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Prakash Yashwant Pandit vs Income Tax Officer Ward 1 Malegaon And ...
2026 Latest Caselaw 106 Bom

Citation : 2026 Latest Caselaw 106 Bom
Judgement Date : 7 January, 2026

[Cites 2, Cited by 0]

Bombay High Court

Prakash Yashwant Pandit vs Income Tax Officer Ward 1 Malegaon And ... on 7 January, 2026

Author: B. P. Colabawalla
Bench: B. P. Colabawalla
2026:BHC-AS:605-DB


                                                                                                   3.wp.6427.25.doc



                                            IN THE HIGH COURT OF JUDICATURE AT BOMBAY
                                                           CIVIL APPELLATE JURISDICTION
                                                          WRIT PETITION NO. 6427 OF 2025

                                Prakash Yashwant Pandit                                              .. Petitioner

                                          Versus

                                Income Tax Officer, Ward-1
                                Malegaon & Ors                                                       .. Respondents

                                     Ms. Rutuja N. Pawar, with Saloni Sankhe, Advocates for the
                                     Petitioner.

                                     Mr. A. K. Saxena, Advocates for the Respondent/Revenue.



 ANJALI by
             Digitally signed
           ANJALI
                                                   CORAM: B. P. COLABAWALLA &
 TUSHAR ASWALE
        TUSHAR

 ASWALE 14:07:34 +0530
        Date: 2026.01.08

                                                                        FIRDOSH P. POONIWALLA, JJ.
                                                   DATE:                JANUARY 7, 2026

                                P. C.

1. The above matter has been placed before us for speaking to the

minutes of the order dated 23rd July 2025. It is pointed out that the name of

the Petitioner is wrongly mentioned as "Prakash Yashwant Electricals,

instead of "Prakash Yashwant Pandit".

2. Considering these facts, it is directed that in the cause title of the

order dated 23rd July 2025, for the words "Prakash Yashwant Electricals",

the words "Prakash Yashwant Pandit" shall be substituted.

JANUARY 7, 2026 Aswale

3.wp.6427.25.doc

3. No other correction is sought. The correction shall be carried out

in the original order as well as the order uploaded on the server of the High

Court.

4. This order will be digitally signed by the Private Secretary/

Personal Assistant of this Court. All concerned will act on production by fax

or email of a digitally signed copy of this order.

[FIRDOSH P. POONIWALLA, J.] [B. P. COLABAWALLA, J.]

FOR THE SAKE OF CONVENIENCE, THE CORRECTED ORDER

READS THUS:-

IN THE HIGH COURT OF JUDICATURE AT BOMBAY CIVIL APPELLATE JURISDICTION

WRIT PETITION NO.6427 OF 2025

Prakash Yashwant Pandit .. Petitioner

Versus

Income Tax Officer, Ward-1, Malegaon & Ors. .. Respondents

Ms.Rutuja N. Pawar (through V.C.) a/w Hetal Laghave, Sneha More, Advocates for the Petitioner.

Mr.A. K. Saxena, Advocate for the Respondents.


                                        JANUARY 7, 2026
Aswale





                                                                  3.wp.6427.25.doc




                           CORAM          : B. P. COLABAWALLA &
                                            FIRDOSH P. POONIWALLA, JJ.
                           DATE           : JULY 23, 2025

P. C.



1. In the above Petition Rule was issued on 17 th June 2025 and

interim relief was also granted interalia staying the Notice issued under

Section 148 of the Income Tax Act, 1961. Today, though the matter has come

up under the caption "for directions", we have, with the consent of parties,

heard it finally.

2. The above Writ Petition interalia challenges the Notice issued

under Section 148 of the Income Tax Act, 1961 on various grounds. One of the

grounds is that the Notice has been issued by the Jurisdictional Assessing

Officer when the law mandates that it has to be issued by the Faceless

Assessing Officer. This is a fatal defect and therefore the Notice has to be

quashed, is the argument of the Petitioner.

3. It is the Petitioners' contention that this issue is squarely covered

by a decision of a Division Bench of this Court in the case of Hexaware

JANUARY 7, 2026 Aswale

3.wp.6427.25.doc

Technologies Ltd. V/S Assistant Commissioner of Income-tax,

Circle 15(1)(2) [(2024) 162 taxmann.com 225 (Bombay)] .

4. On the other hand, the learned advocate appearing on behalf of

the Revenue stated that though it is true that this issue is concluded by the

decision in Hexaware Technologies Ltd (supra), the said decision has been

challenged before the Hon'ble Supreme Court, and the Hon'ble Supreme

Court is likely to take up the matter immediately on re-opening. He has fairly

stated that there is no stay to the judgment in Hexaware Technologies Ltd

(supra).

5. Considering these facts, we do not propose to keep the matter

pending in this Court. Once it is fully covered by the decision in Hexaware

Technologies Ltd (supra) we are bound to follow it.

6. We accordingly set aside the impugned Notice issued under

Section 148 and all other proceedings/orders emanating therefrom.

7. We however grant liberty to the Revenue to revive the above Writ

Petition in the event the decision in Hexaware Technologies Ltd (supra) is

set aside by the Hon'ble Supreme Court on this issue. We make it clear that it

JANUARY 7, 2026 Aswale

3.wp.6427.25.doc

will not be necessary for the Revenue to file a separate Interim Application to

seek a revival of this Petition and the same can be done simply by moving a

Praecipe before this Court. It is needless to clarify that if the Hon'ble

Supreme Court dismisses the SLP challenging the decision in Hexaware

Technologies Ltd (supra), there would be no question of any revival.

8. We also make it clear that once the Petition is revived and

restored, the same would have to be decided on its own merits considering

that several other issues are also raised challenging the Notice issued under

Section 148.

9. Rule is accordingly made absolute and the Writ Petition is also

disposed of in terms thereof. However, there shall be no order as to costs.

10. This order will be digitally signed by the Private Secretary/

Personal Assistant of this Court. All concerned will act on production by fax

or email of a digitally signed copy of this order.

[FIRDOSH P. POONIWALLA, J.] [B. P. COLABAWALLA, J.]

JANUARY 7, 2026 Aswale

 
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