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        <h1>Settlement Commission's Authority in Case Settlements Despite Revenue Objections</h1> <h3>IN RE: ALTEK (I) PVT. LTD.</h3> The Settlement Commission was mandated to entertain and settle the case entirely, including all related proceedings, despite objections by the Revenue. ... Settlement of case - Admission of Issues:1. Application for settlement of case arising from non-fulfilment of export obligation and seeking reduction in duty payable.2. Discrepancy in duty liability due to failure in export obligation.3. Objection by Revenue regarding settlement application and pending appeal proceedings.4. Interpretation of the term 'case' under Customs Act and Settlement Commission's authority.5. Requirement for Settlement Commission to entertain and settle the case in full.6. Consideration of duty liability, interest, and financial difficulty in payment of admitted duty liability.Analysis:1. The case involves an application for settlement by M/s. Altek India Private Limited regarding non-fulfilment of export obligations and seeking a reduction in duty payable on imported goods. The applicant imported capital goods under an EPCG license and failed to meet export obligations due to economic recession and contractual restrictions, leading to a duty liability discrepancy.2. The applicant failed to fulfil export obligations from the second year onwards, citing economic challenges and contractual limitations. The duty liability discrepancy arose as the applicant paid a concessional duty of 15% at clearance, but now seeks to pay Rs. 7,92,421 out of the total liability of Rs. 10,35,302, with the balance already encashed by Customs authorities.3. The Revenue raised objections to the settlement application, stating that no case remains pending for levy/collection due to already realized duty and interest. However, the Settlement Commission's authority to entertain cases in full, including pending appeal proceedings, was highlighted based on the definition of 'case' under the Customs Act.4. The interpretation of the term 'case' under the Customs Act was crucial, emphasizing the Settlement Commission's obligation to decide the case as a whole. Referring to legal precedents, the Commission must withdraw related proceedings from other authorities and handle the case comprehensively to avoid multiplicity of proceedings.5. The Settlement Commission is mandated to entertain and settle the case entirely, including all related proceedings. Despite objections by the Revenue, the Commission must consider the application in full, especially when one of the proceedings is pending with the appellate authority.6. Detailed analysis of duty liability, interest, and financial constraints was crucial in determining the admitted duty liability and payment terms. The applicant's plea for instalment payments was partially accepted, with a modified payment schedule considering financial difficulties, and the requirement to maintain a Bank Guarantee until final settlement.Overall, the judgment delves into the complexities of duty liability discrepancies, legal interpretations, and financial considerations in settling cases related to non-fulfilment of export obligations and duty payments under the Customs Act.

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