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2024 (9) TMI 780 - SC - Money Laundering


Issues Involved:
1. Legality of the Appellant's arrest.
2. Entitlement of the Appellant to regular bail.
3. Impact of the filing of a chargesheet on the bail proceedings and whether it necessitates relegation to the Trial Court.

Issue-wise Detailed Analysis:

A. Legality of the Appellant's Arrest

1. Compliance with Section 41A of the CrPC:
- Section 41A pertains to the issuance of a notice by a police officer when arrest is not warranted but presence is required.
- The Appellant was already in judicial custody in another matter (ED case), and the CBI sought the Trial Court's permission to interrogate him, which was granted.
- The Court held that Section 41A does not mandate the issuance of a notice to an individual already in judicial custody. The CBI followed the correct procedure by seeking the Trial Court's permission.
- The Appellant's contention regarding non-compliance with Section 41A was dismissed as the CBI recorded reasons for the arrest and followed the procedural safeguards.

2. Applicability of Section 41(1)(b)(ii) of the CrPC:
- Section 41(1)(b)(ii) outlines conditions for arrest without a warrant.
- The Court clarified that this provision is inapplicable as the arrest was made upon the order of a competent court.
- The reference to Section 41(2) in the High Court's judgment was deemed a typographical error and was clarified to be Section 41(1)(b)(ii).
- The Court concluded that the Appellant's arrest did not suffer from any procedural infirmity and dismissed the plea regarding non-compliance.

B. Entitlement to Regular Bail

1. Complexity and Material on Record:
- The High Court denied bail, emphasizing the need for a comprehensive determination of the Appellant's role in the alleged conspiracy.
- The Court noted that prolonged incarceration pending trial infringes upon personal liberty and established legal principles.
- The Appellant had been granted interim and regular bail in the ED matter, and several co-accused had also been granted bail.

2. Apprehension of Influencing the Outcome of the Trial:
- The Court found that all relevant evidence was already in the CBI's possession, negating the likelihood of tampering by the Appellant.
- The Appellant's position and roots in society reduced the risk of him fleeing the country.
- The Court imposed stricter bail conditions to address apprehensions of influencing witnesses.

3. Triple Conditions for Grant of Bail:
- The Court resolved that the Appellant satisfied the requisite triple conditions for bail: no criminal antecedents, not a flight risk, and no threat of tampering with evidence or witnesses.
- The Court ordered the Appellant's release on bail with specific conditions.

C. Impact of Filing a Chargesheet

1. General Procedure:
- Generally, the Trial Court should consider bail after the chargesheet is filed, as it provides material to form a prima facie opinion on various aspects.
- Each case should be assessed on its own merits, recognizing that no one-size-fits-all formula exists for determining bail.

2. High Court's Role:
- The High Court should redirect the accused to the Trial Court at the threshold. However, significant delays following notice may not warrant relegation to the Trial Court.
- In this case, the High Court did not relegate the Appellant at the preliminary stage, and the parties were heard on merits.

3. Conclusion:
- The Court found it unnecessary to relegate the Appellant to the Trial Court at this stage, even though the filing of a chargesheet is a change in circumstances.

Conclusion:

1. The appeal challenging the legality of the arrest is dismissed.
2. The appeal for bail is allowed, and the High Court's judgment denying bail is set aside.
3. The Appellant is directed to be released on bail with specific conditions:
- Furnishing bail bonds for Rs. 10,00,000 with two sureties.
- Not making public comments on the merits of the CBI case.
- Adhering to conditions imposed in the ED case.
- Remaining present before the Trial Court on hearing dates unless exempted.
- Fully cooperating with the Trial Court for expeditious trial proceedings.

 

 

 

 

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