ON DEFENDANT'S REQUEST FOR REVIEW OF COMMISSIONER'S ORDER
LARAMORE, Judge.
Plaintiff, Shakespeare Company, is a manufacturer of fishing tackle which was subject to tax under section 4161 of the Internal Revenue Code of 1954 on sales of its products at the rate of 10 percent of the price for which such taxable articles were sold. It sells all of its products to volume purchasers which resell to others. It sold its own "Shakespeare" brand name fishing reels...
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