GST Assessment — Assessed. Replied. Resolved.
Best judgement assessment (Section 62), provisional assessment (Section 60), or unregistered person assessment (Section 63) — we file pending returns within the statutory window to vacate orders, contest incorrect assessments, and represent you at every stage.
Contact UsGST assessment proceedings arise in three main scenarios under the CGST Act. A provisional assessment under Section 60 is taxpayer-initiated — where the registered person cannot determine the applicable tax rate or transaction value and applies to the officer for a provisional assessment. The officer issues a provisional order and the taxpayer pays at the provisional rate, with final determination made within 6 months. The taxpayer also provides a surety bond for the difference.
A best judgement assessment under Section 62 is officer-initiated — where a registered person fails to file their return even after a notice under Section 46. The officer estimates the liability from available data (e-way bills, banking transactions, TDS information) and issues an ASMT-13 order. The critical remedy is that if the actual returns are filed within 30 days of the ASMT-13 order and all tax, interest, and late fees are paid, the assessment order is deemed withdrawn automatically under Section 62(2). Missing this 30-day window requires a formal appeal.
An assessment of unregistered persons under Section 63 is made where a person liable to register has not done so and has made taxable supplies. The officer determines the liability for the non-registration period based on available evidence. Each assessment type requires a specific and timely response — the 30-day window for Section 62 being particularly time-critical. We assess the type of proceedings, deploy the correct response immediately, and represent you throughout to minimise the assessment outcome.
Our GST Assessment Services
Best Judgement Assessment — Section 62
Immediate filing of all pending GST returns within the 30-day window after ASMT-13 to trigger automatic withdrawal of the best judgement assessment under Section 62(2).
Provisional Assessment — Section 60
Filing of Form GST ASMT-01 for provisional assessment where the correct rate or value is uncertain — with bond documentation and surety for the provisional tax period.
Section 63 Assessment Representation
Representation before the assessing officer in unregistered-person assessment proceedings — disputing the tax base, assessment period, and rate applied.
ASMT-13 Order Review & Analysis
Detailed review of the best judgement assessment order — identifying the data sources used by the officer, the assessment period, and the contested tax quantum.
Return Filing to Vacate Section 62
Compilation and filing of all pending GSTR-1 and GSTR-3B returns in correct sequence — with tax, interest, and late fees — within the 30-day ASMT-13 window.
Assessment Contestation Where Returns Can't Be Filed
Where the 30-day window is missed, preparation of an appeal against the ASMT-13 order before the Commissioner (Appeals) under Section 107.
Interest & Penalty Mitigation
Computation of the interest liability under Section 50 and penalty under Section 122 arising from the assessment, with advisory on available mitigation steps.
Post-Assessment Compliance Setup
After the assessment is resolved, setting up forward GST compliance to prevent recurrence — return filing calendar, payment schedule, and return health monitoring.
Our Process
Assessment Type & Urgency Assessment
The type of assessment — Section 60, 62, or 63 — is identified and the time-critical actions (particularly the 30-day Section 62 return window) are prioritised immediately.
Return Filing / ASMT-01 Application
For Section 62: all pending returns are compiled and filed within 30 days. For Section 60: ASMT-01 is filed with bond documentation.
Assessment Order Contestation
For Section 62 or 63 orders that cannot be remedied by return filing, detailed submissions are prepared for the assessing officer or Commissioner (Appeals).
Representation & Resolution
Representation at the assessment stage and follow-up to the final resolution — whether ASMT-13 withdrawal, final provisional assessment order, or appeal decision.
Forward Compliance Setup
Once the assessment is resolved, a forward compliance calendar is set up to prevent future assessment exposure.
Why It Matters
Frequently Asked Questions
Received a GST assessment order under Section 60, 62, or 63?
We file pending returns within the 30-day window to vacate Section 62 orders, contest assessment computations, and represent you through every stage — minimising tax, interest, and penalty.