Per Curiam.
For the reasons which follow, we affirm the decision in part and reverse in part.
I
In essence, the Tax Commissioner's principal argument is that exception from taxation is based upon the specific requirements of R.C. 5739.02 (B)(15) and is available only for purchases of packages or equipment for use in packing tangible personal property produced for sale and used directly in inserting such product into the package. We disagree...
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