Key legal question
Whether the administrative court complaint against the tax security order was admissible
Extracted holding
The complaint was admissible because federal law allows an appeal to the Federal Court against a security order for direct federal tax within 30 days, and the appellants were addressees of the order.
Extracted reasoning
Art. 169(3) DBG expressly provides the remedy; the appellants had standing under Art. 103(a) OG.