Description
Taxmann How to Deal with GST Show Cause Notices with Pleadings 5th Edition 2025 by A Jatin Christopher
This book is a comprehensive, practice-focused guide that explains and simplifies handling GST show cause notices (SCNs) at every stage—from receipt of notice to drafting replies, pursuing remedies at adjudication, appeals, revision, and the GST Appellate Tribunal. It presents the latest provisions, procedural steps, practical insights, and enlarged illustrative pleadings needed to navigate the complexities of GST litigation. It begins by laying down fundamental concepts such as 'due process,' ‘principles of natural justice,' and the 'burden of proof' before discussing each type of notice under relevant GST sections. The author carefully dissects statutory requirements, jurisdictional issues, and practical strategies for replying to SCNs, preparing defences, and arguing appeals—all reinforced with detailed examples and precedent-based discussions.
This book is intended for the following audience:
Tax Professionals & Practitioners – Chartered Accountants, Lawyers, and Cost Accountants looking for robust legal arguments, reply drafting techniques, and procedural clarity
Corporate Tax Teams & CFOs – In-house professionals seeking to understand and mitigate the risks of GST notices, prepare for departmental audits, and reduce litigation
GST Officers & Departmental Personnel – Useful as a reference to appreciate taxpayer defences, interpret relevant statutory provisions, and adopt a balanced approach
Academics & Students – Those aiming for an in-depth understanding of GST dispute resolution and a systematic approach to litigation procedures
The Present Publication is the 5th Edition | 2025, amended by the Finance Act 2025. It is authored by CA. A Jatin Christopher with the following noteworthy features:
[Latest Amendments] Incorporates changes introduced by the Finance Act 2025, including new Section 74A on fresh demands and clarifications on penalty and interest
[Wide Range of Notices Covered] From registration-related cancellations under Sections 25 & 29 to best judgment under Section 63, demands under Sections 73 & 74, system-generated notices, e-Way bill violations, penalties, and confiscations
[Step-by-Step Procedures] Meticulous guidance on how to draft replies, gather evidence, present arguments, and address each procedural layer—adjudication, appeals, revision, and matters before the GST Appellate Tribunal
[Enlarged Illustrative Pleadings] Practical examples and templates that clarify how to draft effective responses, articulate grounds of appeal, and structure pleadings with precision
[Practical Insights & Jurisprudence] Elaborations on concepts like the burden of proof, cross-examination, ex parte orders, personal hearing requirements, and doctrine of merger, ensuring a well-rounded legal strategy
[Readable & User-friendly] Structured chapters, lucid style, and checklists help readers quickly find relevant guidance for specific notice scenarios
[Expert Authorship] CA. Jatin Christopher is a Chartered Accountant, Cost Accountant, and Law Graduate with deep experience in indirect taxes—specifically Central and State tax legislation. His extensive background in advisory and litigation, as well as his engagements as a resource person with ICAI and government bodies, brings credibility and practical relevance to the book
[Practical Emphasis] The book highlights the interplay of data analytics in GSTN-based notices and cautions readers against furnishing unnecessary information prematurely. It stresses the importance of drafting robust, legally sound replies and leveraging statutory safeguards
The coverage of the book is as follows:
Notices & Grounds
Detailed sections dedicated to notices under Sections 25, 29, 63, 73, 74, new 74A, 76, e-Way bill notices, and refund-related notices
Penalty & Confiscation
Extensive coverage of penalty provisions, notices for confiscation, and the correct approach to respond to or contest them
Replies & Pleadings
Clear instructions on replying to notices; examples showcasing short vs elaborate replies, evidence presentation, cross-examination demands, and arguments for both accept-and-discharge or dispute-and-litigate scenarios
Adjudication & Beyond
Stepwise explanation of adjudication procedure under Section 75, subsequent appeals before the First Appellate Authority, revisionary proceedings by Commissioners, and the role of the soon-to-be-operational GST Appellate Tribunal
Model Drafts & Formats
Chapters on actual templates for replies, departmental engagement, and drafting an appeal memo—complete with references, grounds, statements of facts, condonation of delay petitions, etc.
Legal Principles & Strategies
Dedicated chapter on 'Applicable Jurisprudence' explaining how to invoke judicial precedents, interpret beneficial vs. strict provisions, handle contradictory allegations, and challenge notices that do not stand legal scrutiny
The structure of the book is as follows:
Division One – Notices Under GST
Chapters 1 to 24 comprehensively dissect each category of notice under GST law, including the legislative background, procedural steps, statutory ingredients, and best practices in replying. The key topics include:
Notice Basics & Jurisdictional Aspects
System-Generated Notices & e-Way Bill Infractions
Show Cause Notices for Short Payment, Non-Payment, or Wrong Refund
Penalties, Confiscations, and Adjudication Processes
Appeal Mechanisms, Revisionary Proceedings, and the GST Appellate Tribunal
Each chapter focuses on core procedures, relevant sections, and important do's and don'ts, enriched with case law references and practical commentary
Division Two – Pleadings in GST
Chapters 25 to 27 contain a plethora of draft replies, sample pleadings, and illustrative scenarios. They guide readers on how to meticulously draft a reply or an appeal, with attention to detail such as framing facts-in-issue, legal grounds, and prayers
This dual-division arrangement ensures that readers first grasp the theoretical and procedural framework (Division One) and then learn how to apply it in practice (Division Two)