M/S HUAWEI TELECOMMUNICATIONS (INDIA) COMPANY PVT. LTD. vs ASSISTANT COMMISSIONER OF INCOME TAX CENRAL CIRCLE 2, DELHI — SLP(C) No. 16809/2026

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 I-B. Status: Disposed.

Disposed

CNR: SCIN010264452026

Filing Date

29-Apr-2026

Registration No

SLP(C) No. 16809/2026

Diary Number

26445/2026

Order Date

15-May-2026

Document Type

ROP - of Main Case

Disposal Type

Dismissed

Last updated 28-Jun-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 I-B

Petitioner(s)

  1. 1.M/S HUAWEI TELECOMMUNICATIONS (INDIA) COMPANY PVT. LTD.

    Adv. KISHORE KUNAL

Respondent(s)

  1. 1.ASSISTANT COMMISSIONER OF INCOME TAX CENRAL CIRCLE 2, DELHI

Case History

  1. Case disposedDisposed

  2. 15-May-2026

    ROP - of Main CaseView PDF

  3. 15-May-2026

    Fresh

    Hon'ble Mr. Justice Aravind Kumar and Hon'ble Mr. Justice Prasanna B. Varale

  4. 29-Apr-2026

    Case filed

    Registration No. SLP(C) No. 16809/2026

casestatus.in Summary

Case Summary: Huawei Telecommunications v. ACIT The Supreme Court dismissed Huawei Telecommunications' Special Leave Petition challenging the Delhi High Court's March 30, 2026 judgment, finding no grounds for interference. All contentions of both parties remain open to be raised during reassessment proceedings before the Income Tax authorities. This case analysis is maintained by casestatus.in based on publicly available court records.

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