AZAD KUMAR NAHATA SWAPNA DAS vs INCOME TAX OFFICER, WARD 34 ( — WPO/84/2026

Case under Income-tax Act ,1961 Section NA. Next hearing: 19th June 2026.

CNR: WBCHCO0006772026

Next Hearing

19th June 2026

Filing Number

WPO/84/2026

Filing Date

21-02-2026

Registration No

WPO/84/2026

Registration Date

21-02-2026

Judge

HON'BLE JUSTICE SMITA DAS DE

Coram

HON'BLE JUSTICE SMITA DAS DE

Bench Type

Single Bench

Judicial Branch

CURRENT RECORD DEPARTMENT

Acts & Sections

Income-tax Act ,1961 Section NA

Petitioner(s)

AZAD KUMAR NAHATA SWAPNA DAS

Respondent(s)

INCOME TAX OFFICER, WARD 34 (

AND OTHERS

Hearing History

Judge: HON'BLE JUSTICE SMITA DAS DE

06-05-2026

COURT APPLICATIONS UNDER ART.226

19-06-2026

FOR HEARING

07-05-2026

COURT APPLICATIONS UNDER ART.226

Orders

07-05-2026
HON'BLE JUSTICE SMITA DAS DE

Summary: The High Court at Calcutta admitted the writ petition challenging a demand notice of Rs. 1,33,15,481 issued under Section 226 of the Income Tax Act for assessment year 2009-10, noting the assessee was never furnished a copy of the underlying Section 143(3) assessment order dated 27th December 2010. The court directed the Income Tax Officer to produce the assessment order and complete records by the next hearing date, and restrained the authorities from taking coercive recovery action in the interim. Matter adjourned to 19th June 2026. This case analysis is maintained by casestatus.in based on publicly available court records.

casestatus.in Summary

Summary: The High Court at Calcutta admitted the writ petition challenging a demand notice of Rs. 1,33,15,481 issued under Section 226 of the Income Tax Act for assessment year 2009-10, noting the assessee was never furnished a copy of the underlying Section 143(3) assessment order dated 27th December 2010. The court directed the Income Tax Officer to produce the assessment order and complete records by the next hearing date, and restrained the authorities from taking coercive recovery action in the interim. Matter adjourned to 19th June 2026. This case analysis is maintained by casestatus.in based on publicly available court records.

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