Chartered Accountants in Delhi & Gurgaon | Audit, Tax & GST Services

PJRJ & Associates — CA firm in Delhi and Gurgaon offering statutory audit, GST consulting, internal audit, and income tax advisory for businesses across Delhi NCR and India.

Part of PJRJ & Associates · Chartered AccountantsMain PJRJ website
Tax Litigation·Delhi · Gurgaon·Pan-India

PJRJ Tax Litigation Desk
ITAT · GSTAT · Courts

Built on integrity, delivered with precision.

PJRJ & Associates

When a tax dispute moves beyond assessment, you need advocates who know both the law and the forum. PJRJ provides end-to-end tax and GST litigation — handling income tax appeals before the ITAT and GST appeals before the GSTAT in-house, and coordinating writ petitions and special leave petitions before the High Courts and Supreme Court through our associate advocates. Chartered accountancy rigour meets courtroom advocacy under one roof.

5Litigation lines
ITATIn-house appearances
1 dayResponse time
Pan-IndiaCourt coordination
Indian accounting workspace with GST, audit and tax documents
Tax Litigation · Delhi NCR
ITATIn-house CAs
GSTATTribunal experts
Who we are

A dedicated tax litigation desk within PJRJ

When a tax dispute moves beyond assessment, you need advocates who know both the law and the forum. PJRJ provides end-to-end tax and GST litigation — handling income tax appeals before the ITAT and GST appeals before the GSTAT in-house, and coordinating writ petitions and special leave petitions before the High Courts and Supreme Court through our associate advocates. Chartered accountancy rigour meets courtroom advocacy under one roof.

Most CA firms stop at commissioner level; most advocates lack deep tax accounting context. PJRJ bridges both — tribunal work in-house, higher courts through experienced associate advocates.

  • ITAT appeals in-house
  • GSTAT representation
  • High Court writs & appeals
  • Supreme Court SLP coordination
  • Stay of demand applications
  • Transfer pricing disputes
  • GST demand & ITC litigation
  • Settlement & strategy advisory
What we do

Tax Litigation services

Select a service for detailed scope, deliverables, and how we work.

Why PJRJ

Why clients choose our tax litigation desk

1

CA rigour meets advocacy

Tribunal briefs combine accounting evidence with legal argument — not one without the other.

2

Forum-appropriate strategy

We advise when to settle, when to appeal, and which forum offers the best merit.

3

Associate advocate network

High Court and Supreme Court work through empanelled advocates with CA-tax briefing.

4

Linked tax desks

Seamless handoff from Income Tax and GST desks when disputes escalate.

Process

How we work

  1. 1

    Rebuild the fact matrix and legal position from assessment records and tribunal orders

  2. 2

    Identify jurisdictional, limitation, and maintainability issues before filing

  3. 3

    Prepare tribunal briefs combining accounting evidence with legal argument

  4. 4

    Brief associate advocates for constitutional and substantial-question appeals in higher courts

  5. 5

    Track hearing dates, compliance directions, and post-order implementation

Sectors

Industries we serve

  • Companies appealing ITAT or GSTAT orders
  • Groups with transfer pricing disputes
  • Taxpayers facing High Court intervention needs
  • High-value assessees pursuing Supreme Court appeals

Discuss tax litigation with a PJRJ partner

We respond within one business day — share your requirements for a free initial consultation.

Main website

Tax Litigation FAQs

Common questions about our tax litigation services.

What is the limitation for filing an ITAT appeal?

Generally 60 days from the CIT(A) order, extendable for sufficient cause. Contact us immediately on receiving an adverse order.

Do you handle both income tax and GST litigation?

Yes. ITAT and GSTAT matters are led in-house; High Court and Supreme Court work is coordinated through associate advocates.

Can litigation be avoided after a demand?

Sometimes — through rectification, settlement schemes, or negotiated payment. We evaluate the most cost-effective path first.