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2018 (9) TMI 988 - AT - Service Tax


Issues: Delay in filing appeal before Commissioner (Appeals), Change of authorized representative, Substantial justice vs. technical considerations, Merit of the decision, Re-adjudication by Commissioner (Appeals)

The judgment revolves around the issue of delay in filing the appeal before the Commissioner (Appeals). The appellant's appeal was dismissed due to a 28-day delay, with the Commissioner (Appeals) citing insufficient cause for the delay. The appellant argued that his Chartered Accountant failed to file the appeal on time due to the appellant's sickness, leading to a change in representation. The argument was challenged by the department, stating a lack of documentary evidence to support the claim. The Tribunal emphasized the need to show sufficient cause for the delay, considering sickness as a valid reason.

Regarding the change in authorized representative, it was noted that the appellant switched representatives due to the previous Chartered Accountant's failure to file the appeal within the stipulated period. The Tribunal acknowledged the appellant's sickness as a factor contributing to the delay and stressed the importance of substantial justice over technicalities in legal proceedings.

The judgment highlighted the principle that substantial justice should prevail over technical considerations when dealing with delays in legal matters. Citing relevant case laws, the Tribunal emphasized the importance of advancing substantial justice and adopting a liberal approach, especially in cases with minor delays. The judgment underscored the significance of considering prejudice to the opposite party in cases of substantial delays.

In terms of the merit of the decision, the Tribunal noted that the Commissioner (Appeals) did not discuss the tax liability of the appellant but rejected the appeal based on the limitation period. The Tribunal highlighted the need for the Commissioner (Appeals) to provide reasons and decisions on the merit of the appeal, as proposed in previous Supreme Court guidelines.

Due to the limitations on the Appellate Tribunal's authority to scrutinize the merits of the decision, the judgment called for re-adjudication by the Commissioner (Appeals) to conduct further inquiries and pass a proper order based on the observations made. Consequently, the appeal was allowed, and the delay in filing the appeal was condoned, remanding the matter back to the Commissioner (Appeals) for re-adjudication based on the outlined observations.

 

 

 

 

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