memory storage
device is established by programming; . . . [W]e are of the opinion
that the programming (or reprogramming) of an EPROM results in a new
and different article of commerce which would be considered to be a
product of the country where the programming or reprogramming takes
place.
Accordingly, the programming of a device that confers its
identity as well as defines its use generally constitutes
substantial transformation. See also Headquarters Ruling Letter
(``HQ'') 558868, dated February 23, 1995 (programming of SecureID
Card substantially transforms the card because it gives the card its
character and use as part of a security system and the programming
is a permanent change that cannot be undone); HQ 735027, dated
September 7, 1993 (programming blank media (EEPROM) with
instructions that allow it to perform certain functions that prevent
piracy of software constitute substantial transformation); and, HQ
733085, dated July 13, 1990; but see HQ 732870, dated March 19, 1990
(formatting a blank diskette does not constitute substantial
transformation because it does not add value, does not involve
complex or highly technical operations and did not create a new or
different product); and, HQ 734518, dated June 28, 1993,
(motherboards are not substantially transformed by the implanting of
the central processing unit on the board because, whereas in Data
General use was being assigned to the PROM, the use of the
motherboard had already been determined when the importer imported
it).
Scenario 1 and 2:
In Scenario 1, the base unit containing a PCA, CPU, BIOS chip,
amongst other components is placed over the hinge-up (which contains
a LCD display) in Country F. The hard disk drive and WLAN are
installed and the OS and BIOS are downloaded. In Scenario 2, the
base unit and hinge-up are already assembled in Country A before
importation into Country F. After the hardware components are
assembled, the BIOS is downloaded onto the flash device.
HP claims that as a result of the assembly operations performed
in Country F, the various foreign components undergo a substantial
transformation, such that the finished Elitebook becomes a product
of Country F for purposes of U.S. Government
[[Page 13591]]
procurement. HP cites HQ 560677, dated February 3, 1998, to support
the argument that the assembly operations coupled with the BIOS
download transform discrete and inoperable components into a
finished product with a different name, character and use. In HQ
560677, CBP considered two different notebook computers manufactured
in the U.S. with parts and components from various countries. In the
first scenario, the imported chassis included the LCD and the CPU
from various countries, but the BIOS and memory modules were not
included. Other imported components were the hard disk drive
(Thailand), BIOS chip (U.S.), floppy disk drive (China), AC adapter
(China), CD ROM (Japan), fax modem cards (U.S.), a docking station
(Taiwan), and memory board (Korea, Japan, or Singapore). The
assembly process in the U.S. consisted of installing the BIOS chip
(which was of U.S. origin), the memory modules, the hard disk drive,
the network interface card, and downloading the flash BIOS into non-
volatile RAM. In the second scenario, the imported chassis included
the LCD screen (Taiwan), the floppy disc drive (China), and the BIOS
chip but neither the keyboard, the CPU nor other primary chips were
included. Similar components as in the first scenario were imported
and the assembly process in the U.S. consisted of installing the CPU
processor module (of U.S. origin), the hybrid cooler, the keyboard,
the memory modules, the hard disk drive, the PCMCIA modem card, and
downloading the flash BIOS into non-volatile RAM. CBP concluded that
the foreign components used in the manufacture of the notebook
computers lost their separate identities and became an integral part
of a notebook computer as a result of the operations performed in
the U.S.
HQ H241177, dated December 3, 2013, Ethernet switches were
assembled to completion in Malaysia and then shipped to Singapore,
where U.S.-origin software was downloaded onto the switches. CBP
found that the software downloading performed in Singapore did not
amount to programming and that the country of origin was Malaysia,
where the last substantial transformation occurred.
In this case, the base unit is assembled in Country A and it
includes the antennae, printed circuit assembly, CPU, BIOS chip,
keyboard, cables, connectors, and speakers. The base unit is
imported into Country F and the BIOS from Country D is downloaded.
Based on the facts in this case and consistent with the Customs
rulings cited above, we find that under Scenarios 1 and 2, the last
substantial transformation of the Elitebook components occurs in
Country A. Most of the major components are sourced in Country A,
unlike HQ 560677, where the components came from various countries
and in each scenario a major component (BIOS chip or CPU) was of
U.S. origin, where the assembly occurred. Further, downloading the
BIOS does not substantially transform the Elitebook. Therefore, we
find that the country of origin for purposes of U.S. Government
procurement in Scenarios 1 and 2 is Country A.
Scenario 3:
In Scenario 3, all of the hardware components are assembled in
Country A and imported into Country F. The operations that occur in
Country F are BIOS download, OS download, testing, quality control
and packaging. The issue is whether the downloading of the BIOS and
OS substantially transforms the notebook computer. As indicated
above, the programming of a device that defines its use generally
constitutes a substantial transformation. Software downloading by
itself, however, does not amount to programming, which involves
writing, testing and implementing code necessary to make a computer
function in a certain way. See HQ H241177 (Dec. 3, 2013) supra, see
also Data General supra.
Consistent with the Customs rulings cited above, we find that
the BIOS and OS downloading does not result in a substantial
transformation in Country F. Given these facts, we find that the
country where the last substantial transformation occurs is Country
A, where the major assembly processes are performed. The country of
origin for purposes of U.S. Government procurement in Scenario 3 is
Country A.
Scenario 4:
Here, all of the hardware components are assembled in Country A
and imported into Country D. In Country D, the BIOS and OS are
downloaded and the Elitebook is tested for quality assurance and
packaged. As indicated above, software downloading by itself does
not result in a substantial transformation. Consistent with the
Customs rulings cited above, we find that the country where the last
substantial transformation occurs is Country A, where the major
assembly processes are performed. The country of origin for purposes
of U.S. Government procurement in Scenario 4 is Country A.
HOLDING:
Based on the facts of this case, we find that in Scenarios 1, 2,
3, and 4, the last substantial transformation takes place in Country
A. The country of origin of the Elitebook is Country A for purposes
of U.S. Government procurement and country of origin marking.
Notice of this final determination will be given in the Federal
Register, as required by 19 CFR Sec. 177.29. Any party-at-interest
other than the party which requested this final determination may
request, pursuant to 19 CFR Sec. 177.31, that CBP reexamine the
matter anew and issue a new final determination. Pursuant to 19 CFR
Sec. 177.30, any party-at-interest may, within 30 days of
publication of the Federal Register Notice referenced above, seek
judicial review of this final determination before the Court of
International Trade.
Sincerely,
Glen E. Vereb
Acting Executive Director, Regulations and Rulings, Office of
International Trade
[FR Doc. 2015-05954 Filed 3-13-15; 8:45 am]
BILLING CODE 9111-14-P