๐Ÿ“ No 302 Anugraha, 19th E Main, Rajajinagar 1st Block, Bangalore โ€“ 560010
๐Ÿ“ž 9008344886 โœ‰ info@mytaxmitra.in โฐ Monโ€“Sat: 9:30 AM โ€“ 6:30 PM
๐Ÿ“ž Free Consultation
โš–๏ธ Bangalore's Trusted Tax Litigation Experts

Expert Tax Litigation
Services in India

MyTaxMitra Consultancy Services handles all tax-related litigations across Direct & Indirect taxes. Our panel of CAs and Advocates simplifies your tax disputes with expertise, precision and a results-driven approach.

  • โœ“ Income Tax Notices, Scrutiny & Demand Orders
  • โœ“ GST Disputes & Show Cause Notices
  • โœ“ Appeals before CIT(A), ITAT, High Court & Supreme Court
  • โœ“ Search, Seizure & Survey Post-Raid Advisory
  • โœ“ Penalty & Prosecution Defence
500+
Cases Resolved
15+
Years Experience
98%
Success Rate
All
Appellate Forums

Get Expert Advice Today

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๐Ÿ›๏ธ High Court Representation
๐Ÿ“‹ ITAT Appeals
โš–๏ธ GST Tribunal Ready
๐Ÿ” Client Confidentiality
๐Ÿ† CAs & Advocates Panel
๐Ÿ“ Bangalore Based
๐Ÿ’ผ Direct & Indirect Tax
Understanding Tax Litigation

What is Tax Litigation?

Tax litigation refers to all legal disputes and proceedings that arise between taxpayers and tax authorities regarding any default in payment, fraud, or any other tax-related disagreement. It entails settling disputes and controversies involving a variety of taxes including income tax, GST, excise, customs, and wealth tax.

Both direct and indirect taxes are covered by tax litigation, which can deal with tax assessments, compliance concerns, tax evasion, and fraud. It involves a variety of legal processes โ€” administrative proceedings before assessing officers, appellate proceedings before CIT(A), ITAT, and extrajudicial processes like mediation and arbitration.

In order to preserve a fair and transparent tax system, ensure compliance with tax rules, and safeguard taxpayer rights and interests, tax litigation must be resolved promptly. MyTaxMitra is your trusted partner at every level of this process.

Common Causes of Tax Litigation

  • Disputed tax assessments โ€” disagreement with the tax authority's assessment of liability
  • Tax law interpretation โ€” complexity and ambiguity of Indian tax rules
  • Non-compliance โ€” late or failed submission of returns and required documents
  • Tax evasion and fraud allegations โ€” legal proceedings to enforce tax rules
  • Transfer pricing disputes โ€” pricing disagreements between related entities
  • Disputed ITC and deductions โ€” differences over eligibility or amount of credits
  • Income classification โ€” capital gains vs. business income disputes
  • Cross-border transaction issues โ€” double taxation and DTAA interpretation
Our Services

Comprehensive Tax Litigation Services

We provide end-to-end tax dispute resolution โ€” from drafting the first reply to representing you before the highest appellate authorities in India.

๐Ÿ“„

Income Tax Notices & Assessment

Expert handling of scrutiny assessments u/s 143(3), demand notices, reassessment u/s 148, and revisionary proceedings u/s 263/264. We prepare robust replies and represent you before Assessing Officers and CIT(A).

Scrutiny AssessmentDemand ReplyReassessment
๐Ÿ”

GST Disputes & Litigation

From GST show-cause notices to Appellate Authority appeals, our specialists provide support for ITC reversal demands, classification issues, mismatch notices and demand orders u/s 73 & 74.

SCN ReplyITC DisputesGST Appeals
โš–๏ธ

ITAT Representation

Strategic representation before the Income Tax Appellate Tribunal (ITAT). We draft grounds of appeal, prepare comprehensive paper books, and argue cases before the ITAT Bangalore Bench with precision.

