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1985 (4) TMI 348 - HC - Indian Laws

Issues Involved:

1. Interim custody of the bus under Section 451 of the Criminal Procedure Code (Cr.P.C.).
2. Ownership and possession claims of the bus.
3. Legal principles governing the transfer of motor vehicles.
4. Jurisdiction and discretion of the Magistrate in ordering interim custody.
5. Allegations of mala fide actions by the petitioner.

Detailed Analysis:

1. Interim Custody of the Bus under Section 451 of the Cr.P.C.:

The petitioner, the registered owner of Bus No. KLN 97, and the first respondent, who claims ownership, both applied for interim custody of the bus under Section 451 of the Cr.P.C. The Magistrate initially rejected both applications, stating that the Sessions Judge had jurisdiction. The Sessions Judge granted custody to the first respondent, but this order was quashed by the High Court, directing the Magistrate to reconsider the applications. Upon reconsideration, the Magistrate again ordered custody to the first respondent. The petitioner sought to quash this order under Section 482 of the Cr.P.C.

2. Ownership and Possession Claims of the Bus:

The petitioner is the registered owner and holds the route permit. The first respondent claims ownership based on an agreement of sale dated 1-4-1984 and possession of the bus. The petitioner admits to an agreement to sell but disputes the completion of the sale. The petitioner alleges that the first respondent manipulated documents using blank signed papers. However, the court found that the petitioner did not approach with clean hands and failed to explain how the first respondent came into possession.

3. Legal Principles Governing the Transfer of Motor Vehicles:

The court emphasized that an order under Section 451 is for interim custody pending trial, and final orders are passed under Section 452. The court must consider who is better entitled to interim custody. The court noted that the registration certificate is not a document of title but evidence of ownership, similar to patta in revenue records. Ownership and possession can pass with the sale, even before the transfer of registration. The court cited the decision in Aliyar Kunju v. Subair Khan, stating that the registration certificate follows ownership, not vice versa.

4. Jurisdiction and Discretion of the Magistrate in Ordering Interim Custody:

The court highlighted that the Magistrate has the discretion to order interim custody in a judicial manner. The court must consider factors such as the safety of the property and the possibility of returning it undamaged. The court can terminate the custody arrangement and reassign custody as deemed fit. The preference for interim custody does not settle ownership or possession rights. The court must consider all relevant aspects, including possession and right to possession, when deciding interim custody.

5. Allegations of Mala Fide Actions by the Petitioner:

The court found that the petitioner acted with mala fides, as evidenced by conflicting and insincere contentions. The criminal complaint and seizure of the bus were seen as attempts to circumvent commitments to the first respondent. The court concluded that the petitioner's actions were an abuse of the court process. The Magistrate's order was found to be factually and legally sound, and the petition was dismissed.

Conclusion:

The court dismissed the petition, upholding the Magistrate's order granting interim custody of the bus to the first respondent. The court emphasized that the inherent jurisdiction under Section 482 of the Cr.P.C. should be used sparingly and not to achieve what is not permissible through revisional jurisdiction. The petitioner's mala fide actions and lack of clean hands were pivotal in the court's decision.

 

 

 

 

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