OPINION
This case concerns the U.S. Customs & Bоrder Protection’s (“Customs”) classification of certain motocross jerseys, motocross pants, and motorcycle jackets under Chapters 61 and 62 of the Harmonized Tariff Schedule of the United States (“HTSUS”). Defendant United States moves the court for summary judgment, arguing that Customs classified the subject merchandise under the appropriate provisions of the HTSUS. Plaintiff LeMans Corporation (“LeMans” or “Plaintiff’) contests the classification and cross-moves the court for summary judgment, alleging that subheadings within Chapter 95 of the HTSUS covering sports equipmеnt most accurately describe the subject jerseys, pants, and jackets. In view of the applicable General Rules of Interpretation (“GRIs”) and for the reasons explained below, the court grants Defendant’s Motion for Summary Judgment and denies Plaintiffs Cross-Motion for Summary Judgment.
I. Background
A. The Subject Merchandise
LeMans imported the subject merchandise into the United States through the ports of Chicago and Los Angeles between July 20, 2004 and September 17, 2004. 1 Summons 3-4. The merchandise consists of “highly specialized” jerseys, pants, and jackets “designed, engineered, and produced exclusively for use while participating in motocross activities and other power sports riding.” PL’s Resp. to Def.’s First Interrogs. & Reqs. for Produc., Def. Mot. for Summ. J. Ex. C at 5 (“PI. Resp. to Def. First Interrogs.”). The dual purposes of the goods “prevent injury to the rider from abrasion and impacts with motorcycle parts and the surrounding elements, as well as ... provide optimal fit and comfort while participating in the sport.” PL Resp. to Def. First Interrogs. 5.
Synthetic, abrasion-resistant mesh and ventilated knit patterned fabric, which also wicks away moisture, makes up the five *1377 motocross jerseys at issue. 2 Pl. Resp. to Def. First Interrogs. 6. “Thе jerseys have padded elbows for abrasion and impact protection” and “form an integrated protection system” with the use of “a tacky silicon print on the lower back to keep the jersey tucked into the motocross pant when riding.” Pl. Resp. to Def. First Interrogs. 6. An oversized, multi-panel cut allows for a non-binding fit so that other safety equipment, which if permanently affixed in the good would result in improper fit and inadequate safety, 3 may be worn under the jersey. Pl. Resp. to Def. First Interrogs. 6.
Six different models comprise the subject pants, 4 and riders generally use the goods off-road on motocross tracks, super-cross tracks, or on other off-road courses. Dep. of Jeffrey T. Hart, Def. Mot. for Summ. J. Ex. B at 12:12-16 (“Hart Dep.”). Heavy-duty nylon provides riders with impact and abrasion protection, and the pants contain additional comfort features, such as “mesh panels for venting, heat resistant inner leg areas (made of leather or man[-]made fibers) to prevent burns from the engine and exhaust pipe, and spandex and stretch panels to allow freedom of movement and a non[-]binding fit in the legs, seat, and crotch area.” Pl. Resp. to Def. First Interrogs. 5. To ensure freedom of movement, the pants also include [¶] ]] hip padding instead of alternative rigid protective elements. 5 Pl. Resp. to Def. First Interrogs. 5.
Finally, the LeMans motorcycle jackets at issue are the Super Duty, Merc, Tarmac, and the Airtex Sport. 6 Compl. ¶ 9. Heavy-duty materials provide protection to the rider on the public street from impact and abrasion injuries “which may result from a crash or fall, including the initial impact and the sliding contact with the pavement.” Pl. Resp. to Def. First Interrogs. 6. Internal armor pads, constructed of [[speсial material]], appear in the shoulders and elbows, “the highest impact areas *1378 in the event of crashes or falls.” PL Resp. to Def. First Interrogs. 6. The jackets also feature a[[]] back pad for added protection. PL Resp. to Def. First Interrogs. 6. LeMans designed the jackets to fit closely to the rider’s body and tapered the sleeves snugly around the wrist “to keep the jacket in proper position while riding or during a crash.” Pl. Resp. to Def. First Interrogs. 6. The jackets also accommodate a rider’s posture with a cut that has longer sleeves and fuller shoulders, with zippered vents or mesh providing “airflow into the jacket for various riding conditions.” Pl. Resp. to Def. First Interrogs. 6-7.
