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2022 (7) TMI 1555 - HC - Indian Laws


Issues Involved:

1. Admissibility of statements recorded under Section 67 of the NDPS Act.
2. Application of Section 27A of the NDPS Act concerning financing illicit trafficking.
3. Consideration of "reasonable grounds" under Section 37 of the NDPS Act for granting bail.
4. The role of call data records (CDRs) and other evidence in establishing the applicant's involvement in drug trafficking.
5. The impact of non-recovery of contraband on the bail application.

Issue-Wise Detailed Analysis:

1. Admissibility of Statements Recorded Under Section 67 of the NDPS Act:

The applicant's counsel argued that the case against the applicant is primarily based on statements recorded under Section 67 of the NDPS Act, which are inadmissible as confessions as per the Supreme Court's decision in Tofan Singh Vs. State of Tamilnadu. The counsel emphasized that the statement of co-accused Anuj Keshwani, implicating the applicant, has been retracted and is not sufficient to sustain a conviction. The court acknowledged the argument regarding the inadmissibility of Section 67 statements but noted that other evidence, such as call data records and audio transcripts, corroborates the applicant's involvement in drug trafficking.

2. Application of Section 27A of the NDPS Act:

The applicant's counsel contended that there is no evidence to support charges under Section 27A, which pertains to financing illicit trafficking. Citing the case of Rhea Chakraborty Vs. Union of India, the counsel argued that mere purchase and sale of drugs do not constitute financing. The court, however, found that the applicant's involvement in a larger drug syndicate, as evidenced by digital records and financial transactions, prima facie, supports the charge under Section 27A.

3. Consideration of "Reasonable Grounds" Under Section 37 of the NDPS Act for Granting Bail:

The court highlighted the stringent conditions under Section 37 of the NDPS Act, which require the court to be satisfied that there are reasonable grounds for believing that the accused is not guilty of the alleged offence. The court cited the Supreme Court's interpretation of "reasonable grounds" as requiring substantial probable cause. Upon reviewing the evidence, including CDRs and the applicant's alleged role in the drug supply chain, the court concluded that there were no reasonable grounds to believe the applicant was not guilty, thus denying bail.

4. The Role of Call Data Records (CDRs) and Other Evidence:

The prosecution presented CDRs and audio transcripts as evidence of the applicant's involvement in drug trafficking. The court noted that these records established a connection between the applicant and co-accused Anuj Keshwani, indicating regular communication and transactions related to drugs. The court found this evidence credible and sufficient to support the prosecution's case against the applicant.

5. The Impact of Non-Recovery of Contraband on the Bail Application:

The applicant's counsel argued that no contraband was recovered from the applicant, which should weigh in favor of granting bail. However, the court, referencing precedents, stated that non-recovery of contraband does not automatically entitle an accused to bail. The court emphasized that the applicant's involvement in a drug trafficking network, as evidenced by other materials, was sufficient to deny bail.

In conclusion, the court rejected the bail application, citing the applicant's prima facie involvement in drug trafficking activities, the lack of reasonable grounds to believe he was not guilty, and the potential risk of him engaging in similar activities if released on bail.

 

 

 

 

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