§ 246
Chapter XIV — Tax Administration
Power regarding discovery, production of evidence, etc
Income-tax Act, 2025
The income tax authorities have the power to gather evidence, similar to a court, for income tax purposes. This includes discovering and inspecting documents, enforcing attendance, and compelling production of books and documents.
- Authorities with these powers include the Assessing Officer, Commissioner, and other notified officials.
📜 Official text of the section +
246. (1) The Assessing Officer, Joint Commissioner, Joint Commissioner
(Appeals), Commissioner (Appeals), Commissioner or Principal Commissioner,
or Chief Commissioner or Principal Chief Commissioner and the Dispute Resolution
Panel referred to in section 275(17)(a), shall, for the purposes of this Act, have the
same powers as are vested in a court under the Code of Civil Procedure, 1908 (5 of
1908), when trying a suit in respect of the following matters:––
( a) discovery and inspection;
( b) enforcing the attendance of any person, including any officer of a banking
company and examining him on oath;
( c) compelling the production of books of account and other documents;
and
( d) issuing commissions.
(2) The powers conferred under sub-section (1) may also be exercised in respect of
any person or class of persons by the following income-tax authorities (even when
there are no proceedings pending with respect to such person or class of persons
before them or any other income-tax authority):––
( a) any income-tax authority (not below the rank of Assistant Commissioner
of Income-tax) notified by the Board in this behalf, for the purposes of
making any inquiry or investigation in respect of an agreement referred
to in section 159;
( b) the Principal Director General or Director General or Principal Director
or Director or Joint Director or Assistant Director for the purposes of
making any inquiry or investigation in relation to any concealment of
income, if he has the reason to suspect that any income has been so con-
cealed, or is likely to be so concealed by such person or class of persons
within his jurisdiction; and
( c) the authorised officer referred to in section 247(1), before taking
action under section 247(1)(i) to (vii), or during the course of such action,
if he has reason to suspect that any income has been concealed, or is likely
to be concealed by such person or class of persons within his jurisdiction.
(3) Any income-tax authority exercising the powers referred to in sub-sections (1)
and (2) may, subject to the rules made in this behalf, impound and retain in its
custody for such period as it thinks fit any books of account or other documents63
produced before it in any proceeding under this Act.
(4) The Assessing Officer or the Assistant Director shall record the reasons for
impounding any books of account or other documents under sub-section (3) and
may retain such impounded books of account or other documents up to fifteen
days (exclusive of holidays), or for such further period, with the prior sanction of
the approving authority.
Search and seizure.
Plain-language summary — not the official text. Refer to the bare Act and confirm with a professional for your specific case.