Judges : BHAGAVATHY,TULZAPURKAR,PATHAK
DY.COMMR.OF SALES TAX - Appellant
Versus
G.S.PAI. - Respondent
Case No : C. A. No. 2422/ NT
Decided On : 10/15/1979
Advocates Appeared :
For the Petitioner:----. For the Respondent:---
Sales Tax Legislation - Interpretation of Entries - Kerala General Sales Tax Act, 1963 - Entry 56, Entry 26A - The court considered whether certain ornaments and other articles of gold purchased by the assessee fall within Entry 56 and whether G.I. Pipes sold by the assessee fall within Entry 26A. The court interpreted the words 'bullion' and 'specie' in Entry 56 and 'water supply and sanitary fittings' in Entry 26A, and held that the ornaments and articles of gold do not fall within Entry 56 and are liable to be taxed at the general rate of 3 percent, and remanded the case to determine the taxability of G.I. Pipes under Entry 26A.
Fact of the Case:
The court considered the taxability of ornaments and articles of gold purchased by the assessee and G.I. Pipes sold by the assessee under the Kerala General Sales Tax Act, 1963.
Finding of the Court:
The court held that the ornaments and articles of gold do not fall within Entry 56 and are liable to be taxed at the general rate of 3 percent, and remanded the case to determine the taxability of G.I. Pipes under Entry 26A.
Issues: The issues were whether the ornaments and articles of gold fall within Entry 56 and whether G.I. Pipes fall within Entry 26A of the Kerala General Sales Tax Act, 1963.
Ratio Decidendi: The court interpreted the words 'bullion' and 'specie' in Entry 56 and 'water supply and sanitary fittings' in Entry 26A, and held that the ornaments and articles of gold do not fall within Entry 56 and are liable to be taxed at the general rate of 3 percent, and remanded the case to determine the taxability of G.I. Pipes under Entry 26A.
Final Decision: The court allowed the appeal, set aside the previous orders, and held that the ornaments and articles of gold are liable to be taxed at the general rate of 3 percent, and remanded the case to determine the taxability of G.I. Pipes under Entry 26A.
1. The questions of law which arise for determination in this appeal lie in a very narrow compass and do not present any difficulty in answering them. They are the usual type of questions that arise under the Sales Tax legislation, namely, whether a particular commodity sold or purchased by the assessee falls within one entry or another. The assessee always contends that it falls within an entry which attracts lesser rate of tax while the Revenue invariably seeks to bring it within the entry attracting a large rate of
tax.
2. Two questions arise here for consideration. One question is whether certain ornaments and other articles of gold purchased by the assessee with a view to melting them and making new ornaments or other articles out of the melted gold fall within Entry 56 in the First Schedule of the Kerala General Sales Tax Act, 1963 (hereinafter referred to as "the Act") which reads "Bullion and Specie". If the ornaments and other articles of gold purchased by the assessee fall within this. Entry, the turn-over of purchases of these goods would be liable to be taxed at the rate of 1 per cent, while it would have to suffer tax at the rate of 3 per cent if these goods do not fall within this Entry and are taxable under S.5A read with S 5(1)(ii) of the Act. The other question relates to taxation of the turnover of sales of G.I. Pipes sold by the assessee and whether they fall within Entry 26A in the First Schedule to the Act which reads "Water Supply and Sanitary Fittings". If they do not fall within this Entry, the turnover of their sales would be liable to be taxed at the rate of 3 percent under S.5(1)(ii) of the Act, but if they do, then the rate of tax would be 7 per cent. The Sales Tax Officer, and in appeal the Appellate Assistant Commissioner, decided both the questions against the assessee and taxed the turn-over of purchases of ornaments and other articles of gold at the rate of 3 per cent and the turn-over of sales of G. I. Pipes at the rate of 7 per cent. The Tribunal, on further appeal by the assessee, disagreed with the view taken by the tax authorities and holding that the ornaments and other articles of gold purchased by the assessee were "Bullion and specie" within the meaning of Entry 56 and G. I. Pipes sold by the assessee were not covered by the expression "water supply and sanitary fittings" in Entry 26A, taxed the assessee at the lesser rates acclaimed by him The Revenue thereupon took the matter by way of revision to the High Court, but the High Court also took the same view and affirmed the judgment of the Tribunal. This decision of the High Court is assailed in the present appeal preferred by the Revenue after obtaining special leave from this Court.
3. We will first consider the question whether the ornaments and other articles of gold purchased, by the assessee fall within the description of "Bullion and specie" given in Entry 56. There are two expressions in this Entry which require consideration; one is "bullion" and other is "specie". Now there is one cardinal rule of interpretation which has always to be borne in mind while interpreting entries in Sales Tax legislation and it is that the words used in the entries must be construed not in any technical sense nor from the scientific point of view but as understood in common parlance. We must give the words used by the legislature their popular sense meaning "that sense which people conversant with the subject-matter with which the statute is dealing would attribute to it." The word "bullion" must, therefore, be interpreted according to ordinary parlance and must be given a meaning which people conversant with this commodity would ascribe to it. Now it is obvious that "bullion" in its popular sense cannot include ornaments or other articles of gold. "Bullion" according to its plain ordinary meaning means gold or silver in the mass. It connotes gold or silver regarded as raw material and it may be either in the form of raw gold or silver or
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