Full Judgment Text
http://JUDIS.NIC.IN SUPREME COURT OF INDIA Page 1 of 8
PETITIONER:
STAR PAPER MILLS LTD.
Vs.
RESPONDENT:
COLLECTOR OF CENTRAL EXCISE, MEERUT
DATE OF JUDGMENT22/08/1989
BENCH:
OJHA, N.D. (J)
BENCH:
OJHA, N.D. (J)
RANGNATHAN, S.
VERMA, JAGDISH SARAN (J)
CITATION:
1989 AIR 2066 1989 SCR (3) 892
1989 SCC (4) 724 JT 1989 (3) 460
1989 SCALE (2)337
ACT:
Central Excises and Salt Act, 1944: Section 2(f), 3 and
35L-’Manufacture’ includes any process incidental or ancil-
lary to the completion of manufactured products--Whether
paper core is used as a componentpart in the manufacture of
paper rolls.
HEADNOTE:
The appellant company carried on the business of manu-
facture and sale of paper. It claimed exemption from payment
of excise on paper core which, accordingly to the appellant,
was used in the manufacture of paper. The case of the appel-
lant was that the paper cores used in the manufacture of
paper constituted "component parts" within the meaning of
Notification No. 201/79 dated June 4, 1979 as amended. The
case of the respondent on the other hand was that the paper
cores were really used by the appellant as packing material
after the paper had already been manufactured for taking it
to the market and did not constitute "component parts" of
paper. The Assistant Collector, Central Excise, rejected the
claim of the appellant but its claim on appeal as regards
exemption from duty on paper cores was allowed by the Appel-
late Collector. The Customs, Excise and Gold (Control)
Appellate Tribunal however allowed the appeal of the Reve-
nue.
Partly allowing the appeal, this Court,
HELD: 1. Even though the term "component parts" has not
been defined either by the Act or by the Notification, the
term "manufacture" has been defined in section 2(f) of the
Central Excises and Salt Act, 1944. This definition contem-
plates that "manufacture" includes any process, incidental
or ancillary to the completion of a manufactured product.
[895D]
2. In the absence of any definition of the term "compo-
nent partS" it is permissible to refer to the dictionary
meaning of the word "component". Accordingly to the diction-
ary meaning, the word "component" inter alia means a con-
stituent part. [895F]
3. If the use of paper core is necessary in "any process
incidental
http://JUDIS.NIC.IN SUPREME COURT OF INDIA Page 2 of 8
893
or ancillary to the completion of" paper as marketable goods
and it would consequently be commercially inexpedient to
sell paper without the use of paper core, it would certainly
be a constituent part of paper and would thus fall within
the purview of the term "component parts" used in the Noti-
fication. [896F]
M/s J.K. Cotton Spinning & Weaving Mills v. Sales Tax
Officer, Nagpur and another, [1965] 1 S.C.R. Page 900 and
Bhor Industries Ltd. Bombay v. Collector of Central Excise,
Bombay, [1989] 1 SCC 602, referred to.
4. Paper is made (1) in the form of rolls and (2) in the
form of sheets and the paper which is sold in the form of
sheets is cut in desired sizes. Even though rewinding has to
be done both for manufacturing roll paper as well as sheet
paper, use of paper core in rewinding is necessary only with
regard to manufacture of roll paper, inasmuch as it is the
paper as rolled on paper core which is delivered to the
customer in the form of rolls and unless in the process of
rewinding paper core is used, paper cannot come out of the
machine in rolls so as to be sold as a marketable commodity
known as roll paper. The use of paper core, however, is not
necessary for the manufacture of paper sheets. [897E, 899G-
900A]
5. Use of paper core would come within the purview of
the expression "any process incidental or ancillary to the
completion of manufactured products" used in the definition
of the term "manufacture" in section 2(f) of the Act and for
the same reason paper core would also be constituent part of
paper and would thus fail within the term "component parts"
used in the Notification in so far as manufacture of paper
in rolls is concerned. Paper core, however, cannot be said
to be used in the manufacture of paper in sheets as compo-
nent parts. [900E-F]
JUDGMENT:
CIVIL APPELLATE JURISDICTION: Civil Appeal No. 3474 of
1988.
From the Judgment and Order dated 10.5.1988 of the
Customs Excise and Gold (Control) Appellate Tribunal, New
Delhi in Appeal No. E/62/85-C.
Harish N. Salve, Mrs. M. Sud, Ms. Aruna Jain and Praveen
Kumar for the Appellant.
B. Dutta, Additional Solicitor General, T.V.S.N. Chari
and P. Parmeshwaran for the Respondent.
