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Practical Guide to Emerging Areas in GST with Draft Replies to Show Cause Notices by All India Federation of Tax Practitioners and A Jatin Christopher – Edition 2026

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Practical Guide to Emerging Areas in GST with Draft Replies to Show Cause Notices by All India Federation of Tax Practitioners and A Jatin Christopher – Edition 2026

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Description

Practical Guide to Emerging Areas in GST with Draft Replies to Show Cause Notices is one of the most strategic, litigation-ready, and conceptually advanced GST publications. It is not a routine commentary on the Act. Instead, it identifies the precise areas where GST disputes are intensifying nationwide, in audits, scrutiny, investigations, and adjudications. It provides a principled, evidence-backed, draft-ready framework to defend taxpayers. The book is organised in two integrated parts:

  • Part I decodes the law through first principles, case law, inter-statute comparison, and administrative law doctrines. It explains not only what the law is, but why certain departmental approaches are erroneous or ultra vires
  • Part II operationalises these principles by meticulously drafting replies to the very SCNs that taxpayers are currently receiving, making this the first book to bridge high-level legal analysis with practical drafting templates.

The result is a publication that redefines how GST disputes are understood and handled, equipping readers to respond with clarity, authority, and procedural precision.

This book is intended for the following audience:

  • GST & Indirect Tax Practitioners – Professionals who advise, represent, or defend clients in audits, investigations, adjudications, and appeals, including those appearing before GSTAT
  • Corporate Tax, Finance & Compliance Leaders – CFOs, tax heads, controllers, and compliance teams dealing with complex valuation, ITC, cross-charge, contract interpretation, and credit distribution issues
  • Litigators & Dispute-resolution Specialists – Advocates needing a statute-backed, case-law-supported, and ready-to-adapt drafting resource
  • GST Officers & Administrators – Officers (Central and State) seeking doctrinal clarity on jurisdiction, proper officer roles, audit vs investigation boundaries, confiscation prerequisites, and due-process limitations
  • Scholars & Advanced Students of Taxation – Researchers studying GST’s structural architecture, interplay with allied laws, and modern principles of tax administration

The Present Publication is the Latest Edition, commissioned by the All-India Federation of Tax Practitioners (AIFTP) and published exclusively by Taxmann. It is authored by CA. A Jatin Christopher and edited by CA. Janak Vaghani, with the following noteworthy features:

  • [Advanced Treatment of GST’s Most Litigated Areas] The book identifies and analyses the ‘pressure-point issues’ that consistently appear in SCNs, audit objections, and adjudication orders. These include:
    • Deemed supplies and free-issue material
    • Discounts & pricing structures
    • Cross-charge vs ISD (post-2025 amendments)
    • Corporate guarantees (post Rule 28(2))
    • ESOPs & cross-border employee cost allocations
    • Section 194R perquisites & barter structures
    • Non-genuine suppliers & ‘fake ITC’ disputes
    • Section 16(4) time-barred credits
    • Confiscation vs seizure, interest computation, and jurisdictional lapses
    • The author provides not only the statutory interpretation but also the logical, contractual, and evidentiary framework that determines the GST consequence
  • [Most Complete Exposition of Departmental Powers & Limitations] It thoroughly explains:
    • What scrutiny can and cannot examine
    • How audit differs from investigation
    • Why Section 67 powers cannot be used for routine verification
    • What constitutes ‘reasons to believe’
    • How the jurisdiction of the ‘Proper Officer’ is established
    • Why linear comparisons (GSTR-1 vs 3B; 2A/2B vs 3B; EWB vs 3B) are jurisprudentially unsound
    • How to challenge invalid authorisations, defective SCNs, incorrect service, and overreach
    • Each chapter functions as a practical defence manual for disputes
  • [Draft Replies that Practitioners can Deploy Immediately] Every reply is:
    • Richly reasoned
    • Statutorily anchored
    • Supported by CBIC circulars, instructions, and press releases
    • Aligned with evidence, law and administrative law doctrines
    • Structured exactly as adjudicating authorities expect replies to be structured
    • Templates cover 15+ scenarios, including mismatches, ITC objections, e-way bill disputes, late fee/penalty, interest-only demands, RCM alleged short payments, ‘other income’ disputes, SPL-1 to SPL-4 amnesty replies, and non-genuine supplier allegations
  • [Litigation Strategy Woven into Every Chapter] The book explains to the reader:
    • When not to reveal facts prematurely
    • How ‘without prejudice’ is misused and how to avoid self-damage
    • How to shift the burden of proof back to the department
    • Why SCN defects are fatal and cannot be cured in adjudication (Section 75(7))
    • How to prepare strategically for Tribunal, keeping in mind the limitations, interest cost, and probability analysis
    • Why remand, revision, and enhancement require strict statutory compliance
  • [Robust Case-law Integration] Includes an extensive catalogue of landmark decisions such as:
    • Govind Saran, Oryx Fisheries, Nazir Ahmad, Brindavan Beverages, Binapani, Menaka Gandhi, Mafatlal, Ramlal, KM Cheria Abdulla, Gannon Dunkerley, Bhayana Builders, NM Goel, etc.
    • These are embedded in reasoning and drafting