Appeal DraftingPaper BookITAT Arguments
๐Ÿ›๏ธ

High Court & Supreme Court

Filing and arguing writ petitions and tax references before the Karnataka High Court. We brief and coordinate with senior advocates for Supreme Court matters involving important questions of law.

Writ PetitionTax ReferenceSLP
๐Ÿ”

Search, Seizure & Survey Advisory

Post-raid / post-survey advisory and representation. We help you respond strategically to statements recorded u/s 131/132, and contest additions made during search assessments u/s 153A/153C.

Post-Raid ReplySec 132 AssessmentRetraction
๐Ÿ“Š

Penalty & Prosecution Defence

Defence against penalty proceedings u/s 271 and 271(1)(c) of IT Act, and criminal prosecution u/s 276C/276CC. We argue for waiver and compounding of offences before competent authorities.

Sec 271(1)(c)ProsecutionCompounding
๐ŸŒ

International Tax & Transfer Pricing

Advisory and litigation support for cross-border tax disputes, DTAA interpretation, transfer pricing adjustments under Chapter X, and Advance Pricing Arrangement (APA) proceedings.

DTAATransfer PricingAPA
๐Ÿงพ

Customs, Excise & Service Tax

Representation before CESTAT, Commissioner (Appeals), and High Court for legacy service tax, central excise, and customs disputes including refund claims and anti-dumping matters.

CESTATService TaxCustoms
Types of Disputes We Handle

Every Kind of Tax Controversy

Whether it is a direct tax issue or indirect tax dispute, assessment or appellate matter โ€” we have specialists for every type.

๐Ÿ’ผ
Income Tax Assessment Disputes
๐Ÿงพ
GST / IGST / CGST Notices
๐Ÿญ
Legacy Service Tax & Excise
๐Ÿ“ฆ
Customs Duty Disputes
๐Ÿ”„
TDS / TCS Default Notices
๐Ÿ’ป
Faceless Assessment & Appeals
๐Ÿข
Corporate Tax Disputes
๐ŸŒ
International Tax & DTAA
๐Ÿ“ˆ
Capital Gains Tax Disputes
๐Ÿค
Partnership / LLP Tax Issues
๐Ÿ”
Tax Evasion & Fraud Defence
โšก
Vivad Se Vishwas Scheme
Our Approach

Step-by-Step Litigation Process

We follow a structured, transparent litigation process so you always know what's happening with your case at every stage.

01
Notice / Order Review

We review all documents โ€” your notice, assessment order, or demand โ€” to understand the full picture.

02
Free Case Evaluation

Our expert analyses the merits, risks, and opportunities in your case. Completely free and confidential.

03
Strategy & Engagement

We define the best legal strategy, issue an engagement letter with clear scope and transparent fees.

04
Drafting & Documentation

Detailed reply / appeal drafting backed by case law, judicial precedents and factual analysis.

05
Representation & Hearing

Personal appearance and arguments before the assessing officer, appellate authority, or tribunal.

06
Resolution & Post-Order Advisory

Favourable order obtained. Demand deleted or reduced. Advisory on further recourse if needed.

Why MyTaxMitra

Your Trusted Partner in Tax Battles

We combine deep legal expertise with practical tax knowledge to give you the strongest possible defence at every level of the appellate chain.

  • โœ“
    Multi-Disciplinary Team of CAs & Advocates

    Expertise in both taxation law and accounting โ€” crucial for complex litigation at all levels.

  • โœ“
    Deep Bangalore Appellate Expertise

    Familiarity with ITAT Bangalore Bench, CIT(A) offices, and Karnataka High Court tax division.

  • โœ“
    Transparent, Fixed-Fee Engagement

    Clear engagement letters with scope of work and fees defined upfront. No hidden charges ever.

  • โœ“
    Technology-Assisted Case Management

    Digital case tracking so you are always updated on hearing dates, submissions, and orders.

