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Combo: GST Refund & How to Handle GST Notices Scrutiny, Assessment Adjudication & Appeals : Edition : 2026
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Combo: GST Refund & How to Handle GST Notices Scrutiny, Assessment Adjudication & Appeals : Edition : 2026

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Book Details

AuthorRakesh Garg & Sandeep Garg
PublisherCommercial Law Publishers (India) Pvt Ltd
Edition2026
LanguageEnglish
BindingPaperback
CategoryTAXATION LAW
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This edition of Commercial’s GST Refund – A Practical Guide (6th Edition, 2026), authored by Rakesh Garg (LL.B., CA) and updated as per the amendments introduced by the Finance Act, 2026, serves as a comprehensive and practice-oriented resource for understanding GST refund provisions in India. The book provides in-depth commentary across 30 chapters, offering clarity on complex refund mechanisms and procedural requirements, making it an essential guide for professionals, students, and practitioners dealing with GST compliance and litigation.

The book delivers a structured and detailed approach to refund-related provisions, including step-by-step guidance for claiming various types of refunds, along with analysis of relevant rules, forms, and circulars. It also includes critical insights, practical suggestions, and discussion of key issues faced in refund processing, ensuring real-world applicability and ease of understanding.

The content spans the full scope of GST refund law and procedures, including: • Types of GST refunds and eligibility criteria • Step-by-step procedures for filing refund applications • Documentation and compliance requirements • Refund provisions under CGST, SGST, and IGST • Export refunds and zero-rated supplies • Refund of accumulated Input Tax Credit (ITC) • Relevant rules, forms, and circulars governing refunds • Common challenges, practical issues, and solutions • Critical analysis and expert suggestions for effective compliance

This edition is particularly suitable for: • Tax professionals and GST practitioners handling refund claims • Chartered accountants, consultants, and advisors • Legal professionals dealing with indirect tax matters • Exporters and businesses seeking refund optimization • Students pursuing CA, CS, CMA, and other professional courses

Whether used for professional reference or practical implementation, this updated guide offers a clear, detailed, and authoritative understanding of GST refund provisions as applicable in 2026.

This edition of Commercial’s How to Handle GST – Notices, Scrutiny, Assessment, Adjudication & Appeals (4th Edition, April 2026), authored by Rakesh Garg (LL.B., CA) and Sandeep Garg (CMA, FCA), and updated as per the Finance Act, 2026, provides a comprehensive and practical framework for dealing with GST litigation and departmental proceedings. The book focuses on procedural aspects and legal strategies required to effectively respond to notices and manage disputes under GST law.

It offers extensive legal discussion supported by numerous judicial decisions, along with practical guidance on handling notices, replying to departmental queries, and navigating scrutiny and assessment proceedings. The book is designed to simplify complex legal processes and provide actionable insights for professionals engaged in GST litigation and compliance.

The content spans key procedural and litigation aspects under GST, including: • Types of GST notices and their implications • Drafting and filing replies to notices • Scrutiny of returns and departmental procedures • Assessment and adjudication processes • Appeals before appellate authorities • Legal analysis supported by judicial precedents • Practical aspects of representation and compliance

This edition is particularly suitable for: • Tax practitioners and litigation specialists • Chartered accountants, cost accountants, and consultants • Advocates and legal professionals handling GST disputes • Corporate tax and compliance teams • Students specializing in indirect taxation and GST law

Whether used for litigation support, advisory services, or academic study, this book serves as a reliable and up-to-date guide to handling GST notices and proceedings effectively under the current legal framework of 2026

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