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2006 (7) TMI 85 - AT - CustomsWarehoused goods Appellant demanded for refund of excess payment of interest to warehouse authority Authority after considering all the detail decided that appellant is entitle for refund
Issues:
1. Date from which interest liability commences. 2. Requirement to establish unjust enrichment for refund of excess interest paid. 3. Rejection of Chartered Accountant's Certificate by the Commissioner (Appeals). 4. Prayer for interest on delayed payment of interest. Issue 1: Date from which interest liability commences: The dispute revolves around the date from which the interest liability starts accruing regarding goods warehoused under the Customs Act. The appellants argue that interest commences from the date of physical warehousing at a specific location, while the Revenue contends that interest starts from the date of permission or order for warehousing given by the Assistant Commissioner. Various legal precedents and interpretations are cited, including the Sanjoy Chandrani case and the Kirloskar Pneumatic Co. Ltd. case. The Tribunal concludes that interest liability begins only from the actual physical warehousing date and not from the permission date under Section 60 of the Customs Act. Issue 2: Requirement to establish unjust enrichment for refund of excess interest paid: The appellants sought a refund of excess interest paid under Sections 47 and 61 of the Customs Act. The competent authority required the appellants to prove that the excess interest was not passed on to buyers to avoid unjust enrichment. The Commissioner (Appeals) upheld this requirement, leading to a challenge before the Tribunal. The appellants presented evidence, including a Chartered Accountant's Certificate and an affidavit, demonstrating that the burden of excess interest was not transferred to customers. The Tribunal found the evidence compelling and ruled in favor of the appellants. Issue 3: Rejection of Chartered Accountant's Certificate by the Commissioner (Appeals): The Commissioner (Appeals) rejected the Chartered Accountant's Certificate provided by the appellants, claiming insufficient evidence to support the claim of non-transfer of excess interest burden. However, the Tribunal disagreed with this assessment, noting that the Certificate clearly outlined that the excess interest amount was not passed on to customers. The Tribunal found the evidence credible and crucial in establishing the appellants' case against unjust enrichment. Issue 4: Prayer for interest on delayed payment of interest: The appellants requested interest on delayed payment of interest based on a Supreme Court decision. The Tribunal considered the circumstances, including the evidence presented and the legal precedent cited, and granted the appeals with consequential relief as permitted by law. The Tribunal's decision was based on the thorough examination of the evidence and legal arguments presented during the proceedings. This detailed analysis covers the key issues addressed in the legal judgment, providing a comprehensive overview of the arguments, evidence, and decisions made by the Tribunal regarding each issue involved in the case.
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