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GST Litigation & Representation

Thunuguntla & Associates

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What We Do

 

Show Cause Notices (SCN) — Section 73 & 74 Whether the department alleges tax short-paid due to bonafide reasons (Section 73) or fraud / suppression (Section 74), the reply strategy is completely different. We assess the basis of demand, draft a reply that neutralises the allegation, and appear for personal hearing.

 

GST Audit Representation Departmental audits under Section 65 and Special Audits under Section 66 require preparation — compilation of records, reconciliation, and pre-audit strategy. We manage the entire audit process, from notice receipt to audit closure, minimising liability.

 

ITC Reversal Demands ITC demands arising from vendor mismatch, Rule 36(4) non-compliance, or wrongly availed blocked credits require careful handling. We differentiate between valid ITC and genuinely ineligible credits, contest wrongful reversals, and negotiate where necessary.

 

GST Appeals We file and argue appeals before the GST Appellate Authority (Section 107) and represent clients before the GST Appellate Tribunal (GSTAT) — for both department and taxpayer appeals.

 

Refund Rejection Appeals Refund claims rejected by the proper officer are frequently overturned on appeal with the right legal position. We handle this routinely.

 

Talk to Us

Don’t let an SCN go unanswered or under-answered. The department’s first order sets the tone for everything that follows.

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