The coverage of the book is as follows:

  • Part I – Essential Aspects of GST Law | A doctrinal, example-rich, litigation-oriented analysis covering:
    • Contractual Architecture of GST Liability
      • Why GST disputes must begin by reading the commercial contract; how to detect sham contracts; interaction with RERA, NHAI, Stamp Act, Legal Metrology rules, and accounting disclosures
    • Classification of Supplies, Fiction & Non-fiction
      • Clarifies misunderstood concepts of ‘deemed supply’, ‘deeming fiction’, ‘distinct persons’, and the limits of Schedule I
    • Valuation Challenges – Discounts, FIM, Guarantees, ESOPs
      • Each area is analysed with illustrations, court precedents, and statutory logic, resolving common misconceptions that lead to flawed SCNs
    • Powers of the State vs. Rights of the Taxpayer
      • A tour of Sections 59, 61, 62, 63, 65, 67, 69, meticulously explaining their boundaries, preconditions, procedural safeguards, and consequences of breach
    • Interest, Confiscation, Remand & Revision
      • Demystifies interest computation under Rule 88B, establishes the ‘seizure → custody → confiscation’ chain, clarifies when remand is appropriate, and warns against revision being misused as a second adjudication
    • GSTAT Procedures & Future of GST Litigation
      • A deep review of the new GSTAT Procedure Rules 2025, hybrid hearings, registry powers, filing defects, and how litigation strategy must evolve
    • Death of the Taxpayer
      • A sophisticated discussion on abatement of proceedings when a taxpayer (individual or company via merger) ‘dies,’ and the limits of recovery from legal heirs or successors
  • Part II – Draft Replies to Emerging Issues | A complete ready-to-use drafting suite covering:
    • GSTR-1 vs 3B
    • GSTR-2A vs 3B
    • GSTR-2B vs 3B
    • GSTR-7 (TDS) mismatches
    • Section 16(4) denial of ITC
    • Fake ITC/non-genuine supplier allegations
    • Free-of-cost supplies, expenditure-based supply allegations
    • E-way bill mismatches
    • RCM disputes
    • Interest-only demands
    • Late fee & general penalty
    • Mandatory CGST-SGST issues (Section 77)
    • SPL-1, SPL-2, SPL-3, SPL-4 replies under Amnesty Scheme
    • Each draft contains robust statutory argumentation, procedural objections, and a legally sound ‘Relief Sought’ section

The structure of the book is intentionally problem-solution oriented:

  • Problem – What kinds of SCNs are being issued?
  • Principles – Which legal doctrines apply (contract law, evidence law, administrative law, allied laws)?
  • Process – Which statutory procedures must Revenue follow, and where is overreach occurring?
  • Protection – Which rights, safeguards and jurisprudential tools does the taxpayer have?
  • Practice – A ready-to-deploy reply draft structured as per real adjudication expectations

Additional information

BINDING

PAPERBACK

AUTHOR

A JATIN CHRISTOPHER, AIFTP

EDITION

2026

ISBN

9789375618492

PUBLICATION

TAXMANN PUBLICATIONS

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