Representation through scrutiny, appeal, and tribunal.
Indian tax assessments particularly for foreign subsidiaries with material intercompany transactions frequently progress to scrutiny under Sections 143(2) and 144B, and a meaningful subset proceed to dispute resolution before the Commissioner (Appeals), Dispute Resolution Panel, or Income Tax Appellate Tribunal. The quality of representation at the first level often determines whether the matter is closed or escalates further.
Our litigation team has represented clients across direct tax, transfer pricing, and GST disputes preparing written submissions, coordinating with senior counsel where required, and appearing before tax authorities and tribunals.
What Bizztricks Management Consulting Private Limited Offers
• Faceless assessment representation Section 143(2) scrutiny and Section 144B faceless assessment framework
• Transfer pricing assessment representation before the Transfer Pricing Officer (TPO)
• Dispute Resolution Panel (DRP) submissions and hearings under Section 144C
• Commissioner (Appeals) representation and written submissions
• Income Tax Appellate Tribunal (ITAT) representation, including coordination with senior counsel
• GST departmental audit, show cause notice replies, and adjudication representation
• Vivad se Vishwas, settlement scheme, and rectification application support
• Stay applications, refund follow-up, and rectification under Section 154