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2024 (3) TMI 968 - HC - GST


Issues Involved:
1. False Implication and Arrest Without Tax Assessment
2. Legality of Arrest and Detention
3. Non-issuance of Notice Under Section 74 of CGST Act
4. Recovery and Evidence Legitimacy
5. Statements and Alleged Non-cooperation
6. Economic Offence and Bail Considerations

Summary:

1. False Implication and Arrest Without Tax Assessment
The applicant argued that he was falsely implicated and arrested without any tax liability assessment. It was submitted that the department must first assess the tax liability before proceeding under \u/s 69 of the CGST Act for arrest. The department has not shown any assessed tax liability, making the arrest and detention unjustified.

2. Legality of Arrest and Detention
The applicant contended that no valid grounds were provided in the arrest memo, and vague language was used to justify the arrest. The applicant was detained illegally for three days before being formally charged. The department did not request custody remand, indicating that further detention was unnecessary.

3. Non-issuance of Notice Under Section 74 of CGST Act
The applicant claimed that no notice was given under \u/s 74 of the CGST Act, and the offenses were initially shown as bailable. However, the department later associated the applicant with multiple shell companies without basis. The department argued that prosecution and adjudication can proceed simultaneously, citing Supreme Court precedents.

4. Recovery and Evidence Legitimacy
The applicant challenged the legitimacy of the recovery memo, arguing it was not made in his presence and lacked his signature, violating \u/s 100 of the Cr.P.C. No incriminating articles were recovered from the applicant's premises, and statements from others were allegedly obtained under duress.

5. Statements and Alleged Non-cooperation
The applicant's statements were recorded under duress, and he retracted them. The department claimed that the applicant admitted his involvement in the crime and was not cooperating with the investigation. The court noted that cooperation does not mean self-incrimination and that the applicant appeared before the investigating officer as required.

6. Economic Offence and Bail Considerations
The department argued that economic offenses require stringent handling and cited several Supreme Court judgments emphasizing the seriousness of such crimes. The applicant countered with precedents favoring bail when the offense is punishable with up to five years of imprisonment. The court found that the arrest lacked proper justification and that further detention was not warranted, especially since no formal complaint or FIR was filed.

Conclusion:
The court granted bail to the applicant, emphasizing the need to balance the right to personal liberty with the requirements of the investigation. The applicant was ordered to comply with specific conditions, including surrendering his passport and not tampering with evidence or engaging in criminal activities. The court's observations were limited to the bail application and did not reflect on the case's merits.

 

 

 

 

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