The Wyoming Supreme Court reversed the State Board of Equalization’s decision and held that the taxpayer is not entitled to a sales tax refund under the relevant statute. The dispute arose from the taxpayer’s claim that its purchase of electricity for oil production operations qualified for a tax exemption as a company engaged in the transportation business. The court found that the taxpayer’s activities primarily constituted oil production rather than transportation, and that the electricity was consumed for production purposes, not “actual transportation purposes” as required by the statute. The court reasoned that the movement of crude oil from the ...
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