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<h1>Appeal allowed, duty demand set aside. Precedents upheld on service charges inclusion. Department's arguments flawed.</h1> <h3>RAJASTHAN ELECTRONICS LIMITED Versus COLLECTOR OF CENTRAL EXCISE, JAIPUR</h3> The Tribunal allowed the appeal in favor of the appellant, setting aside the duty demand of Rs. 9,99,823.25. The appellant's argument, based on legal ... Valuation Issues:- Failure to disclose correct assessable value- Alleged evasion of excise duty- Challenge to duty demand- Inclusion of service charges in assessable value- Extended period under Section 11A(1) of the Central Excise Act- Bona fide understanding of legal position- Includibility of service charges in excisable value- Defence plea of optionality of service charges- Percentage of sales without service charges- Time bar for demand recoveryAnalysis:The judgment revolves around the appellant's failure to disclose the correct assessable value and alleged evasion of excise duty by recovering service charges from customers without reflecting them in the price list. The show cause notice, issued for non-disclosure, led to a duty demand of Rs. 9,99,823.25, contested by the appellant. The appellant argued that their understanding, based on legal precedents, justified the inclusion of service charges in the assessable value. They cited relevant case laws and a Tribunal decision supporting their stance. The appellant also raised a time bar defense, claiming that most of the demand fell beyond the six-month period from the notice date.The Departmental Representative countered, emphasizing the non-inclusion of service charges in the assessable value. They argued that the appellant's defense of optionality was unfounded, as a significant number of sales did not involve service charges, especially to State Government Departments. The Department relied on case laws and a Supreme Court decision to support their position, highlighting the obligation nature of the service charges.The Tribunal analyzed the submissions and case laws presented. The key issue was whether the service charges should be included in the assessable value. The Tribunal noted discrepancies in the percentage of sales without service charges and the buyer classification. It was debated whether the charges were optional or obligatory. The Tribunal agreed with the appellant's interpretation of legal precedents and found merit in their arguments regarding the non-includibility of service charges. Ultimately, the appeal succeeded on grounds of limitation and merits. The impugned order was set aside, and the appeal was allowed, favoring the appellant.