LAMPRON, J.
Appeal under RSA ch. 541 by the plaintiffs, members of a partnership doing business as The Kennett Company, from a decision of the board of taxation. RSA 71-B:12 (Supp. 1973). Plaintiffs first appealed to the tax commission (RSA 77-A:13) which upheld a determination of the director of the business profits tax division (RSA 77-A:15 I) that gains from the sales of real estate reported on their federal income tax return for the year 1969 were to be included...
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