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        Cases where this provision is explicitly mentioned in the judgment/order text; may not be exhaustive. To view the complete list of cases mentioning this section, Click here.

        Provisions expressly mentioned in the judgment/order text.

        <h1>Tribunal Balances Justice & Finance: Pre-Deposits, Stay Orders</h1> The Tribunal's decision addressed the issues of natural justice violations, allegations of clandestine removal of goods, and the financial crisis faced by ... Stay/Dispensation of pre-deposit Issues:- Violation of principles of natural justice in the impugned order- Allegations of clandestine removal of goods- Financial crisis and incapacity of the petitionerAnalysis:Violation of Principles of Natural Justice:The appellant contended that the impugned order was flawed due to the non-observance of natural justice principles. The appellant argued that they were not provided with adequate time to obtain copies of crucial documents, leading to prejudice in conducting their case. Citing the Supreme Court ruling in Sanghi Textile Processors (P) Ltd. v. Collector of Central Excise, the appellant emphasized the importance of being furnished with relevant documents. Additionally, the appellant raised concerns about the lack of easy access to their records in the office of the Collectorate, resulting in delays. The appellant highlighted that the order failed to consider key aspects such as the normal quantum of production, which would have indicated no need for clandestine removal. The financial difficulties faced by the appellant, including labor unrest and creditor demands, were also presented as factors affecting their ability to defend the case.Allegations of Clandestine Removal of Goods:The Departmental Representative argued that the appellant had shown total inaction and laches in the case, with significant delays in accessing records and participating in the personal hearing. The adjudicating authority addressed the allegations of natural justice violations extensively in the impugned order. The Departmental Representative maintained that the records did not support the appellant's claims of inadequate opportunity and emphasized that the order adequately responded to the allegations of clandestine removal of goods. However, the Departmental Representative had no instructions regarding the financial crisis faced by the appellant.Financial Crisis and Incapacity of the Petitioner:Considering the financial position of the petitioner, which included demands from financial institutions and labor unrest leading to factory closure, the Tribunal acknowledged the challenging circumstances faced by the appellant. After reviewing the financial troubles and outstanding liabilities, the Tribunal directed the petitioner company to pre-deposit a specified amount to address the interests of justice. The Tribunal also ordered a nominal pre-deposit for another petitioner. Compliance deadlines were set, and stay of recovery was granted contingent on meeting the pre-deposit requirements. The appellant's request for early hearing post-compliance was accepted by the Tribunal.In conclusion, the Tribunal's decision addressed the issues of natural justice violations, allegations of clandestine removal of goods, and the financial crisis faced by the appellant. The judgment balanced considerations of procedural fairness and financial constraints, providing directives for pre-deposits and stay of recovery pending appeal. The case highlighted the importance of upholding natural justice principles while also recognizing the practical challenges faced by the parties involved.

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        ActsIncome Tax
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