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2024 (7) TMI 1112 - SC - Indian Laws


Issues:
1. Conviction under Section 138 Negotiable Instruments Act
2. Settlement agreement between the parties
3. Compounding of the offence at the appellate stage
4. Principles of compounding of offences under NI Act

Analysis:

Conviction under Section 138 Negotiable Instruments Act:
The case involved a complaint under Section 138 of the Negotiable Instruments Act filed by the respondent/complainant against the appellants for dishonoring a cheque issued to discharge a debt. The Trial Court convicted the appellants, but the Appellate Court later acquitted them. Subsequently, the High Court set aside the Appellate Court's order and restored the Trial Court's conviction, leading the matter to the Supreme Court.

Settlement agreement between the parties:
Before filing the appeal, the parties entered into a settlement agreement where the appellants agreed to pay Rs.5,25,000 to the respondent-complainant, who in turn agreed to settle the matter for the said amount. The settlement agreement was presented to the Court, and the respondent expressed no objection to setting aside the conviction of the appellants.

Compounding of the offence at the appellate stage:
The settlement agreement was considered a compounding of the offence under Section 147 of the Negotiable Instruments Act. As per Section 320(5) of the CrPC, compounding after conviction requires leave of the Court where the appeal is pending. The Court verified the settlement's genuineness by directing the respondent to file an affidavit confirming the compromise, which was done to the satisfaction of the Court.

Principles of compounding of offences under NI Act:
The Court emphasized the importance of encouraging the compounding of offences under the NI Act, especially in cases where parties are willing to settle. Quoting previous judgments, the Court highlighted the compensatory aspect of the remedy over the punitive aspect and stressed the need to prioritize the compensatory nature of settlements in such cases. Referring to a previous case, the Court invoked its powers under Article 142 to quash the conviction under the NI Act, considering the compensation provided by the accused.

In conclusion, considering the settlement between the parties and the principles of compounding offences under the NI Act, the Supreme Court allowed the appeal, acquitted the appellants, and set aside the previous orders of conviction. Appellant no.2 was exempted from surrendering, and the sureties were discharged.

 

 

 

 

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