KANACHUR SEASONING INDUSTRIES v. THE DEPUTY COMMISSIONER OF INCOME TAX- CENTRAL CIRCLE
WP/8779/2026 · 2026-07-28
B M Shyam Prasad
body2026
DailyLaw.ai
[ 2026 DAILYLAW 31753 (KAR) · dailylaw.ai ]
DailyLaw.ai
[ 2026 DAILYLAW 31753 (KAR) · dailylaw.ai ]
Judgment text
Extracted from the PDF above. The PDF is authoritative.
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HC-KAR
CNR: KAHC010193032026 NC: 2026:KHC:39288 WP No. 8779 of 2026
IN THE HIGH COURT OF KARNATAKA AT BENGALURU DATED THIS THE 28TH DAY OF JULY, 2026 BEFORE THE HON'BLE MR. JUSTICE B M SHYAM PRASAD WRIT PETITION NO. 8779 OF 2026 (T-IT) BETWEEN:
KANACHUR SEASONING INDUSTRIES D. NO. 2-72/1, N.H. 17, KALLAPU, P.O. PERMANNUR, MANGALURU - 575 017
REPRESENTED BY ITS PARTNER ULLAL KOJABBA MONU AGED ABOUT 71 YEARS, R/A KANACHUR VILLA, UNIVERSITY ROAD, DERALAKATTE, MANGALORE, KARNATAKA - 575 018 …PETITIONER (BY SRI. PRASANNA B.M. ADVOCATE FOR;
SRI. BALRAM R RAO.,ADVOCATE)
AND:
THE DEPUTY COMMISSIONER OF INCOME TAX- CENTRAL CIRCLE CIRCLE -1, ALBURUERQUE HOUSE, OPPOSITE FORUM MALL, PANDESHWARA, MANGALURU, KARNATAKA - 575001. …RESPONDENT (BY SRI. DILIP M.,ADVOCATE)
Digitally signed by VANAMALA N Location: HIGH COURT OF KARNATAKA
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HC-KAR
CNR: KAHC010193032026 NC: 2026:KHC:39288 WP No. 8779 of 2026
THIS WP IS FILED UNDER ARTICLES 226 & 227 OF THE CONSTITUTION OF INDIA PRAYING TO DIRECTION UNDER ARTICLE 226 OF THE CONSTITUTION OF INDIA QUASHING THE SHOW CAUSE NOTICE DATED 29.12.2021 UNDER SECTION 153C READ WITH SECTION 153A OF THE INCOME TAX ACT, 1961, FOR THE ASSESSMENT YEAR 2020-21 IN DIN.
ITBA/AST/S/153C/2021-22/1038226736(1) ENCLOSED AS ANNEXURE-A TO THIS PETITION. B) QUASHING THE FINAL ASSESSMENT
ORDER DATED 22.12.2025 PASSED UNDER SECTION 153C R.W.S 144C(13) OF THE ACT FOR A.Y. 2020-21 IN DIN.ITBA/AST/S/153C/2025- 26/1083957810(1) ENCLOSED AS ANNEXURE-L TO THIS PETITION. C) QUASH THE DEMAND NOTICE DT.
22/12/2025 ISSUED UNDER SECTION 156 OF THE ACT FOR A.Y. 2020-21 IN DIN.ITBA/AST/S/156/2025- 26/1083957823(1) ENCLOSED AS ANNEXURE M TO THIS PETITION WHICH IS ARISING OUT OF THE IMPUGNED ASSESSMENT AND INVALID JURISDICTION.
D) QUASHING THE PENALTY NOTICE DATED 22.12.2025 PASSED UNDER SECTION 274 R.W.S 271AA(1) OF THE ACT FOR A.Y.2020-21 IN DIN AND ORDER NO. ITBA / PNL/M/271AA(1)/2025-26/1084085376(1) ENCLOSED AS ANNEXURE N TO THIS PETITION. E) QUASHING THE PENALTY NOTICE DATED 22.12.2025 PASSED UNDER SECTION 274 R.W.S 270A OF THE ACT FOR A.Y.2020-21 IN DIN AND
ORDER NO.
ITBA/PNL/S/270A/2025-26/1083957922(1) ENCLOSED
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HC-KAR
CNR: KAHC010193032026 NC: 2026:KHC:39288 WP No. 8779 of 2026
AS ANNEXURE P TO THIS PETITION. F) DIRECTION RESTRAINING THE RESPONDENTS, THEIR OFFICERS, SERVANTS AND AGENTS FROM TAKING ANY COERCIVE STEPS FOR RECOVERY PURSUANT TO THE IMPUGNED ASSESSMENT AND DEMAND, PENDING DISPOSAL OF THE PRESENT WRIT PETITION.
THIS PETITION, COMING ON FOR ORDERS, THIS DAY, ORDER WAS MADE THEREIN AS UNDER:
CORAM: HON'BLE MR. JUSTICE B M SHYAM PRASAD
ORAL ORDER
The learned counsel for the petitioner files a Memo, which reads as under:
" The Advocate for the Petitioner submits that he may be permitted to withdraw the aforesaid Writ Petition, as the Petitioner has preferred an appeal under section 253 of the Act. It is humbly requested that, a delay in filing of an appeal before the ITAT may please be condoned. "
In continuation, the learned counsel submits that the petitioner has filed an appeal with the Income Tax Appellate Tribunal (ITAT) and that this Court may
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HC-KAR
CNR: KAHC010193032026 NC: 2026:KHC:39288 WP No. 8779 of 2026
condone the delay. However, this Court is of the considered view that the question of delay must also be considered by the ITAT. As such, the petition stands disposed of.
Sd/- (B M SHYAM PRASAD) JUDGE
NV List No.: 1 Sl No.: 0