2005 (8) TMI 221
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....n claimed is under Chapter Heading 94.06 of the Central Excise Tariff Act, 1985 which covers 'prefabricated buildings'. As per Note 4 to Chapter 94, 'prefabricated buildings' means buildings which are finished in the factory or put up as elements, cleared together, to be assembled on site, such as housing or work site accommodation, offices, schools, shops, sheds, garages, or similar buildings. (b) The department find the proper classification as under Chapter Heading 39.25 which is reproduced below. 39.25 Builders' ware of plastics, not elsewhere specified or included. 3925.10 - Reservoirs, tanks, vats & similar containers of a capacity exceeding 300 ltrs 3925.20 - Doors, windows & their frames & thresholds for doors 3925.30 - Shutters, blinds (including Venetian blinds) and similar articles and parts thereof - Other : 3925.91 - Of polyurethanes 3925.99 - Other 2.2 Process of manufacture admitted and relevant is recorded as - (a) The appellants had a technical collaboration with M/s. Isowall Holdings, U....
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....and (iv) Not altered to any other size at the site. 2.3 (a) Details of correct dimensions of panels, roofing, flashing etc. required for assembly of buildings at site by the appellants engineers at site determined. Panels are made of the predetermined thickness and length and in numbers in the machine itself. The required roof panels are also made ready in the machine. The doors and windows, wherever required are made ready in the factory workshop. Thereafter panels for roof, walls, doors, and windows along with required flashing i.e. ancillaries such as channels, corner angles are dispatched in the vehicle for assembly at the site. As the panels are in completely knocked down condition, assembly of the panels at the site is very easy. Panels for floor (wherever required) wall, roof, windows, doors and ancillaries such as channels and corner angles are fixed at the site. (b) The prefab buildings made by the appellants are, inter alia, as under : (i) Telephone booths (ii) Mobile phone transmitter cabins....
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.... 991625 2 24-3-1999 Nov. 1998 to Feb. 1999 1887263 3 23-8-1999 March 1999 to July 1999 2337067 4 15-2-2000 Aug. 1999 to Jan. 2000 2538932 5 4-1-2001 Feb. 2000 to July 2000 2056242 6.1 3-9-2001 Aug. 2000 to Feb. 2001 3877064 6.2 5-9-2001 Aug. 2000 to Feb. 2001 3877064 7 29-11-2001 Nov. 1996 to April 1998 1963838 8 1-4-2002 Mar. 2001 to Aug. 2001 2617211 9 8-10-2002 Sept. 2001 to Feb. 2002 2789420 10 4-4-2003 Mar. 2002 to Dec. 2002 3671444 11 6-2-2004 Jan. 2003 to Oct. 2003 4474410 SUB TOTAL 33081580 LESS : SCN dtd. 5-9-2001 (Sr. No. 6.2 supra) - duplication 3877064 TOTAL 29204516 As per these notices, the panels consist of a c....
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....at polystyrene gave essential character hence classification would be under 39.25. (ii) Notices dated 4-1-2001, 3-9-2001, 1-4-2002, 8-10-2002, 4-4-2003 and 5-2-2004 allege 98% constitution of polystyrene. As per assessee, & rely on the capital goods declaration to arrive at the essential character to be given by polystyrene to call for classification under 39.25. (iii) Notices dated 29-11-2001 only blindly allege it appears that polystyrene give essential character & relies on the capital goods declaration to call for classification under 39.25 without any material to support the same. (iv) Notice dated 5-9-2001 however goes by weight constitution and alleges essential character to be from the 'sheet of steel' to call for classification under 73.08.10 for the period August 2000 to February 2001 for which notice dated 3-9-2001 for the same period alleges the same valued & quantity of goods to be under 39.25. (b) Commissioner however in the impugned order finds & records as follows - In the SCN dated 5-9-2001 mentioned at sr. no (vi)(b) the goods for the same period pr....
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