COMMISSIONER OF INCOME TAX INTERNATIONAL TAXATION 2 MUMBAI vs Global Cricket Corporation Pte Ltd A Y 2003 04 ITA 4182 MUM 2011 Advocate - AARTI SATHE, ,AASAVARI KADAM — HCBM20027622025

Case under Income Tax Act, 1961 Section 260A. Next hearing: 05th May 2026.

Next hearing 05-May-2026

CNR: HCBM020027622025

e-Filing Number

26-01-2025

Filing Number

ITXA/2761/2025

Filing Date

27-Jan-2025

Judge

Shri. A. H. Laddhad(Prothonotary Senior Master)

Coram

Shri. A. H. Laddhad(Prothonotary Senior Master)

Judicial Branch

Original

Last updated 19-Jun-2026

Acts & Sections

Income Tax Act, 1961 Section 260A

Petitioner(s)

  1. 1.COMMISSIONER OF INCOME TAX INTERNATIONAL TAXATION 2 MUMBAI

    Adv. Prathmesh P. Bhosle

Respondent(s)

  1. 1.Global Cricket Corporation Pte Ltd A Y 2003 04 ITA 4182 MUM 2011 Advocate - AARTI SATHE, ,AASAVARI KADAM

Case History

  1. 05-May-2026

    Next hearingPending

  2. 05-May-2026

    Shri. A. H. Laddhad(Prothonotary Senior Master)View PDF

    Summary: The High Court of Bombay (dated 5th May 2026) issued a final warning to the appellants in ten consolidated income tax appeals, giving them a last chance to cure procedural defects. The court ordered appellants to remove office objections and register/number the appeals by filing compliance documents within two weeks; failure to comply will result in automatic rejection of all appeals under O.S. Rule 986. This case analysis is maintained by casestatus.in based on publicly available court records.

  3. 05-May-2026

    For Rejection Under Rule 986

    Shri. A. H. Laddhad(Prothonotary Senior Master)

  4. 27-Jan-2025

    Case filed

casestatus.in Summary

Summary: The High Court of Bombay (dated 5th May 2026) issued a final warning to the appellants in ten consolidated income tax appeals, giving them a last chance to cure procedural defects. The court ordered appellants to remove office objections and register/number the appeals by filing compliance documents within two weeks; failure to comply will result in automatic rejection of all appeals under O.S. Rule 986. This case analysis is maintained by casestatus.in based on publicly available court records.

Explore other courts

Search Another Case