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Decoding the Interplay of Customs Duty, Interest, and Confiscation Proceedings 2024 (7) TMI 1221 - Supreme Court - SCExtract Deciphering Legal Judgments: A Comprehensive Analysis of Apex Court's Judgment regarding Unraveling the Nexus: Duty, Interest, and Redemption under Customs Act Reported as: 2024 (7) TMI 1221 - Supreme Court INTRODUCTION This article delves into the intricate interplay between customs duty liability, interest payments, and confiscation proceedings under the Customs Act. It examines the core legal questions surrounding the imposition of customs duty and interest when goods are redeemed after confiscation, and the applicability of various sections of the Act in such scenarios. ARGUMENTS PRESENTED The primary contentions of the parties revolved around the following: Appellant's Arguments: Duty liability in confiscation proceedings arises u/s 125 , not Section 28 . Since Section 28 is not applicable, the interest provision u/s 28AB cannot be invoked. The Jagdish Cancer case supports the argument that duty assessment cannot be done u/s 28 in confiscation proceedings. Customs Department's Arguments: Section 125(2) explicitly provides for the liability to pay duty and charges when goods are redeemed after confiscation. Section 28 governs the assessment and determination of duty, even when the liability arises u/s 125(2) . Consequently, the interest provision u/s 28AB is applicable. COURT DISCUSSIONS AND FINDINGS The Apex court analyzed each legal issue in detail, considering the relevant provisions of the Customs Act, precedents, and the reasoning process: Liability to Pay Customs Duty: The court affirmed the principle established in the Security Finance case that customs duty is payable when confiscated goods are redeemed u/s 125 , even though the duty liability arises from exercising the redemption option and not from Sections 12 or 28 . The court clarified that the Fortis Hospital case [ 1975 (10) TMI 30 - SUPREME COURT] reiterates this principle, emphasizing that the duty obligation arises only when the redemption option u/s 125 is exercised. Applicability of Section 28: The court distinguished between the origin of the duty liability ( Section 125 ) and the procedure for assessing and determining the duty ( Section 28 ). It held that while the liability arises u/s 125(2) , the assessment and determination of duty can be done u/s 28 . The court clarified the true ratio of the Jagdish Cancer case, stating that it does not preclude the application of Section 28 for duty assessment in confiscation proceedings. Interest Liability u/s 28AB: The court reasoned that once Section 28 applies for determining the duty obligation arising u/s 125(2) , the interest provision u/s 28AB becomes applicable. Section 28AB mandates the payment of interest in addition to the duty, thereby attracting interest liability in confiscation proceedings where goods are redeemed. ANALYSIS AND DECISION The court's conclusions on each issue can be summarized as follows: There is a liability to pay customs duty when confiscated goods are redeemed after payment of fine u/s 125 of the Customs Act. The liability to pay such duty includes the liability to pay interest on delayed payment u/s 28AB of the Act. The Jagdish Cancer case [ 2001 (8) TMI 113 - SUPREME COURT] . does not preclude the application of Section 28 for assessing and determining the duty payable in confiscation proceedings, even though the duty liability arises u/s 125(2). Consequently, the court upheld the decision of the High Court, affirming the imposition of duty and interest in confiscation proceedings where goods are redeemed u/s 125 . 5. DOCTRINAL ANALYSIS The court's decision reinforces and clarifies several legal principles in the context of customs duty liability, interest payments, and confiscation proceedings: Duty Liability u/s 125(2): The court reaffirmed the well-established principle that the owner of confiscated goods is liable to pay customs duty and charges when exercising the option to redeem the goods u/s 125(2) . This duty liability arises not from Sections 12 or 28 but from the specific provision of Section 125(2) . Distinction between Liability and Assessment: The court drew a clear distinction between the origin of the duty liability ( Section 125(2) ) and the procedure for assessing and determining the duty payable ( Section 28 ). This distinction clarifies the interplay between these provisions and avoids conflating the two separate aspects. Applicability of Section 28AB Interest: By holding that Section 28 governs the assessment and determination of duty arising u/s 125(2), the court logically extended the applicability of Section 28AB , which mandates the payment of interest on delayed duty payments. This clarification aligns with the principle of harmonious interpretation of the Customs Act. Clarification of Jagdish Cancer Case Ratio: The court clarified the true ratio of the Jagdish Cancer case [ 2001 (8) TMI 113 - SUPREME COURT] ., dispelling any misconception that it precluded the application of Section 28 for duty assessment in confiscation proceedings. This clarification ensures consistent interpretation and application of the relevant provisions. Overall, this decision reinforces the doctrinal principles governing customs duty liability, interest payments, and confiscation proceedings, providing clarity and guidance for future cases involving similar issues. Full Text : 2024 (7) TMI 1221 - Supreme Court
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