V. G. Nahrgang Co. v. United States

62 Cust. Ct. 393
CourtUnited States Customs Court
DecidedApril 15, 1969
DocketC.D. 3779
StatusPublished

This text of 62 Cust. Ct. 393 (V. G. Nahrgang Co. 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
V. G. Nahrgang Co. v. United States, 62 Cust. Ct. 393 (cusc 1969).

Opinion

Watson, Judge:

The merchandise involved in these consolidated protests consist of certain chemicals, identified as Tufftride Salt No. 1 and Tufftride Salt No. 2, which were classified under the provisions of paragraph 5 of the Tariff Act of 1930, as modified, at the rate of 10% per centum ad valorem as “other” chemical compounds and mixtures, not specially provided for.

Plaintiff claims the merchandise properly free of duty under the provisions of paragraph 1667 of the Tariff Act of 1930, as cyanide mixtures and salts. Plaintiff herein is importer of record for Kolene Corporation, Detroit, Michigan, actual importer of the involved merchandise.

At the trial, plaintiff abandoned its protest claims insofar as they were directed to the merchandise identified as Tufftride Salt No. 1 [394]*394(R. 2). Plaintiff, through its counsel, also moved and there were received in evidence, the official papers and the United States Customs Laboratory Reports contained therein, conceding “the accuracy of the analysis” revealed by said report (R. 3). The Government chemist’s findings in said report revealed that the imported Tufftride No. 2 contained 97 percent potassium cyanide and sodium cyanide and 3 percent cyanates or soduim cyanate (R. 10-11).

Two witnesses testified for the plaintiff. Defendant, on its part, did not call any witnesses at the trial. Dr. John J. Mueller, Frankfort, Germany, stated that he holds a degree in chemistry and a doctorate in metallurgy (R. 7). He testified that he was employed by the firm Degussa, exporter of the involved merchandise, as technical director of the department “which is engaged in the field of treating metals in salt bars” (R. 6-7). The witness further testified that he developed the so-called “Tufftride” process and was familiar with Tufftride No. 2 and with the method of manufacture of this product which is used for “replenishing the Tufftride salt baths” to treat metals in order “to increase wear resistance and increase wear strength” (R. 8). In describing the manner in which Tufftride No. 2 is produced, Dr. Mueller stated:

This, it is mixture of sodium cyanide and potassium cyanide. It is made by making first the sodium cyanide by the so-called Castner process and then the potassium cyanide, it is mixed to the sodium cyanide in solid form, it is melted down into the sodium cyanide. Then we cast in molds out of this mixture of sodium and potassium cyanide [R. 9].

The merchandise is exported to this country in egg form, in solid shape, being about “2 inches long, as small as chicken eggs.” Dr. Mueller testified that the 3 percent sodium cyanate content so found by the Government chemist in Tufftride No. 2, was not an additive, that is, something which is added to the product, and that it does not serve any useful purpose in the importation in question. He further stated that “we tried to replenish the cyanide so to positively have 100 percent product. It is a disadvantage to have, for example, cyanate in it” (R. 11). In this connection, plaintiff’s witness stated that the importer of this merchandise did not request the addition of any cyanate in this product. The witness stated that the presence of such a small amount of cyanate in the imported product is inevitable due to the manufacturing process employed in its production; that “* * * We have to melt together this sodium cyanide and potassium cyanide * * *. We have contact with the atmosphere, with air, so cyanate will be formed by oxidizing on the surface of the melt” (R. 12). Dr. Mueller further testified that it would not be feasible to completely eliminate cyanate out of Tufftride No. 2. He stated that, based upon his knowledge of [395]*395chemistry and metallurgy and his experience with the imported product, Tufftride No. 2 was not a cyanate mixture, explaining in this connection, as follows:

A. I understand a mixture is something where I put together two or more compounds. In the case of Tufftride No. 2, I put sodium cyanide and potassium cyanide but no cyanate, so it is not a cyanate mixture [E. 13].

Plaintiff’s witness defined a mixture “where I mix together compounds, for example, cyanides with cyanate, where I put cyanate to other compounds” (E. 14). He stated that he also ships to the present importer Tufftride No. 1 which “is a cyanate mixture because there we have about 40 per cent cyanate and 60 per cent cyanide” but that, in his opinion Tufftride No. 2 here in question is “a mixture of sodium and potassium cyanide. * * * It is a cyanide mixture” (E. 14-15).

On cross-examination, Dr. Mueller agreed that Tufftride No. 2 does contain a certain percentage of cyanate. He testified that the du Pont company does not produce a product like Tufftride No. 2 with a maximum of 1 percent of cyanate; but that du Pont does produce a sodium cyanide which has a cyanate content of 1 percent or less, but so does his company produce such product (E. 15-16). The witness further testified that the efficient processing of Tufftride No. 2 might bring down the percentage of cyanates to a “minimum” but that “it is always possible” that the cyanate content will come out 3 percent or more (E. 16).

Plaintiff’s second witness, William G. Wood, stated that he was a chemical and metallurgical consultant for 5 or 6 years and prior to that was vice president of research and manufacturing for Park Chemical Company, Detroit. The record discloses that he holds a bachelor of science degree in chemical engineering, a bachelor of science degree in chemistry and a master of science degree in metallurgical engineering. He was also a member of a number of societies and institutes for engineers.

Mr. Wood testified that he was familiar with Tufftride No. 2 since its introduction into the United States through servicing customers of Kolene Corp. He stated that Tufftride No. 2 is an additive or actually the base salt for the Tufftriding processing performed in a “bath” which is “composed of approximately 50 per cent cyanide and this sodium and potassium cyanide and approximately 50 per cent cyanate.” This is an aerated bath and the replenishment of the bath is with cyanide and the aeration converts the cyanides to cyanates and cyanate is the active product which in contact with the ferris or steel surface promotes a nitrate case and a nitrogen diffusion into the interjected materials, “say 40 or 50 thousandths which produces both a [396]*396wear resistant and fatigue resistant in various automotive components” (R. 22-23). The witness stated that he had visited approximately 30 or 40 plants having such baths.

Mr. Wood further testified that he would not dispute the finding of the Government chemists in the analysis that “Tufftride No. 2” contained about 97 percent of the potassium and sodium cyanide and about 3 percent of sodium cyanate. He then stated that he would be surprised if the product contained no sodium cyanate, explaining in this connection as follows:

A. 'Because of the method of manufacture which has previously been described, but the fact that the Tufftride is produced in a fused egg, it means that it is poured from molten cyanide. This is common in the industry when cyanide, when it is exposed to the air, you just get a natural oxidation and develop the cyanate. How much you get is probably dependent upon how much air has access to the cyanide, how it is formed, anything like this would influence it [R. 24].

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