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2021 (4) TMI 1388 - HC - Indian Laws


Issues Involved:

1. Whether the complaint was properly filed by the proprietor of the concern.
2. Whether the accused committed an offence under Section 138 of the Negotiable Instruments Act.
3. Whether the appellate court's judgment of acquittal was justified.

Detailed Analysis:

Issue 1: Proper Filing of Complaint by Proprietor

The appellate court had set aside the trial court's conviction on the grounds that the complaint should have been filed in the name of the proprietary concern, "Uma Shankar Auto Fuels," represented by its proprietor. The appellate court viewed this as an inherent defect. However, the High Court referenced the Supreme Court decision in Shankar Finance and Investments v. State of Andhra Pradesh, which clarified that a proprietary concern is not distinct from its proprietor. Therefore, a complaint can be lodged in the name of the proprietary concern itself. The High Court found no defect in the complaint as the complainant had clearly stated he was the proprietor of "Uma Shankar Auto Fuels."

Issue 2: Commission of Offence under Section 138 of the N.I. Act

The trial court had convicted the accused for issuing a cheque that was dishonored due to insufficient funds. The complainant had presented evidence, including the dishonored cheque, the bank memo, and the unclaimed legal notice, to support his claim. The accused admitted his signature on the cheque but contended it was a withdrawal slip and not a cheque. The High Court found this argument unconvincing, as the cheque was dishonored due to insufficient funds, not because it was a withdrawal slip. The accused's contradictory statements and failure to rebut the presumption under Sections 118 and 139 of the N.I. Act led the High Court to conclude that the accused did commit the offence under Section 138.

Issue 3: Justification of the Appellate Court's Judgment of Acquittal

The appellate court had acquitted the accused, primarily on the ground of improper representation of the proprietary concern in the complaint. The High Court found this reasoning flawed, as the complainant had established his authority as the proprietor. The appellate court's decision was deemed unsustainable as it failed to consider the legal presumption under Section 139 of the N.I. Act, which the accused did not successfully rebut. The High Court restored the trial court's conviction, finding the trial court's judgment to be free of illegality or perversity.

Conclusion:

The High Court allowed the appeal, setting aside the appellate court's judgment of acquittal and restoring the trial court's judgment of conviction and sentence. The accused was found guilty of the offence under Section 138 of the N.I. Act, and the complaint was deemed properly filed by the proprietor of the concern.

 

 

 

 

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