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2024 (8) TMI 650 - SC - Indian Laws


Issues Involved:
1. Denial of bail by the High Court.
2. Prolonged incarceration of the appellant.
3. Right to a speedy trial.
4. Application of legal principles regarding bail.
5. Impact of stringent bail conditions under special laws like UAPA.

Detailed Analysis:

1. Denial of Bail by the High Court:
The appellant's request for bail was denied by the High Court of Judicature at Bombay on 5th February 2024 in Criminal Appeal No 1060 of 2023. The appellant was implicated under the Unlawful Activities (Prevention) Act, 1967 (UAPA), and the High Court's order was challenged in this appeal.

2. Prolonged Incarceration of the Appellant:
The appellant has been in custody for over four years as an under-trial prisoner. The trial court has not yet framed charges, and the prosecution plans to examine no fewer than eighty witnesses. The Supreme Court noted the prolonged detention and the slow pace of the trial, questioning the timeline for its conclusion.

3. Right to a Speedy Trial:
The Supreme Court emphasized the constitutional right to a speedy trial, as enshrined under Article 21 of the Constitution of India. The Court referenced several precedents, including Gudikanti Narasimhulu & Ors. v. Public Prosecutor, Gurbaksh Singh Sibba v. State of Punjab, and Hussainara Khatoon v. Home Secy., State of Bihar, reiterating that bail should not be withheld as punishment and that a speedy trial is an integral part of the right to life and liberty.

4. Application of Legal Principles Regarding Bail:
The Court cited the principle that bail is to ensure the accused's attendance at trial and not as a punitive measure. In the case of prolonged trials, the denial of bail could lead to an unjust imprisonment, which was highlighted in Mohd Muslim @ Hussain v. State (NCT of Delhi). The Court also noted the statutory mandate under Section 19 of the National Investigation Agency Act, 2008, requiring trials to be conducted on a day-to-day basis.

5. Impact of Stringent Bail Conditions Under Special Laws Like UAPA:
The Court acknowledged the stringent conditions for bail under UAPA but noted that these should not override constitutional rights. The Court referenced Union of India v. K.A. Najeeb, indicating that statutory restrictions do not preclude constitutional courts from granting bail on grounds of prolonged incarceration and violation of fundamental rights. The Court also referred to Satender Kumar Antil v. Central Bureau of Investigation, emphasizing the need for expedited trials, especially under special laws.

Conclusion:
The Supreme Court allowed the appeal, setting aside the High Court's order. The appellant was granted bail, subject to conditions imposed by the trial court, including not leaving Mumbai and marking presence at the NIA office or police station every fifteen days. The judgment underscored the importance of the right to a speedy trial and the principle that bail should not be used as a punitive measure. The Court's decision balanced the need for stringent bail conditions under special laws with the fundamental rights of the accused.

 

 

 

 

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