The State Tax Commission determined that petitioner, a sales representative for Gravely Furniture Company, Inc. (Gravely), was subject to unincorporated business taxes for the years 1967, 1968, 1969, 1970, 1972 and 1973. It was concluded by the commission that sufficient direction and control was not exercised over petitioner's activities by Gravely so as to result in an employer-employee relationship. The sole issue presented in this proceeding is whether there is substantial...
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