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    <title>Retention of seized cash ends when the searched person&#039;s assessment closes, requiring release after tax adjustment.</title>
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    <description>Retention of seized cash under Section 132B cannot continue after completion of the searched person&#039;s assessment where no demand remains against that person. Subsequent reassessment proceedings against a non-searched assessee, without a warrant of authorisation, do not permit continued withholding of cash accepted as belonging to that assessee. The cash must be released after adjustment against the assessee&#039;s tax liability. Interest calculated on the amount must remain in an interest-bearing deposit pending determination of entitlement to interest by a Larger Bench. Pending disposal of the appeal, retention beyond tax adjustment was prohibited.</description>
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    <pubDate>Wed, 02 Sep 2026 08:30:15 +0530</pubDate>
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      <title>Retention of seized cash ends when the searched person&#039;s assessment closes, requiring release after tax adjustment.</title>
      <link>https://www.taxtmi.com/highlights?id=103332</link>
      <description>Retention of seized cash under Section 132B cannot continue after completion of the searched person&#039;s assessment where no demand remains against that person. Subsequent reassessment proceedings against a non-searched assessee, without a warrant of authorisation, do not permit continued withholding of cash accepted as belonging to that assessee. The cash must be released after adjustment against the assessee&#039;s tax liability. Interest calculated on the amount must remain in an interest-bearing deposit pending determination of entitlement to interest by a Larger Bench. Pending disposal of the appeal, retention beyond tax adjustment was prohibited.</description>
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