G.Sivakumar V HARIBABU, A.Kargil Bharath ,C.R.Mahesh Balaje ,P.Srinivasan ,V.Senthil Kumar vs THE STATE TAX OFFICER — WP(MD)/14206/2026

Case under Others Section Others. Next hearing: : -.

Next hearing —

CNR: HCMD010673852026

e-Filing Number

17-05-2026

Filing Number

WP(MD)/41486/2026

Filing Date

18-May-2026

Registration No

WP(MD)/14206/2026

Registration Date

18-May-2026

Judge

Honourable Mr Justice D.bharatha Chakravarthy

Coram

Honourable Mr Justice D.bharatha Chakravarthy

Bench Type

Single Bench

Category

Tax/Tolls ( 150 )

Judicial Branch

Writ Section

Last updated 30-May-2026

Acts & Sections

Others Section Others

Petitioner(s)

  1. 1.G.Sivakumar V HARIBABU, A.Kargil Bharath ,C.R.Mahesh Balaje ,P.Srinivasan ,V.Senthil Kumar

Respondent(s)

  1. 1.THE STATE TAX OFFICER

  2. 2.M/s.Sun Phoenix Newsprint Private Limited

  3. 3.THE CHIEF MANAGER

Case History

  1. Next hearingPending

  2. 20-May-2026

    Honourable Mr Justice D.bharatha ChakravarthyView PDF

    Case Summary: WP(MD) 14206/2026 The Madurai Bench of Madras High Court issued an interim stay on a Distraint Order dated 29.04.2026 passed by the State Tax Officer against the petitioner's property. The petitioner, who purchased the property from a SARFAESI purchaser, argued they have no connection to M/s. Annamalai Paper Mills or its directors, and therefore their property cannot be subject to tax recovery proceedings against that entity. The court found a prima facie case and granted interim stay till 15.06.2026, with notice issued to respondents returnable by that date. This case analysis is maintained by casestatus.in based on publicly available court records.

  3. 20-May-2026

    Admission (Tax)

    Honourable Mr Justice D.bharatha Chakravarthy

  4. 18-May-2026

    Case filed

    Registration No. WP(MD)/14206/2026

casestatus.in Summary

Case Summary: WP(MD) 14206/2026 The Madurai Bench of Madras High Court issued an interim stay on a Distraint Order dated 29.04.2026 passed by the State Tax Officer against the petitioner's property. The petitioner, who purchased the property from a SARFAESI purchaser, argued they have no connection to M/s. Annamalai Paper Mills or its directors, and therefore their property cannot be subject to tax recovery proceedings against that entity. The court found a prima facie case and granted interim stay till 15.06.2026, with notice issued to respondents returnable by that date. This case analysis is maintained by casestatus.in based on publicly available court records.

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