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2024 (2) TMI 1257 - HC - FEMA


Issues Involved:
1. Whether the petitioner can represent the company, M/s Esam India Limited, in the trial.
2. Validity of charges framed against the company through the petitioner.
3. Validity of charges framed against the petitioner in his individual capacity.

Summary:

Issue 1: Representation of the Company
The petitioner contended that he had resigned from M/s Esam India Limited in 1993, prior to the alleged violations in 1997. He argued that since a Provisional Liquidator was appointed for the company by an order dated 14.05.1999, only the Provisional Liquidator could represent the company in the trial as per Section 305 of CrPC. The respondent countered that the petitioner was in charge of the company during the alleged violations and thus could represent the company.

Issue 2: Validity of Charges Against the Company
The court analyzed Section 68 of the Foreign Exchange Regulation Act (FERA), which holds individuals in charge of the company at the time of contravention responsible for the violations. The court noted that the petitioner did not dispute the invocation of Section 68 against him and was ready to face trial in his individual capacity. However, the court found that the petitioner was not authorized to represent the company, as the company was in liquidation and only the Provisional Liquidator could represent it in the trial.

Issue 3: Validity of Charges Against the Petitioner Individually
The court upheld the charges against the petitioner in his individual capacity, noting that he did not challenge these charges at this stage and was prepared to face the trial.

Conclusion & Directions:
The court concluded that the trial court erred in framing charges against the company through the petitioner. The charges against the company should be framed through the Provisional Liquidator. The impugned order dated 03.08.2007 was modified to this extent. The charges against the petitioner in his individual capacity were not interfered with. The petition was disposed of accordingly.

 

 

 

 

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