Per Curiam.
Appellant presents two issues to this court for resolution. The first issue is whether the amendment of R. C. 5733.05 adopted effective December 20, 1971, insofar as it increases the franchise tax obligation of a corporation for that portion of an accounting year already passed, is void as a retroactive law in violation of Section 28, Article II of the Ohio Constitution.
This issue was settled recently in Burke International v.
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