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2005 (7) TMI 433 - AT - Central Excise

Issues involved: Appeal against the order granting refund but rejecting interest under Section 11BB; Contention on recovery of erroneous refund; Ethics of payment of interest due to delay caused by uncertainty of the issue on merits; Interpretation of Section 11BB mandating interest on delayed refunds; Theory of unjust enrichment.

Analysis:
1. The appeal was filed by the Revenue against an order granting refund to the Respondents but rejecting the payment of interest under Section 11BB. The Commissioner of Central Excise (Appeals) initially granted the refund on appeal by the Respondents, but the claim for interest was denied. Subsequently, the Commissioner ordered the payment of interest. The Revenue contested this decision, arguing that the issue causing the refund was pending before a Larger Bench and that there was no provision for the recovery of an erroneous refund if interest was paid.

2. Both parties agreed that the issue on merits was settled in favor of the Respondents, as confirmed by the Apex Court rejecting the Revenue's Special Leave Petition. The Revenue raised concerns about the ethics of paying interest when the delay was due to uncertainty regarding the issue on merits, which was later resolved by the Larger Bench. However, the Tribunal found no grounds to deny the interest payment as mandated by Section 11BB for delayed refunds. It emphasized that ethics have minimal relevance in taxation matters, and social justice considerations support granting interest on incorrectly collected amounts.

3. The Tribunal dismissed the Revenue's appeal, stating that there were no merits in the arguments presented. It highlighted the statutory requirement under Section 11BB to pay interest on delayed refunds and rejected the Revenue's contentions regarding the recovery of erroneous refunds and the ethics of interest payment in the context of taxation matters. The principle of unjust enrichment was also discussed, emphasizing that denying interest determined as due by the Commissioner of Central Excise (Appeals) would not be justified in the circumstances of the case.

This detailed analysis of the judgment outlines the key issues raised, the arguments presented by both parties, and the Tribunal's reasoning in dismissing the appeal and upholding the payment of interest on delayed refunds as mandated by law.

 

 

 

 

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