GORDON, J.
When we remanded this case to the circuit court after the 1964 appeal, Judge WATTS was confronted with the difficult task of applying sec. 75.61 (1), Stats., pursuant to this court's mandate. While the language of the statute appears reasonably clear on its face, its actual application to this type of case is cumbersome.
Upon deliberation, it is the conclusion of this court that sec. 75.61 (1), Stats., contemplates that when a tax sale is voided...
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