RUSSELL, Justice.
The dispositive issue in this erroneous tax assessment case is whether a cable communication television service is entitled to the same exemption from business privilege license taxation, provided by Code § 58.1-3703(B)(3), to which operators of a "television broadcasting station or service" are entitled.
The facts are undisputed. Chesterfield Cablevision, Inc. (CCI), owns and operates a cable television service in Chesterfield County...
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