Gopigari Srilatha vs National Faceless Assessment Centre, Delhi Advocate - K SUDHAKAR REDDY (Sr SC FOR INCOME TAX) — WP/9296/2026
Case under Constitution of India Section 226. Next hearing: 25th June 2026.
CNR: HBHC010171312026
e-Filing Number
16-03-2026
Filing Number
WP/12420/2026
Filing Date
16-Mar-2026
Registration No
WP/9296/2026
Registration Date
26-Mar-2026
Judge
P.sam Koshy , Narsing Rao Nandikonda
Coram
P.sam Koshy , Narsing Rao Nandikonda
Bench Type
Division Bench
Category
WP ( 28 )
Sub-Category
INCOME TAX AND WELTH TAX ( 24 )
Judicial Branch
WRIT Section
Last updated 27-Apr-2026
Acts & Sections
Petitioner(s)
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1.Gopigari Srilatha
Adv. T V L NARASIMHA RAO
Respondent(s)
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1.National Faceless Assessment Centre, Delhi Advocate - K SUDHAKAR REDDY (Sr SC FOR INCOME TAX)
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2.The Income Tax Officer
Case History
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25-Jun-2026
Next hearingPending
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25-Jun-2026
Admission
P.sam Koshy , Narsing Rao Nandikonda
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21-Apr-2026
For Admission (Fresh Matters)
Aparesh Kumar Singh , G.M. Mohiuddin
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31-Mar-2026
Aparesh Kumar Singh,g.m. MohiuddinView PDF
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31-Mar-2026
Aparesh Kumar Singh,g.m. MohiuddinView PDF
Summary The Telangana High Court granted a stay of all further proceedings in seven consolidated writ petitions (WPs 9296, 9384, 8414, 8415, 8416, 9417, and 9418 of 2026) challenging income tax assessment orders. The petitioners contended that assessment notices under Section 148 were issued by jurisdictional assessing officers instead of faceless assessing officers, violating the Income Tax Act and principles of natural justice. The court adjourned the matters to 21.04.2026 to await a proposed amendment (Section 147A) to the Finance Act, 2026. This case analysis is maintained by casestatus.in based on publicly available court records.
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31-Mar-2026
First hearing
Initial hearing scheduled
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16-Mar-2026
Case filed
Registration No. WP/9296/2026
Summary The Telangana High Court granted a stay of all further proceedings in seven consolidated writ petitions (WPs 9296, 9384, 8414, 8415, 8416, 9417, and 9418 of 2026) challenging income tax assessment orders. The petitioners contended that assessment notices under Section 148 were issued by jurisdictional assessing officers instead of faceless assessing officers, violating the Income Tax Act and principles of natural justice. The court adjourned the matters to 21.04.2026 to await a proposed amendment (Section 147A) to the Finance Act, 2026. This case analysis is maintained by casestatus.in based on publicly available court records.
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