In summary, all. the subject merchandise are readily recognizable as articles of clothing albeit with certain specialized protective features, some minimal, some more significant.
B. The Subject Classification
Customs classified the subject mercham dise under five subheadings within Chapters 61 and 62 of the HTSUS. 7 The agency entered the relevant motocross jerseys as “Sweaters, pullovers, sweatshirts, waistcoats (vests) and similar articles, knitted or crocheted: Of man-made fibers: Other” under subheading 6110.30.30 of the HTSUS at a duty rate of 32% ad valorem. Compl. ¶¶ 13, 20. Customs classified the subject motocross pants as “Garments, made up of fabrics of heading 5602, 5603, 5903, 5906 or 5907: Other men’s or boy’s garments: Of manmade fibers: Other” under subheading 6210.40.50 of the HTSUS at a duty rate of 7.1% ad valorem. 8 Compl. ¶¶ 11, 19. Finally, Customs found that the various motorcycle jackets fit within three separate provisions of Heading 6201, HTSUS, and classified and liquidated the Airtex Sport and Merc models under subheading 6201.93.30 at a duty rate of 7.1% ad valorem, the Tarmac jacket under 6201.93.35 at a rate of 27.7% ad valorem, and the Super Duty model under 6201.92.15 at a rate of 6.2% ad valorem. 9 Compl. ¶¶ 14-15, 21; Answer ¶ 15.
*1379 II. Subject Matter Jurisdiction & Standard of Review
The Court has exclusive jurisdiction over all civil actions commenced under 19 U.S.C. § 1515 that contеst Customs’s denial of a protest. 28 U.S.C. § 1581(a). An action before the court warrants summary judgment “if the pleadings, discovery and disclosure materials on file, and any affidavits show that there is no genuine issue as to any material fact and that the movant is entitled to judgment as a matter of law.” USCIT R. 56(c);
see also Celotex Corp. v. Catrett,
The court applies a two-step analysis when determining whether Customs properly classified the imported merchandise.
Pillowtex Corp. v. United States,
III. Discussion
A. The General Rules of Interpretation
The GRIs govern the classification of goods under the HTSUS.
Boen Hardwood Flooring, Inc. v. United States,
B. The Classification of the Subject Merchandise
While Defendant maintains that it correctly classified the merchandise under Chapters 61 and 62 of the HTSUS, Def. Mot. for Summ. J. 8, 21-28, LeMans argues that two provisions under Heading 9506 (subheading 9506.91.00, at a duty rate of 4.6% ad valorem, or in the alternative 9506.99.60, at a rate of 4% ad valorem) best describe the subject jerseys, pants and jackets. 10 Pl. Mot. for Summ. J. 3-23. Moreover, Plaintiff contends that “the specialized nature and purpose of [its] goods preclude them from classification in [C]hapters 61 or 62.” Pl. Mot. for Summ. J. 23. The central question in this case is whether the subject merchandise constitute “other sports equipment” classifiable under Chapter 95 or whether Customs correctly classified the goods in the first instance as certain apparel under Chapters 61 and 62. Because the motocross jerseys, motocross pants, and motorcycle jackets are described by the terms of the respective headings in Chаpters 61 and 62, and are wearing apparel, the court agrees with Customs’s classification of the subject merchandise.
1. The Motocross Jerseys & Pants
The subject motocross jerseys constitute a knitted “sweater” under the plain language of Heading 6110. Neither the HTSUS nor the legislative history defines the term sweater. Under the common meaning of those terms,
see Carl Zeiss, Inc.,
Similarly, using the HTSUS-defined meaning of relevant terms and the common understanding of “garment,”
see Carl Zeiss, Inc.,
2. The Motorcycle Jackets
The common definition of an “overcoat” encompasses the subject motorcycle jackets and, therefore, the plain text of Heading 6201 covers these articles. A word not defined by the HTSUS or in legislative history, an overcoat connotes “a coat worn over a suit or other clothing,” and “coat” indicates “an outer garment (as a raincoat) usu[ally] with long sleeves, a collar, and a single-breasted or double-breasted front opening made of fabric, fur, or plastic and varying in length and style according to fashion and use.”
