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2010 (9) TMI 307 - SC - Central ExciseValuation precedent - Revenue s view point on the issue may not be foreclosed merely because some of the orders passed by the Tribunal have not been challenged Held that - revenue can be permitted to take a position different from its earlier stand provided it is able to demonstrated - no such attempt was made before the Tribunal Appeal is dismissed
Issues involved:
1. Valuation of physician's samples on a pro rata basis. 2. Reliance on earlier decisions by the Tribunal. 3. Doctrine of promissory estoppel in tax matters. 4. Finality of Tribunal decisions when not challenged by Revenue. Analysis: Issue 1: Valuation of physician's samples on a pro rata basis The Supreme Court dealt with the issue of valuing physician's samples on a pro rata basis as decided by the Customs, Excise and Service Tax Appellate Tribunal, Mumbai. The Tribunal based its decision on its earlier rulings, which were not challenged by the Revenue. Consequently, the Supreme Court declined to entertain the appeals and dismissed them accordingly. Issue 2: Reliance on earlier decisions by the Tribunal In both cases, the Tribunal relied on its previous decisions to determine the valuation of samples. The Supreme Court noted that since the Tribunal's decisions were not contested by the Revenue, they had attained finality. Therefore, the Supreme Court refused to entertain the appeals based on the principle that the Tribunal's decisions were binding in the absence of any challenge. Issue 3: Doctrine of promissory estoppel in tax matters The senior counsel for the Revenue argued that the Revenue should not be bound by the Tribunal's decisions if there are distinguishing features in the cases. However, the Supreme Court refrained from making any observations on the plea, emphasizing that the Revenue did not attempt to differentiate the cases before the Tribunal, which had relied on its earlier decisions that had become final. Issue 4: Finality of Tribunal decisions when not challenged by Revenue The Supreme Court highlighted the significance of challenging Tribunal decisions by the Revenue. In cases where the Tribunal's decisions have not been challenged and have attained finality, the Supreme Court declined to entertain the appeals, underscoring the importance of contesting adverse decisions at the appropriate legal stages to avoid finality and potential adverse consequences.
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