ASSTT. COMMISSIONER COMMERCIAL TAXES DEPARTMENT Vs. ROMESH POWER PRODUCT PVT. LTD.
LAWS(RAJ)-2014-8-59
HIGH COURT OF RAJASTHAN (AT: JAIPUR)
Decided on August 26,2014

Asstt. Commissioner Commercial Taxes Department Appellant
VERSUS
Romesh Power Product Pvt. Ltd. Respondents

JUDGEMENT

- (1.) The Rajasthan Tax Board, Ajmer (hereinafter 'the Board') by its order dated 4-11-2003 concurred with Deputy Commissioner's (Appeals) order dated 31-12-2002 that the Assessing Authority in its order dated 20-4-1999 has wrongly denied the respondent-assessee (hereinafter 'the assessee') the benefit of notification dated 6-3-1991. The Commercial Tax Department (hereinafter 'the department') is aggrieved. Hence this petition.
(2.) The facts of the case are that the assessee was at the time relevant to assessment year engaged in the business of manufacturing and selling of Electrical Wires, PVC Power Electrical Cables and Electrical Cables. Under the powers conferred by Section 4(2) of the Rajasthan Sales Tax Act, 1954 (hereinafter 'the 1954 Act') the State Government with immediate effect beginning 6-3-1991 exempted from purchase by a registered dealer of any product of copper to the extent to which the rate of tax in respect thereof exceeded 1.5% in the event of three conditions detailed in the notification dated 6-3-1991 were satisfied. The three conditions were:- "1. that such copper is used as raw material in the manufacture of any other products of copper within the State of Rajasthan. 2. that such manufactured products of copper is sold within the State or in the course of inter-state trade or commerce; and 3. that such manufacturer shall issue a declaration to this effect in the form ST 17 appended to the RST Rules, 1955 to the selling dealer."
(3.) The respondent assessee a registered dealer under the 1954 Act purchased copper claiming exemption from tax over 1.5% ad valorem and admittedly utilised the same for manufacturing of PVC Power Electrical Cables and Electrical Cables. In a survey of the assessee's business on 7-11-1997, finding that the assessee was manufacturing and selling PVC Power Electrical Cables and Electrical Cables, the Assistant Commercial Taxation Officer was of the view that the assessee was not fulfilling the condition of the notification dated 6-3-1991, which provided that copper purchased on a concessional rate be used as a raw material in the manufacture of any other product of copper within the State of Rajasthan. Show cause notice ensued. Reply of denial was filed by the assessee. The Assessing Officer however denied the benefits of the notification dated 6-3-1991 to the assessee to the extent it utilised purchase of copper at a concessional rate for the manufacture of PVC Power Electrical Cables and Electrical Cables and vide order dated 20-4-1999 visited the assessee with additional tax of 1.5% (over the tax already paid) being the differential tax as purchase of copper at the relevant time was otherwise chargeable to tax at the rate of 3%. Interest on tax short paid was also levied.;


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