Full Judgment Text
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CASE NO.:
Appeal (civil) 7188 of 1997
PETITIONER:
Associated Cement Co. Ltd.
RESPONDENT:
State of M.P. & Ors.
DATE OF JUDGMENT: 05/05/2004
BENCH:
CJI& G.P. Mathur.
JUDGMENT:
JUDGMENT
(with CA No\005..\005 of 2004 @SLP ) No.1186 of 2000)
G.P. MATHUR,J.
1. Leave granted in SLP (c) No. 1186 of 2000 (Municipal Corporation
Katni v. M/s. Associated Cement Co. Ltd.).
2. Civil appeal no. 7188 of 1997 has been preferred against the judgment
and order dated 21.4.1997 of a Division Bench of Madhya Pradesh High
Court deciding the issue relating to levy of export tax on certain products
manufactured by M/s. Associated Cement Co. Ltd.
3. By a resolution published in M.P. Gazette dated 25.10.1991, the
Municipal Corporation, Katni levied tax on export of goods from within the
area of Municipal Corporation. Entry Nos. 1 and 2 in the Schedule
appended to the Notification read as under:-
SCHEDULE
S. No. Name of Article Tax Proposed
(1) (2) (3)
1. All types of Cement =% of the cost of the
consignment
2. Materials made of cement 1% of the cost of article
4. The appellants Associated Cement Co. Ltd. filed writ petition
challenging the levy of export tax on refractory cement and Acco Proof
basically on the ground that they were not covered by the Schedule as they
were not cement. The writ petition was dismissed by a learned Single Judge
but the Letters Patent Appeal was party allowed by a Division Bench and it
was held that refractory cement is a cement so as to attract liability of export
tax but Acco Proof being a water proofing compound was not cement and
was therefore not exigible to export tax.
5. The main question which requires consideration is whether refractory
cement is cement so as to attract liability of export tax. Shri T.R.
Andhyarujina, learned senior counsel appearing for the appellant has
submitted that the Associated Cement Co. (hereinafter referred to as ’the
appellant’) has several factories in different parts of the country including a
manufacturing unit by the name of Katni Refractory Works at Katni. This
Unit manufactures (i) Firebricks; (ii) Ramming masses; (iii) Fireclay
mortors; (iv) High Alumina Refractory Binder; (v) Refractory Castables; (vi)
Whytheat Castables. The aforesaid products in the commercial parlance are
known as "Refractory material" and they are entirely different from
"cement" or material made "out of cement". Most of the Refractory
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products are sold directly to the end users and only a small quantity is sold
by way of retail sale whereas cement is sold through warehouses and
cement stockists network. It has been submitted that the products
manufactured by the appellant can by no stretch of imagination be equated
with or used for the purposes for which cement is used. The refractory
materials are used in furnaces and kilns to withstand high temperature,
corrosion and abrasion and they are not usable as a substitute of cement or
for construction activities. Learned counsel has further submitted that
cement cannot be used for the purpose for which refractory material is used
and the process of manufacturing cement and refractories are entirely
different and the plant manufacturing refractories can neither be used nor
can be converted for manufacturing any type of cement. The raw materials
required for manufacturing refractory are also entirely different from those
required for manufacturing cement. The main raw material required for
manufacture of cement is limestone, silicous clay and gypsum whereas for
manufacture of refractory products, the main raw material is bauxite, kyanite
and fire clays. Bauxite and fire clay are not used for manufacture of cement
and chemical composition and properties of the two products are entirely
different. It has also been urged that so far as construction activity is
concerned the most important criteria applicable in the case of cement is its
strength in ordinary temperature but for refractory it is its refractoriness at
high temperature. Lastly learned counsel has submitted that in common
parlance and in trade, refractory can never be understood as cement. It has
thus been urged that the levy of export tax on refractory is wholly illegal as
the said product is not covered by the relevant entries in the schedule.
