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2000 (2) TMI 132 - AT - Central Excise
The dispute was about the classification of the product Vital-Z. The Commissioner classified it under sub-heading 1702.29, but the revenue argued for classification under Heading 2107.91. The composition of Vital-Z was analyzed, and it was found similar to other products classified under Chapter 17. The appeal was dismissed, upholding the Commissioner's classification. (Case: Appellate Tribunal CEGAT, Mumbai, 2000 (2) TMI 132)
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