Dear Sir,
Here is order which is found on AP High Court website:
THE HON'BLE SRI JUSTICE V.V.S.RAO
AND
THE HON'BLE SRI JUSTICE RAMESH RANGANATHAN
WRIT PETITIN No.23353 OF 2010
ORDER: (Per Hon'ble Sri Justice V.V.S.Rao)
This Writ Petition is filed, invoking our certiorari jurisdiction to quash a judicial order dated 21.06.2010 made by the Learned Additional Judicial Magistrate of I Class, Kadiri, in Crl.M.P. Nos.1700, 1702 to 1704 of 2010. A consequential relief to direct the respondents 1 to 3 viz., the Deputy Director of Income Tax (Investigation), Unit II (1), Hyderabad, Chief Commissioner of Income Tax, Hyderabad and Director General of Income Tax (Investigation), Hyderabad is also sought not to proceed in any manner pursuant to the warrant issued under Section 132-A of the Income Tax Act, 1961.
The Counsel for the petitioners made elaborate submissions. Having regard to the fact that the petitioners 2 and 3 have already made applications under the First Proviso to Section 132-B of the Income Tax Act. He seeks leave of this Court to withdraw the Writ Petition and pursue remedies available under law in relation to the impugned order of the Learned Magistrate as well as the application filed under Section 132-B. Giving liberty to do so, we dismiss the Writ Petition as withdrawn.
_____________
V.V.S.RAO, J
___________________________
RAMESH RANGANATHAN, J
Here is order which is found on AP High Court website:
THE HON'BLE SRI JUSTICE V.V.S.RAO
AND
THE HON'BLE SRI JUSTICE RAMESH RANGANATHAN
WRIT PETITIN No.23353 OF 2010
ORDER: (Per Hon'ble Sri Justice V.V.S.Rao)
This Writ Petition is filed, invoking our certiorari jurisdiction to quash a judicial order dated 21.06.2010 made by the Learned Additional Judicial Magistrate of I Class, Kadiri, in Crl.M.P. Nos.1700, 1702 to 1704 of 2010. A consequential relief to direct the respondents 1 to 3 viz., the Deputy Director of Income Tax (Investigation), Unit II (1), Hyderabad, Chief Commissioner of Income Tax, Hyderabad and Director General of Income Tax (Investigation), Hyderabad is also sought not to proceed in any manner pursuant to the warrant issued under Section 132-A of the Income Tax Act, 1961.
The Counsel for the petitioners made elaborate submissions. Having regard to the fact that the petitioners 2 and 3 have already made applications under the First Proviso to Section 132-B of the Income Tax Act. He seeks leave of this Court to withdraw the Writ Petition and pursue remedies available under law in relation to the impugned order of the Learned Magistrate as well as the application filed under Section 132-B. Giving liberty to do so, we dismiss the Writ Petition as withdrawn.
_____________
V.V.S.RAO, J
___________________________
RAMESH RANGANATHAN, J