Kernrechtsfrage
Whether the inherited business real estate was transferred from business assets to private assets upon the taxpayer's succession.
Extrahierter Entscheid
No transfer occurred; the real estate remained business assets, so no taxable liquidation gain arose at inheritance.
Extrahierte Begründung
For a quasi-real-estate dealer, inheritance does not by itself change the tax character of the assets. The heirs step into the deceased's position and may either declare a private withdrawal, continue the business, or leave the assets in business assets. No explicit or implicit indication showed that the taxpayer chose private withdrawal.