  • โœ“
    Absolute Client Confidentiality

    All case details remain strictly confidential under professional ethics and NDA.

  • โœ“
    Swift Response to Time-Sensitive Notices

    We respond to your notices with urgency to preserve your legal rights and deadlines.

Areas of Expertise

We Cover All Major Tax Laws

Our panel handles matters across every major direct and indirect tax statute in India, at all levels of the appellate chain.

๐Ÿ“‹
Income Tax Act, 1961
Scrutiny, reassessment, demand, penalty, and prosecution matters.
๐Ÿ’ฐ
Capital Gains Tax
STCG, LTCG, Section 54 exemptions and income classification disputes.
๐Ÿข
Corporate Tax
MAT, deductions u/s 80-IC, 80-IB, 80HHC and related disputes.
๐Ÿ”„
TDS / TCS
Short deduction, non-deduction and late deposit demand notices.
๐Ÿ’ป
Faceless Assessment
Responses and appeals under the Faceless Assessment Scheme.
๐Ÿ˜๏ธ
Partnership & LLP Tax
Remuneration, interest, capital gains and asset transfer disputes.
๐Ÿงพ
GST / IGST / CGST
SCN replies, ITC reversal, classification and GSTAT appeals.
๐Ÿญ
Legacy Service Tax
Demand, penalty and CESTAT appeals under Finance Act Chapter V.
๐Ÿ“ฆ
Customs Duty
Import/export duty disputes, valuation and classification before CESTAT.
โš™๏ธ
Central Excise
CENVAT credit disputes and excise duty classification matters.
๐Ÿ”
GST Refunds
Refund claims for exports, inverted duty structure and excess payments.
โšก
Anti-Dumping
Advisory and representation in anti-dumping and safeguard duty matters.
๐ŸŒ
Transfer Pricing
TP adjustments, APA, MAP and dispute resolution under Chapter X.
๐Ÿ“œ
DTAA & Tax Treaties
Double taxation avoidance and treaty relief claim disputes.
๐Ÿ—๏ธ
NRI Taxation
Residency, RNOR status, source-rule and remittance tax disputes.
๐Ÿ’ฑ
FEMA / PMLA
Foreign exchange violation representation before ED / RBI.
๐Ÿ‘จโ€โš–๏ธ
Assessing Officer (AO)
First-level submissions, replies and personal hearings before AO.
๐Ÿ“
Commissioner (Appeals)
CIT(A) and JCIT(A) appeal drafting and representation.
โš–๏ธ
ITAT Bangalore Bench
Grounds of appeal, paper book preparation and tribunal arguments.
๐Ÿ›๏ธ
Karnataka High Court
Writ petitions, tax references and stay applications.
๐Ÿ‡ฎ๐Ÿ‡ณ
Supreme Court of India
SLPs and important constitutional tax questions.
๐Ÿญ
CESTAT Bangalore
Customs Excise & Service Tax Appellate Tribunal representation.
Engagement Plans

Transparent, Structured Fee Plans

Choose a plan that fits your matter. All plans include a free initial consultation and complete transparency on scope and fees.

Starter

Notice Reply & Advisory

Ideal for individuals and small businesses with a single tax notice or demand order.

  • โœ“ Case evaluation & strategy
  • โœ“ Draft reply to notice / SCN
  • โœ“ Document preparation
  • โœ“ One hearing representation
  • โœ“ Post-order advisory
  • โœ— Multi-level appeals
  • โœ— Tribunal representation
โญ Most Popular
Professional

Full Appeal Management

For businesses with multi-level disputes โ€” from AO to CIT(A) and ITAT with full representation.

  • โœ“ Everything in Starter
  • โœ“ AO to CIT(A) appeals
  • โœ“ ITAT representation
  • โœ“ Full paper book preparation
  • โœ“ Multiple hearing coverage
  • โœ“ Digital case tracking
  • โœ— High Court / SC matters
Enterprise

End-to-End Litigation

For complex cases, large corporates, search & seizure matters, or High Court / Supreme Court litigation.

