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Home Case Index All Cases Central Excise Central Excise + AT Central Excise - 2005 (4) TMI AT This

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2005 (4) TMI 366 - AT - Central Excise

Issues involved: Availability of Modvat credit when finished products are cleared without payment of duty under Chapter X procedure.

Analysis:

1. Issue of Modvat credit availability: The appeal questioned the availability of Modvat credit on duty paid inputs when finished products are cleared without duty payment under Chapter X procedure. The Appellants initially reversed Modvat credit upon clearing explosives without duty payment but stopped doing so after a Tribunal decision. The Appellants cited a High Court ruling to support Modvat credit availability, while the Respondent argued that credit is not available for exempted goods, relying on a Tribunal decision. The Larger Bench's stance was that credit is not available for inputs used in exempted final products.

2. Rule 57C applicability: Rule 57C of the Central Excise Rules states that Modvat credit is not available if the final product is exempt from duty payment. The Appellants cleared explosives without duty under an exemption notification, making Rule 57C applicable, as observed in the Kirloskar Oil Engine Ltd. case. The Larger Bench reiterated this in the Orissa Extrusion Ltd. case, emphasizing that lack of knowledge at the time of taking credit does not prevent Rule 57C application. The decision in the Alpha Drugs case was deemed inapplicable as it involved goods cleared without duty under a different scenario.

3. Penalty imposition: Despite the denial of Modvat credit due to full duty exemption on explosives, the Appellants were excused from penalty imposition. The Tribunal considered their reliance on the Premier Tyres case and the fact that the Larger Bench's decision came after the period in question. Consequently, the penalty imposed on the Appellants was set aside, and the appeal was disposed of accordingly.

In conclusion, the judgment clarified the inapplicability of Modvat credit for goods fully exempt from duty payment, emphasizing the significance of Rule 57C. The decision highlighted the relevance of Tribunal and High Court precedents in determining credit eligibility and penalty imposition based on the specific circumstances of each case.

 

 

 

 

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