OKLAHOMA FIXTURE CO. v. OKLAHOMA TAX COM'N

No. 89501.

966 P.2d 206 (1998)

1998 OK CIV APP 106

OKLAHOMA FIXTURE COMPANY, Appellant, v. OKLAHOMA TAX COMMISSION, Appellee.

Court of Civil Appeals of Oklahoma, Division No. 4.

Certiorari Denied July 8, 1998.


Attorney(s) appearing for the Case

Thomas G. Potts, James, Potts & Wulfers, Inc., Tulsa, for Appellant.

Robert B. Struble, Deputy General Counsel, Thomas E. Kemp, Jr., General Counsel, Oklahoma Tax Commission, Oklahoma City, for Appellee.


Released for Publication by Order of the Court of Civil Appeals of Oklahoma, Division No. 4.

REIF, Judge.

¶ 1 This appeal concerns the meaning of the term "full-time-equivalent employees engaged in manufacturing" for "jobs tax credits" under 68 O.S.1991 § 2357.4. Subsection A of § 2357.4 provides a tax credit "for a net increase in the number of full-time-equivalent employees engaged in manufacturing." Subsection C of § 2357.4 specifies...

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