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2024 (10) TMI 1265 - HC - Customs


Issues Involved:

1. Alleged planting of drugs.
2. Delay in filing Section 52A application under the NDPS Act.
3. Defective notice under Section 50 of the NDPS Act and Section 102 of the Customs Act.
4. Delay in trial and prolonged incarceration.

Issue-wise Detailed Analysis:

Alleged Planting of Drugs:

The applicant's counsel argued that the drugs were planted, citing discrepancies in the color of the seized substance as noted by a witness. However, the court held that such claims could only be evaluated post-trial after all evidence is presented. The court emphasized that at the bail stage, this argument does not provide reasonable doubt to benefit the applicant.

Delay in Filing Section 52A Application:

The applicant contended that the authorities delayed filing the Section 52A application for 12 days, beyond the 72-hour guideline. The court noted that while Standing Order 1/88 suggests dispatching samples within 72 hours, there is no strict timeline for filing the application. The court referenced case law indicating that such procedural delays could be addressed during the trial, and mere delay does not automatically benefit the accused at the bail stage.

Defective Notice:

The applicant argued that the notices issued under Section 50 of the NDPS Act and Section 102 of the Customs Act were defective. The court clarified that Section 50 compliance is necessary only for personal searches, not for baggage searches. The Supreme Court's decision in Ranjan Kumar Chadha was cited to support this view. The court also criticized the use of pre-typed proforma notices that limit the accused's options, advising Customs to modify these forms to align with legal requirements.

Delay in Trial and Prolonged Incarceration:

The applicant highlighted the slow progress of the trial, with only two witnesses examined since the arrest in December 2021. The court acknowledged the importance of timely trials as per Article 21 of the Constitution but noted that the applicant's custody duration and the trial's progress must be assessed case-by-case. The court referenced several Supreme Court rulings where prolonged incarceration led to bail, but emphasized that the facts and circumstances of each case are crucial. In this instance, the court found that the trial was progressing and suggested that the applicant could reapply for bail if delays persisted.

Conclusion:

The court concluded that the applicant had not met the threshold required under Section 37 of the NDPS Act to be granted bail, given the commercial quantity of contraband involved and the lack of prejudicial procedural errors. The bail application was dismissed, with the court noting that its observations were solely for the purpose of deciding the bail application and should not influence the trial's outcome.

 

 

 

 

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