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Head II · Representation

Notices, litigation & refunds

A notice has a date on it, and the clock is already running. Send it to us and within a business day you have a written read of where you stand, then a reply built to close the matter, not to buy time.

01

Show-cause notice (SCN) replies

We draft the DRC-06 line by line, preliminary objections, a point-by-point rebuttal, reconciliations the officer can verify, indexed evidence, and a request for personal hearing, filed before your 30-day window closes.

For, anyone holding a DRC-01 or SCN

Read the guide: How to reply to a GST notice →
02

Direct & indirect tax litigation

GST and income-tax matters argued with a clear theory of the case, from drafting the grounds to appearing before the authority, with a written file maintained at every stage.

For, businesses with positions worth contesting

03

GST refunds, exports & inverted duty

Eligibility, computation, RFD-01 with annexures, and deficiency memos (RFD-03) handled fast so the clock does not reset on you, with interest tracked where refunds run past the statutory period.

For, exporters & inverted-duty businesses

Read the guide: GST refunds for exporters →
04

ASMT-10 & audit defence

Scrutiny notices and departmental audits (ADT-01) met with clean reconciliations the officer can verify rather than assume, so a routine audit stays routine.

For, businesses picked for scrutiny or audit

Read the guide: GST departmental audit →
05

DGGI & summons representation

We prepare you for summons and investigation, attend with you, and protect your position through statement recording. You are never in the room alone.

For, businesses facing DGGI or summons

06

Appeals & GSTAT strategy

From the first appeal to the new GST Appellate Tribunal, grounds drafted, precedents marshalled, and bank-attachment challenges (Sec. 83) moved fast to free your cash flow.

For, adverse orders worth contesting

Tell us what you are dealing with.
Send us the notice →

Not sure which head you need?

Describe the situation in two lines, we will point you to the right desk within one business day.

Frequently asked questions.

I have received a DRC-01 or SCN, how fast must I act?
The statutory reply window is short, often 30 days. The first 48 hours decide more than people think: do not fire off an ad-hoc reply. Send it to us for a written read; the first assessment usually goes back the same business day.
What is the pre-deposit if we appeal?
A percentage of the disputed tax at each level, 10% at first appeal, a further 10% to reach the GSTAT, subject to statutory caps. We compute the exact figure for your matter before you commit a rupee.
Do you appear before DGGI and departmental audit teams?
Yes. Summons handling, recorded statements, and written submissions, senior-led, with a clean paper trail maintained throughout, because in this forum the record is the defence.
Is there still time for old orders under the GSTAT window?
Yes, the window for pre-April 2026 orders was extended to 31 July 2026 by Government circular. Our full GSTAT guide covers who qualifies and the filing steps.