  • โœ“ Everything in Professional
  • โœ“ High Court representation
  • โœ“ SC matter coordination
  • โœ“ Search / seizure advisory
  • โœ“ Transfer pricing support
  • โœ“ International tax disputes
  • โœ“ Dedicated case manager
Client Testimonials

What Our Clients Say

โ˜…โ˜…โ˜…โ˜…โ˜…

MyTaxMitra helped us navigate a complex GST demand of โ‚น45 lakhs. Their team was thorough, professional and the demand was dropped entirely in the first appeal. Outstanding service throughout.

R
Rajesh Nair
MD, Manufacturing Co., Bangalore
โ˜…โ˜…โ˜…โ˜…โ˜…

Received an income tax scrutiny notice and was completely lost. MyTaxMitra took charge, drafted an excellent reply and secured a complete waiver of the addition proposed. Highly recommended.

S
Suman Reddy
IT Professional, Bengaluru
โ˜…โ˜…โ˜…โ˜…โ˜…

Our export firm faced a customs dispute that dragged on for years. MyTaxMitra resolved it at CESTAT within months. Their indirect tax knowledge and professionalism is simply unmatched.

A
Anitha Krishnamurthy
Director, Export Trading Company
Frequently Asked Questions

Common Questions Answered

An appeal before the Commissioner of Income Tax Appeals must be filed within 30 days of receiving the assessment order or demand notice. An appeal before the ITAT must be filed within 60 days of the CIT(A) order. Condonation of delay can be sought if you have a reasonable cause โ€” our team can assist with this as well.

For an appeal before CIT(A), you are required to pay the admitted tax and a minimum of 20% of the disputed demand as a pre-condition. We can assist you in filing a stay application to seek full or partial stay of the demand during the pendency of the appeal to minimise your cash outflow.

Do not ignore any tax notice โ€” strict time limits apply for every response. First, check the section under which the notice is issued (143(2), 148, 131, 142(1), etc.) as each requires a different response. Call us immediately at 9008344886 for a free evaluation โ€” we will guide you on appropriate next steps, timelines, and documents required.

Yes. Our panel includes specialists in both direct taxation (Income Tax, TDS, Capital Gains) and indirect taxation (GST, Customs, Legacy Service Tax, Central Excise). We provide a single-window solution for all your tax litigation needs across all forums and levels of appeal.

The Vivad Se Vishwas Scheme is a government amnesty scheme that allows taxpayers to settle pending income tax disputes by paying only the disputed tax amount with a waiver of interest and penalty. Our team can evaluate your eligibility and help you determine whether settlement under this scheme is in your best interest versus continuing with litigation.

Our fees are structured transparently based on the scope of work, complexity of the matter, and the level of the appellate forum. We provide a clear engagement letter before commencement of any work. We are flexible in structuring engagements for long-running complex matters. Call us to discuss your specific situation with no obligation.

Don't Face the Tax Department Alone

Time-sensitive notices require immediate action. Call our experts now for a free, confidential consultation on your tax dispute โ€” no obligation, no commitment.

๐Ÿ“ž Call 9008344886 โ€” Free Consultation Now
Contact Us

Let's Resolve Your Tax Dispute

Our tax litigation experts are available to help. Reach out for a confidential discussion about your tax matter โ€” no obligation whatsoever.

๐Ÿ“
Office Address
No 302, Anugraha, 19th E Main
Rajajinagar 1st Block
Bangalore โ€“ 560010, Karnataka
๐Ÿ“ž
Phone / WhatsApp
โœ‰๏ธ
๐Ÿ•
Office Hours
Monday โ€“ Saturday: 9:30 AM โ€“ 6:30 PM
Sunday: By Appointment

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