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2004 (11) TMI 199 - AT - Customs

Issues:
Valuation of second-hand capital goods imported in related party transaction.

Analysis:
The case involved the import of second-hand capital goods by the appellants from their principals and sought clearance declaring a related party relationship. The original adjudicating authority rejected the transaction value under Rule 8 of Valuation Rules, applying a circular on valuation of second-hand machinery. The appellant challenged this valuation method before the Commissioner (A), who upheld the decision. The appellant argued that the relationship did not influence the price, citing various case laws. The Tribunal noted that valuation of second-hand machinery between related parties is governed by specific rules under Valuation Rules. The appellant failed to provide evidence required by the rules to support their contention that the declared value should be accepted.

The lower authority rejected the declared value, citing reasons such as import from persons other than the manufacturer and lack of manufacturer's invoice. The Tribunal found that attending circumstances of the sale supported the rejection of the declared value. The appellant heavily relied on a previous Tribunal decision and an Apex Court decision, but the Tribunal found that those decisions did not apply to the current case. The Tribunal emphasized that valuation under Rule 8 without considering Rule 4(2) is impermissible.

The Tribunal referred to an Apex Court decision approving the valuation method suggested by the Revenue Department in a circular. Various Tribunal decisions were cited approving the depreciation method for valuing second-hand machinery. The Tribunal highlighted the difficulties in valuing second-hand machinery, especially in related party transactions. Based on these observations, the Tribunal concluded that the lower appellate authority's decision was sound and rejected the appeal.

In conclusion, the Tribunal upheld the rejection of the declared value and the valuation of the second-hand capital goods under Rule 8. The Tribunal emphasized the importance of following the Valuation Rules and considering the specific circumstances of related party transactions in determining the appropriate valuation method.

 

 

 

 

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