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2016 (8) TMI 1603 - HC - Indian Laws


Issues Involved:
1. Application for bail under Section 439 of Cr.P.C.
2. Allegations of economic offences and conspiracy.
3. Evaluation of prima facie case and evidence.
4. Consideration of bail in economic offences.
5. Humanitarian grounds for bail.
6. Parity with co-accused granted bail.
7. Delay in trial due to non-functioning of trial court.

Issue-Wise Detailed Analysis:

1. Application for Bail under Section 439 of Cr.P.C.:
The petitioner filed an application under Section 439 of Cr.P.C. for bail, which was previously rejected by the learned Sessions Judge, Khurda. The petitioner argued that she cooperated with the investigation and was not informed of the reasons for her arrest or provided with an arrest memo.

2. Allegations of Economic Offences and Conspiracy:
The Central Bureau of Investigation (CBI) alleged that the petitioner, in conspiracy with co-accused, diverted funds from M/s. Artha Tatwa Group of Companies (A.T. Group) to her personal accounts and those of her relatives. The petitioner was accused of forgery, cheating, and misappropriation of funds collected from gullible depositors by the A.T. Group.

3. Evaluation of Prima Facie Case and Evidence:
The court discussed the principles of law on regular bail, emphasizing that detailed examination of evidence is not required at the bail stage. The CBI presented evidence including statements and documents showing the petitioner's involvement in the diversion of funds. The court found a prima facie case against the petitioner, noting her role in siphoning funds to personal accounts and forging signatures to open bank accounts.

4. Consideration of Bail in Economic Offences:
The court referred to various judgments highlighting that economic offences, due to their grave impact on society, require a different approach in bail considerations. The court emphasized the need to balance personal liberty with societal interests, especially in cases involving deep-rooted conspiracies and significant public fund losses.

5. Humanitarian Grounds for Bail:
The petitioner argued for bail on humanitarian grounds, citing her health issues, the illness of her parents, and the educational needs of her children. The court, however, found these grounds insufficient, noting the lack of substantial evidence supporting these claims.

6. Parity with Co-Accused Granted Bail:
The petitioner sought bail on the ground of parity with co-accused Preeti Bhatia, who was granted interim bail by the Supreme Court. The court distinguished the petitioner's case from that of Preeti Bhatia, noting the petitioner's more significant role in the conspiracy and fund diversion.

7. Delay in Trial Due to Non-Functioning of Trial Court:
The petitioner argued that the delay in trial due to the non-functioning of the trial court should be a ground for bail. The court rejected this argument, noting that the CBI was ready to commence the trial as soon as the Presiding Officer joined and that the investigation was still open, necessitating the petitioner's continued custody to prevent tampering with evidence.

Conclusion:
The court concluded that the petitioner, involved in serious economic offences with significant societal impact, did not deserve bail. The petitioner's application under Section 439 of Cr.P.C. was rejected, emphasizing the need to prioritize societal order over individual liberty in such cases.

 

 

 

 

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