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Issues:
Challenge to delay in filing appeal against Commissioner's order for Central Excise duty; Condonation of delay in filing appeal before Tribunal; Interpretation of Larger Bench judgment on duty liability and recovery under compounded levy scheme. Analysis: The petitioner, engaged in manufacturing iron and steel products, challenged the Customs Tribunal's order dismissing their appeal due to delay in filing against the Commissioner's order for Central Excise duty. The Central Government's notification brought petitioner's products under Central Excise Act, making them liable for duty from September 1997. Despite requesting redetermination of annual capacity, a show cause notice was issued in October 1998 for duty payment based on the Commissioner's order. The petitioner filed an appeal before the Tribunal in January 2003 with a delay of 1634 days, which was dismissed for unsatisfactorily explained delay. The respondents cited a Larger Bench judgment stating duty liability under capacity determination and compounded levy scheme, not bound by general time limits. The petitioner had paid the demanded amount under protest. The High Court found the Tribunal's rejection of delay condonation unsustainable. Since no order was passed post show cause notice, the recovery based on Commissioner's order was challenged through writ petition, which was dismissed with liberty to appeal. The delay in filing appeal was considered sufficiently explained as the recovery certificate was issued based on Tribunal's judgment, not the petitioner's case. The Court set aside the Tribunal's order, allowing the writ petition with no costs, directing the Tribunal to decide the appeal on merits. The Court emphasized the reasonableness of petitioner's inference post show cause notice issuance and the payment made. The judgment highlighted the importance of procedural fairness and the need for a thorough review of the appeal based on legal merits. This detailed analysis of the judgment showcases the complexities involved in challenging administrative decisions, interpreting legal provisions, and seeking redress through the judicial process in matters related to Central Excise duty liabilities and recovery procedures under the compounded levy scheme.
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