HILL, J.
The St. Paul and Tacoma Lumber Company, hereinafter called the company, has attacked the validity of one phase of the state use tax by a suit for refund of taxes paid. The tax in question is imposed by § 31 of the revenue act of 1935 as last amended (Laws of 1949, chapter 228, § 7, p. 829; Rem. Supp. 1949, § 8370-31) on every person who
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