OPINION
HARBISON, Chief Justice.
Appellant filed this action for refund of sales and use taxes under the Tennessee Retailers' Sales Tax Act, T.C.A. §§ 67-6-101 to 67-6-712. The Chancellor denied relief. After careful consideration of the record, we affirm.
The facts were stipulated. Appellant is a Tennessee corporation with its principal office in Springfield, Tennessee. It is engaged in the manufacture and sale of various types of sporting...
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