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2025 (3) TMI 794 - HC - Customs


ISSUES PRESENTED and CONSIDERED

The core legal issues considered by the Court were:

  • Whether the non-adjudication of the Show Cause Notice (SCN) issued on 02.05.2005 for nearly two decades constituted a valid ground for setting aside the notice.
  • The legality and validity of the DEPB license cancellation letter dated 07.08.2019, which was issued without affording the petitioner an opportunity for a hearing.
  • Whether the issuance of the DEPB Scrip cancellation letters, without prior adjudication of the SCN, violated principles of natural justice.
  • Whether the petitioner had an alternative remedy, and if so, whether it precluded the Court from entertaining the writ petition.

ISSUE-WISE DETAILED ANALYSIS

Non-adjudication of the SCN

- Relevant legal framework and precedents: The Foreign Trade (Development & Regulation) Act, 1992, and relevant case law, particularly M/s VOS Technologies India Pvt. Ltd. Vs. The Principal Additional Director General & Anr., which emphasized the necessity of timely adjudication of matters with potential financial liabilities or penal consequences.

- Court's interpretation and reasoning: The Court noted that the SCN had not been adjudicated for nearly two decades, which was an unreasonable delay. The Court referenced the precedent set in M/s VOS Technologies, highlighting that such delays could not be justified and that authorities are obligated to resolve disputes with reasonable speed.

- Key evidence and findings: The Court found that the respondents had no convincing explanation for the delay in adjudicating the SCN, and no particulars of any restraining orders were provided.

- Application of law to facts: The Court applied the principles from the cited case to conclude that the non-adjudication of the SCN for such an extended period was a valid ground to set it aside.

- Treatment of competing arguments: The respondents' argument regarding the availability of an appellate remedy was found untenable, as the delay constituted a gross violation of natural justice principles.

- Conclusions: The Court concluded that the SCN should be set aside due to the unreasonable delay in adjudication.

Legality of the DEPB License Cancellation

- Relevant legal framework and precedents: The principles of natural justice and the requirement for a fair hearing before adverse administrative actions.

- Court's interpretation and reasoning: The Court found that the cancellation order dated 07.08.2019 was issued without providing the petitioner an opportunity for a hearing, which violated the principles of natural justice.

- Key evidence and findings: The Deputy Director General of Foreign Trade admitted in court that no hearing was afforded to the petitioner before the cancellation order was passed.

- Application of law to facts: The Court applied the principles of natural justice to determine that the cancellation order was invalid as it was issued without a hearing.

- Treatment of competing arguments: The respondents' failure to provide a hearing was seen as a significant procedural lapse, rendering the cancellation invalid.

- Conclusions: The Court set aside the DEPB license cancellation letter due to the lack of a fair hearing.

Issuance of DEPB Scrip Cancellation Letters

- Relevant legal framework and precedents: The requirement for adjudication of underlying issues before taking consequential actions.

- Court's interpretation and reasoning: The Court found that the issuance of the DEPB Scrip cancellation letters was premature, as the underlying SCN had not been adjudicated.

- Key evidence and findings: The cancellation letters were based on conclusions drawn from the unadjudicated SCN.

- Application of law to facts: The Court determined that the issuance of cancellation letters without prior adjudication was procedurally flawed.

- Treatment of competing arguments: The respondents' argument that the petitioner had alternative remedies was rejected in light of the procedural irregularities.

- Conclusions: The Court set aside the DEPB Scrip cancellation letters due to the lack of adjudication of the SCN.

SIGNIFICANT HOLDINGS

- The Court held that the non-adjudication of the SCN for nearly two decades was a valid ground for setting it aside. The Court emphasized that matters with potential financial liabilities or penal consequences must be resolved with due expedition.

- The Court found that the cancellation of the DEPB licenses without affording the petitioner a hearing violated principles of natural justice, rendering the cancellation invalid.

- The issuance of DEPB Scrip cancellation letters without adjudicating the SCN was procedurally flawed, leading to their invalidation.

- The Court affirmed that, despite the availability of alternative remedies, gross violations of natural justice and procedural irregularities justified the exercise of its writ jurisdiction.

- The Court set aside the impugned SCN, the DEPB license cancellation letter, and the DEPB Scrip cancellation letters, allowing the petition.

 

 

 

 

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