With economic liberalization, the stress is on voluntary compliance with tax laws. Consistent failure on the part of assessees or entities to declare correct income invites penal provisions of the Act as also search and seizure operations. The method of search and seizure for unearthing black money is adopted by the Income Tax Department only in cases where there is sufficient reason to believe that the person concerned would not disclose the true picture of his income in the normal course of filing of return and regular assessment. Section 132 of the Income Tax Act empowers certain income tax authorities to carry out a search and seizure of books of accounts, documents, cash, jewellery, etc. Section 132A empowers certain income tax authorities to requisition books of accounts, documents etc.

Our well experienced staff members can take up your search & seizure case related legalities from start to finish in a very professional manner, and make the whole process as comfortable as a breeze for you. Furthermore, if you have any queries pertaining to the process in general or related to your business in particular, our executives can respond to them proficiently. So what are you waiting for? Just give us a call, or fill up our contact form, and our executives will gladly assist you further.

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