894
The Judgment of the Court was delivered by
OJHA, J. This appeal under section 35L of the Central
Excises and Salt Act, 1944 (hereinafter referred to as the
Act) has been preferred against the order dated June 28,
1988 of the Customs Excise and Gold (Control) Appellate
Tribunal, New Delhi. The appellant carries on the business
of manufacture and sale of paper. On the plea that in the
manufacture of paper the appellant uses paper cores, exemp-
tion from payment of excise on such paper cores was claimed
by it on the basis of a Notification No. 201/79 dated June
4, 1979 as amended by Notification No. 105/82 dated February
28, 1982 (hereinafter referred to as the Notification)- The
Assistant Collector, Central Excise rejected the claim of
the appellant but its claim on appeal as regards exemption
from duty on paper cores was allowed by the Appellate Col-
lector. Aggrieved by that order the Collector of Central
Excise, Meerut, preferred the appeal in which the order
http://JUDIS.NIC.IN SUPREME COURT OF INDIA Page 3 of 8
which is the subjectmatter of the present appeal, was
passed.
The Notification on the basis of which exemption was
claimed by the appellant inter alia provides: "the Central
Government hereby exempts all excisable goods (hereinafter
referred as "the said goods"), on which the duty of excise
is leviable and in the manufacture of which any goods fall-
ing under Item No. 68 of the First Schedule to the Central
Excises and Salt Act, 1944 (1 of 1944) have been used, as
raw materials or component parts (hereinafter referred as
"the inputs"), from so much of the duty of excise leviable
thereon as is equivalent to the duty of excise already paid
on the inputs."
As is apparent even from the order of the Tribunal the
details of the use of paper cores in the manufacture of
paper as set out by the appellant on the basis whereof the
exemption was claimed by it read as hereunder:
"Paper cores: Paper cores are used in paper
mill on re-winding and cutting machines. The
full width of paper manufactured on paper
machine is cut in different sizes of reel and
sheets according to customer’s requirement. To
cut the parent roll of paper manufactured on
paper machine which is wound on steel-shell
into small reels suitable for cutter machine,
the paper is re-wound on ’paper cores’ fitted
on a shaft on re-winding machine. The reels
thus re-winded on paper cores can be easily
cut into sheets on cutter machine into re-
quired size or sent to customers as
895
reels as such, there is no other use of paper
cores except their use in re-winding and
cutting machine in paper mills".
On the basis of the details aforesaid the case of the appel-
lant was that the paper cores constituted "component parts"
within the meaning of the Notification entitling it to the
exemption granted by the said Notification. The case of the
respondent on the other hand was that paper cores were
really used by the appellant as packing material after the
paper had already been manufactured for taking it to the
market and did not constitute component parts of paper.
Before dealing with respective submissions made by learned
counsel for the parties it may be pointed out that it is not
in dispute that the excise duty was payable at the relevant
time separately both on paper and paper core under different
tariff items of the First Schedule to the Act and it has
also not been disputed by the respondent that if paper core
fell under the term "component parts", the appellant would
be entitled to the exemption as claimed by it and contem-
plated by the Notification. The short question which, there-
fore, arises for consideration in the instant appeal is
whether paper core is used in the manufacture of paper as
component part. Even though the term "component parts" has
not been defined either by the Act or by the Notification
the term "manufacture" has been defined in section 2(f) of
the Act. This definition inter alia contemplates that
"manufacture" includes any process, incidental or ancillary
to the completion of a manufactured product. Section 3 of
the Act which is the charging section contemplates levy and
collection of duty of excise on all "excisable goods". The
First Schedule to the Act specifies the excisable goods
under various tariff items. In the absence of any definition
of the term "component parts" it is permissible to refer to
the dictionary meaning of the word "component". According to
http://JUDIS.NIC.IN SUPREME COURT OF INDIA Page 4 of 8
the Webster Comprehensive Dictionary, International Edition
the word "component" inter alia means a constitutent part.
The term "manufacture", as already indicated above, accord-
ing to its definition in the Act includes any process inci-
dental or ancillary to the completion of manufactured
product. In this context what has to be considered is wheth-
er in the manufacture of paper, paper core is used as a
constituent part and is necessary to be used in "any process
incidental or ancillary to the completion of a manufactured
product"--namely paper in the instant case.
In M/s J.K. Cotton Spinning & Weaving Mills Co. Ltd. v.
Sales Tax Officer, Kanpur and Another, [1965] 1 S.C.R. Page
900 while dealing with the expression "in the manufacture of
goods" used in section 8(3)(b) of the Central Sales Tax Act,
1965 and Rule 13 framed
896
under the Act it was held that the said expression "would
normally encompass the entire process carried on by the
dealer of converting raw materials into finished goods.
