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Adhunik Food Products (P) Ltd., U.P. Vs. Commissioner of Central Excise, Meerut - Court Judgment

SooperKanoon Citation
SubjectExcise
CourtSupreme Court of India
Decided On
Case NumberCivil Appeal No. 654 of 2002
Judge
Reported in2007(117)ECC296; 2007LC296(SC); 2007(211)ELT360(SC); JT2007(8)SC338; 2007(6)SCALE22; (2007)9SCC32; 2007(1)LC605(SC)
ActsCentral Excise Tariff Act, 1985; Central Excises Act, 1944 - Sections 5A(1)
AppellantAdhunik Food Products (P) Ltd., U.P.
RespondentCommissioner of Central Excise, Meerut
Appellant Advocate A.R. Madhav Rao,; Alok Yadav and; M.P. Devnath, Advs
Respondent Advocate V. Shekhar, Sr. Adv., ; C.K. Sucharita and ; B.K. Prasad,
DispositionAppeal allowed
Prior historyFrom the Judgment and Order 215/2001-D dated 09.11.2001 of the Customs, Excise and Gold (Control) Appellate Tribunal, New Delhi in Appeal No. E-251/1998-D
Excerpt:
.....of the notification no.2/1994 dated 1.3.1994 - whether 'puffs' made from cereals would fall under chapter heading 19.04 or under chapter heading 21.07 of central excise tariff act, 1985 and whether exemption could be claimed by virtue of exemption notification - held, in impugned judgment there is no finding given by tribunal as to whether 'puffs' prepared from cereals would fall under the chapter heading 19.04 - nor as to the quantity of puffed soya nuts sold by the assessee - or as to whether 'puffed soya nuts' were supplied to icds, haryana under the brand name 'bonton' or whether they were supplied without any brand name being affixed to the unit containers - and further questions as to benefit of exemption given if product is soya based food preparation for infant use also not..........'puffs' obtained by the swelling or roasting of cereals constitute preparations of cereals under chapter heading 19.04. according to the appellant 'puffs' from cereals fall under chapter heading 21.07 (edible preparations).2. the assessee manufactures 'puffs' from cereals namely wheat and soya nuts. the said product is packed in unit containers and supplied to integrated child development scheme (for short 'icds') in haryana. on 21.3.1997 a show-cause notice was issued by the department raising a demand on the assessee for mis-declaration of the said products as 'chabena/prasad'. in the said show cause notice it was further alleged that the products were sold under the brand name 'bonton'. under the said show cause notice it was also alleged that the said 'puffs' were sold in the.....
Judgment:

S.H. Kapadia, J.

1. A short point which arises for determination in this civil appeal is : whether 'puffs' obtained by the swelling or roasting of cereals constitute preparations of cereals under Chapter Heading 19.04. According to the appellant 'puffs' from cereals fall under Chapter Heading 21.07 (Edible preparations).

2. The assessee manufactures 'puffs' from cereals namely wheat and soya nuts. The said product is packed in unit containers and supplied to Integrated Child Development Scheme (for short 'ICDS') in Haryana. On 21.3.1997 a show-cause notice was issued by the Department raising a demand on the assessee for mis-declaration of the said products as 'chabena/prasad'. In the said show cause notice it was further alleged that the products were sold under the brand name 'bonton'. Under the said show cause notice it was also alleged that the said 'puffs' were sold in the market as breakfast cereals, high in protein and low in cholesterol. It was further alleged that the said products were sold to five star hospitals and public schools. In the circumstances the assessee was called upon to pay to the Department Rs.2.31 crores as duty for the aforesaid period. This demand has been confirmed by the authorities below as well as by the Tribunal. Hence this civil appeal.

3. In this case we are concerned with two sets of the same entry since the show cause notice covers the period of 5 years between 1992-93 to 1996-97. For the period 1994-95 we quote hereinbelow Chapter Heading 19.04

CHAPTER 19

PREPARATIONS OF CEREALS, FLOUR, STARCH

OR MILK; PASTRY COOKS' PRODUCTS

Notes:

1. xxx xxx xxx2. Heading No.19.04 does not cover preparations containing more than 8% by weight of cocoa powder or coated with chocolate or other food preparations containing cocoa of Chapter 18.Heading Sub- Description of goods Rate of No. heading dutyNo.(1) (2) (3) (4)19.04 Prepared foods obtained by the swelling or roasting of cereals or cereal products (for example, corn flakes); cereals, other than maize (corn), in grain form, pre-cooked or otherwiseprepared1904.10 Put up in unit containers 10%and ordinarily intended for sale1904.90 Other Nil

For the same period we quote hereinbelow Chapter Heading 21.07:

CHAPTER 21

MISCELLANEOUS EDIBLE PREPARATONS

Notes:

1 to 4. xxx xxx xxx5. Heading No.21.07, inter alia, includes:

(a) protein concentrates and textured protein substances;

(b) preparations for use, either directly or after processing (such as cooking; dissolving or boiling in water, milk or other liquids), for human consumption;

(c) preparations consisting wholly or partly of foodstuffs, used in the making of beverages or food preparations for human consumption;

(d) powders for table creams, jellies, ice- creams and similar preparations, whether or not sweetened;

(e) flavouring powders for making beverages, whether or not sweetened;

(f) peanut butter;

(g) preparations consisting of tea or coffee and milk powder, sugar and any other added ingredients;

(h) preparations (for example, tablets) consisting of saccharum and a foodstuff, such as lactose, used for sweetening purposes;

(i) pre-cooked rise cooked either fully or partially and their dehydrates; and

(j) preparations for lemonades or other beverages, consisting, for example, of flavoured or coloured syrups, syrup flavoured with an added concentrated extract, syrup flavoured with fruit juices and concentrated fruit juice with added ingredients.

