Tax Litigation & Advisory

Facing a Tax Notice? We Handle It — Start to Finish.

Advisory — IT & GST Notices & Scrutiny Appeals — CIT(A) · ITAT · GSTAT High Court & Tribunal NRI & Cross-Border WhatsApp Consultation
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Advisory · Litigation · Resolution

Proactive planning to prevent disputes. Expert representation when they arise — at every stage and forum.

Advisory
Income Tax
Income Tax Advisory
Tax Planning & Structuring
Salary structuring (HRA, NPS, LTA), advance tax planning, capital gains advisory, 80C/80D deduction maximisation.
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Income Tax Advisory
TDS / TCS Compliance
TAN registration, TDS/TCS computation, deposits, quarterly returns, TRACES corrections, Form 16/16A & 26AS reconciliation.
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Income Tax Advisory
Capital Gains & Investment Advisory
LTCG, STCG, Sec 54/54F/54EC exemptions, F&O taxation, ESOP advisory, mutual fund & crypto tax planning.
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Income Tax Advisory
Refunds, NOC & Liaison
Refund tracking, AIS/26AS discrepancy resolution, NOC & tax clearance certificates, IT department liaison.
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GST
GST Advisory
HSN/SAC & Rate Advisory
HSN/SAC classification, correct GST rate, exemptions, nil-rated & zero-rated supply advisory with proper documentation.
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GST Advisory
ITC Maximisation & Planning
Eligible vs blocked ITC, Rule 42/43 apportionment, GSTR-2B reconciliation, ITC on capital goods & import of services.
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GST Advisory
Exports & Cross-Border GST
LUT filing, IGST refund on exports, import of services, deemed exports, cross-border transaction structuring & compliance.
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GST Advisory
Business Structuring & M&A
GST on mergers, demergers, job work, works contract, e-commerce, composition scheme & supply chain structuring.
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Business & Corporate
Business Advisory
Business & Entity Structuring
Pvt Ltd vs LLP vs Proprietorship, tax-efficient entity choice, startup Sec 80-IAC, loss carry-forward & dividend planning.
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Business Advisory
Startup & MSME Advisory
DPIIT recognition, angel tax (Sec 56(2)(viib)), Sec 80-IAC exemption, MSME presumptive tax (44AD/44ADA) & deduction planning.
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Business Advisory
M&A & Business Restructuring
Merger / demerger tax, slump sale (Sec 50B), share swap, business transfer structuring & tax due diligence for acquisitions.
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Business Advisory
Transfer Pricing & Related-Party
ALP documentation, Form 3CEB, transfer pricing study, related-party transactions & Sec 40A(2) disallowance advisory.
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NRI & Cross-Border
NRI Advisory
NRI Tax Planning & Residency
Residential status (RNOR/NRI/Resident), Sec 6 analysis, Sec 9 deemed income, income taxability & overall NRI tax strategy.
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NRI Advisory
DTAA & Treaty Benefits
DTAA applicability, treaty shopping, tax residency certificate (TRC), Form 10F, double taxation relief on foreign income.
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NRI Advisory
Repatriation & FEMA Compliance
15CA/15CB certificates, NRO to NRE repatriation, FEMA remittance limits, RBI reporting & compounding, foreign remittance structuring.
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NRI Advisory
NRI Property & Capital Gains
Sec 195 TDS on property purchase, LTCG on sale, Sec 54/54EC NRI exemptions, FEMA property rules, Schedule FA & FATCA disclosure.
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Litigation
Income Tax — Notice to Court
Stage 1 — Notice
IT Notices & Demands
Sec 143(1) intimation, 156 demand, 245 refund set-off, AIS/26AS mismatch, TDS defaults, Sec 154 rectification & stay of demand.
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Stage 2 — Scrutiny
Scrutiny & Assessment
Sec 143(2) limited/complete scrutiny, 147/148/148A reassessment, 153A/C search assessments, Faceless Assessment (NFAC).
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Stage 3 — Penalty
Penalty & Prosecution
Sec 270A immunity, 271B/271C/CA penalties, 276C/CC/B prosecution, compounding before PCIT/CCIT, Benami & Black Money Act.
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Stage 4 — First Appeal
CIT(A) & Faceless Appeals
Form 35 filing, grounds of appeal, stay u/s 220(6), Faceless Appeal submissions, revision u/s 263/264, Vivad se Vishwas.
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Stage 4 — Special
Search, Seizure & Survey
Sec 132 search — on-site guidance, statement advice, asset release. Sec 133A survey — immediate representation & post-survey strategy.
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Stage 5 — Tribunal
ITAT — Income Tax Tribunal
Second appeal before ITAT — filing, written submissions, bench representation, stay application & transfer pricing disputes.
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Stage 6 — High Court
High Court & Writ Petitions
Art. 226/227 writ petitions, challenging assessment orders & notices, DTAA/MAP disputes, Supreme Court SLP coordination.
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NRI — Litigation
NRI Tax Disputes
IT notices to NRIs, DTAA disputes, Sec 195 TDS disputes, repatriation issues, foreign asset & FATCA disclosure disputes.
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GST — Notice to Court
Stage 1 — Notice
GST Show-Cause Notices
Sec 73/74 SCN, GSTR mismatch notices, ITC reversal, DRC-01/01A demands, registration cancellation — precise reply drafting.
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Stage 2 — Audit
GST Audit & Scrutiny
Sec 65 audit, Sec 61 ASMT-10 scrutiny, Sec 66 special audit, Sec 67 inspection, Sec 70 summons — records & representation.
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Stage 2 — Refund
Refund Disputes & ITC Recovery
Export refunds, RFD-08 response, Sec 17(5) blocked ITC, Sec 16(2)(c) supplier-default, inverted duty refund, interest u/s 56.
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Stage 3 — First Appeal
Appellate Authority (AA) Appeals
Form APL-01, pre-deposit 10% strategy, grounds of appeal, personal hearing, refund/penalty appeals, GST Amnesty Scheme.
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Stage 4 — Tribunal
GSTAT — GST Appellate Tribunal
Second appeal before GSTAT — filing, written submissions, oral representation, stay of demand & pre-deposit strategy.
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Stage 4 — Ruling
Advance Ruling (AAR & AAAR)
AAR application for binding GST ruling before transactions, Appellate AAR for unfavourable rulings & interpretation disputes.
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Stage 5 — High Court
GST High Court & Writs
HC writ petitions against GST orders, Sec 83 provisional attachment lifting, anti-profiteering HC challenge, unconstitutional notices.
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Stage 5 — Prosecution
GST Prosecution & Compounding
Sec 132 CGST offences — defence strategy, compounding applications, prosecution mitigation & voluntary compliance.
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Case-Based Pricing — Transparent & Fair
Fees depend on the matter's complexity and stage. Share your notice — we'll give you a clear estimate within 24 hours.
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Why Clients Trust Us with Their Tax Disputes

