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2024 (10) TMI 1362 - HC - Customs


Issues Involved:
1. Improper Sampling Procedure
2. Delay in Filing Section 52A Application, NDPS Act
3. Defective Notice under Section 50, NDPS Act and Section 102, Customs Act
4. Delay in Trial/Prolonged Incarceration

Issue-wise Detailed Analysis:

1. Improper Sampling Procedure:
The applicant contended that the sampling procedure was improper as the Customs Officers mixed the contents of all 107 capsules before taking a sample, which is not in accordance with the prescribed legal procedure. The court analyzed the guidelines under Standing Orders 1/88 and 1/89, which regulate the process of seizure and sampling. The court noted that while these guidelines suggest that samples should be drawn from each package or container, the option to bunch them in lots is also provided. The court found that the procedure adopted by the Customs, in this case, was not faulty as the capsules were small, and mixing them to form a homogenous mixture did not cause prejudice to the accused. The court emphasized that any procedural error must be shown to cause prejudice to the accused for it to be considered at the bail stage.

2. Delay in Filing Section 52A Application, NDPS Act:
The applicant argued that there was a 17-day delay in filing the Section 52A application, which should have been filed within 72 hours. The court referenced various judgments, including Tofan Singh v. State of Tamil Nadu, which highlighted the importance of balancing personal liberty with the need to curb drug trafficking. The court noted that while the delay in filing the application could be raised during the trial, it did not find the delay to be prejudicial at the bail stage. The court highlighted that the prosecution could explain the delay during the trial, and mere delay does not automatically vitiate the evidence.

3. Defective Notice under Section 50, NDPS Act and Section 102, Customs Act:
The applicant claimed that the notices issued under Section 50 of the NDPS Act and Section 102 of the Customs Act were defective as they did not indicate the applicant's receiving prior to her search. The court clarified that Section 50 applies only to personal searches and not to the search of bags or containers. Since nothing was found on the applicant's person, the court found that the provisions of Section 50 were not applicable. However, the court advised Customs to amend their proforma notices to include options for the person being searched, in line with Supreme Court guidelines.

4. Delay in Trial/Prolonged Incarceration:
The applicant raised concerns about the delay in trial and prolonged incarceration. The court acknowledged the importance of the right to a speedy trial under Article 21 of the Constitution but noted that the assessment of delay and prolonged custody depends on the specific facts and circumstances of each case. The court cited various Supreme Court judgments where bail was granted due to prolonged incarceration but emphasized that in this case, the trial was progressing, and the applicant had not yet crossed the threshold for bail under Section 37 of the NDPS Act.

Conclusion:
The court dismissed the bail application, concluding that the applicant failed to overcome the threshold prescribed by Section 37 of the NDPS Act. The court found no prejudicial infirmity in the process adopted by the Customs and emphasized that the observations made were only for the purpose of deciding the bail application, not a comment on the merits of the case.

 

 

 

 

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