Key legal question
Whether the Solothurn tax assessments for 2000 and 2001 were null because the company was denied the chance to file a tax return and was directly assessed by estimation.
Extracted holding
The 2000 assessment was void due to an especially serious procedural defect; the 2001 assessment was seriously unlawful but not void.
Extracted reasoning
For 2000, the authority completely suppressed the statutory return phase and directly proceeded to estimated assessment. For 2001, the return was sent but no reminder was issued before estimation. The 2000 defect was exceptionally grave; the 2001 defect was less severe and the taxpayer had not expressly challenged Solothurn's taxing power at that stage.