(emphasis supplied)Heading Sub- Description of goods Rate ofNo. heading dutyNo.(1) (2) (3) (4)21.07 Edible preparations, not elsewhere specified or included2107.10 Prasad or prasadam Nil2107.20 Sterilised or pasteurized NilmiltoneOther:2107.91 Put up in unit containers 50%and ordinarily intended for sale2107.99 Other 50%

4. At this stage it may be noted that Chapter sub- heading 2107.91 during the relevant period attracted 50% duty. However, the effective rate of duty was nil in view of general exemption No.83 (item No.25) of the Notification No.2/1994 dated 1.3.1994. We quote hereinbelow item No.25 of General Exemption No.84 vide Notification No.2/1994.

GENERAL EXEMPTION NO.83

Effective rate of duty for certain specified goods of Chapters 4 to 22

In exercise of the powers conferred by Sub-section (1) of Section 5A of the Central Excises and Salt Act, 1944 (1 of 1944), the Central Government, being satisfied that it is necessary in the public interest so to do, hereby exempts goods specified in column (3) of the Table hereto annexed and falling under the Chapter or sub-heading No. of the Schedule to the Central Excise Tariff Act, 1985 (5 of 1986), specified in the corresponding entry in column (2) of the said Table, from so much of the duty of excise leviable thereon which is specified in the said Schedule, as is in excess of the amount calculated at the rate specified in the corresponding entry in column (4) thereof.Heading Sub- Description of goods Rate of No. heading dutyNo.(1) (2) (3) (4)25 2107.91 (i) Soya textured protein, NilSoya yoghurt, soya tofu, soya based food preparations for infant use, soya milk powder, soya noodles, soya macaroni and soya tempeh, whether or not containing other food ingredients but not containing cocoa; (ii) Powders of fruits and vegetables;(iii) Papad, idli-mix, vada-mix, dosa-mix, jalebi-mix, gulabjamun-mix or namkeens, such as bhujyia, chabena.

5. Heard learned Counsel on both sides. In the present matter the show cause notice concentrated more on the denial of exemption claimed by the assessee, than the classification. We may make it clear that the 'puffs' prepared from cereals cannot fall within the item 'Prasad/prasadam'. To that extent we are in agreement with the impugned order of adjudication.

6. The main question which was required to be decided was whether 'puffs' made from cereals would at all fall under Chapter Heading 19.04 or whether they would fall under Chapter Heading 21.07 (remoulded as Chapter Heading 21.08 during the Assessment Year 1996-97). For the sake of clarity we also quote hereinbelow the remoulded Chapter Heading 21.08.

CHAPTER 21

MISCELLANEOUS EDIBLE PREPARATONS

Notes:

1 to 8. xxx xxx xxx9. Heading No. 21.08, inter alia, includes:

(a) protein concentrates and textured protein substances;

(b) preparations for use, either directly or after processing (such as cooking; dissolving or boiling in water, milk or other liquids), for human consumption;

(c) preparations consisting wholly or partly of foodstuffs, used in the making of beverages or food preparations for human consumption;

(d) powders for table creams, jellies, ice- creams and similar preparations, whether or not sweetened;

(e) flavouring powders for making beverages, whether or not sweetened;

(f) peanut butter;

(g) preparations consisting of tea or coffee and milk powder, sugar and any other added ingredients;

(h) preparations (for example, tablets) consisting of saccharum and a foodstuff, such as lactose, used for sweetening purposes;

(i) pre-cooked rise cooked either fully or partially and their dehydrates; and

(j) preparations for lemonades or other beverages, consisting, for example, of flavoured or coloured syrups, syrup flavoured with an added concentrated extract, syrup flavoured with fruit juices and concentrated fruit juice with added ingredients.Heading Sub- Description of goods Rate of No. heading dutyNo.(1) (2) (3) (4)21.08 Edible preparations, not elsewhere specified or included2108.10 Preparations for lemonades 40%or other Beverages intended for use in the manufacture of Aerated Water 2108.20 Sharbat 20%2108.30 Prasad or Prasadam Nil2108.40 Sterilised or pasteurized NilmiltoneOther:2108.91 Not bearing a brand name Nil2108.99 Other 20%

7. In the entire discussion in the impugned judgment there is no finding given by the Tribunal as to whether 'puffs' prepared from cereals would fall under the Chapter Heading 19.04. As far as 'puffs' prepared from soya nuts are concerned there is no finding as to the quantity of puffed soya nuts sold by the assessee during the above period to ICDS, Haryana and the quantity of the said product sold by the assessee during the said period to public schools and five star hospitals. There is also no finding as to whether 'puffed soya nuts' were supplied to ICDS, Haryana under the brand name 'bonton' or whether they were supplied without any brand name being affixed to the unit containers. These questions are important since the entry 2108.91 refers to nil rate of duty for 'Other Edible Preparations' as long as the product is supplied without a brand name. These questions are also important to be decided particularly since the General Exemption No.83 states that the benefit of exemption shall be given only if the product is a soya based food preparation for infant use. According to the assessee puffed soya nuts is a soya based food preparation under item No.25 of the Notification No.2 of 1994 (General Exemption No.83). According to the assessee puffed soya nuts were supplied to the schools under ICDS programme. None of the questions have been decided.

8. In the circumstances, we set aside the impugned judgment of the tribunal and remand the matter to the adjudicating authority for fresh determination in accordance with law. The appeal is accordingly allowed with no order as to costs.


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