HEFFERNAN, J.
Does the limitation of the benefits of ch. 580 to persons sixty-five or over constitute an unreasonable and arbitrary classification that denies others equal protection of the laws?
We are in agreement with petitioner's general proposition that a classification of "citizens and taxpayers, for purposes of income tax credits and refunds, in an arbitrary and unreasonable way, not germane to the purpose of the statute," would constitute a...
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