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Issues: Jurisdiction of Commissioner of Customs, entitlement to input duty credit before de-bonding, validity of duty demand and penalty imposition.
Jurisdiction of Commissioner of Customs: The appellants, a 100% Export-Oriented Unit (EOU), opted out of the EOU scheme to operate under the EPCG Scheme after fulfilling conditions set by the Development Commissioner. The Central Excise authorities issued a show-cause notice directing the appellants to pay duty equivalent to the credit availed on duty-paid inputs. The case was adjudicated by the Commissioner of Customs, who confirmed the duty demand and imposed a penalty. The appellants contested the jurisdiction of the Commissioner of Customs, claiming a prima facie case on merits. The tribunal noted that the impugned order did not mention any irregular or illegal receipt of duty-paid inputs during the disputed period, treating the appellants as a normal unit eligible for input duty credit. As such, the appellants were granted waiver of pre-deposit and stay of recovery regarding the duty and penalty amounts, indicating a prima facie case in their favor. Entitlement to Input Duty Credit Before De-bonding: The key dispute revolved around whether the appellants were entitled to take input duty credit from the date they were allowed to be de-bonded (2-12-2002) or only after the unit was finally de-bonded (3-12-2003). The appellants argued for credit entitlement from the earlier date, while the SDR contended it should be from the final de-bonding date. The tribunal observed that since the adjudicating authority treated the appellants as a normal unit eligible for input duty credit during the disputed period, the utilization of such credit for duty payment on cleared products could not be faulted. This assessment indicated that the appellants had a prima facie case supporting their entitlement to input duty credit from the earlier date, granting them relief from immediate payment obligations. Validity of Duty Demand and Penalty Imposition: The duty demand and penalty imposed by the Commissioner of Customs were contested by the appellants, leading to the tribunal's review of the case. The tribunal's analysis focused on the absence of evidence indicating irregular or illegal receipt of duty-paid inputs by the appellants during the disputed period. As the adjudicating authority treated the appellants as eligible for input duty credit during that time, the utilization of such credit for duty payment on cleared products was deemed valid. Consequently, the tribunal granted the appellants waiver of pre-deposit and stay of recovery concerning the duty and penalty amounts, recognizing a prima facie case in their favor based on the available information and legal considerations. (Order dictated and pronounced in open Court)
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