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Home Case Index All Cases Central Excise Central Excise + AT Central Excise - 2016 (3) TMI AT This

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2016 (3) TMI 483 - AT - Central Excise


Issues Involved:
- Determination of duty liability under different rules for different periods

Analysis:
The case involved a dispute regarding the determination of duty liability for different periods under different rules. The respondent, engaged in manufacturing hot rolled products of non-alloy steel, opted to work under Rule 96ZP(3) of the Central Excise Rules. The Commissioner provisionally determined the annual capacity and fixed duty liability based on this rule. Subsequently, the respondent intimated about changes in production capacity and closure of the mill. The Commissioner then finalized duty liabilities for different years under different rules. The Revenue contended that the duty liability for 1999-2000 was incorrectly determined under Rule 96ZP(1) instead of Rule 96ZP(3) due to the closure of the mill. The Revenue argued that the respondent did not formally opt out of Rule 96ZP(3, and thus, the duty liability should be determined under the same rule. The Tribunal referred to previous Supreme Court judgments, emphasizing that a manufacturer cannot opt out of a scheme twice in the same financial year. The Tribunal agreed with the Revenue's contention, stating that the closure notice did not constitute opting out of Rule 96ZP(3). Additionally, the Tribunal cited relevant legislation to support its decision. Consequently, the Tribunal allowed the Revenue's appeal and modified the order to fix the duty liability for 1999-2000 under Rule 96ZP(3).

This detailed analysis highlights the key aspects of the case, including the initial scheme opted by the respondent, changes in production capacity, closure of the mill, and the legal interpretation of rules governing duty liability determination. The Tribunal's decision was based on legal principles, precedents, and the specific circumstances of the case, ensuring a comprehensive understanding of the judgment.

 

 

 

 

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