DIRECTOR OF INCOME TAX (INTERNATIONAL TAXATION) 4(1)BAI vs M/S.MAY AND BAKER LTD. THROUGH ITS MANAGER — C.A. No. 263/2015

Case under Direct Taxation : Income Tax Act, 1961, Wealth Tax Act, 1957, Gift Tax Act, 1958, Excess Profits Tax Act, 1940, Business Profit Tax Act, 1947 [Other Than Matters Covered by Categories 1602-1605] Section III. Status: Pending.

Pending

CNR: SCIN010133792012

Filing Date

17-Apr-2012

Registration No

C.A. No. 263/2015

Diary Number

13379/2012

Order Date

18-Jun-2026

Document Type

ROP - of Main Case

Last updated 06-Jul-2026

Acts & Sections

Direct Taxation : Income Tax Act, 1961, Wealth Tax Act, 1957, Gift Tax Act, 1958, Excess Profits Tax Act, 1940, Business Profit Tax Act, 1947 [other than matters covered by categories 1602-1605] Section III

Petitioner(s)

  1. 1.DIRECTOR OF INCOME TAX (INTERNATIONAL TAXATION) 4(1)BAI

    Adv. SUDARSHAN LAMBA[P-1]

Respondent(s)

  1. 1.M/S.MAY AND BAKER LTD. THROUGH ITS MANAGER

    Adv. RUSTOM B. HATHIKHANAWALA

Case History

  1. 18-Jun-2026

    Ordinary

    Hon'ble Mr. Justice Ujjal Bhuyan and Hon'ble Mr. Justice Arun Palli

  2. 11-Feb-2026
  3. 11-Feb-2026

    Ordinary

    Hon'ble Mr. Justice Rajesh Bindal and Hon'ble Mr. Justice Atul S. Chandurkar

  4. 24-Sep-2024

    First hearing

    Initial hearing scheduled

  5. 08-Jan-2015
  6. 08-Jan-2015
  7. 31-Oct-2014
  8. 19-Aug-2014
  9. 29-Apr-2014
  10. 13-Feb-2014
  11. 22-Jan-2013
  12. 24-Aug-2012
  13. 17-Apr-2012

    Case filed

    Registration No. C.A. No. 263/2015

Common Record of Proceedings — heard with connected matters

Lead case: C.A. No. 5059/2014

casestatus.in Summary

Summary of C.A. No. 263/2015 The Supreme Court heard the Revenue's challenge to the High Court's order quashing the Income Tax Department's jurisdiction to issue reassessment notice under Sections 147/148 to May and Baker Ltd. The Court ordered that this appeal be listed together with the related C.A. No. 5059/2014, directing that if the Revenue fails on merits in that case, the jurisdictional issue here need not be addressed; conversely, if the Revenue succeeds, the Court will then examine the assessing authority's jurisdiction to reopen the assessment. This case analysis is maintained by casestatus.in based on publicly available court records.

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