6. Shri Anoop G. Choudhary, learned senior counsel appearing for the
Municipal Corporation, Katni, has submitted that Entry I in the Schedule
mentions "all types of cement" and so long as the material is cement
whatever be its chemical composition, nature or characteristic it will be
covered by the said Entry. Learned counsel has laid emphasis on the words
"all types of" and has submitted that it is a very comprehensive Entry and
consequently irrespective of the purpose for which the article is used on
account of its special qualities and components etc. as long as it is cement it
will be covered by the Entry. According to Shri Choudhary the fact that
refractories are used in furnaces and are capable of withstanding very high
temperature, corrosion and abrasion will make no difference as it is still a
cement and therefore it is covered by the Entry. Learned counsel has also
submitted that being a taxing statute it has to be strictly construed and one
has to look merely at what is clearly said and since the entry is all
embracing which covers "all types of cement" it will take within its compass
refractory as well as cement.
7. Learned counsel for the appellant has referred to some dictionaries
and technical books to get an idea what "refractory" is and it will be useful
to take note of the same.
The Cambridge Encyclopedia Materials which are neither deformed
nor chemically changed by exposure
to high temperatures. This makes
them suitable for containers, structural
materials, and components,
particularly in metallurgical
operations, such as furnace linings.
Naturally occurring refrectories
include silica, fireclay, and alumina.
Synthetic refractories include the
high-melting carbides and nitrides
used in nuclear power plant.
The New Encyclopaedia Britannica material not deformed or damaged by
high temperatures, used to make
crucibles, incinerators, insulation and
furnaces, particularly metallurgical
furnaces. Refractories are produced
in several forms; molded bricks of
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various shapes(see firebrick); bulk
granular materials; plastic mixtures
consisting or moistened aggregate that
are rammed into place: castables
composed of dry aggregates and a
binder that can be mixed with water
and poured like concrete: and mortars
and cements for laying brickwork.
The Oxford Dictionary and (of a substance) hard to fuse or work,
Thesaurus substance especially resistant to he
at,
corrosion etc.
New Webster’s Dictionary suitable for lining furnaces because of
and Thesaurus resistance to fusion at very hi
gh
temperature
The Oxford Universal Dictionary Resisting the action of heat; difficult
Illustrated on Historical Principles to fuse (or to work in any way)
Chambers Twentieth esp. difficult of fusion: fire-resisting \026
Chambers Dictionary n. a substance that is able to resist high
temperatures etc., used in linin
g
furnaces etc.
Mc Graw-Hill Encyclopedia of One of a number of ceramic materials
Science & Technology for use in high temperatures structures
or equipment. The term high
temperatures is somewhat indefinite but
usually means above about 1800\025 F
(1000\025 C), or temperatures at which,
because of melting or oxidation, the
common metals cannot be used. In
some special high temperature
applications, the so-called refractory
metals such as tungsten, molybdenum,
and tantalum are used.
The greatest use of refractories is in the
steel industry, where they are used for
construction of linings of equipment
such as blast furnaces, hot stoves and
open-hearth furnaces. Other important
uses of refractories are for cement
kilns, glass tanks, noneferrous
metallurgical furnaces, ceramic kilns,
steam boilers, and paper plants. Special
types of refractories are used in rockets,
jets and nuclear power plants. Many
refractory materials, such as aluminium
oxide and silicon carbide, are also very
hard and are used as abrasives; some
applications, for example, aircraft brake
lining, use both characteristics
Refractory materials are commonly
grouped into (1) those containing
mainly aluminosilicates; (2) those made
predominately of silica; (3) those made
of magnesite, dolomite, or chrome ore,
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termed basic refractories (because of
their chemical behavior); and (4) a
miscellaneous category usually referred
to as special refractories.
8. The appellant has also placed on record certain technical data
regarding the refractories manufactured by it which are used in Iron and
Steel Industry and in Fertilizer Industry. This technical data shows that
different varieties of refrectories are manufactured for use in different kind
of industries. Learned counsel has also laid emphasis upon the fact that for
the purpose of levy of excise duty the Central Government has treated
refractory as distinct from cement. Tariff Item 23 C.B.E.&C. Tariff Advice
No.75/80, dated 24.11.1980 reads as under:
"It is considered and clarified for the information of the
trade and all others concerned that Fire clay/Refractory Mortars
and Ramming Masses are classifiable under Item 68 and not
under Item 23 of Central Excise Tariff."
The relevant tariff entries are as under:
Item No.23- Cement
Item No. Tariff Description Rate of Duty
23. Cement, all varieties - Rupees two
(1) Grey portland cement (including hundred per
ordinary portland cement, pozzolana metric tonne
cement and blast furnace slag cement),
masonry cement, rapid hardening cement,
low heat cement and waterproof
(hydrophobic) cement
(2) All others Forty per cent
ad valorem
Item No.68-All other Goods, N.E.S.
