Protest 906152-G of L. Oppleman, Inc.

Opinion by

McClelland, P. J.

It was stipulated that the merchandise consists of cloth brushes and hat brushes similar to those passed upon in United States v. Heinrich Herrmann & Weiss (26 C. C. P. A. 292, C. A. D. 30). They were therefore held dutiable at only 50 percent under paragraph 1506 as claimed.