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11.2 We find a somewhat similar issue had come up before the
Hon'ble Madras High Court in the case of CIT Vs. Heartland KG
Information Ltd.(Supra). In that case, the assessee was an industrial
undertaking engaged in Medical Transcription business. There was
another undertaking K which got approval as 100% EOU from STPI and
started its new business of medical transcription during F.Y. 1999-2000.
It also had another undertaking engaged in the business of
development of software exported outside India. In respect of business
income earned from export the said undertaking claimed exemption
u/s.10A of the I.T. Act. In July, 2001 the company K transferred its
entire undertaking engaged in the export business of medical
transcription along with all transcriptions, contracts, books, 20 records,
all rights, all permits, warranties including computer software and export
obligation to the assessee company. The transfer was recognised and
allowed by the STPI. The assessee claimed deduction u/s.10B in
respect of income from export. However, the AO rejected the claim on
the ground that approval obtained from STPI for purpose of section 10B
would not be sufficient to grant relief. According to him, the transfer was
only related to machinery and thus the claim could not be sustained. He
however granted deduction u/s.80HHE on alternative claim of the
assessee. In appeal the Ld.CIT(A) referring to CDBT Circular File
No.15/5/63(IT)(A-1) held that the benefit with the vendor company in
respect of individual undertaking engaged in the manufacture of articles
could be claimed by successor company for the remaining tax holiday
period since the entire undertaking of the business of medical
transcription was transferred to the assessee. Thus, the assessee
would be entitled to have the benefit u/s10A of the Act for the remaining
period. He therefore held that relief u/s.80HHE would be available to the
assessee. The Hon'ble Tribunal affirmed the order of the CIT(A). On
ESDS Software Solution Pvt. Ltd.