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- Competency of the licence inspector to file a complaint under specific sections of the Bombay Provincial Municipal Corporation Act, 1949. Analysis: The appeal before the Supreme Court of India challenged the judgment of the High Court of Gujarat in a criminal revision application. The central issue in this case was whether the licence inspector, Mangulal Chunilal, was competent to file a complaint under sections 376(1)(d)(i) and 392(1)(a) of the Bombay Provincial Municipal Corporation Act, 1949. The complaint was filed against an individual for carrying out certain activities without obtaining the required license. The High Court allowed the application and set aside the conviction and sentence of the accused, Manilal Maganlal. The core contention revolved around the interpretation of the term "take proceedings" in the Act. The appellant contended that the power to take proceedings includes the authority to authorize others to institute proceedings under the Act. It was argued that there were no restrictions in the delegation order that mandated the Deputy Health Officer to file the complaint personally. The appellant relied on previous judgments to support their argument, emphasizing the binding nature of relevant precedents on the issue at hand. The respondents did not appear before the Supreme Court, leading to a decision based on the arguments presented by the appellant. The Supreme Court analyzed the relevant provisions of the Act, particularly sections 69 and 481, to determine the scope of delegation of powers to municipal officers. The Court deliberated on the meaning of the term "take proceedings" in the context of the Act. It was observed that while certain actions under section 481(1) required the delegate to personally perform them, the term "take" in sub-clauses (a) and (e) was interpreted to allow delegation of the initiation of proceedings. The Court rejected the argument that "take proceedings" should be construed as "order proceedings to be taken," emphasizing the need to adhere to the plain meaning of the term. Drawing on past judgments and legal principles, the Supreme Court affirmed that only designated authorities mentioned in the Act could initiate proceedings against individuals charged with offenses under the Act or related regulations. The Court highlighted the necessity for the complainant to demonstrate the legal authority to file a complaint, which cannot be conferred based on a historically accepted but incorrect interpretation. Ultimately, the Supreme Court dismissed the appeal and upheld the decision of the High Court, emphasizing the importance of statutory interpretation and adherence to legal provisions in filing complaints under municipal laws. In conclusion, the Supreme Court's judgment clarified the interpretation of the term "take proceedings" in the Bombay Provincial Municipal Corporation Act, emphasizing the need for designated authorities to initiate legal actions against offenders. The decision underscored the significance of legal authority in filing complaints under municipal laws and upheld the ruling of the High Court in setting aside the conviction and sentence of the accused based on the competency of the licence inspector to file the complaint.
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