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2024 (8) TMI 774 - SC - Indian Laws


Issues Involved:
1. Legally enforceable liability under Section 138 of the N.I. Act.
2. Rebuttable presumption under Sections 138, 139, and 118(a) of the N.I. Act.
3. Admissibility and impact of additional evidence under Section 391 of the Code.
4. Applicability of the Tamil Nadu Prohibition of Charging Exorbitant Interest Act, 2003.
5. Discrepancy in the rate of interest and its impact on the enforceability of the cheque.
6. Conduct and intent of the respondent in closing the bank account.

Issue-wise Detailed Analysis:

1. Legally Enforceable Liability under Section 138 of the N.I. Act:
The case revolves around the dishonour of a cheque issued by the respondent to the appellant for a sum of Rs.19,00,000/-. The cheque was returned with the endorsement 'Account Closed'. The Trial Court convicted the respondent under Section 138 of the N.I. Act, which was later overturned by the Appellate Court and upheld by the High Court. The Supreme Court emphasized that the issuance of the cheque itself creates a presumption of a legally enforceable debt or liability.

2. Rebuttable Presumption under Sections 138, 139, and 118(a) of the N.I. Act:
The appellant argued that once the issuance of the cheque is admitted, a presumption arises under Sections 138, 139, and 118(a) of the N.I. Act, which the respondent failed to rebut. The Supreme Court noted that the respondent did not discharge the burden of rebutting this presumption, even with the additional evidence allowed under Section 391 of the Code.

3. Admissibility and Impact of Additional Evidence under Section 391 of the Code:
The Appellate Court allowed the respondent to introduce additional evidence under Section 391 of the Code, which included receipts purportedly showing repayment of the loan. The Supreme Court found that the additional evidence did not conclusively prove the total discharge of the loan amount, as it only highlighted discrepancies in the interest rates.

4. Applicability of the Tamil Nadu Prohibition of Charging Exorbitant Interest Act, 2003:
The Appellate Court and the High Court considered the Tamil Nadu Act, which caps the interest rate at 12% per annum. The Supreme Court observed that even if the interest rate was capped at 12%, the principal amount was not disputed. The respondent should have challenged the interest rate in an appropriate forum rather than in the proceedings under the N.I. Act.

5. Discrepancy in the Rate of Interest and Its Impact on the Enforceability of the Cheque:
The Appellate Court and the High Court focused on the discrepancy in the interest rates (1.8% vs. 3% per month). The Supreme Court ruled that this discrepancy was not sufficient to disbelieve the appellant's claim, as the principal amount was not disputed, and the respondent failed to produce all receipts showing total repayment.

6. Conduct and Intent of the Respondent in Closing the Bank Account:
The Supreme Court questioned the respondent's conduct and intent in closing the bank account shortly after issuing the cheque. This action raised doubts about the respondent's bona fides and supported the appellant's claim that the cheque was issued for a legally enforceable liability.

Conclusion:
The Supreme Court set aside the Appellate Court's order and the High Court's judgment, restoring the Trial Court's order with modifications. The respondent was directed to pay a fine amounting to one and a half times the cheque amount (Rs.28,50,000/-) within eight months, failing which the sentence of simple imprisonment for one year would be revived. The appeal was allowed, and parties were left to bear their own costs.

 

 

 

 

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