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2024 (9) TMI 470 - AT - Customs


Issues:
Challenge to penalty imposed under Regulation 22 of Customs Broker Licensing Regulation (CBLR), 2013. Denial of cross-examination rights under Regulation 20(4) of CBLR, 2013. Responsibility of Customs Broker for the actions of employees. Compliance with Regulation 17(9) of CBLR, 2013.

Analysis:
The Appellant contested a penalty of Rs.10,000 imposed under Regulation 22 of CBLR, 2013 for alleged involvement in the import of raw materials without proper clearance and license. The Adjudicating authority found the Appellant negligent in supervising employees, leading to the penalty. The Appellant challenged this penalty on grounds of lack of direct involvement and failure to comply with Regulation 17(9) of CBLR, 2013.

During the hearing, the Appellant's counsel argued for the right to cross-examine witnesses, citing Regulation 20(4) of CBLR. The Appellant claimed that the denial of cross-examination rights was unjustified, as it impeded their defense. The Appellant relied on legal precedents to support their contention that without proper cross-examination, the proceedings were flawed.

The Appellant emphasized that the responsibility for employee misconduct should not automatically fall on the Customs Broker, especially in the absence of evidence of non-compliance with regulations. Legal judgments were cited to illustrate that penalizing the Broker for employee actions requires specific findings of non-compliance or misconduct on the Broker's part.

The Authorized Representative (AR) upheld the penalty and the denial of cross-examination rights, arguing that the Broker is accountable for employee actions. The AR supported the Adjudication authority's decision and reiterated the findings against the Appellant.

Upon considering both sides, the core issue revolved around whether the Appellant could be penalized for employee omissions. The Tribunal found that the Appellant was not directly involved in the misconduct and had not gained any undue benefits from the illegal activities. The Tribunal also highlighted the importance of cross-examination rights under Regulation 20(4) of CBLR, emphasizing the need for proper examination of witnesses relied upon in proceedings.

Ultimately, the Tribunal allowed the appeal, citing the violation of Regulation 20(4) of CBLR, 2013 due to the denial of cross-examination rights and the lack of evidence supporting the Appellant's direct involvement or non-compliance with regulations. The decision was made in favor of the Appellant, granting consequential relief as per the law.

 

 

 

 

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