M/S.shree Ganesh Ventures v. Income Tax Officer, Non-Corporate Ward-6 (2), Room
High Court
09 Aug 2017 In favour of: Unclear
Forum / Bench
High Court · hc_cis_mas
Parties
M/S.shree Ganesh Ventures v. Income Tax Officer, Non-Corporate Ward-6 (2), Room
Date of order
09 Aug 2017
Assessment year(s)
—
Outcome
Other
Case summary
In M/S.shree Ganesh Ventures v. Income Tax Officer, Non-Corporate Ward-6 (2), Room, the High Court (2017) decided the matter.
Decision: In the light of the same, the Writ petition stands disposed of, by recording the orders passed by the second respondent, as referred to above.
Summary auto-generated from the order below — read the full judgment for the complete reasoning.
The order — as passed by the High Court
IN THE HIGH COURT OF JUDICATURE AT MADRAS
DATED :09.08.2017
CORAM
THE HON'BLE MR.JUSTICE T.S.SIVAGNANAM
W.P. No.8704 of 2017andW.M.P.Nos.9535 and 9536 of 2017
M/s.Shree Ganesh Ventures,No.14-A, Ennore High Road,Chennai – 600 019.Rep.by Partner.
.. PetitionerVs
1.Income Tax Officer, Non-Corporate Ward-6 (2), Room No.419, 4[th] Floor, Tower-1, BSNL Building, No.16, Greams Road, Chennai-600006.
2. Tax Recovery Officer-9, Office of Commissioner of Income Tax-9, Kannammai Building, 3[rd] Floor, No.611, Anna Salai, Chennai-600006.
.. Respondents
PRAYER : Petition filed Under Article 226 of the Constitution of India to issue of Writ of Certiorari to call for the records of the 1st respondent in order No.AAOFS0487K/NCW 6(2)/2016-17 dated 21.11.2016 and the consequential revised notice of demand dated 16.12.2016 issued by the 2nd respondent with TRC.No.05/2010-11/AAOFS0487K/16-17 and to quash the same.
For Petitioner: Mr.M.V.SwaroopFor Respondents : M/S.Hema Murali Krishnan SPC---
O R D E R
The petitioner has filed this writ petition, challenging the order of attachment passed by the first respondent, dated 21.11.2016 and the consequential revised notice of demand passed by the second respondent, dated 16.12.2016.
2. Record of proceedings would go to show that several interim
directions were issued in this matter and ultimately, the petitioner came forward to offer a different property to secure the interest of the Revenue, without prejudice to their rights and contentions that no such attachment could be made, as the petitioner cannot be declared as an assessee, in default after having succeeded before the Income Tax Appellate Tribunal and the Revenue, having not obtained any interim stay of the order passed by the Tribunal, though Appeal in TCA.No.433 of 2017 is pending before the Hon'ble First Bench.
3. In terms of the earlier directions, the second respondent has
attached the alternate property offered by the petitioner, vide order dated 02.08.2017 in TRC.No.05/AAOFSO487K/2017-18 and released the attachment, in respect of other property with due intimation to the Bank as well as the Sub Registrars concerned.
4. In the light of the same, the Writ petition stands disposed of, by recording the orders passed by the second respondent, as referred to above. It is open to the petitioner to raise all contentions, which are available to them, both under law as well as on facts, as canvased in this writ petition and all issues are left open. No costs, consequently connected Miscellaneous petitions are closed.
kv/srk
09.08.2017
1.Income Tax Officer, Non-Corporate Ward-6 (2), Room No.419, 4[th] Floor, Tower-1, BSNL Building, No.16, Greams Road, Chennai-600006.
2. Tax Recovery Officer-9,
Office of Commissioner of Income Tax-9,
Kannammai Building, 3[rd] Floor, No.611, Anna Salai, Chennai-600006.
T.S.SIVAGNANAM, J.,Kv/srk
W.P. No.8704 of 2017 andW.M.P.Nos.9535 and 9536 of 2017
09.08.2017
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.
Disclaimer: General information only — not legal, tax or professional advice, and no advocate/CA–client relationship is created. AI-generated summaries may contain errors and must be verified against the original court order. EaseValue accepts no liability for reliance on this content. Not a solicitation.
Full disclaimer & Terms.