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2018 (1) TMI 916 - AT - Central Excise


Issues:
- Alleged evasion of central excise duty through clandestine manufacture and clearance of flavoured chewing tobacco
- Clubbing of turnover of units for SSI exemption
- Reliance on uncorroborated statements
- Allegations of dummy units and financial relationships
- Inconsistencies in the appreciation of evidence by the Original Authority

Issue 1: Alleged evasion of central excise duty through clandestine manufacture and clearance of flavoured chewing tobacco

The case involved a dispute where M/s Gopal Corporation Limited was accused of evading central excise duty through clandestine manufacture and clearance of flavoured chewing tobacco. The officers conducted search operations and issued a show cause notice demanding central excise duty and penalties. The Original Authority adjudicated the case, resulting in an order dated 30/09/2015.

Issue 2: Clubbing of turnover of units for SSI exemption

The Original Authority held that M/s Gopal Corporation Limited created front units and availed ineligible SSI exemption, resulting in a confirmed duty liability. Penalties were imposed on the units and individuals involved. The dispute arose regarding the clubbing of clearances for the purpose of SSI exemption, with the appellants arguing that the units were legally recognized entities and not fictitious dummy units.

Issue 3: Reliance on uncorroborated statements

The appellants contended that the show cause proceedings were based on uncorroborated statements from buyers, suppliers, and unit owners. They argued that reliance on such statements without corroborating evidence was improper. The appellants emphasized the need for documentary evidence to support the allegations.

Issue 4: Allegations of dummy units and financial relationships

The Revenue argued that all units, including those dropped from proceedings, were connected and acted as front companies to split up turnover. They claimed that the units were under the control of M/s Gopal Corporation Limited and were involved in coordinated activities to further the profits of the main entity.

Issue 5: Inconsistencies in the appreciation of evidence by the Original Authority

The Appellate Tribunal noted inconsistencies in the Original Authority's findings regarding the status of the units and the reliance on confessional statements. The Tribunal observed contradictions in the evaluation of evidence and the treatment of similar sets of evidence for different units. Consequently, the Tribunal set aside the impugned order and remanded the case for a fresh examination of all evidence and submissions for a consistent and categorical finding.

Conclusion:

The Appellate Tribunal allowed the appeals by way of remand, directing the Original Authority to reexamine the case based on available evidence and submissions. The Tribunal emphasized the need for a consistent and thorough analysis of the facts to arrive at a conclusive decision. The case highlighted the importance of documentary evidence and the proper evaluation of statements in adjudicating matters related to central excise duty evasion and the establishment of dummy units.

 

 

 

 

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