Phostoxin Sales, Inc. v. United States

80 Cust. Ct. 8, 1978 Cust. Ct. LEXIS 1049
CourtUnited States Customs Court
DecidedJanuary 16, 1978
DocketC.D. 4729; Court No. 76-1-00058
StatusPublished

This text of 80 Cust. Ct. 8 (Phostoxin Sales, Inc. v. United States) is published on Counsel Stack Legal Research, covering United States Customs Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Phostoxin Sales, Inc. v. United States, 80 Cust. Ct. 8, 1978 Cust. Ct. LEXIS 1049 (cusc 1978).

Opinion

Richardson, Judge:

The merchandise in this action is a toxic pesticide in pellet form, called Phostoxin, which is composed of a mixture of aluminum phosphide, traces of aluminum oxide, ammonium carbamate, and hard paraffin. The pesticide was exported from West Germany in February, 1975, and classified in liquidation upon entry at Los Angeles, California, under TSUS item 432.00 as modified by T.D. 68-9 as a mixture not specially provided for, and, in accordance with item 432.00,1 assessed for duty under TSUS item 425.52 as modified by T.D. 68-9 at the rate of 1.5 cents per pound plus 7.5 per centum ad valorem on the basis of the ammonium carbamate being treated as other nitrogenous compounds if imported separately.

The importer claims that the pesticide is properly classifiable under TSUS item 423.96 as modified by T.D. 68-9 as a mixture of two or more inorganic compounds, other, at the duty rate of 5 per centum ad valorem, or in the alternative, if properly classified under item 432.00, is dutiable under TSUS item 417.44 as modified by T.D. 68-9 at the same rate on the basis of the ammonium carbamate being treated as other ammonium compounds if imported separately. The importer further claims that in the event the court determines that the ammonium carbamate component of the pesticide is an organic chemical compound, then the pesticide is dutiable under TSUS item 425.22 as modified by T.D. 68 — 9 at the duty rate of 5 per centum [10]*10ad valorem on the basis of the ammonium carbamate being treated as an acyclic amide if imported separately.

In the pleadings before the court it is admitted that the aluminum phosphide and oxide components of the pesticide are inorganic chemical compounds, and that the cation constituent of the ammonium carbamate component is an ammonium ion. In issue under the pleadings is the allegation that the ammonium carbamate component is an- inorganic chemical compound. However, at the trial it was conceded by plaintiff’s counsel that the paraffin component of the pesticide is an organic chemical compound. Consequently, irrespective of the court’s determination as to the chemical nature of the ammonium carbamate component, it is clear at the outset that the imported pesticide is not composed entirely of inorganic chemical compounds, and as such, was properly classified under item 432.00 as a mixture not specially provided for.

The question for determination by the court then is one relating to rate’ of duty [rather than to classification], the ascertainment of which turns upon the chemical nature of the disputed compound ammonium -carbamate. Is ammonium carbamate an inorganic chemical compound as primarily claimed, or an organic chemical compound as classified? For tariff purposes inorganic compounds (including salts) are compounds not containing carbon, except carbides and such carbon-containing compounds as inorganic cyanides and cyanates, metallic carbonates, and oxides of carbon which are inorganic in nature, while organic compounds are compounds containing carbon except such carbon-containing compounds as carbides, inorganic cyanides and cyanates, metallic carbonates, and oxides of carbon. TSUS, Schedule 4, Part 2 headnotes 2 and 3.

The court is of the opinion that ammonium carbamate is an inorganic chemical compound which Congress intended should be classified under the provision for the metallic carbonates, ammonium carbonate and bicarbonate, in TSUS item 417.24 which, at the time of exportation of the subject merchandise, carried a modified specific duty at the rate of 0.25 cent per pound.

Dr. W. Conard Fernelius, Distinguished Professor Emeritus at the University of South Florida, who, among other things, has taught chemistry at American universities for over 35 j^ears and whose familiarity with the compound ammonium carbamate dates back to 1926 and antedates that of any of the other four chemists who testified in the case, explained the difference between the carbonate and carbamate compounds. He testified that ammonium carbonate

[[Image here]]

[11]*11contains the carbonate ion, C03 and the ammonium ions to balance the charge. He said that the ammonium carbamate

has a negative ion of two oxygens, one carbon, one nitrogen, and two hydrogens, and that as this is a single negative charge, only one ammonium ion is required to balance the charge. Dr. Fernelius testified that in terms of environment around the carbon, ammonium carbonate differs from ammonium carbamate by the former having three oxygens whereas the latter has two oxygens and a nitrogen. But more significantly, the witness stated that ammonium carbamate cannot be made without the presence of ammonium carbonate. He said it is always, simultaneously, a mixture of the two compounds (E. 170).

In 1921 the tariff commission mentioned the compound ammonium carbamate in the context of its report to the Senate Committee on Finance on the compound ammonium, carbonate, then provided for in paragraph 7 of the House passed tariff bill H.E. 7456.2 Under the heading Ammonium Carbonate the tariff commission report stated:

Description . . . . — Commercial ammonium carbonate, a mixture of ammonium carbonate and ammonium carbamate containing about 31 per cent of ammonia (NH3), is a white crystalline salt smelling strongly of ammonia, volatile when heated, and sometimes known as sal volatile. ...
Production. — It is made by heating a mixture of ammonium sulphate and chalk (calcium carbonate). The vapors of ammonia, carbon dioxide, and water, on cooling, condense to form the solid mixture of ammonium carbonate and ammonium carba-mate. The crude product is usually purified by sublimation. The domestic output is unknown. [Emphasis added.]

Contemporary lexicons defined the term ammonium carbonate as applying to “The commercial article called sal volatile ... a mixture of hydrogen-ammonium carbonate and ammonium carbamate” [The Century Dictionary, 1913 edition, Vol. 1, p. 177]; and “The commercial product sold under this name [which] consists of a mixture of ammonium bicarbonate NH4-HC03 with ammonium carbamate NH2-CO-ONIí4, and contains about 31 p.c. of ammonia and 56 p.c. of carbon dioxide. . . [A Dictionary of Applied Chemistry, Thorpe, revised edition 1918, Vol. 1, p. 151]. That the commercial product was considered the preferred form of ammonium carbonate is indi[12]*12cated-. in an even earlier lexicon. Under the heading Commerctal Ammonium Carbonate Thorpe stated:

Free access — add to your briefcase to read the full text and ask questions with AI

Cite This Page — Counsel Stack

Bluebook (online)
80 Cust. Ct. 8, 1978 Cust. Ct. LEXIS 1049, Counsel Stack Legal Research, https://law.counselstack.com/opinion/phostoxin-sales-inc-v-united-states-cusc-1978.