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2018 (3) TMI 242 - AT - Central Excise


Issues involved:
- Allegations of clandestine removal and manufacture of final product
- Confirmation of duty, interest, and penalty under Section 11AC of the Central Excise Act, 1944
- Adjudication based on various evidence including private records, electricity consumption, project report, capacity of machines, confessional statements, and procurement of raw materials

Detailed Analysis:
1. The appellant, engaged in manufacturing Poly Propylene Glasses, filed an appeal against the duty confirmation of &8377; 30,14,062/-, interest, and penalty imposed by the Commissioner of Central Excise for alleged clandestine removal. The investigation included findings from a visit to the factory, statements of directors and employees, and scrutiny of private records, electricity consumption, and raw material procurement.

2. The appellant's factory visit revealed discrepancies in records and excess production capacity. Statements of directors and supervisors admitted to excess production and payments to labor contractors. The investigation also involved verifying raw material suppliers and analyzing a project report submitted for a bank loan, which indicated higher production than recorded.

3. The adjudication process involved the appellant claiming small-scale exemption and trading activities, disputing the allegations based on assumptions without evidence. The Commissioner considered various evidence, including private records, electricity consumption, confessional statements, and raw material procurement, to establish clandestine activities and confirm duty, interest, and penalties.

4. The appellant challenged the findings, arguing against the reliance on electricity consumption, project report, and machine capacity. However, the Tribunal upheld the Commissioner's decision, emphasizing the corroborative nature of the evidence and the cumulative effect of excess raw material procurement, labor payments, electricity consumption, and machine capacity in establishing clandestine activities.

5. The Tribunal rejected the appeal, citing the findings of the adjudicating authority as based on sufficient and positive evidence, including private records, confessional statements, and procurement details. The decision highlighted the importance of examining evidence independently in each case and upheld the duty confirmation, interest, and penalties imposed on the appellant.

 

 

 

 

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