Tax litigation is high-stakes. The CA you choose makes a decisive difference — in the outcome, the timeline, and the cost.

CA-Led Representation
Every case is handled by a qualified CA — not a junior or an outsourced consultant. You get expert representation at every hearing.
Strong Documentation
We build watertight replies backed by case laws, circulars, and tribunal decisions — not just standard templates that don't hold up under scrutiny.
Full Transparency
You'll always know where your case stands — we update you after every communication with the department, with clear explanations in plain language.
Time-Sensitive Response
Tax notices have strict deadlines. We act immediately — assessing, strategising, and filing replies well before due dates, with zero last-minute panic.

How We Handle Your Case

A structured, transparent process — from the moment you share your notice to final resolution.

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STEP 1
Share Your Notice
WhatsApp or email us your notice, demand, or case details. We review it the same day and assess the risk and response strategy.
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STEP 2
Case Analysis & Strategy
We analyse the grounds, gather supporting documents, research relevant case laws, and build a strong reply or appeal strategy before any deadline.
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STEP 3
Filing & Representation
We file the reply / appeal on your behalf and appear before the assessing officer, CIT(A), ITAT, or GST authority as required — fully representing you.
STEP 4
Resolution & Closure
We work towards the best possible outcome — demand deletion, penalty waiver, or favourable order — and give you a complete summary of the resolution.
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Let's Talk — We're Here to Help

Reach out through any channel — we typically respond within a few hours.

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