Tax Management India. Com
Law and Practice  :  Digital eBook
Research is most exciting & rewarding
  TMI - Tax Management India. Com
Follow us:
  Facebook   Twitter   Linkedin   Telegram

Home Case Index All Cases Indian Laws Indian Laws + HC Indian Laws - 2005 (10) TMI HC This

  • Login
  • Cases Cited
  • Referred In
  • Summary

Forgot password       New User/ Regiser

⇒ Register to get Live Demo



 

2005 (10) TMI 562 - HC - Indian Laws

Issues:
1. Rejection of application to call complainant for recording examination-in-chief.
2. Interpretation of Section 145 of Negotiable Instruments Act regarding evidence by way of affidavit.
3. Consideration of provisions of Sub-section (2) of Section 145.
4. Concerns regarding introduction of facts in affidavit not in the complaint.
5. Prejudice to accused and right to cross-examination.
6. Application of Supreme Court observation in Bipin Shantilal Panchal case.
7. Justification of trial court order and rejection of application.

Analysis:
1. The judgment addresses the rejection of an application by the trial court to call the complainant for recording examination-in-chief in a case under Section 138 of the Negotiable Instruments Act. The applicant argued that introducing facts in the affidavit not in the complaint would prejudice the accused. However, the court emphasized that the affidavit's content can be challenged during cross-examination, ensuring no prejudice to the accused.

2. The court delved into the interpretation of Section 145 of the Negotiable Instruments Act, highlighting the freedom given to the complainant to provide evidence by affidavit. Referring to the Division Bench's decision, it clarified that the complainant's evidence on affidavit can be accepted without the need for further examination-in-chief, unless requested by the accused for cross-examination.

3. The judgment also discussed the provisions of Sub-section (2) of Section 145, emphasizing that the court must summon and examine the person giving evidence on affidavit upon application by the prosecution or accused. The court dismissed the argument that the Division Bench did not consider this provision, affirming that it was indeed taken into account in the decision.

4. Addressing concerns about facts introduced in the affidavit not present in the complaint, the court reiterated that such discrepancies can be addressed through cross-examination. The court emphasized the importance of cross-examination in bringing out omissions and contradictions in the evidence.

5. The judgment referenced the Supreme Court's observation in the Bipin Shantilal Panchal case, highlighting that objections regarding evidence admissibility can be noted during the trial, with final decisions made in the judgment. This approach aims to prevent prejudice against accused persons during the trial process.

6. Ultimately, the court found the trial court's order just, legal, and proper, rejecting the applicant's challenge. It emphasized that objections regarding evidence admissibility should be noted during the trial for final decision at the judgment stage, ensuring a fair trial process. The proceedings before the trial court were stayed for four weeks to allow the applicant to challenge the order before the Supreme Court, concluding the judgment.

 

 

 

 

Quick Updates:Latest Updates