MIS INTEL DESIGN SYSTEMS (INDIA) P. LTD. y--- v. COMMISSIONER OF CUSTOMS & CENTRAL EXCISE

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Judgment · Supreme Court of India · decided (year only) · Bench: DR. ARIJIT PASAYAT and LOKESHWAR SINGH PANTA

[2008] 2 S.C.R. 686

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Headnote — Supreme Court Reports (editorial summary, not part of the judgment)

Catchwords

Central Excise Tariff Act, 1985: t c Sub-Heading 8536. 90 - Contractors; switches and control box - Classification of -

Held

The goo(js in question '• are used for switching, protecting electric circuits or for making connections to or in electric circuit - Hence, classifiable under Sub-Heading 8536. 90 by virtue of Note 2(f) to Section XVII - .' D CBEC circular No. 17190-CEX IV dated 9. 7. 1990 relied upon by assessee not relevant - Interpretative Rules - Rule 1. ,l The assessee-appellant was engaged in the manufacture of goods such as contractors, switches and . E · control box. It sought classification of these goods under Ch aper Heading 8710 of the Central Excise Tariff Act, 1985 on the ground that these goods were manufactured solely and principally for fitting into the tanks and armoured ~ fighting vehicles of the Defence Department. In support

..- "i Dismissing the appeal, the Court

Held

1. As per Rule 1 on Interpretative Rules, classification of excisable goods is to be determined according to the terms of the Heading and in terms of Section/Chapter notes. Note 2 (f) to Section XVII (~hich governs Chapter 87) excludes the goods viz. electrical machinery and equipment (Chapter 85). The goods in question i.e. contractors, switches, control box etc. are t the goods used for switching, protecting electrical circuits or for making connections to or in electric circuit; These parts/components are specifically covered under CSH C' 8536.90. The CBEC Circular relied upon by the assessee is not relevant. [Para 4] [690-C, D]

Reporter's headnote (continued) and case details

p. 686

A MIS INTEL DESIGN SYSTEMS (INDIA) P. LTD. y--- .. , v. COMMISSIONER OF CUSTOMS & CENTRAL EXCISE (Civil Appeal No. 4564 of 2002) FEBRUARY 11, 2008 8

• I of their contention, they relied upon Circular No. 17/90 CE F XIV dated 9.7.1990. ~ Adjudicating Authority relied upon Note 2 (f) to Section XVII and held that goods in question are parts of electrical equipments falling under Chapter Sub heading G 8536.90 and the CBEC Circular was not relevant. Accordingly Adjudicating Authority classified the goods under Chapter Sub-heading 8536.90 and confirmed the ~ demand. CEGAT dismissed the appeal of assessee. Hence the present appeal. H 686

·"{. M/S INTEL DESIGN SYSTEMS (I) P. LTD. v. COMMNR. 687 OF CUSTOMS & CENTRAL EXCISE

2. As per the Explanatory Notes to HSN, the parts falling under Chapter Heading 8710 would be ·covered D. under the said chapter, provided they fulfill both the A conditions i.e. they must be identifiable as being suitable for use solely or principally for such vehides and that they must not be excluded by the provisions of Notes to Section XVII. The identifiable parts under the said heading, bodies of armoured vehicles and parts thereof, cover E special road wheels for armoured cars, propulsion wheels for tanks, tracts etc. As per this requirement, the goods should not only be identifiable to be armoured vehicles, but it should also. not have been excluded by Notes to Section XVII. The Chapter note 2(f) excludes electrical F .... machinery and equipment falling under Chapter 85. Explanatory Notes to HSN relating to the parts and accessories excluded by Note 2 specify items with reference to specific Chapter Heading as per (7)(a), (k) which excludes photographs and other current collectors G. for electric traction vehicles, fuses, switches and other electric apparatus of Heading No.85.35 or 85.36. The items, therefore, manufactured by the appellants are identifiable or are in the nature of goods falling under Chapter Heading

• 85.36. Since these fall under the category of excluded H

p. 688

A goods under Chapter Notes, even though they are used specifically solely or principally with the armoured vehicles of Chapter Heading 8710, they are classifiable under. Chapter Heading 8536.90 only as held by the adjudicating authority. [Para 5] [690-E-H; 691-A, BJ B CIVILAPPELLATE JURISDICTION: Civil Appeal No. 4564 of 2002. From the final Judgment and Order No. C-1/1270/WZB/ 02 dated 10.05.2002 passed by the Central Excise & Gold c (Control) Appellate Tribunal, West Regional Bench at Mumbai in Appeal No. E/829/2000-Mum. Ramesh Singh, Pratap Venugopal, Jhuma Bose, Harshad V. Hameed and Dileep P. (for Mis. K.J. John & Co.) for the Appellant. D P. Vishwanatha Shetty, Narasimha, S.J. Aristotle and B. Krishna Prasad for the Respondent.

