The fact that the band has been "accepted" by the province as a "person" for the purposes of claiming refunds on sales of tax exempt tobacco products and is entitled to apply for and receive refunds of tax paid when tax exempt sales exceed the gasoline quota allotted to the Tseshaht Market does not advance the respondent's position. This is merely an administrative arrangement designed to overcome the legal hurdle created by the decision in Chehalis Indian Band v. British Columbia, supra.
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