STURGIS, Chief Judge.
The appellant, Whitehead & Kales Company, plaintiff below, seeks reversal of a summary final decree in favor of the State Comptroller, defendant below, whereby it was held that the transactions outlined in the complaint are taxable under Section 212.05 Florida Statutes, F.S.A., and injunctive relief was denied against the enforcement of the tax.
In November 1956 the appellant corporation contracted with United Aircraft Corporation...
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