Ganesh Mandali Engine Valve Trust SUBBARAYA AIYAR PADMANABHAN, R.VIJAYARAGHAVAN ,RAMAMANI vs Centralized Processing Centre, — WP/18186/2026

Case under Others Section 1. Next hearing: 24th June 2026.

Next hearing 24-Jun-2026

CNR: HCMA011064812026

e-Filing Number

29-04-2026

Filing Number

WP/79317/2026

Filing Date

29-Apr-2026

Registration No

WP/18186/2026

Registration Date

30-Apr-2026

Judge

Honourable Mr Justice Senthilkumar Ramamoorthy

Coram

Honourable Mr Justice Senthilkumar Ramamoorthy

Bench Type

Single Bench

Category

Income Tax ( 87 )

Judicial Branch

WRITSECTION

Last updated 05-Jun-2026

Acts & Sections

Others Section 1

Petitioner(s)

  1. 1.Ganesh Mandali Engine Valve Trust SUBBARAYA AIYAR PADMANABHAN, R.VIJAYARAGHAVAN ,RAMAMANI

Respondent(s)

  1. 1.Centralized Processing Centre,

  2. 2.Income Tax Officer (Exemptions), Ward 4,

Case History

  1. 24-Jun-2026

    Next hearingPending

  2. 24-Jun-2026

    For Admission

    Honourable Mr Justice Senthilkumar Ramamoorthy

  3. 04-Jun-2026

    Honourable Mr Justice Senthilkumar RamamoorthyView PDF

    Case Summary: WP/18186/2026 Ganesh Mandali Engine Valve Trust challenged an Income Tax assessment order dated 31.03.2026 for assessment year 2018-19 on grounds of limitation. The High Court of Madras found a prima facie case that the order violated the limitation period prescribed under Section 143(1) of the Income Tax Act, 1961. An interim stay of further recovery proceedings and penalty was granted until the next hearing on 24.06.2026. This case analysis is maintained by casestatus.in based on publicly available court records.

  4. 04-Jun-2026

    First hearing

    Initial hearing scheduled

  5. 29-Apr-2026

    Case filed

    Registration No. WP/18186/2026

casestatus.in Summary

Case Summary: WP/18186/2026 Ganesh Mandali Engine Valve Trust challenged an Income Tax assessment order dated 31.03.2026 for assessment year 2018-19 on grounds of limitation. The High Court of Madras found a prima facie case that the order violated the limitation period prescribed under Section 143(1) of the Income Tax Act, 1961. An interim stay of further recovery proceedings and penalty was granted until the next hearing on 24.06.2026. This case analysis is maintained by casestatus.in based on publicly available court records.

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