Extended limitation and natural justice in tax adjudication upheld where clandestine removal allegations and prior opportunities supported the proceedings.
Allegations of clandestine removal, incorrect statutory records and non-accountal of goods were treated as attracting the extended limitation under the proviso to Section 11A, so the limitation challenge failed. The objection that the chemist's report and production figures were not supplied also failed because the record showed those materials had been made available, and no proper application for further documents was shown. A complaint of denial of natural justice likewise failed, as repeated opportunities, prior notice and filed written submissions were held sufficient; personal hearing was not treated as indispensable in every case. The adjudication was therefore upheld and writ interference was refused.
Issues: (i) whether the show cause notice and demand were barred by limitation, (ii) whether non-supply of the chemist's report and production figures vitiated the proceedings, and (iii) whether refusal of adjournment and absence of personal hearing violated natural justice.
Issue (i): whether the show cause notice and demand were barred by limitation.
Analysis: The demand was founded on alleged clandestine removal, incorrect entries in statutory records, and non-accountal of goods. On those facts, the case fell within the extended limitation contemplated by the proviso to Section 11A, and not within the shorter period applicable to a mere short levy.
Conclusion: The challenge on limitation failed and was against the assessee.
Issue (ii): whether non-supply of the chemist's report and production figures vitiated the proceedings.
Analysis: The record showed that the documents relied upon were made available and that the chemist's report had also been supplied. No application was shown to have been made in the manner contemplated by the earlier court direction for summoning additional documents. The pleaded grievance of non-supply was therefore unsupported.
Conclusion: The challenge based on non-supply of documents failed and was against the assessee.
Issue (iii): whether refusal of adjournment and absence of personal hearing violated natural justice.
Analysis: Repeated opportunities had already been granted, written submissions were filed, and the matter had remained pending for years. The request for adjournment was made at the last moment despite prior notice that the matter would be decided on merits if no appearance was made. In these circumstances, the opportunity requirement of natural justice was treated as satisfied; personal hearing was not held indispensable in every case.
Conclusion: The plea of violation of natural justice failed and was against the assessee.
Final Conclusion: The impugned adjudication was upheld, and no ground was made out for interference under writ jurisdiction.
Ratio Decidendi: In tax adjudication, the requirement of natural justice is satisfied when a reasonable opportunity to present the case is afforded, and where clandestine removal or suppression is alleged, the extended limitation under the proviso to Section 11A applies.