+ W.p.(C) 5411/2022 American Express India Private Limited v. Assistant Commissioner Of Income Tax & Anr
High Court
01 Apr 2022 In favour of: Unclear
Forum / Bench
High Court · dhcdb
Parties
+ W.p.(C) 5411/2022 American Express India Private Limited v. Assistant Commissioner Of Income Tax & Anr
Date of order
01 Apr 2022
Assessment year(s)
—
Outcome
Other
The order — as passed by the High Court
Case summary
In + W.p.(C) 5411/2022 American Express India Private Limited v. Assistant Commissioner Of Income Tax & Anr, the High Court (2022) decided the matter under Section 244A of the Income-tax Act.
Decision: 6.With the aforesaid direction, present 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
NEUTRAL CITATION NO: 2022/DHC/001186
$~12 * IN THE HIGH COURT OF DELHI AT NEW DELHI
+ W.P.(C) 5411/2022 AMERICAN EXPRESS INDIA PRIVATE LIMITED ..... Petitioner Through Ms. Jasmin Amalsadvala with Mr. Nishant Thakkar and Mr. Sparsh Bhargav, Advs.
%
versus
ASSISTANT COMMISSIONER OF INCOME TAX & ANR.
..... Respondents
Through Mr. Zoheb Hossain with Mr. Vipul Agrawal and Mr. Parth Senwal, Advocates.
Date of Decision: 01[st] April, 2022
CORAM:
HON'BLE MR. JUSTICE MANMOHAN HON'BLE MR. JUSTICE DINESH KUMAR SHARMA
J U D G M E N TMANMOHAN, J (Oral):
1.By way of the present petition, petitioner seeks direction to the respondents to pass orders disposing of the rectification applications for the Assessment Years 2005-06, 2006-07, 2008-09, 2009-10, 2012-13, 2014-15, 2017-18, 2006-07 (FBT) and 2007-08 (FBT) filed by the Petitioner and consequentially, grant refund of Rs.45.60 crore arising there from along with applicable interest under Section 244A of the Income Tax Act, 1961 (for short ‘Act’).
W.P.(C) 5411/2022 Page 1 of 2
2.Learned counsel for the petitioner states that the respondents have failed to process rectification applications filed by the petitioner without any reason or cause.
3.Issue notice.
4.Mr. Zoheb Hossain, learned counsel accepts notice on behalf of the respondents.
5.Keeping in view the limited prayer sought in the present writ petition, respondent No.1 is directed to decide the rectification applications for Assessment Years 2005-06, 2006-07, 2008-09, 2009-10, 2012-13, 2014-15, 2017-18, 2006-07 (FBT) and 2007-08 (FBT) in accordance with law within twelve weeks. Refund, if any, along with applicable interest under Section 244A of the Act shall be issued within the said period.
6.With the aforesaid direction, present writ petition stands disposed of.
MANMOHAN, J
APRIL 1, 2022 AS
DINESH KUMAR SHARMA, J
W.P.(C) 5411/2022 Page 2 of 2
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