Opinion by
Keefe, J.It was stipulated that the cheese in question is similar to the Provolone cheese the subject of Scaramelli v. United States (9 Cust. Ct. 270, C. D. 706) and that in liquidating, the collector, following T. D. 50435 and T. D. 50582 (3), allowed only 1 percent of the said net weight. Following C. D. 706,. supra, the collector was directed to allow 2)4 percent instead of 1 percent on certain of the cheese in question.