Questione giuridica chiave
Whether revision under Art. 121 lit. d BGG was justified because the Court allegedly overlooked decisive facts about the 2008/09 tax assessment and the 2009 definitive assessment.
Decisione estratta
No. The Court had not overlooked any decisive fact; it had referred to the definitive 2009 tax assessment, and the applicant merely challenged the evidentiary and legal assessment.
Motivazione estratta
Revision requires a factual oversight, meaning a fact or file item was ignored or misread. A different view of the evidence or legal characterization does not qualify, nor can revision cure omissions in the prior complaint or in the lower-court proceedings.