Webster’s Third New International Dictionary
433, 1607 (2002). An individual wears the jackets over other clothing and at a particular time, such as when he rides on the public street. PL Resp. to Def. First Interrogs. 6. The jackets also vary in length and style to accommodate a rider’s posture, with a cut that has longer sleeves and fuller shoulders. Pl. Resp. to Def. First Interrogs. 6-7. LeMans designed the Men’s and Boys’ articles to consist of a combination of the following materials: heavy-duty polyester knitted and mesh fabrics; Dynax nylon; and a heavyweight waxed cotton chassis. PL’s Statement of Undisputed Material Facts at ¶ 82; Def.’s Resp. to PL’s Statement of Undisputed Material Facts at ¶ 82. Thе jackets do not amount to “Men’s or boys’ suits, ensembles, suit-type jackets, blazers, trousers, bib and brace overalls, [or] breeches and shorts (other than swimwear)” under Heading 6203.
14
In finding that the description of the jackets conform with the text of Heading 6201 and identify with wearing apparel,
see Admiral Craft Equip. Corp.,
*1383 C. The Subject Goods Are Not Eligible for Classification Under Chapter 95 oftheHTSUS
After providing what it understands as the controlling definition for “equipment,” PI. Mot. for Summ. J. 3-4, LeMans avers that the jerseys, pants, and jackets cоnstitute “sports equipment” under Heading 9506. PI. Mot. for Summ. J. 5-23. In the event that the subject goods are classifiable both as other sports equipment under Chapter 95 and apparel in Chapters 61 and 62, LeMans argues that GRI 3(a) compels the court to find that Chapter 95 more specifically describes the subject merchandise. PI. Mot. for Summ. J. 29-30. The court is not persuaded by either argument.
The EN to Heading 9506 demonstrates that the subject merchandise is of a different nature and character than those classifiable as “sports equipment” under Chapter 95. To qualify аs “equipment” for a sport, the good should generally provide “what is necessary, useful, or appropriate.”
See Webster’s Third New International Dictionary
768 (2002) (defining “equipment” as “the equipping of a person or thing” and “equip” as “to provide with what is necessary, useful, or appropriate”);
see also Rollerblade, Inc. v. United States,
LeMans does not convince the court that the Federal Circuit meant to provide an authoritative definition of “equipment” in
Bauer,
or that the analysis therein governs the classification of the subject merchandise in this case.
The Customs classification of certain gear after the Federal Circuit’s decision in Bauer further demonstrates that the subject goods are distinct from those classifiable under Heading 9506. In 2005, Customs classified under Heading 9506 a shinguard made of hard plastic with an ethylene-vinyl acetate foam backing permanently encased in a specially-fitted polyester sock, noting that the “hard protective guard is specially-fitted to the polyester sock in which it is encased and it is not removable.” [¶] 967738 (Sept. 21, 2005). However, later that year, Customs determined that knitted polyester and cotton shorts and pants with high-density foam padding designed for soccer goalkeepers did not constitute sports equipment under Heading 9506, but instead classified the soccer pants and shorts under Heading 6114, HTSUS. [¶] 967957 (Dec. 9, 2005). Customs reasoned that while the articles contained various protective features, the padding appeared “in isolated areas where goalkeepers are most likely to make contact with the ground. Th[at] padding is insubstantial, offering only some cushioning from the ground and protection against ground abrasions.” Id. Similar to the soccer pants and shorts, the subject merchandise incorporates limited padding to isolated areas of the article, and they do not contain nor are predominantly comprised of hard plastic like the shin-guards in [¶] 967738 or the ice hockey pants in Bauer. See PI. Mot. for Summ. J. Exs. 7-17.
Finally, as previously noted, the terms of the relevant headings within Chapters 61 and 62 describe the subjеct merchandise. Because GRI 1 resolves this classification inquiry, the court need not consider any subsequent GRI.
See Mita Copystar Am.,
IV. Conclusion
Using GRI 1, the court upholds Customs’s classification of the subject merchandise under the relevant provisions of Chapters 61 and 62 of the HTSUS.
Notes
. Entry Nos. 279-9313291-2, 279-9313582-4, 279-9313588-1, 279-9313790-3, 279-9313997-4, 279-9316067-3, 279-9316419-6, 279-9317228-0, 279-9317410-4, 279-3205158-7, 279-3205173-6, 279-3205154-6. Summons 3-4.
