Home Case Index All Cases Central Excise Central Excise + AT Central Excise - 1999 (3) TMI AT This
Forgot password New User/ Regiser ⇒ Register to get Live Demo
1999 (3) TMI 186 - AT - Central Excise
Issues:
Assessable value declaration for sales to different dealers, justification for lower price to specific buyer, applicability of Section 11AC penalty, differentiation between wholesale dealers and industrial consumers, legality of different prices for different classes of buyers, quantity justification for lower price, allegation of fictitious transaction, duty demand, penalty imposition. Assessable Value Declaration: The appellant declared an assessable value for soap sales to different dealers, with a lower value for a specific buyer, Marico Industries. The department proposed an enhancement based on different dealer locations. The appellant cited Section 4 of the Act allowing different prices for the same goods at different places, emphasizing that the price was the sole consideration for the sale to Marico. The Commissioner found the appellant's response inadequate, confirmed the duty demand, imposed a penalty under Section 11AC, and demanded interest. Differentiation Between Buyers: The appellant argued that Marico Industries was not a wholesale dealer but an industrial consumer, justifying the lower price based on the different class of buyer. The Departmental Representative supported the Commissioner's reasoning. The Tribunal recognized the legality of different prices for different classes of buyers under Section 4(1)(a) and noted that commercial considerations could vary for buyers in different classes. Quantity Justification for Lower Price: The significant quantity supplied to Marico Industries, exceeding wholesale dealer purchases by a substantial margin, was considered a valid justification for the lower price. The Tribunal referred to a previous case to support this reasoning, highlighting the substantial savings the appellant would have made due to the bulk supply. Allegation of Fictitious Transaction: The Commissioner's finding that the transaction was fictitious and dubious lacked evidential support. The Tribunal noted that there was no allegation in the show cause notice that the goods were not actually sold to Marico Industries at the claimed price, leading to the conclusion that duty was not demanded, and hence, penalty imposition was unwarranted. Conclusion: The Tribunal allowed the appeal, setting aside the impugned order and providing consequential relief if necessary. The judgment emphasized the legality of different prices for different classes of buyers, the justification for lower pricing based on quantity differences, and the importance of evidence in establishing allegations of fictitious transactions before imposing penalties.
|