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1 - 6 of 6 (0.35 seconds)Sheela Foam Pvt. Ltd. vs Cce on 10 September, 2003
In similar miscellaneous application claiming refund of amount due to the assessee pursuant to the final order passed by this Tribunal we have directed payment of interest at 12% for a period from the date of expiry of three months from the date of receipt of the final order of the Tribunal till the date of payment [Sheela Foam Pvt. Ltd. v. CCE, Noida, 2003 (154) E.L.T. 522 and Sharda Synthetics Ltd. v. CCE, Mumbai, 2003 (156) E.L.T. 730]. Computation of period as above will be in consonance with the principle in the provisions contained under Section 11BB of the Central Excise Act, 1944 and Section 27A of the Customs Act, 1962. We therefore hold that no further amount is liable to be paid to the applicant by way of interest.
Sharda Synthetics Ltd. And Hindustan ... vs Cce, Mumbai-Iii And Cce, Chandigarh on 18 June, 2003
In similar miscellaneous application claiming refund of amount due to the assessee pursuant to the final order passed by this Tribunal we have directed payment of interest at 12% for a period from the date of expiry of three months from the date of receipt of the final order of the Tribunal till the date of payment [Sheela Foam Pvt. Ltd. v. CCE, Noida, 2003 (154) E.L.T. 522 and Sharda Synthetics Ltd. v. CCE, Mumbai, 2003 (156) E.L.T. 730]. Computation of period as above will be in consonance with the principle in the provisions contained under Section 11BB of the Central Excise Act, 1944 and Section 27A of the Customs Act, 1962. We therefore hold that no further amount is liable to be paid to the applicant by way of interest.
The Central Excise Act, 1944
Section 27 in The Customs Act, 1962 [Entire Act]
Indian Thermoplastic (P) Ltd. vs Collector Of Customs on 20 June, 1996
1. In this application, by order dated 10-6-2003 we had directed the respondent to return the entire amount of Rs. 7,15,350/- to the applicant with interest at 12% within two weeks from the date of receipt of a copy of the order. It was the case of the applicant that pursuant to the final order passed by this Tribunal on 20-6-96 reported as Indian Thermoplastic Pvt. Ltd. v. Collector of Customs, Kandla, 1996 (87) E.L.T. 536 they are entitled to return of the following amounts :
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