Direct tax & litigation
[Assessment representation, appeals up to [ITAT], and the positions worth defending versus the ones worth settling.]
- —[Scrutiny & reassessment defence]
- —[CIT(A) and ITAT appeals]
- —[Advance ruling & APA support]
Direct tax, GST, transfer pricing and statutory compliance for [₹500 Cr]+ Indian enterprises — run by partners who have argued these positions before the [ITAT / appellate authorities], not just filed them.
Interest under [s.234B/C] and penalty exposure compound quietly. Move the sliders to see the order of magnitude — then get the real number from a review.
Illustrative arithmetic only, using a flat [1]%/month interest assumption. Actual interest and penalty depend on the section invoked, the assessment year and the facts. Not tax advice.
We do not do statutory audit for advisory clients — independence rules, and we would rather keep the advisory seat.
[Assessment representation, appeals up to [ITAT], and the positions worth defending versus the ones worth settling.]
[Input credit reviews, classification disputes, refunds, and the departmental audits that follow them.]
[Benchmarking, documentation that survives scrutiny, and intercompany pricing your auditors will sign.]
[The calendar, the controls and the monthly close discipline that stops exposures being created in the first place.]
[Describe how you run the calendar — the owner per filing, the escalation before a due date, and the monthly status the CFO receives.] Replace all dates below with the current statutory ones before publishing.
Get the [FY] calendarIndicative only. Statutory due dates change — confirm against the current notifications each year.
[The position taken, the evidence assembled, and the ground on which it was allowed.]
[What the reconciliation found and how the departmental objection was answered.]
[How the benchmarking and documentation were rebuilt so the position held on first review.]
Client names withheld under professional confidentiality. Outcomes are matter-specific and are not a prediction of results in any other case. Figures must be replaced with verified, permitted numbers before publishing.
“[A CFO quote about being told the uncomfortable number early, and what that made possible at the audit committee.]”
No success fees on tax outcomes. GST extra as applicable.
Anything else, email [EMAIL] or call [PHONE] — a partner answers.
Book a tax review[Explain the independence rules that limit what an auditor can advise on, and where the advisory seat adds something different.]
[Explain the voluntary-disclosure and settlement routes available, who must be told, and the order in which you would act.]
[State which forums you appear before yourself and when you brief counsel instead.]
[Professional confidentiality obligations, NDA practice, and how documents are stored and transmitted.]
[State the position plainly and the professional-conduct reason behind it.]
[Give the real lead time, and note that notices with statutory deadlines are taken up immediately.]
Bring the notice, the assessment order or just the worry. You will get a straight read on the exposure, the realistic outcomes, and whether this needs a review at all.