When a tax dispute moves beyond assessment, you need advocates who know both the law and the forum. PJRJ provides end-to-end income tax litigation — handling appeals before the ITAT in-house, and coordinating writ petitions and SLPs before High Courts and the Supreme Court through associate advocates.
We analyse facts and law thoroughly, engage the department early where settlement is possible, and advocate fearlessly when tribunal or court appeals are necessary.
Litigation forums we cover
Level 1 — CIT(A)
First appeal — often handled by our representation team with litigation oversight.
- Memorandum of appeal
- Stay of demand applications
- Additional evidence
Level 2 — ITAT
Income Tax Appellate Tribunal — handled in-house by our tax team.
- Appeals and cross-objections
- Statement of facts and grounds
- Delhi and regional bench representation
Level 3 — High Court
Delhi, Bombay, Madras, and other High Courts via empanelled advocates.
- Substantial questions of law
- Article 226 writ petitions
- Challenges to procedural violations
Level 4 — Supreme Court
Apex Court practice through Advocates on Record and senior counsel.
- SLPs under Article 136
- Constitutional challenges
- Senior counsel briefing
Matters we litigate
- Transfer pricing adjustments and secondary adjustments
- TDS disallowance and credit denial disputes
- Capital gains characterization and exemption denials
- Penalty and prosecution appeals
- MAT credit and brought-forward loss disputes
- Search and seizure assessment challenges
Income Tax Litigation FAQs
What is the time limit for filing an ITAT appeal?
Sixty days from the date of CIT(A) order, extendable by further period for sufficient cause. Contact us immediately on receiving an adverse order.
Can litigation be avoided after a demand?
Sometimes — through rectification, remand, settlement schemes, or negotiated payment. We advise on the most cost-effective path before committing to litigation.
Discuss your income tax litigation requirements
Speak directly with a PJRJ income tax specialist — we respond within one business day.