Income Tax Litigation
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Scrutiny Assessment Defence (143(2)/143(3))

Selected for scrutiny? We defend the assessment so it closes with no addition.

Validity check of the 143(2) notice
AIS/26AS reconciliation
Point-wise reply to the 142(1) questionnaire
Documentary paper trail & submissions
Indicative fee
From ₹50,000
Final quote after a confidential case review
⏱ Point-wise replies through the faceless assessment window
💬 Book a confidential case review

🔒 Confidential · CA-led · Represented before CIT(A)/ITAT

Validity check of the 143(2) notice
AIS/26AS reconciliation
Point-wise reply to the 142(1) questionnaire
Documentary paper trail & submissions
Faceless (NFAC) representation
⚡ Quick answer

Scrutiny Assessment Defence (143(2)/143(3)) — Selected for scrutiny? We defend the assessment so it closes with no addition. A Section 143(2) notice puts your return under detailed scrutiny under the faceless system. High-value returns — capital gains, business income, large deductions, cash or...

Indicative engagement · CA-handled end-to-end · EaseValue Advisors LLP, Jaipur

About this service

A Section 143(2) notice puts your return under detailed scrutiny under the faceless system. High-value returns — capital gains, business income, large deductions, cash or high-value transactions — are examined closely. We build a documented, point-wise defence with the goal of a clean Section 143(3) order.

What's included

  • Validity check of the 143(2) notice
  • AIS/26AS reconciliation
  • Point-wise reply to the 142(1) questionnaire
  • Documentary paper trail & submissions
  • Faceless (NFAC) representation
  • Appeal readiness if additions are proposed

How it works

1

Confidential case review

We handle everything — you just share documents on WhatsApp or email.

2

Notice validity & issue mapping

We handle everything — you just share documents on WhatsApp or email.

3

Document compilation & reconciliation

We handle everything — you just share documents on WhatsApp or email.

4

Drafting & filing submissions

We handle everything — you just share documents on WhatsApp or email.

5

Representation to 143(3) order

We handle everything — you just share documents on WhatsApp or email.

Why clients trust us here

  • Experienced tax and compliance advisory firm
  • Faceless assessment specialists
  • Handles HNI capital-gains & business scrutiny
  • Clean, appeal-ready record on every matter

Every engagement starts with a confidential case review. We assess the merits, timelines and risk honestly before you commit — and give you a clear, fixed fee proposal.

Frequently asked questions

Does a scrutiny notice mean I did something wrong?
No — it means the return was selected for verification. A well-documented reply usually closes it with no addition.
Is the assessment faceless?
Yes; we respond through the e-Proceedings portal and represent you before the NFAC.
What does it cost?
Scrutiny defence is priced by complexity; engagements typically begin at ₹50,000, confirmed after a case review.
Ask a question

Not sure Scrutiny Assessment Defence (143(2)/143(3)) is what you need?

Describe your situation and we will tell you what actually applies — including if the answer is that you do not need us. No cost for the first reply. We work with clients across timezones, so you do not need to call India.

We reply by email. Your details are not shared with anyone.

Talk to a Chartered Accountant, in confidence.

Share your notice or documents. We'll review the merits and give you a clear plan and fee.

💬 Book a case review 📞 Call 63677 44602
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