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2022 (11) TMI 747 - AT - Central Excise


Issues Involved:
(i) Validity of CENVAT Credit based on photocopies of invoices under Rule 9 of CCR.
(ii) Admissibility of service tax credit transfer without ISD registration under the Rules.

Analysis:

Issue (i):
The appellant, engaged in manufacturing, availed CENVAT credit on duty paid items and service tax during 2004-2005. The Head Office transferred credit to Plant-V using a statement before ISD registration was mandatory. The dispute arose when the revenue alleged inadmissible credit availed on photocopies of invoices. The original authority denied credit based on lack of valid documents and ISD registration. The appellant contended that the statement contained necessary details per Rule 4A and was a valid document under Rule 9. They argued procedural lapses should not deny substantial benefits like CENVAT credit. The Tribunal agreed, noting the absence of evidence supporting revenue's allegations. It held that the statement was valid, containing required details, and procedural lapses should not hinder credit entitlement.

Issue (ii):
Regarding ISD registration, the revenue argued non-registration of the Head Office as an ISD invalidated credit transfer. The appellant cited judgments emphasizing that lack of ISD registration should not disentitle credit availing. The Tribunal concurred, holding that ISD registration is procedural and not obtaining it for a period should not deny credit passed on by the Head Office. Relying on precedent judgments, the Tribunal allowed the appeal, setting aside the order denying CENVAT credit.

The Tribunal's decision, supported by legal principles and precedents, upheld the appellant's entitlement to CENVAT credit, emphasizing procedural compliance and substantial benefit considerations.

 

 

 

 

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