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Home Case Index All Cases Central Excise Central Excise + AT Central Excise - 1997 (9) TMI AT This

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1997 (9) TMI 327 - AT - Central Excise

Issues:
Grant of Modvat credit on endorsed invoice under Rule 57G.

Analysis:
The appeal concerned the grant of Modvat credit on inputs received under an invoice endorsed in favor of the respondents. The JDR for the department argued that the endorsed invoice was not a valid document for Modvat credit under Rule 57G and that the lower authority erred in allowing the credit. He contended that Rule 57G requirements are mandatory, and thus, Modvat credit could not be granted as per law. On the other hand, the Consultant for the respondents argued that the goods were initially sold by one company to another, then to the respondents. He claimed that the original packing was sent to the respondents, and the invoices were endorsed in their name by the intermediary company. Referring to a previous tribunal order, the Consultant argued that the issue was covered in favor of the assessee, emphasizing that the real sale was executed by the intermediary company.

The tribunal considered the arguments and noted the confusion after the transition from Gate Pass to Invoice regimen post-April 1994. Various instructions were issued to relax documentation requirements during this period. Notably, Gate Passes endorsed before April 1994 were considered valid for Modvat credit until June 1994. The tribunal held that the same principle applied to invoices endorsed before the switchover date. In this case, the goods were manufactured on a job work basis by one company and sold to the respondents through an intermediary. The tribunal found no evidence to dispute the process. Therefore, the tribunal concluded that the respondents were entitled to Modvat credit, subject to verification that only one set of invoices was issued by the intermediary companies.

Based on the observations and analysis, the tribunal dismissed the Revenue's appeal, affirming the grant of Modvat credit to the respondents.

 

 

 

 

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