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2003 (7) TMI 505 - AT - Central Excise
Issues:
1. Inclusion or exclusion of notional railway freight charges in the assessable value. 2. Barred by limitation - Duty demand for the period from 1-3-94 to 27-9-96. Issue 1: Inclusion or exclusion of notional railway freight charges in the assessable value: The dispute in the present appeal revolves around whether notional railway freight charges should be included in the assessable value of the appellants' products. The appellants argued that they were showing these charges in their invoices provided to the Revenue but were not paying duty on them, believing they did not form part of the assessable value. The Board and Ministry of Petroleum and Natural Gases issued circulars directing the appellants to pay duty on the assessable value inclusive of such notional railway freight charges. The appellants started paying duty accordingly. Issue 2: Barred by limitation - Duty demand for the period from 1-3-94 to 27-9-96: The appellant's representative contended that the duty demand was time-barred. They received a show cause notice on 18-3-97, adjudicated on 2-9-98, for the period from 1-3-94 to 7-1-97. The Deputy Commissioner, in that notice, observed no suppression by the assessee, limiting the duty confirmation to six months from the notice date. This order was not appealed by the Revenue. Subsequently, another show cause notice was issued on 11-2-99 for the same period and grounds. The Commissioner, in the impugned order, incorrectly stated that the dispute periods were different. However, it was noted that the disputed period in the Commissioner's order was entirely covered by the period in the Deputy Commissioner's order. The Commissioner was criticized for dismissing the appellant's contention without proper verification, leading to the allowance of the stay petition and setting aside of the impugned order with consequential relief to the appellants. This detailed analysis of the judgment provides a comprehensive understanding of the issues involved, the arguments presented, and the ultimate decision rendered by the Appellate Tribunal CESTAT, KOLKATA.
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