VIJAY LAXMANRAO PESHANE (FORMER PROPRIETOR, M/S SATWAI INDUSTRIES) vs ASST. COMMISSIONER OF STATE TAX INVESTIGATION BRANCH, NAG-INV-D-001, NAGPUR — WP/2213/2026
Case under Constitution of India Section 226,227. Next hearing: 19th June 2026.
CNR: HCBM040090512026
Next Hearing
19th June 2026
Filing Number
WP/6231/2026
Filing Date
11-03-2026
Registration No
WP/2213/2026
Registration Date
12-03-2026
Judge
HON'BLE JUSTICE URMILA JOSHI PHALKE , HON'BLE JUSTICE NIVEDITA PRAKASH MEHTA
Coram
HON'BLE JUSTICE URMILA JOSHI PHALKE , HON'BLE JUSTICE NIVEDITA PRAKASH MEHTA
Bench Type
Division
Judicial Branch
Civil
Acts & Sections
Petitioner(s)
VIJAY LAXMANRAO PESHANE (FORMER PROPRIETOR, M/S SATWAI INDUSTRIES)
Adv. ABHISHEK KIRAN NAIK
Respondent(s)
ASST. COMMISSIONER OF STATE TAX INVESTIGATION BRANCH, NAG-INV-D-001, NAGPUR
Hearing History
Judge: HON'BLE JUSTICE URMILA JOSHI PHALKE , HON'BLE JUSTICE NIVEDITA PRAKASH MEHTA
FOR ADMISSION-TAX MATTERS
FOR ADMISSION-TAX MATTERS
FRESH ADMISSION-TAX MATTERS
| Date | Purpose |
|---|---|
| 31-03-2026 | |
| 19-06-2026 | FOR ADMISSION-TAX MATTERS |
| 17-04-2026 | FOR ADMISSION-TAX MATTERS |
| 27-03-2026 | FRESH ADMISSION-TAX MATTERS |
Orders
Case Summary: In WP No. 2213/2026, the High Court of Bombay (Nagpur Bench) heard the petitioner's writ petition against the Assistant Commissioner of State Tax Investigation Branch. The petitioner's counsel requested time to proceed after recently receiving the respondent's reply. The Court granted the requested adjournment and listed the matter for further consideration on 19.06.2026. This case analysis is maintained by casestatus.in based on publicly available court records.
Case Summary: In WP No. 2213/2026, the High Court of Bombay (Nagpur Bench) heard the petitioner's writ petition against the Assistant Commissioner of State Tax Investigation Branch. The petitioner's counsel requested time to proceed after recently receiving the respondent's reply. The Court granted the requested adjournment and listed the matter for further consideration on 19.06.2026. This case analysis is maintained by casestatus.in based on publicly available court records.
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