PR. COMMISSIONER OF INCOME TAX-CENTRAL-2 vs WIND WORLD (INDIA) LTD. (FORMERLY KNOWN AS ENERCON (INDIA) LTD.) — ITXA/2685/2018
Case under Income Tax Act, 1961 Section 260A. Next hearing: 09th July 2026.
CNR: HCBM020242912018
Filing Number
ITXA/2537/2018
Filing Date
29-Aug-2018
Registration No
ITXA/2685/2018
Registration Date
08-Oct-2018
Judge
Hon'ble Shri Justice Suman Shyam , Hon'ble Justice Advait M. Sethna
Coram
Hon'ble Shri Justice Suman Shyam , Hon'ble Justice Advait M. Sethna
Bench Type
Division
Category
DIRECT TAXES ( 10 )
Judicial Branch
Original
Last updated 12-Jun-2026
Acts & Sections
Petitioner(s)
-
1.PR. COMMISSIONER OF INCOME TAX-CENTRAL-2
Adv. Suresh Kumar
Respondent(s)
-
1.WIND WORLD (INDIA) LTD. (FORMERLY KNOWN AS ENERCON (INDIA) LTD.)
Case History
-
09-Jul-2026
Next hearingPending
-
09-Jul-2026
For Admission
Hon'ble Shri Justice Suman Shyam , Hon'ble Justice Advait M. Sethna
-
11-Jun-2026
Hon'ble Shri Justice Suman Shyam,hon'ble Justice Advait M. SethnaView PDF
Case Summary: In Income Tax Appeal No. 2685 of 2018, the Bombay High Court adjourned the matter on 11th June 2026 at the request of the appellant-revenue's counsel. The court directed the appellant to re-formulate the substantial questions of law and place them on record with advance copies furnished to the respondent. The case is scheduled to stand over to 9th July 2026. This case analysis is maintained by casestatus.in based on publicly available court records.
-
11-Jun-2026
For Admission
Hon'ble Shri Justice Suman Shyam , Hon'ble Shri Justice Firdosh Phiroze Pooniwalla
-
06-Oct-2020
First hearing
Initial hearing scheduled
-
29-Aug-2018
Case filed
Registration No. ITXA/2685/2018
Case Summary: In Income Tax Appeal No. 2685 of 2018, the Bombay High Court adjourned the matter on 11th June 2026 at the request of the appellant-revenue's counsel. The court directed the appellant to re-formulate the substantial questions of law and place them on record with advance copies furnished to the respondent. The case is scheduled to stand over to 9th July 2026. This case analysis is maintained by casestatus.in based on publicly available court records.
Explore other courts