The opinion of the court was delivered by
OWSLEY, J.:
The issue presented by this appeal is whether a class A private club (K.S.A. 1974 Supp. 41-2601 [b] [2]), which has a federal income tax exemption under section 501 (c) (7) of the internal revenue code of 1954, is eligible to receive a bingo license. A determination of the issue involves a construction of the recently enacted statute regulating the operation and conduct of games of "bingo...
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