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2007 (3) TMI 725 - SC - Indian LawsWhether the legal heirs could have continued with the complaint? Whether heirs of the complainant can be allowed to file an application under Section 302 of the Code to continue the prosecution?
Issues Involved:
1. Continuation of prosecution by legal heirs after the death of the original complainant. 2. Prima facie case against the accused under Sections 406 and 420 read with 34 IPC. 3. Impact of pending civil suit on criminal proceedings. Detailed Analysis: 1. Continuation of Prosecution by Legal Heirs: The primary issue was whether the legal heirs of the deceased complainant could continue the prosecution. The original complainant, who alleged that the accused (his daughter and son-in-law) had committed criminal breach of trust and cheating, died in November 1996. The complainant's sons applied to continue the prosecution, which was granted by the Judicial Magistrate on May 23, 1997. The appellants argued that the proceedings should have abated upon the complainant's death, making the continuation order illegal and unlawful. The Court referenced the case of Ashwin Nanubhai Vyas v. State of Maharashtra, which allowed the continuation of prosecution by a person other than the complainant. The Court noted that the Code of Criminal Procedure does not expressly provide for the abatement of inquiries and trials on the death of the complainant. It inferred that the proceedings could continue under Section 302 of the present Code, which permits any person to conduct the prosecution with the court's permission. The Court held that the permission granted to the complainant's sons was lawful and did not abate the case. 2. Prima Facie Case Against the Accused: The appellants contended that no prima facie case was made out against them for offenses under Sections 406 and 420 read with 34 IPC, and thus, they should have been discharged. The Trial Court, Sessions Court, and High Court all found a prima facie case against the accused, rejecting their discharge application. The Court upheld these findings, stating that the allegations of cheating and criminal breach of trust were serious and warranted a trial. The Court emphasized that the continuation of prosecution by the legal heirs did not affect the prima facie case established against the accused. 3. Impact of Pending Civil Suit on Criminal Proceedings: The appellants argued that the existence of a pending civil suit filed by the complainant should impact the criminal proceedings. The Court dismissed this contention, stating that the pendency of a civil suit does not oust the jurisdiction of the criminal court. Both proceedings are separate and independent, and one does not abate or defeat the other. Conclusion: The Supreme Court dismissed the appeal, affirming the decisions of the lower courts. It held that the legal heirs were rightfully permitted to continue the prosecution, a prima facie case existed against the accused, and the pending civil suit did not affect the criminal proceedings. The Court found no error of law in the lower courts' decisions, thus upholding the continuation of the prosecution.
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