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2023 (9) TMI 1675 - HC - Customs


ISSUES PRESENTED and CONSIDERED

The primary issue considered in this judgment is whether the Order-in-Original dated 31.01.2022, which confirmed the proposals in the Show Cause Notice dated 26.12.2014, was issued beyond the limitation period prescribed under Section 28(9) of the Customs Act, 1962, as it stood at the time of the issuance of the Show Cause Notice. The secondary issue is whether the delay in adjudication of the Show Cause Notice was justified due to the pendency of related proceedings before the Customs, Excise, and Service Tax Appellate Tribunal (CESTAT).

ISSUE-WISE DETAILED ANALYSIS

1. Limitation Period under Section 28(9) of the Customs Act, 1962

Relevant Legal Framework and Precedents: The legal framework involves Section 28(9) of the Customs Act, which prescribes a limitation period for adjudicating Show Cause Notices. At the time of issuance of the Show Cause Notice on 26.12.2014, Section 28(9) required the proper officer to determine the amount of duty or interest within six months or one year, depending on the case, with the flexibility that this period could be extended if it was not "possible" to adhere to the original timeline. The interpretation of this provision was considered in the Delhi High Court case of Swatch Group India Pvt. Ltd., which emphasized that the flexibility in the timeline should not be equated with departmental lethargy.

Court's Interpretation and Reasoning: The Court noted that the Show Cause Notice dated 26.12.2014 should have been adjudicated within six months as per the provision at that time. The amendment to Section 28(9) that came into force on 29.03.2018, which allowed for an extension of the adjudication period, did not apply retroactively to the Show Cause Notice in question.

Key Evidence and Findings: The Court found that the impugned order did not provide any explanation for the delay in adjudication, nor did it justify why the order was issued while the petitioner's appeal was still pending before the CESTAT.

Application of Law to Facts: The Court applied the pre-amendment version of Section 28(9) to the facts, concluding that the delay in adjudication was not justified under the circumstances presented.

Treatment of Competing Arguments: The respondents argued that the delay was due to the pending appeal before the CESTAT. However, the Court found this explanation insufficient, as the impugned order was issued despite the continued pendency of the appeal.

Conclusions: The Court concluded that the impugned order was issued beyond the permissible limitation period and without adequate justification for the delay.

2. Justification for Delay Due to Pending CESTAT Proceedings

Relevant Legal Framework and Precedents: The justification for delay due to pending proceedings was not explicitly covered by the statutory provisions but was argued by the respondents as a practical necessity.

Court's Interpretation and Reasoning: The Court found that the impugned order lacked any reasoning related to the delay caused by the pending CESTAT proceedings. The Court emphasized that any such justification should have been clearly articulated in the order itself.

Key Evidence and Findings: The Court noted the absence of any mention of the CESTAT proceedings in the impugned order as a reason for the delay.

Application of Law to Facts: The Court determined that the explanation provided in the counter-affidavit was insufficient, as it was not reflected in the impugned order.

Treatment of Competing Arguments: The Court dismissed the respondents' argument regarding the pending CESTAT proceedings, as it was not substantiated within the impugned order.

Conclusions: The Court concluded that the delay was not justifiable based on the reasons provided by the respondents.

SIGNIFICANT HOLDINGS

Preserve Verbatim Quotes of Crucial Legal Reasoning: The Court highlighted the interpretation from the Swatch Group India Pvt. Ltd. case, stating, "The indifference of the concerned officer to complete the adjudication within the time period as mandated, cannot be condoned to the detriment of the assessee."

Core Principles Established: The judgment reinforced the principle that statutory timelines must be adhered to unless a valid and documented reason for delay is provided, and that flexibility in statutory timelines should not be misused as a cover for administrative delays.

Final Determinations on Each Issue: The Court quashed the impugned order and remitted the case back to the third respondent to pass a fresh order on merits, considering the observations made by the Court and the legal principles established in the Swatch Group India Pvt. Ltd. case. The Court ordered that the fresh order be issued within three months, with the petitioner being heard before the order is passed.

 

 

 

 

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