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Practice Area

Income Tax Litigation

Appellate advocacy before CIT(A), ITAT, and the Delhi High Court

Income tax litigation requires simultaneous command of the statute, Rules, CBDT circulars, and a vast body of judicial precedent — synthesised into coherent written submissions and oral argument.

We appear before CIT(A) and ITAT regularly and handle High Court writs in jurisdictional and constitutional matters.

Scope of Work

What We Cover

1
Assessment & Reassessment

Challenging additions in scrutiny assessments and contested reopening under Sections 147/148.

2
Appeals before CIT(A)

Comprehensive first appellate representations with full case law and factual matrix.

3
ITAT Appearances

Second appellate advocacy — corporate tax, capital gains, and penalty matters.

4
Penalty Proceedings

Defence in proceedings under Sections 270A, 271, and 271(1)(c).

5
TDS & Withholding Disputes

Challenges to short deduction notices and Section 40(a)(ia) disallowances.

6
High Court Writs

Constitutional petitions against arbitrary reassessments and orders in violation of natural justice.

Common Questions

Frequently Asked

What is the ITR filing deadline for companies?
Companies requiring audit have an October 31 deadline. We also represent in post-filing disputes and notices.
What is the CIT(A) appeal timeline?
Appeals must be filed within 30 days of the assessment order. We recommend approaching promptly to preserve grounds.
What if matter escalates from CIT(A) to ITAT?
We continue representation seamlessly — the same advocate handles both stages.
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