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2017 (2) TMI 1206 - HC - Customs


Issues Involved:
1. Disclosure Statement: Whether the designated authority disclosed essential facts and followed due process.
2. Principles of Natural Justice: Whether the principles of natural justice were adhered to.
3. Statutory Compliance: Compliance with statutory requirements under the Anti-Dumping Rules.
4. Adequacy of Time: Whether sufficient time was provided for responding to the disclosure statement.
5. Reliance on Additional Data: Use of World Trade Atlas (WTA) data in final findings.
6. Pre-determination: Whether the designated authority exhibited pre-determination in the disclosure statement.
7. Maintainability: Maintainability of the petitions in light of available alternative statutory remedies.

Issue-wise Detailed Analysis:

1. Disclosure Statement:
The court examined whether the designated authority disclosed essential facts under Rule 16 of the Anti-Dumping Rules. Essential facts are those that form the basis for the decision on whether to apply definitive measures. The court found that the designated authority failed to disclose several essential facts, such as the basis for determining normal value, export price, and dumping margin, which were necessary for the petitioners to defend their interests. The court held that non-disclosure of these essential facts violated the principles of natural justice.

2. Principles of Natural Justice:
The court observed that the designated authority did not provide the computation of non-injurious price (NIP) and other relevant data to the petitioners, despite this information being based on data provided by the petitioners themselves. The court held that the non-disclosure of such information was in breach of the principles of natural justice, as it deprived the petitioners of an opportunity to effectively respond to the disclosure statement.

3. Statutory Compliance:
The court found that the designated authority did not comply with the statutory requirements under the Anti-Dumping Rules, particularly Annexure II, which mandates consideration of specific factors for determining the threat of material injury. The designated authority incorrectly relied on irrelevant factors such as injury margin and price underselling, which are not relevant for determining the likelihood of injury.

4. Adequacy of Time:
The court held that the six-day period provided by the designated authority for responding to the disclosure statement was insufficient. The court noted that the designated authority took its own time in issuing the disclosure statement and created an artificial urgency, thereby denying the petitioners a reasonable opportunity to defend their interests.

5. Reliance on Additional Data:
The court found that the designated authority relied on data from the World Trade Atlas (WTA) in the final findings, which was not disclosed to the petitioners in the disclosure statement. This reliance on undisclosed data was held to be a violation of the principles of natural justice, as the petitioners had no opportunity to address this information.

6. Pre-determination:
The court observed that the designated authority had already made up its mind regarding the application of definitive measures in the disclosure statement, as evidenced by the conclusions drawn therein. This pre-determination was found to be indicative of bias and a breach of the principles of natural justice.

7. Maintainability:
The court rejected the argument that the petitions were not maintainable due to the availability of an alternative statutory remedy. The court held that the principal challenge was to the disclosure statement, for which no alternative remedy was available. The court further noted that breach of principles of natural justice is an exception to the requirement of exhausting alternative remedies.

Conclusion:
The court quashed the impugned disclosure statements, final findings, and subsequent notifications issued by the Central Government. The proceedings were restored to the file of the designated authority, who was directed to issue fresh disclosure statements in compliance with the relevant statutory provisions and the observations made in the judgment. The designated authority was given sixty days to complete the entire exercise, including the issuance of final findings.

 

 

 

 

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