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2024 (10) TMI 1351 - HC - Money Laundering


Issues Involved:

1. Consideration of regular bail applications under the Prevention of Money Laundering Act (PMLA) for the applicants involved in alleged financial fraud and money laundering.
2. Examination of the twin conditions under Section 45 of the PMLA.
3. Evaluation of the right to a speedy trial and the impact of prolonged incarceration on the applicants' fundamental rights.
4. Assessment of the applicants' involvement in the alleged offenses and their potential flight risk.

Issue-wise Detailed Analysis:

1. Consideration of Regular Bail Applications:
The applicants sought regular bail in connection with a case involving serious allegations of financial fraud and money laundering. The case originated from an investigation by the Serious Fraud Investigation Office (SFIO), which led to the filing of a complaint under various sections of the Companies Act and the Indian Penal Code. The Enforcement Directorate (ED) subsequently filed a prosecution complaint under the PMLA, alleging that the ex-promoters of a company siphoned off funds using a complex web of companies and financial transactions. The applicants were alleged to have played roles in creating fraudulent documents and facilitating the diversion of funds.

2. Examination of the Twin Conditions under Section 45 of the PMLA:
The court examined the applicability of the twin conditions under Section 45 of the PMLA, which require the court to be satisfied that there are reasonable grounds for believing that the accused is not guilty of the offense and that they are not likely to commit any offense while on bail. The court noted that these conditions, while restrictive, do not impose an absolute restraint on granting bail and that the discretion ultimately rests with the court. The court also emphasized that the right to bail should be read into the provisions of Section 45, especially when there is a delay in the trial and the accused has been incarcerated for a significant period.

3. Evaluation of the Right to a Speedy Trial:
The court highlighted the constitutional mandate of the right to a speedy trial as enshrined in Article 21 of the Constitution of India. It observed that the trial in the present case was yet to commence, and given the large number of accused persons, witnesses, and documents involved, the trial was unlikely to conclude in the near future. The court underscored that prolonged incarceration without trial infringes on the fundamental rights of the accused and that bail should be the norm, not the exception, particularly when the trial is delayed for reasons not attributable to the accused.

4. Assessment of Applicants' Involvement and Flight Risk:
The court considered the material cited against the applicants, primarily statements recorded under Section 50 of the PMLA. It noted that there was no direct evidence of money traveling to the applicants' accounts or them being beneficiaries of the alleged transactions. The court also took into account the applicants' personal circumstances, such as their deep roots in society, lack of criminal antecedents, and the fact that they had joined the investigation on multiple occasions. The court found no evidence to suggest that the applicants were a flight risk or that they had attempted to tamper with evidence or influence witnesses.

Conclusion:

The court concluded that the applicants were entitled to bail, considering the period of custody undergone, the delay in the trial, and the fact that similarly placed co-accused had been granted bail. The court directed the applicants to be released on regular bail subject to certain conditions, including surrendering their passports, not leaving the Delhi/NCR region without permission, and not contacting prosecution witnesses. The court emphasized that its observations were limited to the present bail applications and did not reflect on the merits of the case.

 

 

 

 

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