Tablet Computers Classified in 8471 30
[CBEC
Circular No. 20 dated 14th May 2013]
Subject: Classification of the machines commercially
referred to as “Tablet Computers”.
Doubts have been raised regarding classification of
products commercially referred to as Tablet Computers under the Customs Tariff
which is harmonised with the Harmonized Commodity Description and Coding
System, commonly known as "HS Nomenclature". The two major competing
headings are 8517 and 8471.
2. The issue has
been examined by the Board. The classification is to be determined by
application of the General Rules for the Interpretation (GRIs) of the First
Schedule to the Customs Tariff Act (CTA), 1975. GRI 1 requires that, “in
classifying articles, for legal purpose it shall be determined according to the
terms of the headings and any relative Section or Chapter Notes,..”. Hence, all
relevant legal texts must be considered. Note 5.(A) to Chapter 84 states that,
“For the purposes of heading 8471, the expression “automatic data processing
machine” means machine capable of : (i) storing the processing programme or
programmes and at least the data immediately necessary for the execution of the
programme; (ii) being freely programmed in accordance with the requirements of
the user; (iii) performing arithmetical computations specified by the user; and
(iv) executing, without human intervention, a processing programme which
requires them to modify their execution, by logical decision during the
processing run”. In addition to the above relevant Note 3 to Section XVI
stipulates that, “unless the context otherwise requires, composite machines
consisting of two or more machines fitted together to form a whole and other
machines designed for the purpose of per-forming two or more complementary or
alternative functions are to be classified as if consisting only of that
component or as being that machine which performs the principal function”.
3. A Tablet
Computer is designed to be primarily operated by using its touchscreen. It can
process data, execute programs, and connect to the Internet via a wireless
network in order to, for example, exchange and manage e-mails, exchange or
download files, download software applications, conduct video or VoIP (“Voice
over Internet Protocol”) communications, etc. In addition, it can also be
connected to a cellular network to make voice calls.
4. It is seen
that “Tablet Computers” can be programmed in a variety of ways thereby qualifying
as machines capable of being freely programmed in accordance with the
requirements of the user, as required by Note 5 (A) (ii) to Chapter 84. It is
also held that the products at issue have essentially the same functionality as
a laptop. The function as an Automatic Data Processing Machine (ADP) is the main
function of the product, while other functionalities of said
machines are not different from the auxiliary functions that could be
seen on any computer, such as desktop or laptop computers. The mobile phone
calling function could be provided by the products only as a supplementary
function because it could not be activated without running an operating system
of the “Tablet Computer”, and in order to use the function a headset had to be
used. The size of such machines when exceeding the dimensions mentioned in Note
8 to Chapter 84 relating to the “pocket-size” machines of heading 8470, is too
big to be used principally for making voice calls. The tablet computers are not
intended to be a substitute for a mobile phone to make voice calls, but,
according to its main technical features is designed as a substitute for
laptops. The difference between a “Smartphone” and a “Tablet Computer”, is not
based on whether the product has a voice calling function or not, but on the
principal features that a producer has intended for the device when designing
and developing it.
5. In view of the
foregoing, it is held that products at issue meet all the requirements
stipulated in Note 5 (A) to Chapter 84. Therefore, it is decided that machines
commercially referred to as “Tablet Computers” are more appropriately
classifiable in heading 8471, subheading 847130, by application of General
Rules for Interpretation (GRI) of Import Tariff, 1 (Note 3 to Section XVI and
Note 5 (A) to Chapter 84) and 6. This decision is consistent with WCO HSC
decision to classify certain machines commercially referred to as “Tablet
Computers” in heading 8471, subheading 847130.
6. Accordingly,
pending classification may be finalized, and difficulties, if any, faced in the
implementation of this circular, may be immediately brought to the notice of
the Board.
F.No. 528/102/2011-STO (TU)