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2024 (4) TMI 1184 - HC - Money Laundering


Issues Involved:
1. Grant of regular bail under Sections 439 and 440 of the Code of Criminal Procedure.
2. Allegations under Section 3 punishable under Section 4 of the Prevention of Money Laundering Act, 2002 (PMLA).
3. Role of the petitioner in the alleged crime.
4. Application of the principle of parity in granting bail.
5. Compliance with the conditions specified under Section 45 of the PMLA.

Detailed Analysis:

1. Grant of Regular Bail:
The petitioner sought regular bail under Sections 439 and 440 of the Code of Criminal Procedure in connection with ECIR Case No. 01 of 2023. The trial court had previously rejected the bail application on 25.08.2023.

2. Allegations under PMLA:
The petitioner was accused of being involved in a money laundering scheme, where a piece of land was illegally acquired using forged documents and sold at a significantly undervalued price. The proceeds of crime were allegedly credited to the petitioner's company, Confiar Projects Pvt. Ltd., and were used for placement, layering, and integration of the proceeds of crime.

3. Role of the Petitioner:
The petitioner, in connivance with other accused, allegedly acquired a piece of land fraudulently and sold it to obtain proceeds of crime. The investigation revealed that the petitioner was a part of a racket involved in illegal land dealings and money laundering activities. Significant cash deposits and withdrawals were traced to the petitioner's bank accounts, indicating his involvement in the crime.

4. Application of the Principle of Parity:
The petitioner argued for bail on the grounds of parity, citing that a co-accused, Dilip Kumar Ghosh, had been granted bail. However, the court noted that parity is not the law and that the role and involvement of each accused must be individually assessed. The court found that the petitioner's involvement in the crime was more direct and significant compared to Dilip Kumar Ghosh, who was granted bail.

5. Compliance with Conditions under Section 45 of PMLA:
The court emphasized that the conditions specified under Section 45 of the PMLA are mandatory and must be complied with. The court must be satisfied that there are reasonable grounds for believing that the accused is not guilty of the offence and is not likely to commit any offence while on bail. The court found that the petitioner failed to meet these conditions, as there was tangible and credible evidence of his involvement in the money laundering activities.

Conclusion:
The court, after considering the allegations, evidence, and legal provisions, concluded that the petitioner failed to make out a case for bail. The application of the principle of parity was not applicable due to the distinct roles and involvement of the petitioner compared to the co-accused. The court also highlighted that economic offences like money laundering are grave and require a stringent approach. Therefore, the bail application was dismissed.

 

 

 

 

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