Where any particular process is so integrally connected with
the ultimate production of goods that but for that process,
manufacture or processing of goods would be commercially
inexpedient, goods required in that process would, in our
judgment, fall Within the expression." It was further held:
"In our judgment if a process or activity is so integrally
related to the ultimate manufacture of goods so that without
that process or activity manufacture may, even if theoreti-
cally possible, be commercially inexpedient, goods intended
for use in the process or activity as specified in Rule 13
will qualify for special treatment."
(Emphasis supplied)
In Bhor Industries Ltd., Bombay v. Collector of Central
Excise, Bombay, [1989] 1 S.C.C. Page 602 while dealing with
excise duty it was held:
"Therefore, the first principle that emerges
is that excise was a duty on goods as speci-
fied in the schedule. In order to be goods an
article must be something which can ordinarily
come to the market and is brought for sale and
must be known to the market as such. There-
fore, the marketability in the sense that the
goods are known in the market or are capable
of being sold and purchased in the market is
essential."
It is in this background that the use of paper core in
the process of manufacture of paper has to be considered. If
it is found that the use of paper core is necessary in "any
process incidental or ancillary to the completion of" paper
as marketable goods and it would consequently be commercial-
ly inexpedient to sell paper without the use of paper core,
it would certainly be a constituent part of paper and would
thus fall within the purview of the term "component parts"
used in the Notification. This takes us to the process of
manufacture of paper. The process of paper manufacture is to
be found at pages 230 to 235 of Part 17 of Encyclopaedia
Britannica. The process of paper manufacture by paper making
machine is contained at pages 232 onwards. After referring
to the various stages of manufacture of paper it is stated:
"After the drying comes the calendering and
there are usually two or more sets or stacks
of calendering rolls, according to the grade
of surface required. These calenders consist
of vertical stacks of chilled iron rolls,
generally five
897
http://JUDIS.NIC.IN SUPREME COURT OF INDIA Page 5 of 8
in a stack, which revolve on one another and
some of which are bored for heating by steam;
pressure is applied to them at will, by ad-
justing levers at the top of each stack.
Finally the paper passes to cooling rolls,
where the paper can be cooled by water spray
if necessary and is then wound on to a reel."
Thereafter at page 234 it is stated:
"Paper, though made in the roll on the ma-
chine, is usually sold in the form of sheets.
A number of reels of paper, on their spindles,
mounted in a stack, are fed, as a pile of
webs, between two rollers: a series of revolv-
ing knives slits them longitudinally as they
emerge from between the rollers, in effect
into strips which are cut again transversely
by the scissors action of a movable upper
knife, working periodically against a lower
fixed knife. The cut sheets fall on ’to an
endless felt for stacking."
At the bottom of the same page it is stated:
"Paper is sold in sheets of different sizes
and is made up into reams containing from 480
to 5 16 sheets in Great Britain, 500 in the
United States; these sizes correspond to
different trade names, as foolscap, demy,
royal, etc."
It is thus apparent that paper is made (1) in the form
of rolls and (2) in the form of sheets and the paper which
is sold in the form of sheets is cut in desired sizes by
taking recourse to the process referred to above.
Chapter XIII of the Story of Papermaking by Edwin Suter-
meister 1954 Edition contains the process known as calender-
ing and finishing. At pages 183 and 184 it is stated:
"The paper from the machine, no matter what
its finish, goes next to the reels which form
large rolls the full width of the machine. The
reels are so arranged that when one cylinder
is full another can take its place while the
paper machine is running continuously. The
full cylinder is then rewound at higher speed
so that it may again be ready when needed by
the paper machine. On rewinding the paper is
trimmed on the edges and if desired is slit
into any number
898
of narrower rolls .... The cores on which
the paper is wound will depend to some extent
on what happens to the paper next. If it is
delivered to the customer in rolls as it comes
from the rewinder the cores are apt to be of
heavy board stock, wound and pasted on a
mandrel: if the rolls of paper pass to another
part of the same plant for further treatment
the cores are likely to be of iron pipe, which
can be used over and over."
With regard to the use of roll paper it is
stated at page 185:
"Roll paper is very widely used in many lines
of work. Newspapers are printed, cut and
folded direct from rolls, each of which may
weigh 1400 pounds or more; much craft paper is
sold to be used directly from the roll in
wrapping goods, while tremendous quantities
are used to feed the machines making paper
http://JUDIS.NIC.IN SUPREME COURT OF INDIA Page 6 of 8
bags. Paper for the conventional coating
operations is delivered to the coating plant
in roll form; and considerable quantities of
white paper are printed continuously from
rolls. These are only a few of the more obvi-
ous uses of roll paper.
All roll paper must reach the consumer in
perfect condition if it is to be of the great-
est use. It must be carefully wrapped and the
ends of the rolls protected by stout heads to
keep edges of the paper from being injured."
