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Issues:
- Validity of the endorsement of a promissory note in a property exchange transaction. - Rebuttal of the presumption under Section 118 of the Negotiable Instruments Act. - Duty of parties to produce important documents in court. - Interaction of Section 118 of the Negotiable Instruments Act and Section 114 of the Evidence Act. Analysis: The case involved an appeal against the order of the Custodian-General of Evacuee Property regarding the validity of the endorsement of a promissory note in a property exchange transaction. The appellant contended that the Custodian-General erroneously held that the presumption under Section 118 of the Negotiable Instruments Act regarding consideration for the endorsement was rebutted by evidence. The appellant argued that the respondent failed to produce any evidence in rebuttal, questioning the finding of the Custodian-General. To understand the argument, the scope of the presumption under Section 118 of the Negotiable Instruments Act was examined. This section establishes a presumption that negotiable instruments are made or endorsed for consideration, shifting the burden of proof to the maker or endorser to prove otherwise. The burden of proof can be discharged through various methods, including direct evidence, circumstantial evidence, or presumptions of law or fact. The burden shifts back and forth based on the evidence presented by each party. The appellant's evidence before the Deputy Custodian revealed circumstances surrounding the property exchange and the endorsement of the promissory note. However, the appellant willfully withheld important documentary and oral evidence that could have proven consideration passed in the transaction. The Custodian-General correctly held that the presumption under Section 118 was rebutted based on the circumstantial evidence and the deliberate withholding of material evidence by the appellant. The legal duty of parties to produce important documents in court was emphasized, as failing to do so may lead the court to draw adverse inferences under Section 114 of the Evidence Act. The court may rely on the effect of evidence as a whole and draw conclusions based on the evidence presented by both parties. The interaction of Section 118 of the Negotiable Instruments Act and Section 114 of the Evidence Act was crucial in determining the validity of the endorsement in this case. Ultimately, the appeal was dismissed as the Custodian-General's order was deemed correct both in law and in fact. The judgment highlighted the importance of parties fulfilling their duty to produce relevant evidence in court and the legal principles governing the presumption of consideration in negotiable instruments.
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