Questão jurídica principal
Whether the cantonal court wrongly placed the burden of proof on the taxpayer in a tax reassessment case involving an alleged hidden dividend.
Decisão extraída
Yes. The tax authority had to prove the hidden distribution; the company did not have to prove the negative in the absence of any failure of cooperation.
Fundamentação extraída
In tax matters, the authority must prove facts increasing the tax burden, including taxable hidden distributions. The cantonal court erred by requiring the company to establish that the payments were salary rather than disguised profit distribution.