Full Judgment Text
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PETITIONER:
M/S. CHHEDA INDUSTRIES
Vs.
RESPONDENT:
COLLECTOR OF CUSTOMS, MADRAS(WITH CIVIL APPEAL NOS. 10334-10
DATE OF JUDGMENT: 25/03/1997
BENCH:
S.C. SEN, SUJATA V. MANOHAR
ACT:
HEADNOTE:
JUDGMENT:
J U D G M E N T
Mrs. Sujata V.Manohar, J.
The appellants in Civil Appeal Nos. 1744-45 of 1988 are
importers of stainless steel circles. The appellants have
filed the present appeals against an order of the Customs,
Excise, and Gold (control) Appellate Tribunal holding that
stainless steel circles imported by the appellants are
classifiable under Customs Tariff Entry 73.15(2) instead
under Tariff Entry 73.15(1) as contended by the importers.
The appellants in Civil Appeal Nos.10334-36 of 1995 are
Union of India. They have challenged a decision of the
Madras High Court holding that the stainless steel circles
imported by the respondents therein are classifiable under
Customs Tariff Entry 73.15(1) an not under Customs Tariff
Entry 73.15(2) as contended by the appellants therein. The
Madras High court has followed an earlier decision of the
Division Bench of that court in Venkateshwara Stainless
Steel & Wire Industries V. Union of India [1991 (53) E.L.T
312 (Mad.)] in so holding.
All these appeals raise a common question regarding the
classification of stainless steel circles imported by the
assessees. For the sake of convenience, we are referring to
the facts in Civil Appeal Nos. 1744-45 of 1988.
In or about October 1980 the appellants imported
stainless steel circles. The Customs authorities levied and
collected duty on stainless steel circles so imported under
Customs Tariff Heading 73.15(2). The standard duty of
customs under that Heading was 300% which was reduced by
notification dated 15.7.1977 and the effective duty was 220%
which was levied and collected. The importers contended that
the correct classification of the goods so imported was
under Customs Tariff Heading 73.15(1) and the rate of duty
was 60% which, by reason of a notification dated 18.6.1978
was reduced to 35%. The appellant has lost in the
departmental proceedings and hence the present appeals .
The relevant Tariff Entry , at material time was as
follows:-
------------------------------------------------------------
Heading sub-heading Rate of duty other Duration
No. No. & descrip- stan- UK prefer-when rate
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tion of ard ential of duty are
articles. areas. protected.
------------------------------------------------------------
73.15 Alloy steel and
high carbon
steel in the
forms mentioned
in heading
Nos.73.06/07 to
73.14
(1) Not
elsewhere
specified. 60% ... ... ...
(2) Coils for
re-rolling,
bars (including
bright bars)
rods, wire
rods, strips,
sheets and
plates of
stainless
steel. 300% .... ... ...
------------------------------------------------------------
Entry 73.15 sets out that it will cover, inter alia,
stainless steel in the forms mentioned in Heading
Nos.73.06/07 to 73.14. These earlier Headings 73.06/07 to
73.14 deal with iron and steel products. The forms of iron
and steel items which are mentioned in these entries, inter
alia , are puddled bars, pilings, ingots, blocks, lumps,
coils for re-rolling, bars and rods, angles, shapes and
sections, hoops and strips, sheets and plates and so on.
Heading 73.13 deals with sheets and plates of iron or steel,
hot-rolled or cold-rolled. it is divided into two parts :
(1) Not elsewhere specified and (2) Tinned sheets and
plates. Circles are not expressly mentioned in any of these
entries. Entry 73.15 which deals, inter alia, with stainless
steel. is also divided into two parts: (1) Not elsewhere
specified and (2) Coils for re-rolling, bars, rods, wire
rods, strips, sheets and plates of stainless steel. Sub-
heading (2) clearly refers too certain specific forms of
stainless steel which are mentioned therein, namely, coils,
bars, rods, wire rods, strips , sheets and plates. From
which are not expressly dealt with in the second sub-heading
will fall under the first sub-heading covering all types and
forms of stainless steel material which does not fall under
sub-heading.(2)
It is the contention of the department that sheets
which are expressly covered by sub-heading (2) of Heading
73.15 would cover circles will not fall in the residuary
sub-heading(1) of Heading 73.15. The department relies upon
Note 1(n) of the chapter Notes of Chapter 73 dealing with
iron and steel and articles thereof . Entry 73.15 forms a
part of this chapter. Note 1(n) which relates to sheets and
plates in an earlier Heading 73.13, is as follows:
"(n): ‘sheets and plates’
(Heading No.73.13):
rolled products [other than coils
for re-rolling as defined in
paragraph (k) above] of any
thickness and, if in rectangles, of
a width exceeding 500 milimetres.
Heading No.73.13 is to be taken to
apply, inter alia, to sheets or
plates which have been cut to non-
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rectangular shape, perforated,
corrugated, channelled, ribbed
polished or coated, provided that
they do not thereby assume the
character of articles or of
products falling within other
Headings;"
The second part of Note 1(n) states that Heading 73.13
will apply, inter alia, to sheets or plates which have been
cut to non-rectangular shapes. The department, therefore,
contends that a circle is nothing but a sheet which is cut
to a non-rectangular shape. It will, therefore, be covered
by the term "sheet". Hence in Heading 73.15 also "sheet" in
sub-heading 73.15(2) will cover a circle.
