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Feet Road, Hindu Colonynaganallur, Chennai-600 061 v. The Assistant Commissioner Of Income Taxoffice Of The Assistant Commissioner Of Income Taxcentral Circle 1(4)Chennai-34

High Court 13 Dec 2022 In favour of: Unclear
Forum / Bench
High Court · hc_cis_mas
Parties
Feet Road, Hindu Colonynaganallur, Chennai-600 061 v. The Assistant Commissioner Of Income Taxoffice Of The Assistant Commissioner Of Income Taxcentral Circle 1(4)Chennai-34
Date of order
13 Dec 2022
Assessment year(s)
Outcome
Other

The order — as passed by the High Court

Case summary

In Feet Road, Hindu Colonynaganallur, Chennai-600 061 v. The Assistant Commissioner Of Income Taxoffice Of The Assistant Commissioner Of Income Taxcentral Circle 1(4)Chennai-34, the High Court (2022) decided the matter under Section 143, Section 153A, Section 246A of the Income-tax Act.

Summary auto-generated from the order below — read the full judgment for the complete reasoning.

Sections referenced in this judgment

W.P.No.33384 of 2022 IN THE HIGH COURT OF JUDICATURE AT MADRAS DATED : 13.12.2022 CORAM : The Hon'ble Mr.JUSTICE M.SUNDAR W.P.No.33384 of 2022 and W.M.P.No.32812 of 2022 in W.P.No.33384 of 2022 Muthu NarayananNo.28A, Flat-D2nd Floor, GRN Flats 100 Feet Road, Hindu ColonyNaganallur, Chennai-600 061. .. petitioner Vs. The Assistant Commissioner of Income TaxOffice of the Assistant Commissioner of Income taxCentral Circle 1(4)Chennai-34. .. Respondent Writ petition filed under Article 226 of the Constitution of India to issue a Writ of Certiorari, to call for the undated assessment order in PAN No. in DIN & Notice No.ITBA/AST/M/153A/2021-22/1042396168(1) for Asst. Year 2020-21 passed by the respondent and quash the same as illegal. O R D E R Captioned matter is in the Admission Board today. 2. Mr.K.Ravi, learned counsel on record for writ petitioner submitted that the writ petitioner has an alternate remedy i.e., an appeal under Section 246A(1)(ba) of 'The Income-tax Act, 1961 (43 of 1961)' [hereinafter 'IT Act' for the sake of brevity]' qua the impugned order which has been made inter alia under Section 153A read with Section 143(3) of IT Act. 3. Learned counsel for writ petitioner sought leave of this Court to withdraw the captioned writ petition but made a plea to preserve all the rights and contentions of the writ petitioner to canvass the same in a statutory appeal which the writ petitioner intends to file and pursue. Learned counsel has made an endorsement in the case file and a scanned reproduction of the same is as follows: W.P.No.33384 of 2022 4. Aforementioned endorsement is reiterated in the hearing. 5. Learned counsel also submits that it may be necessary to file the appeal with 'Condonation of Delay' ['COD'] application inter alia under Section 249(3) of IT Act as the intended appeal would get slotted under Section 249(2)(b) of IT Act. If the writ petitioner moves COD application before the Appellate Authority, it is open to the Appellate Authority to consider the same on its own merits and in accordance with law uninfluenced by this order. Though obvious, it is made clear that there is no expression of opinion or view in this order. M.SUNDAR, J., mk 6. Captioned Writ Petition disposed of as withdrawn / closed albeit preserving all the rights and contentions of the writ petitioner in the manner set out supra. Consequently, connected Writ Miscellaneous Petition is closed. There shall be no order as to costs. 13.12.2022(2/6) Index: Yes/NoSpeaking / Non-speaking order mk To The Assistant Commissioner of Income TaxOffice of the Assistant Commissioner of Income taxCentral Circle 1(4)Chennai-34. W.P.No.33384 of 2022andW.M.P.No.32812 of 2022inW.P.No.33384 of 2022
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This page reproduces a public-domain court order (Section 52(1)(q)(iv), Copyright Act 1957). Explanations are EaseValue's original analysis. Always read the original order.
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