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Issues:
Detention of imported goods without formal notice of seizure under Section 110 of the Customs Act; Jurisdictional validity of detention; Compliance with summonses under Section 108 of the Act; Failure to appear before authorities for investigation; Proper impleadment of Union of India in the writ petition. Analysis: The petitioner, engaged in export-import business, imported decorative articles from Italy, which were detained by Customs Authorities upon arrival at the port of Calcutta. The detention was without assigning any reason or issuing a formal notice of seizure under Section 110 of the Customs Act. Despite submitting relevant documents and attending summonses under Section 108 of the Act, the goods were not released for over six months, leading to the writ petition seeking a mandamus for release without further delay. The petitioner argued that the detention was illegal as no notice was issued under Section 124 within the prescribed time under Section 110(2) of the Act. Citing Supreme Court judgments, the petitioner contended that the transacted value of the goods should not be rejected based solely on catalogue prices, especially when genuine documents were submitted. The petitioner sought release of the goods on payment of duty. On the other hand, the respondent raised objections regarding the proper impleadment of Union of India in the petition and the petitioner's failure to appear before the authorities despite summonses for investigation, leading to delays. The respondent argued that compliance with summonses was necessary and the petitioner's actions were delaying the investigation process. After considering the arguments, the Court found no merit in the petitioner's contentions. The Court noted that summonses were issued under Section 108 for the petitioner's attendance before the Directorate of Revenue Intelligence, which the petitioner failed to comply with. The Court held that issuing letters after the summonses did not absolve the petitioner from non-compliance, emphasizing the importance of adhering to summonses as directed by law. Consequently, the writ petition was dismissed, and no costs were awarded to either party. The judgment highlights the significance of procedural compliance in customs matters, emphasizing the legal obligations of parties involved in importation processes. Proper adherence to statutory requirements, including responding to summonses and complying with investigative procedures, is crucial to avoid delays and legal complications in customs-related cases.
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