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Home > Cases Phrase: classifier Year: 1997 Page 1 of about 979 results (0.014 seconds)
Sep 15 1997 (TRI)

S.S. Miranda Limited Vs. Collector of Central Excise

Court: Customs Excise and Service Tax Appellate Tribunal CESTAT Delhi

Decided on: Sep-15-1997

Reported in: (1988)LC166Tri(Delhi)

..... steel after 1 3 1988 the departmental authorities at bombay have classified the goods under heading 8202 10 as interchangeable tools for ..... who have pressed into force the interpretative rule 2 a to classify the item under chapter 82 while the other arising from vadodara ..... relied by the party the learned assistant collector has proceeded to classify the goods under chapter 73 and rejected the plea for .....

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May 20 1997 (TRI)

Gift and Time Products Vs. Commissioner of Central Excise

Court: Customs Excise and Service Tax Appellate Tribunal CESTAT Delhi

Decided on: May-20-1997

Reported in: (1999)(107)ELT707TriDel

..... the other with pen stand electronic digital clock and calculator the appellants had sought to classify both these items as electronic digital clock under heading no 91 05 of the tariff ..... concerned with the classification of the composite products the electronic digital clock and calculator are classifiable separately and proper central excise duty is required to be paid by the manufacturers of .....

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Feb 06 1997 (TRI)

Perfect Electric Concern Pvt. Vs. Collector of C. Ex.

Court: Customs Excise and Service Tax Appellate Tribunal CESTAT Delhi

Decided on: Feb-06-1997

Reported in: (1997)(93)ELT622TriDel

..... and various sections chapter notes all parts and accessories of the motor vehicles are not classifiable under heading 87 08 the parts and accessories which are specifically included in any other ..... conclusion on a detailed consideration of textual authorities and hsn notes that ptmag is correctly classifiable as other polyesters meriting classification under heading 39q7 99 and not under heading 29 05 .....

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May 30 1997 (TRI)

ind. Laundry and Drycleaning Vs. C.C.E.

Court: Customs Excise and Service Tax Appellate Tribunal CESTAT Delhi

Decided on: May-30-1997

Reported in: (1999)(110)ELT581TriDel

..... covered trailers and semi trailers other vehicles not mechanically propelled parts thereof the revenue had classified these trolleys under heading no 94 03 as items of furniture heading no 94 03 ..... parts thereof according to them their trolleys were non mechanically propelled vehicles the revenue had classified these trolleys under heading no 94 03 which covered the following the scope and coverage .....

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Dec 09 1997 (TRI)

Vishal Exports Vs. Collector of Customs

Court: Customs Excise and Service Tax Appellate Tribunal CESTAT Delhi

Decided on: Dec-09-1997

Reported in: (1998)(103)ELT74TriDel

..... specifically covered by sub heading 8452 90 6 the revenue had classified the spare parts under sub heading 8483 90 heading 84 83 ..... appeal had contended that the electric motors and stands should be separately classified on merits and should not go with the sewing machines we ..... for industrial sewing machine we consider that it was also correctly classifiable u s h 8452 40 of the tariff the revenue s .....

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Jan 06 1997 (TRI)

M.M. Khambhatwala Vs. Collector of C. Ex.

Court: Customs Excise and Service Tax Appellate Tribunal CESTAT Delhi

Decided on: Jan-06-1997

Reported in: (1997)(92)ELT162TriDel

..... whatever form shampoos whether or not containing soap or organic surface active agents 2 appellants classified their product m 37 under their classification list dated 1 1 1987 under heading 3301 ..... re classification of the product retrospectively whereas the impugned order of the assistant collector had classified the product under such sub heading 3305 10 only prospectively i e from the date .....

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Feb 17 1997 (TRI)

Collector of Central Excise Vs. Peenya Engg. Industries

Court: Customs Excise and Service Tax Appellate Tribunal CESTAT Delhi

Decided on: Feb-17-1997

Reported in: (1997)(93)ELT62TriDel

..... ordinarily intended for packaging of goods for sale of aluminium were classifiable under sub heading no 8312 11 of all base metal ..... packaging of goods for sale was not applicable to the containers classifiable under sub heading no 8312 90 the respondents in the ..... asstt collector that the goods manufactured by the assessee were rightly classifiable under heading no 8312 90 was correct 11 taking all the .....

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Apr 24 1997 (TRI)

B.S. and B. Safety Systems (i) Ltd. Vs. Commissioner of C. Ex.

Court: Customs Excise and Service Tax Appellate Tribunal CESTAT Tamil Nadu

Decided on: Apr-24-1997

Reported in: (1999)(112)ELT642Tri(Chennai)

..... by the collector appeals in the impugned order the collector appeals classified the safety valves which are 9 in number under heading 8481 ..... or finishing cellulosic pulp paper or paper board requires to be classified under heading 84 31 then coming to granite press roll the ..... exceeds 1200c and in such circumstances amp therefore the same is classifiable under 84 17 of the customs tariff 5 applying the .....

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Nov 04 1997 (TRI)

Commissioner of C. Ex. Vs. Bakelite Hylam Limited

Court: Customs Excise and Service Tax Appellate Tribunal CESTAT Tamil Nadu

Decided on: Nov-04-1997

Reported in: (1998)(98)ELT218Tri(Chennai)

..... copolymers including co polycondensates copolyaddition products block copolymers and graft copolymers are to be classified in the same sub heading as homopolymers of the predominant comonomer and chemically modified ..... mentioned in chapter note 5 going by this note same would have been automatically classified under tariff heading 3907 50 as maleic resins are covered under this heading however .....

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Nov 24 1997 (TRI)

Grasim Industries Ltd. Vs. Collector of Customs

Court: Customs Excise and Service Tax Appellate Tribunal CESTAT Delhi

Decided on: Nov-24-1997

Reported in: (1998)(103)ELT515TriDel

..... every machinery for making or finishing cellulosic pulp paper or paper board requires to be classified under heading 84 31 then coming to granite press roll the imported article under consideration ..... assessment of the product under chapter sub heading 8419 50 whereas the department held it classifiable under chapter sub heading 6815 10 for examining description of the goods against these chapter .....

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