Case LawHigh Court › M/S R.m. Associates v. The Income Tax Co...

M/S R.m. Associates v. The Income Tax Commissioner, Lok Nayak Jai Prakash Bhawan , Patna

High Court 15 Dec 2016 In favour of: Unclear
Forum / Bench
High Court · patnahcucisdb94
Parties
M/S R.m. Associates v. The Income Tax Commissioner, Lok Nayak Jai Prakash Bhawan , Patna
Date of order
15 Dec 2016
Assessment year(s)
2009-2010
Outcome
Other

Case summary

In M/S R.m. Associates v. The Income Tax Commissioner, Lok Nayak Jai Prakash Bhawan , Patna, the High Court (2016) decided the matter.

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

Sections referenced in this judgment

The order — as passed by the High Court

IN THE HIGH COURT OF JUDICATURE AT PATNA Civil Writ Jurisdiction Case No.9279 of 2015 =========================================================== M/s R.M. Associates through its Partner Md. Imam Hussain, son of Md. Sadique, resident of 401, City Heart Apartment , Budh Marg, Patna. .... .... Petitioner/s Versus 1.The Income Tax Commissioner, Lok Nayak Jai Prakash Bhawan , Patna. 2.The Assistant Income Tax Commissioner, Lok Nayak Jai Prakash Bhawan, Patna. Patna. 3.The Income Tax Commissioner, Centralized Processing Centre, Post Bag No. 1, Electronic City Post Office, Bangalore. Electronic City Post Office, Bangalore. 4.The Assistant Income Tax Commissioner, Centralized Processing Centre, Bangalore. Bangalore. 5.The Income Tax Officer, Ward 1 (i), Lok Nayak Jai Prakash Bhawan, Patna. .... .... Respondent/s =========================================================== Appearance :For the Petitioner/s : For the Respondent/s : Mrs. Archana Sinha, Sr. Standing Counsel =========================================================== CORAM: HONOURABLE THE ACTING CHIEF JUSTICEand HONOURABLE MR. JUSTICE ARVIND SRIVASTAVA ORAL JUDGMENT (Per: HONOURABLE THE ACTING CHIEF JUSTICE)Date: 15-12-2016 The claim of the writ applicant is to refund the excess tax amount with interest for the Assessment Year 2009-2010. In the counter affidavit it is stated that refund of Rs. 40,000/-, inclusive of interest under Section 244A of the Income Tax Act, has been issued. In view of the said affidavit, the present writ application is disposed of having rendered infructuous as there is none to controvert the stand of the respondent in the counter affidavit. (Hemant Gupta, ACJ) P.K.P. (Arvind Srivastava, J) AFR/NAFR N.A.F.R.CAV DATE N.A.Uploading Date16.12.2016Transmission Date
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