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2001 (1) TMI 1005 - SC - Indian Laws

Issues:
Delay in prosecution under Sections 22, 23, 24, and 29 of the NDPS Act and Sections 120A and 120B of the Indian Penal Code.

Analysis:
The judgment highlighted the unfortunate delay in the prosecution of the offenses under various sections of the NDPS Act and the Indian Penal Code for a period of eight years. The delay was attributed to various factors, including the slow progress of the criminal courts, repeated applications for interim relief, and stays on further prosecution by the High Court. The judgment cited observations by Justice Krishna Iyer and Mukherjee J. emphasizing the need for expeditious trials, especially in cases involving influential or politically powerful individuals. The court expressed concern over dilatory tactics, lengthy orders on bail applications, and the lack of compliance with directions for speedy trials.

The judgment specifically mentioned instances where the accused filed multiple bail applications, leading to further delays in the trial process. Despite the Special Judge's expectation of closing the trial within six months, there were continued delays, prompting the need for modification of previous orders and extensions of time. The court reiterated the importance of expediting trials in criminal courts and expressed disappointment over the lack of swift action by some trial courts, resulting in prolonged incarceration of under-trial prisoners.

Furthermore, the judgment emphasized the need for early trials in NDPS cases due to the general unlikelihood of accused individuals being granted bail. Despite acknowledging the delay in the case at hand, the court declined to grant bail to the accused, directing the Trial Court to adhere to the directives for expeditious disposal of the matter. Non-compliance would warrant action by the High Court, with a specific instruction to refrain from granting stay orders on further proceedings and to expedite the resolution of pending revisions or applications.

In conclusion, the judgment underscored the importance of expeditious trials in criminal cases, particularly in NDPS cases, and called for strict adherence to directives for timely resolution. The court urged the Trial Court and High Court to take necessary actions to ensure the swift progress of the case and avoid unnecessary delays in the judicial process.

 

 

 

 

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