. The relevant jersey models include the Men’s and Boy’s Phase S5, Men’s and Boy’s Core S5, and the Men’s AC S5. Compl. V 8.
. The typical safety equipment worn under the jerseys consist of chest, kidney, and elbow guards. Pl. Resp. to Def. First Interrogs. 6.
. The pertinent pant models include the AC S5, Core S5, Core S5 Youth, XCR, Ml Kids, and Ml. Compl. ¶ 7.
. The Core, XCR, and Ml modеls contain [[various types of padding,]] approximately [¶] ]] thick, while the AC model includes [[other certain padding]]. Pl. Resp. to Def. First Interrogs. 5. The two Core, XCR, Ml, and AC models also incorporate [[]] padding [[]] in the seat or tail area. Pl. Resp. to Def. First Interrogs. 5. [[Various]] patches on the upper seat area provide additional impact protection in the Core, XCR, and Ml models. Pl. Resp. to Def. First Interrogs. 5.
. More specifically, the Super Duty contains a "heavyweight waxed cotton chassis with leather sleeves,” shoulder and elbow armor pads that meet more stringent European standards, ‘‘[[a]] back pad, and zippered chest vents.” Pl. Resp. to Def. First Interrogs. 7. The Merc consists of a "heavyweight Dynax Nylon chassis, [European-]approved shoulder and elbow armor pads, [[a]] back pad and ribbed spandex panels under the arms for ventilation, [and a] zipper cover on bottom of [the] front zipper to prevent scratches to the motorcycle gas tank.” Pl. Resp. to Def. First Interrogs. 7. Finally, the Tarmac includes a "heavyweight knitted polyester mesh chassis ..., [Euroрean-Japproved shoulder and elbow armor pads, [[a]] back pad, [and] leather elbows,” while the Airtex Sport contains a "heavyweight polyester mesh chassis, [European-]approved shoulder and elbow armor pads, [[a]] back pad, [as well as an] adjustable waist band, reflective logo on [the] back to enhance nighttime visibility, [and] rubber coated snaps to prevent scratches to the motorcycle gas tank.” Pl. Resp. to Def. First Interrogs. 7.
. All citations to the HTSUS refer to the 2004, as determined by the date of importation for the merchandise.
. Headings 5602, 5603, 5903, 5906, and 5907 of the HTSUS cover certain fabrics. Heading 5602 includes “Felt, whether or not impregnated, coated, covered or laminated,” while Heading 5603 provides for "Nonwovens, whether or not impregnated, coated, covered or laminated.” Under the other three provisions, Heading 5903 encompasses “Textile fabrics impregnated, coated, covered or laminated with plastics, other than those of heading 5902,” Heading 5906 comprises “Rubberized textile fabrics, other than those of heading 5902,” and Heading 5907 concerns "Textile fabrics otherwise impregnated, coated or covered; painted canvas being theatrical scenery, studio back-cloths or the like.”
.Heading 6201 of the HTSUS covers in pertinent part:
6201 Men's or boys’ overcoats, carcoats, capes, cloaks, anoraks (including ski-jackets), windbreakers and similar articles (including padded, sleeveless jackets), other than those of heading 6203 [ (which covers "Men's or boys’ suits, ensembles, suit-type jackets, blazers, trousers, bib and brace overalls, breeches and shorts (other than swimwear)”) ]:
Anoraks (including ski-jackets), windbreakers and similar articles (including padded, sleeveless jackets)
6201.92 Of cotton.
*1379 Other:
6201.92.15 Water resistant.
6201.93 Of man-made fibers:
Other
Other
Other
6201.93.30 Water resistant.
6201.93.35 Other.
. Heading 9506 provides in relevant part:
9506 Articles and equipment for general physical exercise, gymnastics, athletics, other sports (including table-tennis) or outdoor games, not specified or included elsewhere in this chapter; swimming pools and wading pools; parts and accessories thereof:
Other:
Articles and equipment for general physical exercise, gymnastics or athletics; parts and accessories thereof. 9506.91.00
Other 9506.99
9506.99.60 Other
. A ''placket” is “a finished slit in a garment.” Webster’s Third New International Dictionary 1728 (2002).
