Office: Erandwane, Pune+91 9067368357
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M S KADAM AND ASSOCIATESChartered Accountants • Pune
Advisory Practice

Tax Litigation, Assessments & Appellate Representation

Fact-driven, legally sound representation before Income Tax & GST authorities to protect your rights.

Practice Scope & Service Deliverables

Tax disputes demand rigorous technical knowledge, meticulous fact finding, and articulate legal drafting. We represent clients in faceless assessments, penalty proceedings, GST show-cause notices, CIT (Appeals), and Appellate Tribunals.

Scope of Professional Assistance:

Handling Scrutiny Assessments under Section 143(3) and Reassessments u/s 148
Drafting Submissions for E-Proceedings on National Faceless Assessment Centre (NFAC)
GST Show Cause Notice (DRC-01 / ASMT-10) Evaluation & Legal Drafting
Appeals Preparation and Filing before Commissioner of Income Tax (Appeals)
Appeals before Goods & Services Tax Appellate Authority
Income Tax Appellate Tribunal (ITAT) Paper Book Preparation & Briefing
Handling Search, Seizure & Survey Proceedings under Section 132/133A
Stay of Demand Applications & Installment Relief Petitions
Rectification Petitions u/s 154 and Revision Applications u/s 264
Vivad Se Vishwas / Tax Dispute Amnesty Scheme Assistance
Who Requires This Service?
Businesses Facing High-Value Tax Scrutiny or Penalty Notices
Companies with Additions Made u/s 68 / 69 (Unexplained Cash Credits)
Taxpayers Confronting Mismatch Demands in GST Returns
Directors and Promoters with Reassessment Notices u/s 148
Assessees Seeking Stay of Recovery from Tax Recovery Officers
CA & UDIN Guaranteed

All audit opinions, certifications, and compliance filings are reviewed directly by practicing Chartered Accountants with mandatory UDIN verification.

Our Strategic Advantage

How We Deliver Value in Tax Litigation & Representation

Structured Legal Defense

Every response is built on the hierarchy of: Facts → Statutory Law → Judicial Precedents → Documentary Evidence → Concise Submissions.

Faceless Video Hearing Representation

Conducting persuasive virtual hearings before NFAC / Faceless Appeal Officers with visual evidence and case law compilation.

Unjust Demand Mitigation

Analyzing CPC automated processing errors, TDS mismatches, and obtaining instant demand stay orders.

Penalty Defense

Strategic responses against penalty proceedings initiated under Section 270A (under-reporting/misreporting) and Section 271AAC.

Our Structured 5-Step Process

Technically rigorous, transparent execution from initial diagnostic to ongoing monitoring.

01

Notice Anatomy & Timeline Audit

Dissecting the statutory notice, verifying jurisdiction, limitation period, and core allegation.

02

Evidence & Ledger Reconstruction

Gathering supporting invoices, third-party confirmations, banking paper trails, and board minutes.

03

Legal Drafting & Jurisprudence Research

Drafting point-by-point rebuttal citing High Court and Supreme Court rulings.

04

Portal Submission & Virtual Hearing

Filing formatted written submissions and presenting arguments in virtual video proceedings.

05

Order Analysis & Follow-Up

Reviewing final assessment order, computing tax adjustments, and filing appeals if needed.

Professional Insights

Frequently Asked Questions

Clear answers to common questions about statutory compliance, processes, and deadlines.

An appeal in Form 35 must be filed within 30 days from the date of service of the assessment order along with the demand notice under Section 156.

Request Consultation for Tax Litigation & Representation

Submit your inquiry and our direct tax & compliance desk will get in touch with you.

100% Confidentiality Guaranteed under ICAI Professional Ethics
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