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Home Case Index All Cases Central Excise Central Excise + AT Central Excise - 1998 (12) TMI AT This

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1998 (12) TMI 200 - AT - Central Excise

Issues:
1. Preliminary objection about authorization
2. Challenge to the order-in-appeal dated 28-6-1993
3. Inclusion of the weight of the wrapper in calculating the specific rate of Central Excise duty on writing and printing paper

Preliminary Objection about Authorization:
The Appellate Tribunal addressed a preliminary objection raised by M/s. India Paper Pulp Ltd. regarding authorization. The Collector (Appeals) had deemed the order-in-appeal as not legal and proper, leading the Tribunal to reject the objection. The Tribunal clarified that the Hon'ble Supreme Court's observation in a specific case was not applicable, allowing the Tribunal to proceed with the case after hearing both sides.

Challenge to the Order-in-Appeal:
The appeal filed by the Revenue contested the order-in-appeal dated 28-6-1993 passed by the Collector (Appeals), C. Ex., Calcutta. The matter centered around the inclusion of the weight of the wrapper when calculating the specific rate of Central Excise duty on writing and printing paper. The Appellate Authority had differed from the Collector (Appeals) on whether duty was paid on the total weight of the ream cleared from the factory, which included the weight of the wrapper.

Inclusion of the Weight of the Wrapper:
The dispute revolved around whether the weight of the wrapper was included in the ream weight of the writing and printing paper. The assessee argued that the weight of the wrapper was already considered in the weight of the paper before assessing the Excise duty. The Collector (Appeals) concluded that duty was paid on the total weight of the ream, including the wrapper weight. The Tribunal upheld the Collector (Appeals)'s decision, emphasizing that no new evidence was presented to warrant overturning the finding. Consequently, the Tribunal rejected the Revenue's appeal, affirming the duty calculation inclusive of the wrapper weight.

 

 

 

 

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