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ITA 1961 → DTC 2025Investigation

Section 132A Section 147

Power to requisition books of account, etc.

RetainedMedium - Essential for multi-agency financial crime investigations.

Quick Answer

Section 132A of the Income Tax Act, 1961 (Power to requisition books of account, etc.) corresponds to Section 147 of the Direct Tax Code 2025 (Income-tax Act, 2025), effective 1st April 2026. Status: Retained.

Old Law (ITA 1961)Ch: XIII

Sec 132A

Provision Summary

Allows the tax department to take over (requisition) assets or books that have already been seized by another government agency (like CBI, ED, or local police).

New Law (DTC 2025)Ch: XII

Sec 147

Provision Summary

Retained. Inter-agency coordination is now facilitated via the National Intelligence Grid (NATGRID).

Key Changes & Highlights

  • Seamless digital transfer protocols established for requisitioning digital assets from other law enforcement bodies.

Related Sections

Frequently Asked Questions

What does Section 132A of the Income Tax Act 1961 deal with?

Section 132A (Power to requisition books of account, etc.) Allows the tax department to take over (requisition) assets or books that have already been seized by another government agency (like CBI, ED, or local police).

What is the new section number for Section 132A under the Direct Tax Code 2025?

Section 132A of the ITA 1961 maps to Section 147 of the Direct Tax Code 2025 (Income-tax Act, 2025), effective from 1st April 2026.

What is the status of Section 132A under the new tax code?

Section 132A is marked as "Retained" with status "Active". Impact: Medium - Essential for multi-agency financial crime investigations.

What are the key changes to Section 132A under DTC 2025?

Seamless digital transfer protocols established for requisitioning digital assets from other law enforcement bodies.

Disclaimer: This page is for educational and reference purposes only. Section mappings are based on publicly available drafts and circulars. Always consult a qualified Chartered Accountant before filing or making compliance decisions under the Direct Tax Code 2025.

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