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Quashment of criminal proceedings under Section 138 of the Negotiable Instruments Act. Analysis: The respondent/complainant alleged that the accused company borrowed a sum for development and issued a cheque that was dishonored. The complaint was filed before the expiry of the 15-day notice period, which the accused argued was premature. The accused claimed the amount was repaid, and one of the cheques was misused. The court noted that disputed facts should be addressed during trial and cannot be decided under Section 482 of the Code of Criminal Procedure. The court referred to the Supreme Court's ruling in Prem Chand Vijay Kumar v. Yashpal Singh, stating that the complaint must be filed within one month after the 15-day notice period expires. The court clarified that the limitation starts after the first notice's 15-day period ends. It cited a similar case where the complaint's premature filing does not absolve the accused from liability. Section 138(c) of the Negotiable Instruments Act mandates payment within 15 days of notice receipt. Section 142 outlines the procedure for taking cognizance of offenses under Section 138. The court emphasized that the offense occurs when the drawer fails to respond within 15 days of notice receipt. The court found that the complaint was filed before the accused's 15-day period ended but was taken cognizance of after the expiry. It held that such complaints taken after the notice period are sustainable. The court emphasized that the complaint must mature before court cognizance, and premature filing does not invalidate it. The complainant's actions to protect their rights, even before the cause of action matured, were deemed acceptable. Consequently, the petition to quash the criminal proceedings was dismissed, allowing the accused to raise their points during trial.
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