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2024 (12) TMI 1072 - HC - GST


Issues Involved:
1. Legality of the condition imposed by the trial court requiring the petitioner to deposit Rs. 1 crore for bail.
2. The appropriateness of imposing financial conditions on bail in cases involving fraudulent Input Tax Credit (ITC) under the Central Goods and Services Tax Act, 2017.
3. The role of criminal proceedings in the recovery of disputed dues.

Detailed Analysis:

1. Legality of the Condition Imposed by the Trial Court:

The petitioner sought relaxation of a condition imposed by the trial court, which required him to deposit Rs. 1 crore as a prerequisite for bail. The petitioner argued that this condition was unjustified and made it impossible for him to secure his release on bail. The court examined the imposition of such conditions in light of precedents set by the Hon'ble Supreme Court, which emphasized that bail conditions should not be so onerous as to effectively deny bail. The court noted that the trial court's imposition of a Rs. 1 crore deposit was excessive, particularly given the circumstances of the case.

2. Appropriateness of Imposing Financial Conditions on Bail:

The court explored the legal framework surrounding the imposition of conditions on bail, particularly under Section 437 of the Criminal Procedure Code (Cr.P.C.), which allows for certain conditions to ensure the accused's presence at trial and prevent further offenses. The court highlighted that while Section 437 does not explicitly prohibit cash security, the general rule is to release the accused on personal bond and sureties unless they offer cash security themselves. The court referenced the Supreme Court's stance that conditions should not be harsh, onerous, or excessive and should not transform the court into a recovery agent for disputed dues.

3. Role of Criminal Proceedings in Recovery of Disputed Dues:

The court reiterated the principle that criminal proceedings are not intended for the realization of disputed dues. It referenced the Supreme Court's judgment in Ramesh Kumar, which stated that criminal courts should not act as recovery agents. The court underscored that the presumption of innocence entitles the accused to fundamental rights, including liberty, and conditions imposed should not infringe upon these rights. The judgment clarified that while courts can impose conditions to ensure attendance and prevent witness tampering, they should not impose financial conditions as a substitute for civil recovery processes.

Conclusion and Order:

The court concluded that the trial court's condition requiring a Rs. 1 crore deposit was unjustified and needed to be relaxed. Instead, the court directed the petitioner to submit his passport to the trial court and prohibited him from leaving India without the court's permission. This order balanced the need to ensure the petitioner's presence during trial with the protection of his fundamental rights, thereby setting aside the financial condition initially imposed.

 

 

 

 

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