PER CURIAM.
The petitioner in this case is appealing from the affirmance by the Tax Tribunal of a deficiency assessment by the Department of Treasury. Petitioner was a franchisee of McDonald's Systems, Inc. As such a franchisee it was required to pay to McDonald's 11-1/2% of its gross income. According to the agreement of the parties, 3% was a service fee, the balance rent for the
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