Sathish Narayanan M/S.SUHRITH PARTHASARATHY, MAYANK RAMAKRISHNAN,GAYATHRI G,HARSHVARDAN R,Amritha Sathyajith,Arun Karthik Mohan vs Principal Commissioner of Income Tax — WP/21027/2026
Case under Others Section 1. Next hearing: 08th July 2026.
CNR: HCMA011170082026
e-Filing Number
04-05-2026
Filing Number
WP/85487/2026
Filing Date
04-May-2026
Registration No
WP/21027/2026
Registration Date
02-Jun-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 13-Jun-2026
Acts & Sections
Petitioner(s)
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1.Sathish Narayanan M/S.SUHRITH PARTHASARATHY, MAYANK RAMAKRISHNAN,GAYATHRI G,HARSHVARDAN R,Amritha Sathyajith,Arun Karthik Mohan
Respondent(s)
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1.Principal Commissioner of Income Tax
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2.Income Tax Officer
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3.Chennai Metro Rail Limited
Case History
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08-Jul-2026
Next hearingPending
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08-Jul-2026
For Admission
Honourable Mr Justice Senthilkumar Ramamoorthy
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12-Jun-2026
Honourable Mr Justice Senthilkumar RamamoorthyView PDF
Case Summary: WP 21027/2026 The Madras High Court granted an interim stay of an Income Tax Officer's order dated 29.03.2026 that reversed the tax exemption on land acquisition compensation received by the petitioner under the Tamil Nadu Acquisition of Land for Industrial Purposes Act, 1997. Finding a strong prima facie case, the court held that the Tamil Nadu Act is not listed in the Fourth Schedule to Act 30 of 2013, which exempts such compensation from income tax. The matter is adjourned to 08.07.2026 for further hearing. This case analysis is maintained by casestatus.in based on publicly available court records.
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12-Jun-2026
First hearing
Initial hearing scheduled
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04-May-2026
Case filed
Registration No. WP/21027/2026
Case Summary: WP 21027/2026 The Madras High Court granted an interim stay of an Income Tax Officer's order dated 29.03.2026 that reversed the tax exemption on land acquisition compensation received by the petitioner under the Tamil Nadu Acquisition of Land for Industrial Purposes Act, 1997. Finding a strong prima facie case, the court held that the Tamil Nadu Act is not listed in the Fourth Schedule to Act 30 of 2013, which exempts such compensation from income tax. The matter is adjourned to 08.07.2026 for further hearing. This case analysis is maintained by casestatus.in based on publicly available court records.
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