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Issues Involved:
1. Suspension of conviction during the pendency of an appeal. 2. Impact of conviction on employment and public interest. 3. Judicial discretion under Section 389(1) of the Code of Criminal Procedure. Detailed Analysis: 1. Suspension of Conviction During the Pendency of an Appeal: The appellant, a public servant convicted under corruption charges, sought the suspension of his conviction during the pendency of his appeal in the High Court. Although the High Court had suspended his sentence, it declined to suspend the conviction. The appellant argued that the suspension of conviction was necessary to avoid the adverse consequences of his conviction. The legal basis for this request was Section 389(1) of the Code of Criminal Procedure (Cr.P.C.), which allows the appellate court to suspend the execution of the sentence or order appealed against. However, the court clarified that the power to suspend an order of conviction should be exercised only in very exceptional cases and not merely because an appeal has been filed. 2. Impact of Conviction on Employment and Public Interest: The appellant was dismissed from his job at Punjab National Bank following his conviction. He argued that his appeal might not be heard for a long time, potentially up to 10 years, which would defeat the ends of justice. The court emphasized the severe implications of allowing a convicted public servant to continue in office. It highlighted that corruption by public servants has reached "monstrous dimensions" in India and that allowing convicted individuals to hold public office could demoralize honest public servants and erode public confidence in public institutions. Thus, the court concluded that public interest demands that a convicted public servant should not be allowed to hold office until exonerated by a superior court. 3. Judicial Discretion Under Section 389(1) of the Code of Criminal Procedure: The court referenced previous judgments to elaborate on the scope of Section 389(1) Cr.P.C. In "Rama Narang vs. Ramesh Narang & Ors.," it was stated that an order of conviction is not capable of execution and thus generally not subject to suspension. However, in certain situations where the conviction incurs a disqualification, the appellate court can invoke Section 389(1). The court must be explicitly informed of the consequences of the conviction to apply its mind to the issue and record reasons in writing. The court reiterated that the power to suspend an order of conviction should be used sparingly and only in exceptional cases, especially when dealing with public servants convicted of corruption. Conclusion: The Supreme Court dismissed the appeal, holding that the suspension of conviction should not be granted lightly, especially in cases involving public servants convicted of corruption. The court underscored the importance of maintaining public trust and the integrity of public institutions. It suggested that the appellant could request an early hearing of his appeal in the High Court if there were reasonable prospects of exoneration or other special reasons.
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