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        <h1>Appellant's Refund Claim Rejected Due to Time Bar; Tribunal Emphasizes Adherence to Statutory Provisions</h1> <h3>M/s Balrampur Chini Mills Ltd. Versus Commissioner of Central Excise & Service Tax, Lucknow</h3> The appellant's refund claim for Education Cess and Secondary Higher Education Cess was rejected as time-barred under Section 11B of the Central Excise ... Refund of Education Cess and Secondary Higher Education Cess - time limitation - whether the refund doing are required to be rejected, in terms of provisions of Section 11B of the CEA or the general limitation period of 3 years as available under the limitation Act has to be followed? - Held that: - the refund claim by an assessee originate on account of the fact that such duty was not required to be paid. If refunds are allowed without adhering to the limitation provided under the said Section, the Section would become infructuous and otiose - It is well settled law that any interpretation, which render a particular provisions of law infructuous, has to be avoided - appeal dismissed - decided against appellant. Issues:1. Refund claim rejection based on time bar under Section 11B of the Central Excise Act.2. Applicability of general limitation period of 3 years for refund claims.3. Interpretation of provisions of law to avoid rendering them infructuous.4. Boundaries of relief granted by departmental authorities and Tribunal.5. Impact of Supreme Court decisions on refund claims filed before Revenue authorities.Issue 1: Refund claim rejection based on time bar under Section 11B of the Central Excise ActThe appellant, engaged in sugar manufacturing, filed a refund claim for Education Cess and Secondary Higher Education Cess erroneously paid during July 2009 to December 2009. The claim was rejected by lower authorities citing it as time-barred, filed after 2 years and 9 months from the date of payment. The Lower Authority referred to the Hon’ble Supreme Court's procedure in a specific case to justify the rejection based on Section 11B's one-year limit for claiming refunds. The appellant's argument that refunds should be granted regardless of time bar due to unauthorized payments and Revenue retention was not accepted by the authorities.Issue 2: Applicability of general limitation period of 3 years for refund claimsThe key issue in this appeal was whether refunds should be rejected under the provisions of Section 11B of the Central Excise Act or if the general limitation period of 3 years, as per the Limitation Act, should be followed. The appellant's claim for refunds arose from payments not required to be made, leading to a debate on the appropriate limitation period. It was emphasized that allowing refunds without adhering to the limitations provided under Section 11B could render the section ineffective and purposeless, highlighting the importance of legal interpretation to prevent such outcomes.Issue 3: Interpretation of provisions of law to avoid rendering them infructuousThe Tribunal stressed that any interpretation of the law that renders a provision ineffective must be avoided. It was established that the departmental authorities and the Tribunal are bound by the provisions of the Act and cannot exceed the relief granted by the law. Citing the Hon’ble Supreme Court's decision in a specific case, it was reiterated that the provisions of the Act must be strictly followed to prevent circumvention of legal limitations and ensure the proper application of refund procedures.Issue 4: Boundaries of relief granted by departmental authorities and TribunalThe Tribunal highlighted that departmental authorities and the Tribunal are constrained by the statutory provisions and cannot extend relief beyond what is legally permissible. Referring to the Hon’ble Supreme Court's decision in another case, the Tribunal emphasized the importance of adhering to the limitations set forth in the statute when processing refund claims. The judgment underscored that extraordinary jurisdiction invoked by High Courts to apply a 3-year limitation period does not extend to cases where refund applications are submitted before Revenue authorities.Issue 5: Impact of Supreme Court decisions on refund claims filed before Revenue authoritiesIn the context of refund claims filed before Revenue authorities, the Tribunal found no grounds to challenge the lower authorities' decision based on the applicable legal provisions and Supreme Court precedents. The judgment concluded that the impugned order of rejecting the appeal on the grounds of time bar was justified, aligning with the legal framework and precedents cited. The appeal was consequently rejected based on the established legal principles and interpretations.This detailed analysis of the judgment from the Appellate Tribunal CESTAT ALLAHABAD provides a comprehensive overview of the issues involved, the legal arguments presented, and the Tribunal's decision based on the interpretation of relevant legal provisions and precedents.

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