Case LawHigh Court › Wpo/501/1998 Of I.t.c.ltd. & Anr v. Dy.c...

Wpo/501/1998 Of I.t.c.ltd. & Anr v. Dy.commissioner Of Income Tax.range-6

High Court 31 Mar 2023 In favour of: Unclear
Forum / Bench
High Court · calcutta_original_side
Parties
Wpo/501/1998 Of I.t.c.ltd. & Anr v. Dy.commissioner Of Income Tax.range-6
Date of order
31 Mar 2023
Assessment year(s)
Outcome
Other

Case summary

In Wpo/501/1998 Of I.t.c.ltd. & Anr v. Dy.commissioner Of Income Tax.range-6, the High Court (2023) decided the matter.

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 AT CALCUTTA Constitutional Writ Jurisdiction ORIGINAL SIDE WPO/501/1998 IA NO: GA/1/1999(Old No:GA/1150/1999) DY.COMMISSIONER OF INCOME TAX.RANGE-6. BEFORE: The Hon'ble JUSTICE RAVI KRISHAN KAPUR Date : 31[st] March, 2023 Appearance: Mr. J.P. Khaitan, Sr. Adv. Ms. Nilanjana Banerjee Pal, Adv. ..for petitioners Mr. Vipul Kundalia, Adv. Mr. Amit Sharma, Adv. ..for respondent authorities The Court :- This writ petition has been filed as far back as in 1998. The writ petitioner assails the initiation of a Special Audit of the petitioner company. Affidavits have been completed. The matter is ready for hearing. The respondent authorities are represented. It is submitted on behalf of the respondent authorities that they have obtained instructions vide e.mail dated 30[th] March, 2023 that the Special Audit under Section 142(2A) of the Income Tax Act will not serve any purpose in view of subsequent facts which have transpired since the filing of this writ petition. In view of submissions made on behalf the respondent authorities, no further order needs to be passed in writ petition WPO/501/1998. The order dated 26[th] February, 1998 and all consequential communication for initiation of Special Audit of the petitioner company are set aside. The communication dated 30[th] March, 2023 be kept with the records. With the aforesaid directions, WPO/501/1998 stands disposed of. All connected applications also stand disposed of. (RAVI KRISHAN KAPUR, J.) D.Ghosh
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