Webster’s Comprehensive Dictionary defines a "sheet"
as: (1) a very thin and broad piece of any substance; that
which is or can be spread, as upon a surface, or can be laid
in broad folds; anything having a considerable expanse with
very little thickness. (2) A large rectangular piece of
linen or cotton cloth, used in making up a bed. (3) A piece
of paper, especially one of regular size; hence, a
newspaper, or leaf of a book. (4) A piece of metal or other
substance hammered, rolled, fused or cut very thin: a sheet
of glass. (5) A broad flat surface; superficial expanse: a
sheet of water;, a sheet of flame etc. A sheet, therefore,
is basically a very thin and broad piece of any substance
normally of a regular shape. Hence Note 1(n) expressly
includes a sheet cut into a non-rectangular shape. A
stainless steel circle has a distinct shape and form of its
own quite different from a sheet. In the case of
Venkateshwara Stainless Steel & Wire Industries case
(supra), after referring to the Indian standard
pecifications for stainless steel sheets, coils and circles
for utensils and hospital ware, the Madras High Court has
pointed out that in commercial parlance stainless steel
sheets. Their pricing is also on a different basis (diameter
length). The High Court has also referred to atleast two
notifications under the Central Excise Tariff where a
distinction is made between sheets and circles. The first
notification is in respect of partial exemption to plates,
sheets, circles, strips and foils produced from old or duty
paid scrap. While the second notification is in respect of
aluminiun. It grants exemption to aluminium manufactures
containing more than 97% of aluminium. The notification
refers to plates, sheets, circles, strips and foils. of
course these are notifications under a completely different
tariff. We are referring to them only for the purpose of
showing that sheets and circles have been considered as two
different forms in which a metal can be manufactured or
sold.
Since forms which are not specifically set out in
Tariff Heading 73.15(2) will have to be classified under
73.15(1), circles of stainless steel will have to be
classified under Heading 73.15(1). Note 1(n) does not
provide much assistance in this connection. In respect of
Heading 73.13 which deals with sheets and plates, the note
says that sheets or plates which have been cut to non-
rectangular shapes will also be classified as sheets or
plates. But when stainless steel in the form and it cannot
be treated merely as a stainless steel sheet which has been
cut to a non-rectangular shape. It has a specific form of
its own.
Tariff Heading 73.15 has been subsequently amended by
Customs Tariff Amendment Act of 1982 by which Tariff Entry
73.15(2) has been amended to include circles, angles,
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sheets and sections in addition to sheets and plates of
stainless steel. The statement of objects and Reasons sets
out, "Stainless steel articles not elsewhere specified other
than those falling under sub-heading (2) fall under sub-
heading (1) of Heading 73.15 ...... The difference in duty
under the two Sub-headings is so large that attempts have
been made by some importers to manipulate to description or
form of the articles in such a way as to claim a lower rate
of duty as has recently happened in the case of stainless
steel sheets imported in the guise of folded angles and
circles......" The amendment whereby angles, shapes,
sections and circles of stainless steel are added to Tariff
Heading 73.15(2) is given retrospective effect from 1st of
January ,1981. Therefore, prior to 1st of January ,1981
angles, shapes section and circles of stainless steel were
not covered under sub-heading (2) of Heading 73.15. They
have been so included with effect from 1.1.1981. It is a
well-established principle of interpretation of taking
statutes that the benefit of any doubt relating to
interpretation must go to the tax-payer.
The contention of the department that prior to the
amendment, sheets included angles, shapes, sections or
circles is difficult to accept for reasons we have set out.
We are, therefore, inclined to agree with the view taken by
the Madras High Court in Venkateshwara Stainless Steel &
Wire Industries’s case(supra). The Delhi High Court has,
however, in the case of Super Traders and Anr. V. Union of
India and Ors. [1983 E.L.T. 258 (Del.)] taken an contrary
view holding that stainless steel circles are nothing but
stainless steel sheets and are classifiable under Heading
73.15(2). It has relied upon Chapter Note 1(n) and has held
that stainless steel circles are stainless steel sheets cut
to non rectangular shape. In our view, this is not a correct
reading of Note 1(n) . A circle is a very specific from in
which stainless steel is marketed. It cannot be treated as a
sheet cut to a non- rectangular shape. Its pricing is also
different from that of a sheet. It has a separate form and a
commercial identity of its own. It would, therefore, not be
covered by the term‘sheet’ in Tariff Heading 73.15(2) prior
to 1.1.1981.
All these appeals deal with Tariff Entry 73.15 as it
stood prior to its amendment with effect from 1.1.1981.
Therefore, stainless steel circles imported by the importers
in all these appeals are classifiable under Tariff Heading
73.15(1) and not under Tariff Heading 73.15(2).
Civil Appeal Nos. 1744-5 of 1988 are , therefore,
allowed while Civil Appeal Nos. 10334-10336 of 1995 are
dismissed. Refund applications by the assessees will have to
be processed in accordance with the ratio of the judgment of
this Court in Mafatlal Industries Ltd..V. Union of India
[1996 (9) SCALE 457]. There will, however, be no order as to
costs.