M/s. Phoenix Spaces (Guntur)Private Limited vs The Additional Commissioner of Central Tax Advocate - DOMINIC FERNANDES (senior standing counsel for CBIC) — WP/9326/2026
Case under Constitution of India Section 226. Next hearing: : -.
CNR: HBHC010194092026
Filing Number
WP/14001/2026
Filing Date
26-Mar-2026
Registration No
WP/9326/2026
Registration Date
26-Mar-2026
Judge
Aparesh Kumar Singh , G.M. Mohiuddin
Coram
Aparesh Kumar Singh , G.M. Mohiuddin
Bench Type
Division Bench
Category
WP ( 28 )
Sub-Category
GST ( 110 )
Judicial Branch
WRIT Section
Last updated 27-Apr-2026
Acts & Sections
Petitioner(s)
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1.M/s. Phoenix Spaces (Guntur)Private Limited
Adv. M/S P V PRASAD ASSOCIATES
Respondent(s)
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1.The Additional Commissioner of Central Tax Advocate - DOMINIC FERNANDES (senior standing counsel for CBIC)
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2.The Assistant Commissioner of Central tax
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3.The Assistant Commissioner of Central Tax
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4.Axis Bank
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5.Union of India
Adv. N BHUJANGA RAO Deputy Solicitor General of India
Case History
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Next hearingPending
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23-Apr-2026
Aparesh Kumar Singh,g.m. MohiuddinView PDF
Case Summary: In W.P.No.9326 of 2026 before the High Court of Telangana, the case was adjourned to the following week on 23.04.2026. The petitioner's recovered tax liability was re-credited to their cash ledger, but the petitioner contends it should have been refunded since it was recovered from their bank account. The respondents sought short time to obtain instructions on this refund issue. This case analysis is maintained by casestatus.in based on publicly available court records.
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23-Apr-2026
Admission
Aparesh Kumar Singh , G.M. Mohiuddin
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09-Apr-2026
Aparesh Kumar Singh,g.m. MohiuddinView PDF
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09-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
First hearing
Initial hearing scheduled
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26-Mar-2026
Case filed
Registration No. WP/9326/2026
Case Summary: In W.P.No.9326 of 2026 before the High Court of Telangana, the case was adjourned to the following week on 23.04.2026. The petitioner's recovered tax liability was re-credited to their cash ledger, but the petitioner contends it should have been refunded since it was recovered from their bank account. The respondents sought short time to obtain instructions on this refund issue. This case analysis is maintained by casestatus.in based on publicly available court records.
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