Nc: 2025:Khc:740Wp v. Deputy Director Of Income-Tax, (International Taxation)[1
High Court
09 Jan 2025 In favour of: Unclear
Forum / Bench
High Court · karnataka_bng_old
Parties
Nc: 2025:Khc:740Wp v. Deputy Director Of Income-Tax, (International Taxation)[1
Date of order
09 Jan 2025
Assessment year(s)
2016-17
Outcome
Other
The order — as passed by the High Court
Case summary
In Nc: 2025:Khc:740Wp v. Deputy Director Of Income-Tax, (International Taxation)[1, the High Court (2025) decided the matter.
Decision: With the above, writ petition stands disposed of.
Summary auto-generated from the order below — read the full judgment for the complete reasoning.
Sections referenced in this judgment
Digitally signedbyMARIGANGAIAHPREMAKUMARILocation: HIGHCOURT OFKARNATAKA
IN THE HIGH COURT OF KARNATAKA AT BENGALURU
DATED THIS THE 9 DAY OF JANUARY, 2025
BEFORE
THE HON'BLE MR JUSTICE S.G.PANDIT
-WRIT PETITION NO. 29731 OF 2024 (TIT)
BETWEEN:
OOREDOO Q P S C M/S OOREDOO QATAR (FORMERLY KNOWN AS MS. QTEL) C/O TAX COMPASS OFFICE AT 56/1 FIRST FOOR, KANAKAPURA ROAD BASAVANAGUDI, BANGALORE-560004 KARNATAKA
(AUTHORISED REPESENTATIVE MR. MUKESH SHAH S/O ROSHANLAL SHAH AGED ABOUT 43 YEARS) REGISTERED AS PUBLIC JOINT STOCK COMPANY
…PETITIONER
(BY SRI. NARENDRA KUMAR J JAIN, ADV. FOR SMT. GEETHA RANI K., ADV.)
AND:
ASSISTANT COMMISSIONER OF INCOME TAX (INTERNATIONAL TAXATION) CIRCLE-2(1) 4 FLOOR, BMTC BUILDING, 80FT ROAD, BENGALURU-580095.
…RESPONDENT
(BY SRI. DILIP M & SRI SANMATI, ADVS.)
THIS PETITION IS FILED UNDER ARTICLES 226 AND 227 OF THE CONSTITUTION OF INDIA PRAYING TO QUASH AS FAR AS THE PETITIONER IS CONCERNED BY AN APPROPRIATE WRIT OR ORDER IN THE NATURE OF CERTIORARI OR OTHERWISE THE IMPUGNED
ORDER DATED 12.04.2023 ISSUED BY THE LEARNED RESPONDENT UNDER SECTION 148A(D) VIDE DIN/ITBA/AST/F/148A/ 2023-24/1052025711(1) FOR AY 2016-17 ENCLOSED IN ANNX-A AND ETC.
THIS PETITION, COMING ON FOR PRELIMINARY HEARING, THIS DAY, ORDER WAS MADE THEREIN AS UNDER:
CORAM: HON'BLE MR JUSTICE S.G.PANDIT
ORAL ORDER
Learned counsel Sri.Dilip.M., accepts notice for the respondent.
2. Heard the learned counsel Sri.Narendra Kumar.J., for petitioner and learned counsel Sri.Dilip.M., for respondent/Revenue. Perused the writ petition papers.
3. Learned counsel for the petitioner would submit that the petitioner is before this Court under Article 226 of the Constitution of India questioning the order passed under Clause(d) of Section 148A of the Income Tax Act, 1961 (for short, ‘1961 Act’) as well as notices issued under Section 148 of 1961 Act.
4. Learned counsel would submit that the subject matter of the writ petition as well as the order passed relates to interconnect usage charges. It is submitted by both the learned counsel that the issues raised in the present writ petition is covered by the decision of the Division Bench of this Court in VODAFONE IDEA LTD., VS. DEPUTY DIRECTOR OF INCOME-TAX, (INTERNATIONAL TAXATION)[1].
5. Learned counsel Sri.Dilip.M., appearing for respondent would only submit that the Division Bench of this Court placed reliance on the decision of the ENGINEERING ANALYSIS CENTRE OF EXCELLENCE PRIVATE LIMITED VS. COMMISSIONER OF INCOME TAX AND ANOTHER[2] and it is submitted that against the decision in ENGINEERING ANALYSIS CENTRE OF EXCELLENCE PRIVATE LIMITED (supra), Revenue has filed Review Petition. Therefore, he seeks liberty to file
1(2023) 152 taxmann.com 575 (Karnataka)
2(2022) 3 SCC 321
review, if they succeed in the Review Petition before the Hon'ble Apex Court.
6. Submission of the learned counsel appearing for the parties is considered carefully and on going through the pleadings and the decisions on which, learned counsel for the petitioner has placed on reliance i.e., VODAFONE
IDEA LTD., (supra), I am of the view that the prayer of the petitioner needs to be allowed in terms of the decision of the VODAFONE IDEA LTD., (supra).
7. Accordingly, Annexure-A bearing No.DIN ITBA/AST/F/148A/2023-24/1052025711(1) dated 12.04.2023 and Annexure-B bearing No.DIN ITBA/AST/S/148_1/2023-24/1052025958(1) dated
12.04.2023 are quashed.
8. Liberty is reserved to the Revenue to file Review Petition based on the outcome of the Review Petition pending before the Hon'ble Apex Court in
ENGINEERING ANALYSIS CENTRE OF EXCELLENCE
PRIVATE LIMITED (supra).
9. With the above, writ petition
stands
disposed of.
Sd/- (S.G.PANDIT) JUDGE
NC CT:bms List No.: 1 Sl No.: 43
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