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Printed Books |
Book Language |
English |
Faculty Name |
Kinjal Bhuta |
Package Details |
2nd Edition (2026). Faceless Assessment Appeals & Penalty – Law | Procedure | Practical Guide is a practitioner's reference on India's faceless tax regime as amended by the Finance Act 2026, covering faceless assessments, faceless appeals before the JCIT(A) and CIT(A), faceless penalty proceedings and the allied e-schemes alongside them. Its defining feature is the parallel handling of the Income-tax Act 1961 and the Income-tax Act 2025, with comparative tables mapping every section, rule and form across both statutes during the transitional period. The book layers black-letter exposition with the internal CBDT SOPs of every faceless unit decoded question-by-question, an original survey of 25 senior practitioners on seven years of faceless practice, and fifteen worked case scenarios with full specimen submissions on recurring scrutiny and re-assessment issues. A two-chapter drafting curriculum, a digest of sixteen procedural infirmities and a framework on the responsible use of generative AI in legal drafting complete the analytical apparatus. Authored by Adv. Kinjal Bhuta with a Foreword by Sr. Adv. Arvind P. Datar, the book is structured in two interlocking blocks of four chapters and five source-document appendices—designed as a self-contained desk reference for the craft of written advocacy in an era where the personal hearing has effectively disappeared. Paperback Book. |
Item Code |
9789375619109 |
Exams |
PROFESSIONAL BOOKS |
Delivery |
Home Delivery within 7-10 days from the date of Payment Confirmation. |
Brand |
Taxmann |
Faceless Assessment Appeals & Penalty (Law, Procedure, Practical Guide) - Book By Taxmann
Edition : 2nd (2026)
Faceless Assessment Appeals & Penalty – Law | Procedure | Practical Guide is a practitioner's reference on India's faceless tax regime as it stands after the Finance Act 2026. It treats the three pillars of departmental adjudication—faceless assessments, faceless first appeals (CIT(A) and JCIT(A)) and faceless penalty proceedings—together with the allied e-schemes (verification, valuation, jurisdiction, escaping assessment, advance rulings, rectification, dispute resolution) that now sit alongside them.
The defining feature of this Edition is its parallel handling of the Income-tax Act 1961 and the Income-tax Act 2025 during the transitional period: every section, rule, form and procedural reference is mapped to its counterpart in the other statute (section 144B ↔ section 273; section 270A ↔ section 439; section 245MA ↔ section 379; section 273A ↔ section 469; section 273B ↔ section 470; section 250 ↔ section 359; section 263 ↔ section 377; Rule 46A ↔ Rule 192; Form 35 ↔ Form 99) so the reader can argue under either Act without losing their footing.
The book combines black-letter exposition with three layers of practitioner-facing material:
The writing places deliberate emphasis on the craft of written advocacy, on the footing that the disappearance of the personal hearing has made the quality of the written submission almost the only thing that remains in the practitioner's control.
This book is intended for the following audience:
The Present Publication is the 2nd Edition | 2026, amended by the Finance Act 2026. This book is authored by Adv. Kinjal Bhuta, with the following noteworthy features:
The coverage of the book is as follows:
The book is built in two interlocking blocks of four chapters each, followed by five appendices.
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