PER CURIAM.
This is an appeal under RSA ch. 541 from the decision of the board of taxation (board) to include in plaintiff's business profits tax liability (RSA ch. 77-A) an allocable portion of the gain from the sale of timberland in Natchez, Mississippi.
Plaintiff is a Delware corporation with places of business in New Hampshire, Mississippi and fourteen other States. It is engaged primarily in the manufacture of pipe, diatomite, insulations and
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