Questão jurídica principal
Whether the gain from exercising the option over Holding shares was taxable income from self-employment or tax-free private capital gain.
Decisão extraída
The gain was income from self-employment under Art. 18 DBG, not a tax-free private capital gain under Art. 16(3) DBG.
Fundamentação extraída
The transaction went beyond private asset management and was closely connected to the taxpayer's professional activities as an independent lawyer. The deal showed entrepreneurial planning, special expertise, business contacts, financing context, and a profit-oriented, risk-bearing engagement.