Judgment

The Judgment of the Court was delivered by Dr. ARIJIT PASAYAT, J. 1. Challenge in this appeal is to E the order passed by the Customs, Excise and Gold (Control) Appellate Tribunal, Fort, Mumbai (in short 'CEGAT') dismissing the appeal _filed by the appellant questioning correctness of the order in appeal dated 27.10.1999 passed by Commissioner, Customs and Central Excise (Appeals), Pune (in short F 'Commissioner (Appeals)). Background facts in a nutshell are as follows: The appellant, engaged in the manufacture of excisable goods, inter alia, filed classification list of their products mentioned at Sr. No.1 (a) to (u) of the classification declaration with effect from 20.12.1996 claiming classification under Chapter Heading 8710 of the Schedule to the Central Excise Tariff Act, 1985 (in short the 'Tariff Act'). The goods in the classification list were described as parts of tanks and other armoured and motorized fighting vehicles under Chapter Sub-

"' M/S INTEL DESIGN SYSTEMS (I) P. LTD. v. COMMNR. OF CUSTOMS & CENTRAL EXCISE [PASAYAT, J.] 689

~ ., Heading 8710.00 of the Tariff Act. It is the contention of the appellants that the said goods are manufactured for Government of India, Ministry of Defence and are used in the tanks and armoured fighting vehicles. These goods are strictly manufactured as per drawing and design supplied by the customer i.e. Ministry of Defence. Since the goods are manufactured for use solely and principally for fitting into the tanks in armoured fighting vehicles of the Defence Department, t the correct classification would be under Chapter sub-heading 8710.00. In support of their contention, they have also relied upon the Circular No.17/90 CEX IV dated 9.7.1990 in which it c was clarified that transmission elements, switches, gears, gearing etc. do not fall under Chapter Heading 84.83 when they are specifically designed for use in the vehicles of Section XVII of the Tariff. In support they have submitted CT2 certificate received from Superintendent, Central Excise, Madras wherein it was stated that said goods are classifiable under Chapter .>. Heading 8710. In view of the evidence, it was contended that their classification under Chapter Heading 8710 was in order. On the other hand, the adjudicating authority relied upon Note 2(f) to Section XVII which excludes the goods i.e. electrical machinery and equipment falling under Chapter 85 and since the appellants' manufacture goods such as contractors, switches, control box etc. and are used for switching/protecting electrical circuits or for making connections to or in electric circuits, these are parts of electrical equipments falling under chapter sub- heading 8536.90 and CBEC circular was, therefore, not relevant. F -~ Moreover, reliance was placed on the interpretative Rule 3(a) which provides that specific entry shall be preferred to the heading providing more general description. Accordingly, Assistant Commissioner classified the goods under chapter sub-heading 8536.90 and confirmed the demand. G CEGAT dismissed the appeal filed by the appellant. -1f

22. Learned counsel for the appellant submitted that the classification list for period in question was submitted on 9.4.1997 for the previous periods. Such classification lists were H

p. 690

A approved. The show-cause n'otice was issued by the r- ~ Department proposing to levy duty under Heading 8536.90. The 1 Department had not proved that articles fall within Heading 8536.90. It has also relied on Circular No.17/90-CX.4, dated 9.7.1990. A note II has no application because Department has B not proved that the articles fall under Chapter 85. Leaned counsel for the respondent supported the orders.

33. It is to be noted that the CEGAT has held that goods are ~ identifiable as goods under Chapter 8536.90. The authorities •' have categorically held that the article falls under Chapter 85. c

44. As per Rule 1 on Interpretive Rules, classification of excisable goods is to be determined according to the terms of the Heading and in terms of Section/Chapter notes. Note 2(f) to Section XVII (which governs Chapter 87) excludes the goods viz. electrical machinery and equipment (Chapter 85). The goods 0 in question i.e. contractors, switches, control box etc. are the goods used for switching, protecting electrical circuits or for .~ making connections to or in electric circuit. These parts/ - components are specifically covered under CSH 8536.90. The CBEC Circular relied upon by the assessee is not relevant. E

55. As per the Explanatory Notes to HSN the parts falling under Chapter Heading 8710 would be covered under the said chapter, provided they fulfill both the conditions i.e. they must be identifiable as being suitable for use solely or prinCipally for such vehicles and that they must not be excluded by the provisions of Notes to Section XVI I. The identifiable parts under ~ ~ the said heading bodies of armoured vehicles and parts thereof, cover special road wheels for armoured cars, propulsion wheels for tanks, tracts etc. As per this requirement, the goods should not only be identifiable to be armoured vehicles, but it should so not have been excluded by Notes to Section XVII. The Chapter note 2(f) excludes electrical machinery and equipmentfalling .._ under Chapter 85. Explanatory Notes to HSN relating to the parts and accessories excluded by Note 2 specify items with reference to specific Chapter Heading as per (7) (a), (k) which H

M/S INTEL DESIGN SYSTEMS (I) P. LTD. v. COMMNR. 691 OF CUSTOMS & CENTRAL EXCISE [PASAYAT, J.] ~ ~ excludes photographs and other current collectors for electric A traction vehicles, fuses, switches and other electric apparatus of Heading No.85.35 or 85.36. The items, therefore, manufactured by the appellants are identifiable or are in the nature of goods falling under Chapter Heading 85.36. Since these fall under the category of excluded goods under Chapter B Notes, even though they are used specifically solely or principally ... ~with the armoured vehicles of Chapter Heading 8710, they are classifiable under Chapter Heading 8536.90 only as held by the adjudicating authority.

66. The appeal is therefore sans merit, deserves dismissal C which we direct. D.G. Appeal dismissed.

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