OPINION
COOPER, Justice.
The Commissioner of Revenue of the State of Tennessee has appealed from a decree permitting appellee to recover sales taxes paid. The commissioner insists that appellee is not entitled to a refund of taxes paid as (1) the tax was paid voluntarily, and (2) the appellee owed the tax under the provisions of T.C.A. § 67-3025, the so-called successor liability statute.
The taxes in question are sales taxes collected by Betty...
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