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Issues:
1. Maintainability of the appeal filed by the Municipal Board under s. 417(3) of the Criminal Procedure Code. 2. Validity of the conviction based on the certificate of the Public Analyst. Analysis: 1. Maintainability of the Appeal: The appeal raised two contentions: first, the appeal filed by the Municipal Board was not maintainable under s. 417(3) of the Criminal Procedure Code, and second, the accused could not be convicted solely based on the Public Analyst's certificate. The High Court rejected both contentions, leading to the accused's conviction. The accused later challenged the appeal's maintainability, arguing that the complaint was signed by the Food Inspector, not the Municipal Board. However, the Court held that the Municipal Board, being a local authority, could authorize the Food Inspector to file the complaint on its behalf. The accused's failure to raise this issue earlier led to the dismissal of this contention. 2. Validity of the Conviction: Regarding the validity of the conviction based on the Public Analyst's certificate, the accused argued that the report lacked essential data for conviction. However, the Court disagreed, stating that the report contained sufficient data for inference, as required by the Prevention of Food Adulteration Act, 1954. The Court cited previous cases to support this view, emphasizing that the report need not detail the analysis process but must provide results for determining adulteration. Consequently, the Court upheld the conviction based on the Public Analyst's certificate and dismissed the appeal. In conclusion, the Supreme Court upheld the conviction of the accused, emphasizing the validity of the appeal filed by the Municipal Board and the sufficiency of the data in the Public Analyst's certificate for conviction. The Court's decision was based on legal provisions and precedents, ensuring adherence to the Prevention of Food Adulteration Act, 1954.
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