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2022 (11) TMI 491 - HC - Indian Laws


Issues Involved:
1. Legally enforceable debt or liability under Section 138 of the Negotiable Instruments Act.
2. Presumption under Section 139 of the N.I. Act.
3. Evidentiary burden and rebuttal of presumption.
4. Appreciation of evidence by the trial and appellate courts.

Issue-wise Detailed Analysis:

1. Legally Enforceable Debt or Liability Under Section 138 of the N.I. Act:
The complainant alleged that the accused issued a cheque for Rs. 9,70,000/- in discharge of a debt arising from a business transaction. The cheque was dishonored due to insufficient funds. The complainant sent a demand notice which was allegedly refused by the accused. The trial court convicted the accused under Section 138 of the N.I. Act, emphasizing the documentary evidence such as the cheque, deposit slips, return memos, and demand notice. The appellate court, however, acquitted the accused, noting the absence of an agreement, trade license, income tax returns, and documentation of the loan transaction, thereby questioning the legally enforceable debt or liability.

2. Presumption Under Section 139 of the N.I. Act:
The trial court relied on the presumption under Section 139 of the N.I. Act, which states that the holder of the cheque is presumed to have received it for discharge of a debt or liability, unless the contrary is proved. The appellate court acknowledged this presumption but highlighted that it is rebuttable. The appellate court found that the complainant failed to prove the transaction independently, as there were no supporting documents or witnesses to substantiate the claim of a legally enforceable debt.

3. Evidentiary Burden and Rebuttal of Presumption:
The trial court found the accused guilty, relying on the statutory presumption and the lack of rebuttal evidence from the defense. The appellate court, however, emphasized that the complainant must independently prove the issuance of the cheque in discharge of a liability. The appellate court noted inconsistencies, such as different inks used on the cheque and the absence of documentation, which it deemed sufficient to rebut the presumption. The High Court, referencing Supreme Court precedents, clarified that the accused must raise a probable defense to rebut the presumption, which was not effectively done in this case.

4. Appreciation of Evidence by the Trial and Appellate Courts:
The trial court convicted the accused based on the unchallenged documentary evidence and the statutory presumption. The appellate court reversed this decision, focusing on the lack of supporting evidence for the complainant's claims and the improbability of the transaction. The High Court criticized the appellate court's approach, stating that the presumption under Section 139 should not be easily rebutted without substantial evidence from the defense. The High Court reinstated the trial court's conviction, emphasizing that the accused failed to provide a credible defense or challenge the signature on the cheque.

Conclusion:
The High Court set aside the appellate court's acquittal and reinstated the trial court's conviction, directing the accused to comply with the trial court's order within four weeks. The High Court underscored the importance of the statutory presumption under Section 139 and the need for the accused to provide substantial evidence to rebut it. The decision highlights the evidentiary standards and the role of statutory presumptions in cases under the Negotiable Instruments Act.

 

 

 

 

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