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2025 (1) TMI 1377 - AT - Service TaxExtended period of limitation - whether the demand for the period on 1 April 2010 to 30 September 2010 is barred by limitation for not? - HELD THAT - From the provisions of Section 73 the relevant date in the case of the appellant has to be computed calculating one year from the date of issue of show cause notice. The appellant was required to file service tax returns for the period April 2010 to September 2010 by October 25 2010 and for the period October 2010 to March 2011 by April 25 2011 therefore the relevant date for computing the normal period in the case of service tax liability for the period April 2010 to September 2010 is 25.10.2010 and hence the show cause notice was required to be issued by 24.10.2011. The show cause notice dated 17.10.2011 therefore falls within the period of one year and the demand for the period April 2010 to September 2010 therefore falls within the normal period. There are no error in the service tax liability confirmed by the authorities below on the appellant for the period involved. The calculation arrived at by the learned counsel for the appellant in the submissions placed during the course of hearing calculating the demand of Rs. 1, 07, 718/- for the period from 01.04.2010 to 30.09.2010 being barred by limitation is not correct. There are no reason to interfere with the impugned order and hence the appeal is dismissed.
ISSUES PRESENTED and CONSIDERED
The core legal issue in this appeal was whether the demand for service tax for the period from April 1, 2010, to September 30, 2010, was barred by limitation. The appellant contended that the relevant period under the definition of the normal period should be considered as October 1, 2010, to January 31, 2011, while the department maintained that the demand for the period from April 2010 to September 2010 was within the normal period. ISSUE-WISE DETAILED ANALYSIS Relevant Legal Framework and Precedents The legal framework revolves around Section 73 of the Finance Act, 1994, which outlines the recovery of service tax not levied or paid or short-levied or short-paid. Specifically, the definition of the "relevant date" under Section 73(6) is crucial in determining the limitation period for issuing a show cause notice. The relevant date is defined as the date on which the service tax return is filed or the last date on which such a return is to be filed. Court's Interpretation and Reasoning The Tribunal focused on the interpretation of the "relevant date" under Section 73(6) of the Finance Act, 1994. The Tribunal noted that the appellant was required to file service tax returns for the period April 2010 to September 2010 by October 25, 2010. Consequently, the relevant date for computing the normal period for the service tax liability for this period was October 25, 2010. Thus, the show cause notice issued on October 17, 2011, was within the one-year limitation period, as it was required to be issued by October 24, 2011. Key Evidence and Findings The Tribunal found that the appellant's contention regarding the payment of service tax could not be substantiated due to the unavailability of records at the jurisdictional service tax office. As a result, the service tax liability for the period from April 1, 2010, to January 31, 2011, was confirmed along with interest. Application of Law to Facts Applying the provisions of Section 73, the Tribunal calculated the relevant date for the service tax liability and determined that the show cause notice was issued within the permissible period. The Tribunal rejected the appellant's calculation that the demand for the period from April 2010 to September 2010 was barred by limitation. Treatment of Competing Arguments The Tribunal considered the appellant's argument that the normal period should be from October 1, 2010, to January 31, 2011, but found it unpersuasive. The Tribunal upheld the department's position that the relevant date for the period from April 2010 to September 2010 was October 25, 2010, making the show cause notice timely. Conclusions The Tribunal concluded that the service tax demand for the period from April 2010 to September 2010 was not barred by limitation and confirmed the liability along with interest. SIGNIFICANT HOLDINGS Preserve Verbatim Quotes of Crucial Legal Reasoning The Tribunal stated, "The show cause notice dated 17.10.2011, therefore, falls within the period of one year and the demand for the period April 2010 to September 2010, therefore, falls within the normal period." Core Principles Established The judgment reinforced the principle that the computation of the limitation period for issuing a show cause notice under Section 73 of the Finance Act, 1994, is based on the relevant date as defined in the statute, which is linked to the filing of service tax returns. Final Determinations on Each Issue The Tribunal dismissed the appeal, confirming the service tax liability for the period from April 1, 2010, to January 31, 2011, along with interest, as the demand was not barred by limitation.
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