BUNKER HILL CO. v. STATE

No. 15789.

725 P.2d 162 (1986)

111 Idaho 457

The BUNKER HILL COMPANY, a Delaware corporation; and Bunker Limited Partnership, an Idaho limited partnership, Plaintiffs-Respondents, v. STATE of Idaho, ex rel. STATE TAX COMMISSION, Defendant-Appellant.

Supreme Court of Idaho.

Rehearing Denied August 28, 1986.


Attorney(s) appearing for the Case

Jim Jones, Atty. Gen. and Theodore V. Spangler, Jr., Deputy Atty. Gen., Boise, for defendant-appellant.

William F. Boyd, Kellogg, James P. Keane, Coeur d'Alene, and Charles L.A. Cox, Kellogg, for plaintiffs-respondents.


1986 opinion no. 11, issued January 24, 1986, is hereby withdrawn and this opinion is substituted therefor.

ON DENIAL OF PETITION FOR REHEARING

HUNTLEY, Justice.

This appeal raises the issue as to whether certain purchases of tangible personal property by Bunker Hill are subject to the payment of a 3% tax under the Idaho Sales Tax Act, Title 63, Chapter 36 of the Idaho Code. Specifically at issue are four categories of purchases: (1) materials utilized...

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