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Home Case Index All Cases Central Excise Central Excise + AT Central Excise - 2024 (12) TMI AT This

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2024 (12) TMI 1134 - AT - Central Excise


Issues:
1. Liability to pay interest under Section 11AA of the Central Excise Act, 1994 when not proposed in show cause notice or adjudication order.

Analysis:
The appellant, engaged in manufacturing sugar confectionery, challenged an Order-in-Appeal rejecting their appeal and confirming a demand for Central Excise duty without proposing interest under Section 11AA in the show cause notice or Order-in-Original. The subsequent refund claim was partially allowed, deducting penalties and interest from the refund amount. The appellant contested the interest deduction, leading to appeals and judicial proceedings.

The main issue revolved around the legality of charging interest under Section 11AA when not mentioned in the show cause notice or the Order-in-Original. The Tribunal analyzed the statutory provision inserted w.e.f. 26.5.1995, emphasizing that recovery without a legal basis is impermissible. The Tribunal highlighted a case law precedent from the Hon'ble Madhya Pradesh High Court cited by the appellant, criticizing the Adjudicating Authority's dismissal of its applicability based on the court's jurisdiction.

Furthermore, a co-ordinate Bench precedent was cited, asserting that interest cannot be demanded if not specified in the show cause notice or Order-in-Original. The Tribunal concurred with this stance, emphasizing that interest cannot be charged without proper authorization. Consequently, the impugned order was set aside, and the appeal was allowed, granting any consequential relief as per law.

In conclusion, the Tribunal ruled in favor of the appellant, emphasizing the necessity of a legal basis for charging interest under Section 11AA and disallowing recovery without explicit mention in the relevant documents. The judgment highlighted the importance of adherence to legal provisions and precedents in tax matters, ensuring fair treatment and due process for taxpayers.

 

 

 

 

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