
    No. 41845.
    Protest 906152-G of L. Oppleman, Inc. (New York).
   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.  