Home Case Index All Cases Customs Customs + AT Customs - 1984 (5) TMI AT This
Issues:
1. Interpretation of Customs notification for concessional assessment of imported machinery. 2. Classification of accessories with the main machine for duty purposes. 3. Application of Accessories (Condition) Rules 1963. 4. Requirement of producing catalog and operating manual for imported machinery. Issue 1: Interpretation of Customs notification for concessional assessment: The case involved a Revision Application against an order-in-appeal regarding the concessional assessment of imported Plastic Cable Insulating Line under Customs notifications. The Assistant Collector held that the goods constituted a Complete Cable Manufacturing unit, not just an Extruder, thus limiting the concessional rate to the Extruder only. The Appellate Collector upheld this decision, emphasizing the specific wording of the notification and the lack of evidence provided by the importers to justify a different assessment. Issue 2: Classification of accessories with the main machine: The appellants argued that the accessories were essential components of the Plastic Extruder and should be assessed together at the concessional rate. They contended that the Extruder and accessories formed a composite whole, supported by invoices and expert opinions. The Tribunal noted that the most expensive part was the Extruder, and after considering various factors, including import licensing decisions and the Accessories (Condition) Rules 1963, concluded that the accessories should be classified with the main machine for duty purposes. Issue 3: Application of Accessories (Condition) Rules 1963: The appellants sought the application of the Accessories (Condition) Rules 1963, which allow for concessional treatment of accessories when imported with an article at the same rate if compulsorily supplied. The Tribunal acknowledged the relevance of these rules and found evidence of compulsory supply and no separate charge for the accessories, supporting the appellants' argument for concessional assessment. Issue 4: Requirement of producing catalog and operating manual: The Tribunal expressed surprise at the appellants' failure to produce the catalog or operating manual for the imported machinery. However, they considered other evidence provided, such as photographs and technical descriptions, which supported the appellants' claim that the accessories were integral to the functioning of the Extruder. Despite the absence of certain documentation, the Tribunal found sufficient grounds to grant the appeal and provide consequential relief to the appellants. In conclusion, the Tribunal set aside the order-in-appeal and allowed the appeal, ruling in favor of the appellants regarding the concessional assessment of the imported machinery and its accessories.
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