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2019 (9) TMI 703 - AT - Central Excise


Issues Involved:
1. Delay in adjudication and its impact on the appellant's defense.
2. Clubbing of clearances of different entities and denial of SSI exemption.
3. Invocation of the extended period of limitation.
4. Reliance on statements without cross-examination.
5. Allegations of clandestine removal based on discrepancies in bank statements and RG-1 register.

Detailed Analysis:

1. Delay in Adjudication and Its Impact on the Appellant's Defense:
The appellant argued that the long lapse of time (13-14 years) impeded their capacity to defend the case as they had to reconstruct their files. They relied on the Gujarat High Court decision in Siddhi Vinayak Syntex Pvt. Ltd., which held that such delays cause unjust prejudice to the assessee and vitiate the adjudication process. The Tribunal acknowledged this argument, noting that the delay and failure to conduct cross-examination severely compromised the appellant's defense.

2. Clubbing of Clearances of Different Entities and Denial of SSI Exemption:
The appellant contended that earlier proceedings involving the same parties had concluded in their favor, establishing that M/s Bakul Chemicals Pvt. Ltd., M/s Pocono Chemicals, and M/s Shonar Enterprise were distinct entities. They pointed out that the same Commissioner had previously held these entities as distinct but contradicted himself in the current proceedings. The Tribunal found merit in this argument, noting that the Revenue had previously examined the status of these entities and determined them to be separate, thus invalidating the current attempt to club their clearances.

3. Invocation of the Extended Period of Limitation:
The appellant argued that the extended period of limitation was inapplicable since the issue of commonness between the entities had been previously examined and resolved in their favor. The Tribunal agreed, stating that the Revenue was already aware of the status of the entities, making the invocation of the extended period of limitation without merit.

4. Reliance on Statements Without Cross-Examination:
The Tribunal noted that the Revenue failed to produce Shri J.P. Shah for cross-examination despite specific directions in the remand order. Additionally, other statements relied upon by the Revenue were recorded in 1988/1989 and were not examined or cross-examined as required under section 9D of the Central Excise Act. Consequently, the Tribunal held that no reliance could be placed on these statements.

5. Allegations of Clandestine Removal Based on Discrepancies in Bank Statements and RG-1 Register:
The Tribunal found that the allegations of clandestine removal were based solely on discrepancies between bank statements and the RG-1 register, without any corroborative evidence such as buyer records or transport details. Citing previous decisions, the Tribunal held that such discrepancies alone were insufficient to substantiate claims of clandestine removal.

Conclusion:
The Tribunal allowed the appeal, emphasizing that the long delay, failure to conduct cross-examination, and lack of corroborative evidence severely compromised the appellant's defense. The invocation of the extended period of limitation was deemed without merit, and the attempt to club clearances of distinct entities was invalidated. The appeal was consequently allowed, and the adjudication proceedings were quashed.

 

 

 

 

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