Daily Archives: May 8, 2026

Stay of Recovery Proceedings [Section 225] AY 2026-27

By | May 8, 2026

Stay of Recovery Proceedings [Section 225] TRO may grant time for payment; proceedings stayed till expiry of such time. If tax demand is reduced in appeal/other proceedings, recovery of reduced portion shall remain stayed during pendency of further appeals. Once order becomes final, TRO must amend or cancel the certificate accordingly.

Jurisdiction of TRO [Section 223] AY 2026-27

By | May 8, 2026

Jurisdiction of TRO [Section 223] The certificate may be executed by TRO: o where the assessee carries on a business/profession, or o where the assessee resides/has property. If the assessee has property in multiple jurisdictions and recovery is difficult or needs to be expedited, a certificate (or part thereof) can be forwarded to another TRO… Read More »

Certificate by TRO & Recovery Procedure [Section 222, Rule 117B] AY 2026-27

By | May 8, 2026

Certificate by TRO & Recovery Procedure [Section 222, Rule 117B] If the assessee is in default/deemed in default, TRO issues a certificate inForm No. 57stating arrears. Recovery may be done through: o Attachment and sale of movable property o Attachment and sale of immovable property o Arrest and detention in prison o Appointment of receiver… Read More »

Survey under Section 133A AY 2026-27

By | May 8, 2026

Survey under Section 133A Introduction Section 133A empowers income-tax authorities to conduct surveys for collecting information and verifying tax compliance. Surveys are less intrusive than searches and allow inspection of books, marking of documents, recording statements, and verification of cash and stock. Authorities cannot seize assets during a survey, nor can they convert a survey into… Read More »

Requisition under Section 132A – Condensed Version (No Line Spacing) AY 2026-27

By | May 8, 2026

Requisition under Section 132A – Condensed Version (No Line Spacing) Introduction Section 132A empowers income-tax authorities to requisition books of account, documents, or assets from other government authorities. Once delivered, such material is treated as seized under Section 132, and all related search provisions apply to the person to whom the requisitioned assets belong. Assessments are made… Read More »

Application and Release of Assets Seized Under Search AY 2026-27

By | May 8, 2026

Application and Release of Assets Seized Under Search Introduction Section 132B provides the framework for applying assets seized during search to recover existing and future tax liabilities under various Direct Tax Acts. Surplus assets are released to the assessee after adjustment of liabilities. The assessee is entitled to interest at 0.5% per month or part thereof… Read More »

Retention and Provisional Attachment of Assets Seized Under Search AY 2026-27

By | May 8, 2026

Retention and Provisional Attachment of Assets Seized Under Search Introduction Section 132(8) empowers retention of books and documents seized during search until assessment is completed. Section 132(9A) mandates handing over seized material to the Assessing Officer within 60 days. Section 132(9B) provides for provisional attachment of property for six months to safeguard revenue. Section 132(9D) authorises reference to a valuation officer for… Read More »