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2007 (4) TMI 130 - AT - Central Excise


Issues:
1. Whether the learned Commissioner (Appeals) should have exonerated the respondent from duty-demand, interest payable, and penalty.
2. Whether the procedural lapse on the part of the assessee should disentitle the respondent to the due relief.

Analysis:
1. The judgment revolves around the issue of whether the learned Commissioner (Appeals) was correct in exonerating the respondent from duty-demand, interest payable, and penalty when the rate of duty was in question. The JDR argued that a lenient view should not have been taken, leading to the appeal to set aside the impugned Order. Conversely, the respondent's counsel contended that the learned Commissioner (Appeals) had made a reasoned decision based on the absence of any rate of duty in question and the consignment of goods through a merchant exporter. The counsel emphasized the procedural lapse in the initial stage, which was rectified in subsequent consignments. The Tribunal noted the smallness of the amount involved and the lenient consideration due to the infancy stage of the law, ultimately upholding the learned Commissioner (Appeals) decision to exonerate the respondent.

2. The second issue addressed in the judgment pertains to whether the procedural lapse on the part of the assessee should disentitle the respondent to the due relief. The Tribunal emphasized that the learned Commissioner (Appeals) had focused on the procedural lapse rather than the nature of the goods or any differential duty chargeable. The Tribunal concluded that the procedural lapse did not warrant disentitling the respondent from the relief, given the subsequent compliance with due process of law. As a result, the Revenue's appeal was deemed devoid of merit and not entitled to be allowed, affirming the decision of the learned Commissioner (Appeals).

In conclusion, the judgment highlights the Tribunal's consideration of procedural lapses, the infancy stage of the law, and the subsequent compliance with due process of law in exonerating the respondent from duty-demand, interest payable, and penalty. The decision underscores the importance of procedural rectification and the lenient view taken due to the specific circumstances of the case.

 

 

 

 

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