Key legal question
Whether the Aargau tax authority was entitled to appeal in a double-taxation/tax-harmonization matter.
Extracted holding
The authority had standing to appeal under the new unified federal remedies system because the case also concerned harmonized tax law.
Extracted reasoning
The dispute was closely linked to Art. 21 StHG and the authority was the competent cantonal authority; this sufficed for standing under Art. 89(2)(d) BGG and Art. 73 StHG.