Target Gen. Merch., Inc. v. United States

392 F. Supp. 3d 1326, 2019 CIT 80
CourtUnited States Court of International Trade
DecidedJuly 2, 2019
DocketConsol. 14-00331
StatusPublished

This text of 392 F. Supp. 3d 1326 (Target Gen. Merch., Inc. v. United States) is published on Counsel Stack Legal Research, covering United States Court of International Trade primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Target Gen. Merch., Inc. v. United States, 392 F. Supp. 3d 1326, 2019 CIT 80 (cit 2019).

Opinion

Richard W. Goldberg, Senior Judge

Plaintiff Target General Merchandise, Inc. ("Target") has moved for summary judgment, Mot. for Summ. J., ECF No. 42 (Dec. 12, 2018), and the Government has responded with a cross-motion seeking the same, Def.'s Cross-Mot. for Summ. J., ECF No. 47 (Mar. 14, 2019). Upon importation, U.S. Customs and Border Protection ("Customs") classified the subject merchandise-stringed light sets-as "lighting sets of a kind used for Christmas trees" under the Harmonized Tariff Schedule of the United States ("HTSUS") (2012). In support of Customs' classification, the Government relies solely on its contention that the articles at issue in this litigation are commercially fungible with other light sets that the parties agree are Christmas tree lights. Mem. in Support of Def.'s Cross-Mot. for Summ. J., ECF No. 47 (Mar. 14, 2019) ("Gov't's Br."). Target asserts that Customs' classification is incorrect. Mem. in Support of Pl.'s Mot. for Summ. J., ECF No. 42 (Dec. 12, 2018) ("Pl.'s Br.").

An examination of the principal use of the subject articles as well as of their commercial fungibility with other products leads the court to conclude that Customs' classification is incorrect. Based on the parties' submissions and the court's examination of the submitted samples, there can be no genuine issue of material fact that the lighting sets at issue are not principally used as Christmas tree lights and are not fungible with Christmas tree lights. Accordingly, the court grants Target's motion and denies the Government's cross-motion.

BACKGROUND

The subject merchandise entered the United States in 2012. Am. Summons, ECF No. 7 (Dec. 12, 2014). Upon entry, Customs classified the articles and Target timely filed its protests, which were subsequently denied. Id. Thereafter, Target filed a complaint, initiating this action. Compl., ECF No. 20 (Jan. 12, 2017) ("Compl."). The parties agree that the subject merchandise is classifiable under *1332 heading 9405 of the HTSUS but disagree on the appropriate subheading. Customs determined that the electric lighting sets at issue were to be classified under subheading 9405.30.0010 at 8.00% ad valorem . Am. Summons, ECF No. 7 (Dec. 12, 2014). That subheading is for the classification of:

Heading/Subheading Article Description 9405 Lamps and lighting fittings including searchlights and spotlights and parts thereof, not elsewhere specified or included; illuminated signs, illuminated nameplates and the like, having a permanently fixed light source, and parts thereof not elsewhere specified or included: 9405.30 Lighting sets of a kind used for Christmas trees 9405.30.0010 Miniature series wired sets.

HTSUS § XX, Ch. 94, heading 9405, subheading 30 ("subheading 9405.30.0010"). Target now argues that the subject merchandise is more appropriately classified under subheading 9405.40.8000 of the HTSUS, which reads:

Heading/Subheading Article Description 9405 Lamps and lighting fittings including searchlights and spotlights and parts thereof, not elsewhere specified or included; illuminated signs, illuminated nameplates and the like, having a permanently fixed light source, and parts thereof not elsewhere specified or included: 9405.40 Other electric lamps and lighting fittings: 9405.40.8000 Other.

HTSUS § XX, Ch. 94, heading 9405, subheading 40 ("subheading 9405.40.8000"). Subheading 9405.40.8000 carries with it a 3.9% ad valorem duty rate.

UNDISPUTED MATERIAL FACTS

The stringed light sets at issue come in two basic varieties: those with a black cord ("black-corded light sets") and those with a white cord ("white-corded light sets"). Four samples were provided to the court, three of which are black-corded light sets. LED Light Samples Exs. E & F, ECF No. 31 (Apr. 5, 2017) ("Physical Exs."). The black-corded samples contain a black cord and multiple combinations of three differently-colored light bulbs while the white-corded sample has a white cord and a single combination of seven bulb colors. Id.

The black-corded light sets "have black wire harnesses and contain green, purple, or orange bulbs, and combinations thereof." Compl. ¶ 10; see also Physical Ex. E. Of the black-corded light samples provided to the court, one set's bulbs were both green and purple; another had three different colored bulbs (green, purple, and orange); and the last had only purple bulbs. Physical Ex. E. The packaging of the black-corded light sets labels the goods as "MINI LIGHTS" and also highlights the color of the bulbs, the articles' capacity for use indoors and outdoors, the ability of the consumer to connect the light sets "end to end," as well as the color and length of the cord. Id. The packaging further contains an image of the articles themselves displayed with pumpkins, candy, and witches' hats as well as repeated references to objects such as a "witch's cauldron" and a "graveyard[ ]." Id. Target employee Brian Borg-formerly a Merchandise Planner in Target's Halloween and Christmas business from July 2017 to August 2018-indicated that the black-corded light sets are put out for sale at the beginning of the Halloween season, near the end of August, and then after Halloween, "any unsold black corded lights [ ] remain on the shelves as a clearance item for ten days after which they are removed from the shelves." Aff. of Brian Borg *1333 ¶¶ 35-36, ECF No. 42-1 (Nov. 14, 2018) ("Borg Aff.").

The white-corded light sets have white harnesses and a combination of seven different colored bulbs (red, yellow, blue, purple, amber, light blue, and green). Physical Ex. F. Those sets are labeled as "100 MULTI MINI LIGHTS." Id. Additionally, the front of the packaging highlights the following features: the consumer's ability to "[c]onnect up to 10 sets (1,000 bulbs) end to end," a "Limited 3 Year Guarantee," the bulb color variety, the length and color of the cord, the articles' capacity for use indoors and outdoors, and the energy-saving benefits of the light sets. Id. The image accompanying the front of the packaging shows a close-up of seven white harnesses with each of the seven different bulb colors. Id. The back of the packaging contains information on the products' specifications, warnings, energy usage information, and the terms of the "guarantee" advertised on the front of the box. Id. The white-corded light sets are sold year-round, Dep. of Brian Borg 192:24-25, ECF No. 42-2 (May 17, 2018) ("Borg Dep."), and during the Christmas season the lights are often sold in Target's "Trim A Tree" department, see Pl.'s Br. at 16, which "carries all types of Christmas products," Pl.'s Statement of Undisputed Material Facts ¶ 29, ECF No. 42 (Dec. 12, 2018).

During discovery, Target also provided the Government with two sample light sets representing the kind of light sets appropriately designated for use on Christmas trees. Pl.'s Resp. to Def.'s First Requests for Prod. ¶ 17, ECF No. 47-5 (Nov. 30, 2017).

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392 F. Supp. 3d 1326, 2019 CIT 80, Counsel Stack Legal Research, https://law.counselstack.com/opinion/target-gen-merch-inc-v-united-states-cit-2019.