Tax Management India. Com
Law and Practice  :  Digital eBook
Research is most exciting & rewarding
  TMI - Tax Management India. Com
Follow us:
  Facebook   Twitter   Linkedin   Telegram

Home Case Index All Cases Customs Customs + HC Customs - 2006 (8) TMI HC This

  • Login
  • Referred In
  • Summary

Forgot password       New User/ Regiser

⇒ Register to get Live Demo



 

2006 (8) TMI 193 - HC - Customs

Issues:
Challenge to order of Settlement Commission rejecting application under Customs Act and Central Excise Act; Prematurity of application; Necessity of personal hearing before Settlement Commission; Compliance with statutory requirements for filing application; Ex parte order by Settlement Commission; Requirement of report from Commissioner of Customs; Application of natural justice principles; Interpretation of statutory provisions regarding time limitation for filing application.

Analysis:
The petitioners challenged the order of the Settlement Commission rejecting their application under the Customs Act and Central Excise Act, contending that the rejection was mainly on the ground of prematurity. The Commission suggested filing fresh applications upon receipt of a Show Cause Notice indicating additional duty levied. The petitioners argued that they were not granted a personal hearing before the Commission, highlighting that one of the petitioners had been detained under COFEPOSA. The Court noted that the statutory provision required a waiting period of 180 days from the date of seizure before filing such applications, as held in a previous Division Bench judgment. The Court emphasized the mandatory nature of these requirements and rejected the argument that the waiting period was unnecessary.

The petitioners further contended that the Commission should have called for a report from the Commissioner of Customs and provided an opportunity for being heard before rejecting the application. While acknowledging the necessity of these steps, the Court clarified that a preliminary scrutiny by the Commission regarding the satisfaction of conditions under the relevant section was reasonable before delving into further procedural requirements. The Court found that the application was indeed premature, even considering the date of the Demand Notice or the seizure of goods, as the mandatory waiting period had not elapsed.

Regarding the ex parte nature of the Commission's order, the Court noted that the Supreme Court had directed a hearing for the detenu in the petitioners' case, but the Commission's order predated this direction and did not cause any prejudice to the applicant. The Court referenced a Supreme Court judgment on the Income-tax Act, emphasizing the importance of following procedural requirements and principles of natural justice. The Court reiterated that the waiting period was essential for the completion of investigations and determination of duty evasion.

The Court also discussed a previous judgment of the Settlement Commission, emphasizing the need to approach the Commission after 180 days from seizure, which was not followed in the present case. Citing binding precedent from a Division Bench judgment, the Court upheld the statutory requirements and rejected the petition. In conclusion, the Court dismissed the petition, emphasizing the clear and unambiguous nature of the statutory provisions and the importance of complying with the prescribed waiting period before seeking settlement through the Commission.

 

 

 

 

Quick Updates:Latest Updates