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 Central Excise Central Excise + AT Central Excise - 2024 (12) TMI AT This

  • Login
  • Cases Cited
  • Summary

Forgot password       New User/ Regiser

⇒ Register to get Live Demo



 

2024 (12) TMI 1133 - AT - Central Excise


Issues Involved:

1. Suppression of manufacturing details and availing of MODVAT/CENVAT Credit.
2. Revenue neutrality and its implications.
3. Legality of availing MODVAT/CENVAT Credit on exempted products.
4. Invocation of extended period for duty assessment.
5. Interest liability on wrongly availed MODVAT/CENVAT Credit.

Issue-wise Detailed Analysis:

1. Suppression of Manufacturing Details and Availing of MODVAT/CENVAT Credit:

The primary issue in this case was the appellant's failure to disclose the manufacturing of refined edible oil, which attracted a "Nil" rate of duty, while availing CENVAT Credit on inputs and capital goods. The appellant only registered for by-products, which were dutiable, and paid excise duty on these by-products. The respondent contended that the appellant suppressed manufacturing details and availed CENVAT Credit erroneously, as all products, including by-products, were exempt from duty. The Tribunal noted that the appellant corrected its registration upon advice and declared edible vegetable oil as the main product, aligning with the Union Budget 1997-1998 requirements.

2. Revenue Neutrality and Its Implications:

The appellant argued that the entire exercise was revenue neutral, as the total duty paid exceeded the credit availed. The Tribunal referenced several Supreme Court decisions, including Narayan Polyplast and Narmada Chematur Pharmaceuticals Ltd., which held that if duty on exempted goods is paid, the benefit of MODVAT Credit cannot be denied due to revenue neutrality. The Tribunal emphasized that the appellant paid more than Rs. 11 lakhs in addition to the CENVAT Credit availed, indicating a revenue-neutral situation.

3. Legality of Availing MODVAT/CENVAT Credit on Exempted Products:

The Tribunal examined whether the appellant was entitled to MODVAT/CENVAT Credit when all end products were exempt from duty. The Commissioner initially concluded that the appellant was not entitled to credit, as separate records for exempted and dutiable products were not maintained. However, the Tribunal clarified that separate records are only required when at least one product is dutiable. Since all products were exempt, the appellant was not obligated to maintain separate records, and the credit availed was deemed permissible under the principle of revenue neutrality.

4. Invocation of Extended Period for Duty Assessment:

The Commissioner invoked an extended period for duty assessment, citing suppression of material facts by the appellant. However, the Tribunal found that the appellant had filed periodic intimations under Rule 173B of the Central Excise Rules, 1944, since November 1997, after starting manufacturing in March 1997. The Tribunal concluded that the extended period was unjustified, as the appellant's actions did not warrant such invocation, and any irregularity in registration could have been addressed through prosecution rather than extended duty assessment.

5. Interest Liability on Wrongly Availed MODVAT/CENVAT Credit:

The Tribunal addressed the issue of interest liability on wrongly availed MODVAT/CENVAT Credit. It noted that interest is payable from the date credit is wrongly taken or utilized. However, subsequent legislative amendments clarified that interest is only applicable when the credit is utilized, not merely noted in the ledger. The Tribunal determined that since the appellant paid differential duty on the final product, no interest liability accrued to the Revenue, maintaining the revenue-neutral position.

Conclusion:

The Tribunal allowed the appeals, setting aside the Commissioner's order and granting consequential relief to the appellant. It emphasized that the appellant's actions resulted in a revenue-neutral situation, negating any liability for duty, interest, or penalties.

 

 

 

 

Quick Updates:Latest Updates