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1997 (1) TMI 327 - AT - Central Excise

Issues: Classification of tool bit blanks for excise duty

Analysis:
The appeal was against the order of the Collector of Central Excise (Appeals), Bombay, regarding the classification of tool bit blanks for excise duty. The appellants imported High Speed Steel Bars, cut and heat-treated them to create tool bits for manufacturing cutting tools. The issue was whether these tool bit blanks were excisable under Tariff Item No. 68 or fell under Tariff Item No. 51A(iii) attracting excise duty.

The appellants argued that the processes of cutting, grinding, heat treatment, and cleaning did not amount to manufacture as they did not result in a new product. They contended that the tool bit blanks were essentially iron rods cut to different lengths and should not be classified as excisable goods.

The Collector (Appeals) mistakenly focused on the classification of tool tip blanks instead of tool bit blanks, leading to an incorrect decision. The Maharashtra Sales Tax Tribunal's judgment in a similar case emphasized that the processes involved did not transform the material into a new product, as heat treatment only hardened the material without changing its fundamental nature.

The learned Counsel cited various judgments to support the contention that the appellants' product should not be considered excisable. However, the learned DR argued that the processes involved in creating the tool bit blanks were integral to the manufacture of hand tools and cutting tools, distinguishing them from mere bars in trade parlance.

The Tribunal analyzed industry definitions of tool bits and tool bit blanks to differentiate between the two. It concluded that the appellants' product, being tool bit blanks, did not undergo a manufacturing process that resulted in a distinct product with a different character, name, and use. Therefore, the product was not excisable, and the appeal was accepted, setting aside the previous orders.

In summary, the judgment clarified the classification of tool bit blanks for excise duty, emphasizing the distinction between tool bits and tool bit blanks based on industry definitions and previous legal precedents. The decision hinged on whether the processes involved in creating the tool bit blanks amounted to manufacturing, ultimately determining their excisability.

 

 

 

 

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