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Tax Recovery
& Stay Applications

Stay before AO/CIT(A)/ITAT, instalments, attachment relief — cash-flow first.

Excessive demands and recovery actions can attach bank accounts and impair operations. Under Section 220(6) you may seek stay before the AO pending CIT(A) appeal; Rule 69 covers ITAT stay. We draft stay applications, pursue writ relief where orders are without jurisdiction, and negotiate instalment plans.

Stay Applications

Stay of tax demand

Stay before CIT(A)
Stay before Tribunal
Stay before High Court
Interim relief
Partial stay
Extended stay

Recovery Prevention

Prevent coercive recovery

Bank attachment prevention
Property attachment matters
Garnishee proceedings
Recovery notices
Penalty recovery
Interest disputes

Recovery Disputes

Challenge recovery actions

Invalid recovery
Time-barred demands
Jurisdiction issues
Procedural violations
Double taxation
Wrong computation

Settlement Options

Negotiate and settle disputes

Payment plans
Settlement schemes
Vivad se Vishwas
Sabka Vishwas
Voluntary compliance
Penalty waiver

Why Choose ANYTAX?

Quick stay applications
Prevent recovery actions
Effective negotiation
Minimize financial impact
Strategic approach
Track record of success

Facing Tax Recovery?

Obtain stay and prevent coercive recovery

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