As regards paper which is to be used in
sheet form it is stated at pages 190 and 191:
"Paper which is to be used in sheet form may
be so prepared by passing directly from the
reel stand of the paper machine to a cutter,
layboy and sheet counter in line with the
machine and attended by the paper machine
crew. This system is used for coarse papers
which do not need sorting, and it is common on
machines which run off pulp for chemical or
papermaking use. As a more common alternative
the rolls go to independent cutters from the
rewinders or the supercalenders, according to
the finish the final paper is to have. The
rolls are placed on reel stands which are
constructed to hold up to twelve or more. Any
one of these may be cut singly, or all may be
cut together as desired. From the reels the
paper passes through a cutter
899
which has a knife on a revolving drum acting
in a shearing manner against a fixed bed
knife. Each time the drum revolves the knife
cuts a sheet from the web of paper being fed
continuously at constant speed, and the length
of the sheet cut is regulated by altering the
speed at which the revolving knife tums.
Cutters are also designed to split the paper
into the right width of roll, and to trim the
edges, if this has not already been done at
the rewinder.
The paper leaves the cutter on trav-
eling tapes and goes to a layboy which auto-
matically jogs the sheets into uniform piles.
These layboys take the place of operatives who
formerly did the same work, and enable higher
cutter speeds to be employed."
In the Dictionary of Paper (Fourth Edi-
tion, published under the Auspices and Direc-
tion of the American Paper Institute, Inc.)
the purpose of rewinding is stated thus at
page 346:
"Rewinding: The operation of winding the paper
accumulated on the reel of a paper machine
onto a core to a tightly wound roll suitable
for shipping or for use in the finishing or
converting department. During rewinding,
defective paper in the reel is usually removed
and breaks in the sheet are spliced and
marked."
In Pulp & Paper Science & Technology (Vol.
2, edited by C. Earl Libby) it is stated at
page 271.
"The prime purpose of the paper-machine re-
http://JUDIS.NIC.IN SUPREME COURT OF INDIA Page 7 of 8
winder is to split the sheet into the required
widths, to provide rolls of paper having the
correct diameter, and to produce firm, tightly
wound rolls of paper that can be unwound into
highspeed printing presses with few tension
problems."
What becomes obvious from the processes referred to
above, therefore, is that even though rewinding has to be
done both for manufacturing roll paper as well as sheet
paper, use of paper core in rewinding is necessary only with
regard to manufacture of roll paper, inasmuch as it is the
paper as rolled on paper core which is delivered to the
customer in the form of rolls and unless in the process of
rewinding paper core is used, paper cannot come cut of the
machine in rolls so as to be sold as a marketable commodity
known as roll paper. The use of
900
paper core, however, is not ’necessary for the manufacture
of paper sheets. As stated at page 184 of the Story of
Papermaking (supra), the core on which the paper is wound
will depend to some extent on what happens to the paper
next. If it is delivered to the customer in rolls as it
comes from the rewinder the core is apt to be of heavy board
stock wound and pasted at mandrel. If, however, the rolls of
paper are not be delivered to the customer in the form of
rolls as such and the rolls of paper are to pass to another
part of the same plant for further treatment the core is
likely to be of iron pipe which can be used over and over.
Consequently core of iron pipe is more likely to be used in
the normal course for further treatment in the plant which
will include the process of cutting the paper into sheets.
Inasmuch as core of iron pipe can be used over and over, it
cannot be said that the use of paper core is necessary for
the rewinding of paper meant to be cut into sheets. It may
be that for the sake of convenience paper core may be used
by some manufacturer even for rewinding of such paper as is
meant to be cut in sheets but in that case it would at best
provide more convenience to such manufacturer but for that
reason paper core will not become a constitutent part of
paper manufactured in sheets.
In view of the foregoing discussion, we are of the
opinion that use of paper core is necessary for rewinding of
paper if it is delivered to the customer in rolls and would
come within the purview of the expression "any process
incidental or ancillary to the completion of a manufactured
product" used in the definition of the term "manufacture" in
section 2(f) of the Act and for the same reason paper core
would also be constituent part of paper and would thus fall
within the term "component parts" used in the Notification
in so far as manufacture of paper in rolls is concerned.
Paper core, however, cannot be said to be used in the manu-
facture of paper in sheets as component part. We are con-
scious that the relevant tariff item uses the word "paper"
but since paper in rolls and paper in sheets are nothing but
different forms of paper, both of them would be excisable
goods as paper under the relevant tariff item.
In the result, this appeal succeeds and is allowed to
this extent that it is held that in the manufacture of paper
rolls delivered to the customers for use as roll paper,
paper core is used as component part. The orders of the
authorities below are modified to this extent. In the cir-
cumstances of the case, however, the parties shall bear
their own costs.
R.S.S. Appeal allowed.
901
http://JUDIS.NIC.IN SUPREME COURT OF INDIA Page 8 of 8