Home Case Index All Cases Customs Customs + AT Customs - 2005 (12) TMI AT This
Issues:
1. Whether the appeals are required to be rejected or allowed as per the differing opinions of the Members of the Bench. 2. Clarity on the points of difference required for reference to a third Member under Section 129C(5) of the Customs Act. Analysis: 1. The case involved appeals challenging an order passed by the Commissioner of Customs, Kandla, which led to differing opinions among the Members of the Tribunal at Mumbai. The Member (Technical) suggested rejecting the appeals, while the Vice-President recommended allowing them. This disagreement prompted a reference to the Hon'ble President for referral to a third Member to resolve the issue. The applicants sought clarity on the points of difference between the Members, citing the necessity to specify these points for a fair hearing before the third Member (Para 1-2). 2. The applicants argued that under Section 129C(5) of the Customs Act, only the specific point or points of difference should be referred to a third Member, not the entire case. They backed their stance with legal precedents emphasizing the importance of clear articulation of differences for effective resolution. The Revenue, however, contended that the points of difference were adequately clear, citing previous tribunal orders supporting their position (Para 3-6). 3. The Tribunal analyzed the case law cited by the applicants, highlighting key judgments such as those from the Allahabad High Court and the Patna High Court. These cases underscored the significance of formulating specific points of difference before referring a matter to a third Member for resolution. The Tribunal differentiated the present case from these precedents, noting that clear findings were already recorded on each issue in dispute, making the points of difference evident and requiring the third Member to align with either the Member (Technical) or the Vice-President (Para 7-8). 4. After thorough consideration, the Tribunal concluded that the application filed by the applicants lacked merit, leading to its rejection. Conversely, the Revenue's application seeking rejection of the applicants' plea was allowed. The decision was based on the clear articulation of differences on the issues at hand, ensuring a focused resolution by the third Member in accordance with the existing findings (Para 9).
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