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2004 (12) TMI 173 - AT - Central Excise
Issues:
Determining assessable value under Section 4 of the Central Excise Act. Analysis: The appeal filed by M/s. Siddhartha Tubes Ltd. raised the issue of the inclusion of service charges and the cost of sockets in the assessable value of excisable goods manufactured by them. The Appellants procured orders through M.P. Laghu Udyog Nigam Ltd. and paid service charges for this purpose. The Revenue included these charges in the assessable value and demanded duty. The Department also included the cost of sockets, bought from the open market, in the assessable value. The Department relied on a previous decision of the Appellate Tribunal, which held that the cost of sockets and service charges are includible in the assessable value. The Tribunal had also held that the service charges paid to M.P. Laghu Udyog Nigam Ltd. are includible based on previous decisions. The Appellants had filed an appeal in the Supreme Court against this decision, but no stay had been obtained. The Tribunal, considering the previous decision against the Appellants, held that the service charges and the cost of sockets are includible in the assessable value. However, the Tribunal agreed with the Appellants' submission that the price should be treated as cum-duty-price for determining the assessable value. Therefore, the Tribunal ordered the Adjudicating Authority to recomputed the quantum of duty by treating the price as cum-duty-price. The Tribunal also ruled that if the cost of sockets is included in the assessable value, the Appellants are eligible to take Modvat credit of the duty paid on such sockets. The Modvat credit will be available to the Appellants upon the production of duty paying documents to the Adjudicating Authority within six weeks from the receipt of the order. The appeal was disposed of accordingly.
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