. The term "textile fabric” applies to, inter alia, fabrics made of man-made fibers produced by the polymerization of organic monomers, such as polyester and polyurethane, as well as those fibers made through the chemical transformation of natural organic polymers. Note l(a)-(b) to Chapter 54, HTSUS.
.Keprotee is a unique blend of several synthetic fibers — Cordura®, Dyanfil TS-70, Kevlar®, and polyurethane fibers. PL's Statement of Undisputed Material Facts ¶ 47; Def.'s Resp. to PL’s Statement of Undisputed Material Facts ¶ 47.
. A "suit” is "a set of garments composed of two or three pieces made up, in respect of their outer surface, in identical fabric and comprising,” inter alia, a garment designed to cover the upper part of the body and another article that covers the lower part of the body. Note 3(a) to Chapter 62, HTSUS. Importantly, "[a]ll of the components of a 'suit' must be of the same fabric construction, color, and composition,” id., a requirement that places the subject jackets outside of this definition. That requirement also prevents classification of the merchandise as either an "ensemble” or a "suit-type jacket” under Heading 6203. Note 3(b) to Chapter 62, HTSUS; Webster’s Third New International Dictionary 1206 (2002) (defining "jacket” as "a garment like a coat for the upper body usu[ally] having a front opening, collar, lapels, sleeves, and pockets, made in varying lengths from waist to hip, and worn separately or as part of a suit”). Moreover, the different nature of a blazer disqualifies it as an accurate description of the merchandise. Webster's Third New International Dictionary 232 (2002) (defining “blazer” as "a single-breasted sports jacket of flannel or other fabric in bright stripes or solid color made usu[ally] with a notched collar, patch pockets, and sometimes decorated edges”). Finally, unlike the jackets at issue, the terms breeches, overalls, shorts, and trousers all address articles that cover the lower body in part. See Webster's Third New International Dictionary 274, 1606, 2102, 2453 (2002).
. In relevant part, the EN states that Heading 9506 covers requisites for other sports, such as
(1) Snow-skis and other snow-ski equipment, (e.g., ski-fastenings (ski-bindings), ski brakes, ski poles).
(2) Water-skis, surf-boards, sailboards and other water-sport equipment, such as diving stages (platforms), chutes, divers’ flippers and respiratory masks of a kind used without oxygen or compressed air bottles, and simple underwater breathing tubes (generally known as “snorkels”) for swimmers or divers.
(3) Golf clubs and other golf equipment, such as golf balls, golf tees.
(4) Articles and equipment for table-tennis (ping-pong), such as tables (with or without legs), bats (paddles), balls and nets.
(5) Tennis, badminton or similar rackets (e.g., squash rackets), whether or not strung.
(6) Balls, other than golf balls and table-tennis balls, such as tennis balls, footballs, rugby balls and similar balls (including bladders and covers for such balls); water polo, basketball and similar valve type balls; cricket balls.
(7) Ice skates and roller skates, including skating boots with skates attached.
(8) Sticks and bats for hockey, cricket, lacrosse, etc.; chistera (jai alai scoops); pucks for ice hockey; curling stones.
(9) Nets for various games (tennis, badminton, volleyball, football, basketball, etc.).
(10) Fencing equipment: fencing foils, sabres and rapiers and their parts (e.g., blades, guards, hilts and buttons or stops), etc.
(11) Archery equipment, such as bows, arrows and targets.
(12) Equipment of a kind used in children's playgrounds (e.g., swings, slides, see-saws and giant strides).
(13) Protective equipment for sports or games, e.g., fencing masks and breast plates, elbow and knee pads, cricket pads, shin-guards.
(14) Other articles and equipment, such as requisites for deck tennis, quoits or bowls; skate boards; rackеt presses; mallets for polo or croquet; boomerangs; ice axes; clay pigeons and clay pigeon projectors; bobsleighs (bobsleds), luges and similar non-motorised vehicles for sliding on snow or ice.
EN 95.06(B).
. To be sure, the
Bauer
decision can be read to caution against an overly restrictive interpretation of "equipment.”
. This subheading provides covers "track suits, ski-suits and swimwear; other garments” comprised "[o]f man-made fibers.” 6211.33.00, HTSUS.
.Subheading 9605.99.25 controls the classification of certain sports equipment — "[¡Ice-hockey and field-hockey articles and equipment, except balls, and parts and accessories thereof.” 9506.99.25, HTSUS.
