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2021 (1) TMI 182 - AT - Money Laundering


Issues Involved:
1. Maintainability of the appeal filed by the Assistant Director of Enforcement Directorate (ED).
2. Competency of the Assistant Director to file the appeal under Section 26(1) of the Prevention of Money Laundering Act (PMLA), 2002.
3. Procedural and technical aspects of filing the appeal.
4. Authority and delegation of powers within the Enforcement Directorate.

Detailed Analysis:

1. Maintainability of the Appeal:
The primary issue raised was whether the appeal filed by the Assistant Director of ED was maintainable under Section 26(1) of PMLA, 2002. The respondents argued that only the Director, as defined under Section 2(1)(k) of PMLA, is authorized to file such appeals. They contended that the Assistant Director lacked the competency to file the appeal, making it non-maintainable.

The tribunal examined the relevant sections of PMLA, including Sections 2(1)(c), 2(1)(j), 2(1)(k), 5(1), 5(2), 8(2)(b), 26(1), 48, 49, and 51(1). It was noted that Section 26(1) specifically mentions "the Director" as the authority to file appeals, while other sections allow delegation of certain powers to officers not below the rank of Deputy Director.

2. Competency of the Assistant Director:
The respondents argued that the Assistant Director is not competent to file the appeal, citing various sections of PMLA and judgments, including M.P. Wakf Board vs. Subhan Shah, which emphasized that statutory powers must be exercised by the designated authority. They also referred to the notification G.S.R. 441(E) dated 01.07.2005, which conferred exclusive powers on the Director of Enforcement under various sections of PMLA.

The appellant countered that the appeal was filed by the Enforcement Directorate through the Assistant Director, who was duly authorized by the Special Director. The tribunal found that the decision to file the appeal was taken at the level of the Special Director, and the Assistant Director was merely performing a ministerial task.

3. Procedural and Technical Aspects:
The respondents claimed that the procedural and technical aspects of filing the appeal were not followed, rendering the appeal non-maintainable. They argued that the Assistant Director's affidavit in support of the appeal was not valid.

The tribunal referred to judgments such as Union of India vs. Amarjeet Singh Bhalla, which held that procedural defects should not defeat substantive rights. It emphasized that the appeal was filed by the Enforcement Directorate, the aggrieved party, and procedural technicalities should not hinder the pursuit of justice.

4. Authority and Delegation of Powers:
The tribunal examined the delegation of powers within the Enforcement Directorate. It noted that Section 48 of PMLA classifies authorities, including the Director, Additional Director, Joint Director, Deputy Director, and Assistant Director. The decision to file the appeal was taken by the Special Director, a higher authority in the hierarchy, and the Assistant Director was authorized to file the appeal.

The tribunal concluded that the appeal was maintainable, as it was filed by the Enforcement Directorate through an authorized officer. It emphasized that procedural and technical hurdles should not obstruct the administration of justice. The tribunal directed the parties to file written submissions and listed the appeal for further hearing.

Conclusion:
The tribunal held that the appeal filed by the Assistant Director of Enforcement Directorate was maintainable. It emphasized that the decision to file the appeal was taken by a competent authority, and the Assistant Director acted as an authorized representative. The tribunal rejected the respondents' objections and directed the appeal to be heard on merits.

 

 

 

 

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