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2024 (10) TMI 137 - HC - Indian Laws


Issues Involved:

1. Legally enforceable debt under Section 138 of the Negotiable Instruments Act, 1881.
2. Rebuttal of presumptions under Sections 118(a) and 139 of the NI Act.
3. Validity and reliability of the FSL report regarding the signatures on the cheques.
4. Petitioner's failure to prove the advancement of the loan and existence of debt/liability.

Issue-wise Detailed Analysis:

1. Legally enforceable debt under Section 138 of the Negotiable Instruments Act, 1881:

The petitioner alleged that he had advanced a friendly loan of Rs. 48,00,000/- to Respondent No. 2 and accused Vishnu Partap Singh on behalf of Respondent No. 1, and issued two post-dated cheques of Rs. 24,00,000/- each, which were dishonored due to "Insufficient Funds." The respondents were acquitted by the Trial Court, which noted that the petitioner failed to prove that the cheques were issued in discharge of a legally enforceable debt as on the date of the cheques. The Trial Court emphasized that the petitioner could not establish that Respondent No. 2 had drawn the cheques in favor of the petitioner, thus failing to satisfy the ingredients of Section 138 of the NI Act.

2. Rebuttal of presumptions under Sections 118(a) and 139 of the NI Act:

The petitioner argued that the presumptions under Sections 118(a) and 139 of the NI Act stood against the respondents and in favor of the petitioner, asserting that the onus was not on him to show his source of income to establish his financial capacity to lend the money. However, the Trial Court found that Respondent No. 2 successfully rebutted these presumptions by raising a probable defense on a preponderance of probabilities, demonstrating that there existed no debt in the manner pleaded by the petitioner. The Court noted that once the accused raises a probable defense, the burden shifts to the complainant to prove the existence of such debt as a matter of fact.

3. Validity and reliability of the FSL report regarding the signatures on the cheques:

Respondent No. 2 denied issuing the cheques and his signatures on them, seeking expert opinion for verification. The FSL report, which was placed on record in terms of Section 293 of the CrPC, supported Respondent No. 2's claim that he was not the signatory to the cheques. The Trial Court observed that the petitioner did not challenge the findings of the expert, and the report substantiated the defense that Respondent No. 2 had not signed the cheques. The Court noted that the petitioner failed to provide any corroborating evidence to counter the FSL report.

4. Petitioner's failure to prove the advancement of the loan and existence of debt/liability:

The Trial Court noted that the petitioner failed to prove the advancement of the loan of Rs. 48,00,000/-, as there was no documentary proof or witness testimony to support the claim. The Court highlighted that for such a substantial amount, it was unnatural that it would be advanced without any documentary evidence. Additionally, the petitioner could not show his financial capacity or the mode and manner of the loan advancement. The Court also observed that the petitioner failed to prove any specific amount on date or the mode of advancing the loan to Respondent No. 2. The petitioner's emphasis on the repayment of Rs. 5,00,000/- was noted, but the Court found that the rationale behind the acquittal was based on the failure to prove the existence of debt/liability, not solely on the repayment issue.

Conclusion:

The High Court reiterated the principles regarding the powers of the appellate court while dealing with an order of acquittal, emphasizing the double presumption of innocence in favor of the accused. It found no perversity in the Trial Court's appreciation of evidence and upheld the acquittal, dismissing the petitioner's leave to appeal. The Court concluded that the petitioner failed to prove the existence of a legally enforceable debt or liability, and the respondents successfully rebutted the presumptions under the NI Act. Consequently, the petition was dismissed.

 

 

 

 

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