Kernrechtsfrage
Whether the first 2008 share transfer of B.________ SA was subject to cantonal real-estate gain tax under Art. 124 LT
Extrahierter Entscheid
The first transfer was taxable because the court treated the two successive transactions as an economic transfer of the immovable asset through share deals.
Extrahierte Begründung
The court accepted the cantonal interpretation of Art. 124 LT, which focuses on the economic transfer of disposal power and may cover successive transactions between the same economic sphere even without proving a separate act of tax evasion.