Item No. Tariff Descripton Rate of duty
68. All other goods, not elsewhere Eight per cent
specified, but excluding ad valorem
(a) alcohol, all sorts including
alcoholic liquors for human
consumption.
On the basis of above tariff entries it is submitted on behalf of the
appellant that refractory is not cement.
9. The technical material referred to above shows that refractories are
basically materials which are used in high temperature structures or
equipment. They can withstand temperatures above one thousand degree
centigrade when other metals will melt or oxide and they are generally used
for lining of furnaces etc.
10. The principle to be applied for interpretation of taxing statutes which
is relevant for the decision of the present case has been settled by a catena
of decisions of this Court. In Commissioner of Sales Tax v. M/s. Jaswant
Singh AIR 1967 SC 1454 it was held that while interpreting items in statutes
like Sales Tax Acts resort should be had not to the scientific or the technical
meaning of such terms but to their popular meaning or the meaning attached
to them by those dealing in them, that is to say, to their commercial sense.
The same view was taken in Minerals and Metals Trading Corporation of
India v. Union of India & Ors. (1972) 2 SCC 620; Royal Hatcheries Pvt.
Ltd. v. State of A.P. & Ors. 1994 Supp. (1) SCC 429; Dunlop India Ltd. v.
Union of India 1976 (2) SCC 241. In Indian Cable Company Ltd. v.
Collector of Central Excise (1994) 6 SCC 610 this principle was stated as
under:-
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"\005\005\005..But we would like to point out that in construing the
relevant item or entry, in fiscal statutes if it is one of every day
use, the authority concerned must normally, construe it, as to
how it is understood in common parlance or in the commercial
world or trade circles. It must be given its popular meaning.
The meaning given in the dictionary must not prevail. Nor
should the entry be understood in any technical or botanical or
scientific sense. In the case of technical words, it may call for
a different approach. The approach to be made in such cases
has been stated by Lord Esher in Unwin v. Hanson (1891) 2 QB
115 thus:
"If the Act is directed to dealing with matters affecting
everybody generally, the words used have the meaning attached
to them in the common and ordinary use of language. If the
Act is one passed with reference to a particular trade, business,
or transaction and words are used which everybody conversant
with that trade, business or transaction knows and understands
to have a particular meaning in it then the words are to be
construed as having that particular meaning, though it may
differ from the common or ordinary meaning of the words."
We would only add that there should be material to enter
appropriate finding in the case. The material may be either oral
or documentary evidence."
The word ’cement’ has not been defined in the relevant notification.
Therefore it has to be understood in the same way as is understood in
common parlance. Cement is exclusively used as a building material and is
a commodity of everyday use. Therefore, we have to go only by the
popular or commercial meaning of the term. The main property of the
refractory is that it can withstand very high temperature, corrosion and
abrasion. Cement is used for building roads, bridges and dams etc. and also
by common people for building residential or commercial buildings.
Anyone buying cement for building purpose would under no circumstance
buy refractory. Similarly a mason or a supervisor would under no
circumstance use refractory material in making a normal construction. The
refractory is used for entirely different purpose namely for furnaces, linings
and for insulation. A dealer would not supply refractory to anyone wanting
to buy cement. In Cemento Corporation Ltd. Vs. Collector of Central
Excise 2002 (8) SCC 139 it has been held that it is axiomatic that if the
product is not cement but can be used for some purposes like cement, such
product is not cement. We are, therefore, of the opinion that refractory
material produced by the appellant does not fall within the Entry "all types
of cement" and consequently it is not exigible to levy of export tax.
11. The challenge in the appeal preferred by the Municipal Corporation,
Katni is to the order of the High Court in the matter relating to withdrawal of
the amount deposited by the Associated Cement Co. Ltd. In view of our
finding that refractory material is not exigible to export tax, the appeal is
liable to be dismissed.
12. In the result CA No.7188 of 1997 is allowed and the judgment and
order of the High Court in so far as it holds that refractory manufactured by
the appellant are cement and are exigible to export tax is set aside. CA
No\005\005\005.. of 2004 @ SLP) NO. 1186 of 2000 preferred by Municipal
Corporation, Katni is dismissed.