Two French companies
named “Murieux Alliance” (‘MA’) and “Groupe Industrial Marcel Dassault”
(“GIMD”) held shares in another French company named “ShanH”. MA & GIMD
acquired shares in an Indian company named “Shantha Biotechnics Ltd”
(“Shantha”). The shares in Shantha were transferred to ShanH. MA and GIMD
subsequently sold the shares in ShanH to another French company named “Sanofi
Pasteur Holding”. The assessees filed an application for advance ruling claiming
that as the two French companies had sold the shares of another French company
to a third French company, the gains were not chargeable to tax in India.
The department opposed the application on the ground that ShanH was formed
with no purpose other than to hold the shares of the Indian company and that
the transaction was taxable in India. HELD upholding the department’s plea.
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