
    No. 40397.
    Protests 890299-G, etc., of Dernier, Inc. (New York).
   Opinion by

Tilson, J.

It was established that the merchandise is composed in chief value of cotton. That which was assessed under paragraph 1306 was held dutiable at 40 percent under paragraph 923 and merchandise which was assessed under paragraph 1308 was held dutiable at 35 percent under paragraph 912.  