Per Curiam.
Appellant characterizes the single issue before this court as "the exception of the Disamatic machine from the levy of sales and use taxes by virtue of Sections 5739.01(E)(2) and 5741.02(C) (2)."
Appellant's argument is that the Disamatic machine functions as an integral part of the complete castings manufacturing process; i. e., it is a part of a single integrated system and that, as such, it is used directly in manufacturing and...
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