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2017 (7) TMI 278 - AT - Central Excise


Issues:
1. Availing suo motu credit against debited amount due to software error.
2. Interpretation of notification No.108/95 for exemption.
3. Requirement of documents for availing credit.
4. Comparison with previous tribunal decisions.
5. Applicability of Section 11-B for refund.
6. Legal validity of reversing Cenvat credit entry.
7. Judicial precedents on similar cases.

Issue 1: Availing suo motu credit against debited amount due to software error
The appellant, a manufacturer of telecommunication equipment, debited an amount due to a software error. The appellant availed suo motu credit for the debited amount, which was questioned by the authorities. The lower authorities confirmed the demands raised with interest and imposed a penalty. The appellant contended that the debited amount was not against any due liability and was erroneously debited. The tribunal considered the issue of availing suo motu credit and examined the legality of such action.

Issue 2: Interpretation of notification No.108/95 for exemption
The appellant claimed exemption under Notification No.108/95 for clearances to a specific entity. The appellant argued that clearances under this notification, though exempted, are considered as exports, hence no reversal of 10% of the value of goods cleared was required. The tribunal analyzed the interpretation of the notification and its applicability to the appellant's case, considering similar issues in previous tribunal decisions and high court judgments.

Issue 3: Requirement of documents for availing credit
The departmental representative raised concerns regarding the appellant's availing of credit without proper documentation as per rules. It was argued that the appellant should have followed the refund procedure under Section 11-B instead of taking suo motu credit. The tribunal deliberated on the necessity of documentation for availing credit and the correct procedure to be followed in such cases.

Issue 4: Comparison with previous tribunal decisions
Both parties referred to previous tribunal decisions to support their arguments. The tribunal examined the relevance of these decisions, including the case of BDH Industries Ltd., in determining the legality of availing suo motu credit. The tribunal considered the consistency of its decisions with past precedents and the applicability of such judgments to the current case.

Issue 5: Applicability of Section 11-B for refund
The tribunal discussed the applicability of Section 11-B for claiming a refund in cases of erroneously debited amounts. The appellant's argument was based on the interpretation of Section 11-B and the necessity of following the prescribed procedure for refunds. The tribunal evaluated whether the appellant's actions aligned with the requirements of Section 11-B and related legal provisions.

Issue 6: Legal validity of reversing Cenvat credit entry
The tribunal analyzed the legal validity of reversing a Cenvat credit entry due to an inadvertent debit by the appellant. The tribunal examined the implications of such reversals, considering the nature of the error and the subsequent correction made by the appellant. The tribunal assessed whether the reversal of the credit entry was justified in the given circumstances.

Issue 7: Judicial precedents on similar cases
The tribunal reviewed judicial precedents on similar cases to determine the legality of availing suo motu credit and reversing Cenvat credit entries. References were made to judgments of high courts and previous tribunal decisions to support arguments presented by both parties. The tribunal considered the consistency of its decision with established legal principles and interpretations provided in relevant case laws.

 

 

 

 

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