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2024 (12) TMI 101 - HC - Customs


Issues:
Challenging CESTAT's order dated 28 June 2024 on multiple grounds.

Analysis:
The appellant raised substantial questions of law regarding the correctness of CESTAT's decision to set aside the order of confiscation and imposition of redemption fines under the Customs Act, 1962. The questions included issues related to the location of bonded tanks, estimation of assessable value, and interpretation of regulations. The appellant contended that material stored in a non-bonded warehouse was impermissible, exceeding permitted value. The appellant argued that CESTAT erred in relying on a previous court decision, emphasizing differing views from other High Courts. The respondent, however, argued that no substantial questions of law arose, as the tribunal had thoroughly examined the facts, which were not significantly different from previous cases. The respondent explained the circumstances of storing excess material with necessary permissions and accepted explanations for marginal value increases.

The court noted that under Section 130 of the Customs Act, appeals can only be entertained if substantial questions of law are involved. The court found that the appellant's contentions primarily pertained to factual issues extensively considered by the tribunal, indicating that the appeals challenging factual findings may not be admitted. The court observed similarities between the present appeals and previous cases, emphasizing the storage of goods in non-bonded tanks within the same complex with proper permissions. It was concluded that no substantial questions of law were raised in the appeals, aligning with the decisions in previous cases cited by the respondent.

Furthermore, the court addressed the appellant's reliance on decisions from other High Courts, emphasizing the jurisdiction of the Bombay High Court in the present matter. The court highlighted the rejection of Special Leave Petition (SLP) against the Bombay decision by the Supreme Court and rejected contentions based on judgments from Gujarat and Madras High Courts. The court disapproved the imposition of penalties under Section 117 of the Customs Act, emphasizing the limitations on invoking such provisions when fines or penalties could not be imposed under other relevant sections. The court found no perversity in the factual findings and reasoning to warrant interference, ultimately dismissing the appeals as they did not involve substantial questions of law.

In conclusion, the appeals were dismissed without costs, and the interim applications were also dismissed. The court's decision was based on the lack of substantial legal issues raised in the appeals, consistent with previous judgments and factual considerations made by the tribunal.

 

 

 

 

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