This appeal, by Scott-Rice Company, a domestic corporation, arises in a proceeding before the Oklahoma Tax Commission involving the amount of franchise tax due from the company for each of the fiscal years 1965-66, 1966-67, and 1967-68.
The tax in question is levied by Section 1203 of the "Oklahoma Franchise Tax Code" of 1963, now appearing as 68 O.S. 1971 § 1203. Admittedly, the corporation...
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