FOSTER, Justice.
The one question on this appeal is whether crushed limestone, as prepared and sold by appellee, is a fertilizer excepted from the sales tax by section 755(g), Title 51, Code. That statute exempts from the sales tax "proceeds of the sale, or sales, of fertilizer. (But that) The word `fertilizer' as used in this article shall not be construed to include cottonseed meal, when not in combination with other materials."
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