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2000 (5) TMI 550 - AT - Central Excise
Issues Involved:
1. Classification of 'Himtaj Oil' under the Central Excise Tariff Act, 1985. 2. Evaluation of evidence and expert reports regarding the product's classification. 3. Consideration of market perception and common parlance in classification. 4. Relevance of previous judicial decisions and departmental clarifications. Detailed Analysis: 1. Classification of 'Himtaj Oil': The primary issue in this appeal is whether 'Himtaj Oil' should be classified as an Ayurvedic Medicament under sub-heading 3003.30 or as Perfumed Hair Oil under sub-heading 3305.10 of the Central Excise Tariff Act, 1985. The Assistant Commissioner initially classified 'Himtaj Oil' as an Ayurvedic Medicament based on several factors, including the drug license issued by the Directorate of Drug Control, West Bengal, and various expert reports. However, the Commissioner (Appeals) reclassified it as a Perfumed Hair Oil, prompting the present appeal. 2. Evaluation of Evidence and Expert Reports: The Assistant Commissioner relied on multiple pieces of evidence to classify 'Himtaj Oil' as an Ayurvedic Medicament. These included: - A drug license from the Directorate of Drug Control, West Bengal. - A letter from the Superintendent of Ayurvedic Department, Sir Sundarlal Hospital, Banaras, confirming the product as an Ayurvedic medicine. - A study report from the Institute of Post Graduate Education & Research in Ayurved, Calcutta, which found the product to have a pain relief effect in headaches and migraines. - A retesting report from the Chief Chemist, New Delhi, which indicated the presence of natural perfumery and concluded that the product could be considered a medicament. The Commissioner (Appeals) dismissed these findings, arguing that the Chief Chemist's report did not conclusively state the product was a medicament and that the product's primary function was as a perfumed hair oil with secondary therapeutic benefits. The appellate authority also questioned the market survey conducted by the Department, which supported the classification of 'Himtaj Oil' as an Ayurvedic Medicament. 3. Consideration of Market Perception and Common Parlance: The Assistant Commissioner considered the market perception of 'Himtaj Oil' as an Ayurvedic Medicament, supported by a market survey conducted by the Department. This survey indicated that dealers, wholesalers, retailers, and customers treated the product as an Ayurvedic Medicament. The Commissioner (Appeals), however, dismissed this survey, arguing that cosmetic preparations are also sold in medicine shops, thus questioning the survey's validity. 4. Relevance of Previous Judicial Decisions and Departmental Clarifications: The appellants cited several judicial decisions to support their classification of 'Himtaj Oil' as an Ayurvedic Medicament. These included: - The Hon'ble Allahabad High Court's decision in the case of M/s. Balaji Agency v. Commissioner of Sales Tax, U.P., which classified 'Himtaj Oil' as an Ayurvedic product for sales tax purposes. - Tribunal decisions in similar cases, such as M/s. Sharma Chemical Works v. C.C.E., Calcutta-I, where a similar product, 'Ayurvedic Banphool Oil,' was classified as an Ayurvedic Medicament. The appellants also referred to departmental clarifications and circulars, such as C.B.E. & C. Circular No. 196/30/96-CX dated 3-4-1996, which stated that Ayurvedic medicines prepared according to authoritative books and sold under generic names should be classified as Ayurvedic Medicines. Judgment: After considering the submissions and evidence, the appellate tribunal found that the factors and evidence relied upon by the Assistant Commissioner were not factually disputed. The tribunal agreed with the appellants that the issue in the present case was similar to that in the case of Sharma Chemical Works. The tribunal noted that the appellants held a valid drug license, the product's ingredients were listed in authoritative Ayurvedic books, and the Chief Chemist's report supported the classification as a medicament. The tribunal also emphasized the importance of market perception and previous judicial decisions, particularly the Hon'ble Allahabad High Court's ruling. The tribunal concluded that 'Himtaj Oil' should be classified as an Ayurvedic Medicament under heading 3003.30, as originally determined by the Assistant Commissioner. The order of the Commissioner (Appeals) was set aside, and the appeal was allowed with consequential relief to the appellants.
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