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Issues:
- Interpretation of a Notification regarding customs duty on Zinc import - Applicability of the Notification to auxiliary duty and additional duty - Comparison with previous judgments on similar issues - Claim for refund of excess basic customs duty paid Analysis: The judgment involves the interpretation of a Notification related to customs duty on the import of Zinc. The Notification exempts duty of customs over 45%. The main contention in the petitions was whether this exemption applies to auxiliary duty and additional duty as well, in addition to the basic customs duty. The Department argued that the ceiling of 45% only applies to the basic excise duty and not to other duties. This argument was supported by previous judgments, including one by the Kerala High Court and another by the Supreme Court, which affirmed that the circular covers only the basic customs duty. The Calcutta High Court also held a similar view in a separate case. Consequently, the court found that the challenge in the petitions was not sustainable as the circular does not cover auxiliary duty and additional duty. The petitioners also claimed a refund for the excess basic customs duty paid, contending that they had paid more than 45%. The court noted that if the petitioners apply to the Department and it is found that an excess amount was indeed paid, they would be entitled to a refund. However, as this determination depended on a proper assessment by the Department, the court refrained from issuing any directions at that stage. Therefore, the court decided to dismiss both petitions, ruling that no directions could be given until a proper assessment was conducted by the Department based on the petitioners' application. In conclusion, the court discharged the rule in both petitions with no order as to costs, as the main issue regarding the interpretation of the Notification and the applicability of the ceiling of 45% to auxiliary duty and additional duty was settled based on previous judgments and legal principles.
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