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2025 (3) TMI 253 - HC - Indian Laws


ISSUES PRESENTED and CONSIDERED

The core legal questions considered by the Court were:

(1) Whether the suit promissory note (Ex.A.1) was supported by consideration, and if so, did the defendant issue the suit cheque to discharge a lawfully owed debt payable under the suit promissory note?

(2) Whether the plaintiff has proved the execution of Ex.A.1 - Promissory Note and issuance of Ex.A.2 - Cheque?

(3) Whether the defendant has discharged the legal presumption attached to Ex.A.1 and Ex.A.2?

ISSUE-WISE DETAILED ANALYSIS

Issue 1: Consideration for the Promissory Note and Issuance of Cheque

Relevant Legal Framework and Precedents: The Court referred to Section 118(a) of the Negotiable Instruments Act, 1881, which presumes that every negotiable instrument was made or drawn for consideration unless proven otherwise. The Court also cited the Supreme Court's decision in Kundan Lal Rallara v. The Custodian, Evacuee Property Bombay, which discusses the burden of proof and the shifting of this burden in cases involving negotiable instruments.

Court's Interpretation and Reasoning: The Court noted that the initial presumption under Section 118(a) is rebuttable. The defendant can raise a probable defense to prove the non-existence of consideration. The Court emphasized that the burden of proof initially rests on the plaintiff to prove the execution of the promissory note, after which the presumption of consideration arises, shifting the burden to the defendant to disprove it.

Key Evidence and Findings: The plaintiff claimed that the defendant borrowed Rs. 9,00,000 and issued a promissory note agreeing to repay it with interest. The defendant contended that there was no financial transaction beyond minor amounts related to electrical work. The plaintiff's evidence included the promissory note and cheque, while the defendant presented evidence of the mill's closure and sale in 2013, arguing that the financial transaction was improbable.

Application of Law to Facts: The Court found that the plaintiff's evidence, including bank statements (Ex.A.10 and Ex.A.11), did not convincingly establish the passing of consideration. The Court noted inconsistencies in the plaintiff's narrative, such as the improbability of advancing a loan to a closed business and the lack of evidence in the plaintiff's tax records.

Treatment of Competing Arguments: The defendant argued that the promissory note and cheque were fabricated after the business closure. The plaintiff relied on the presumption of consideration under the Negotiable Instruments Act. The Court found the defendant's argument more probable, given the circumstances and lack of convincing evidence from the plaintiff.

Conclusions: The Court concluded that the plaintiff failed to establish the passing of consideration, and the defendant successfully rebutted the presumption of consideration under Section 118(a).

Issue 2: Proof of Execution of Promissory Note and Cheque

Relevant Legal Framework and Precedents: The Court relied on the principles of burden of proof under the Negotiable Instruments Act and the Evidence Act, emphasizing the need for the plaintiff to prove execution before the presumption of consideration arises.

Court's Interpretation and Reasoning: The Court scrutinized the evidence presented by the plaintiff, including the testimony of witnesses and documentary evidence. The Court found discrepancies in the plaintiff's narrative and noted that the plaintiff's own admissions during cross-examination undermined the claim of execution.

Key Evidence and Findings: The plaintiff's witness, P.W.2, failed to corroborate the execution of the promissory note. The plaintiff's admission of the mill's closure in 2013 contradicted the claim of a loan for business purposes in 2014.

Application of Law to Facts: The Court applied the legal principles of burden of proof and found that the plaintiff did not meet the burden of proving execution. The Court emphasized the improbability of the plaintiff's claims given the evidence of the mill's closure.

Treatment of Competing Arguments: The defendant's argument that the promissory note and cheque were fabricated was supported by evidence of the mill's closure and the plaintiff's admissions. The plaintiff's reliance on the presumption of execution was insufficient to overcome these facts.

Conclusions: The Court concluded that the plaintiff failed to prove the execution of the promissory note and cheque, and the defendant successfully rebutted the presumption of execution.

Issue 3: Discharge of Legal Presumption by Defendant

Relevant Legal Framework and Precedents: The Court reiterated the principles of burden shifting under the Negotiable Instruments Act and the Evidence Act, emphasizing the defendant's ability to rebut the presumption of consideration and execution.

Court's Interpretation and Reasoning: The Court analyzed the defendant's evidence, including the mill's closure and sale, and found it sufficient to rebut the presumption of consideration and execution. The Court noted the plaintiff's failure to provide convincing evidence to counter the defendant's claims.

Key Evidence and Findings: The defendant presented evidence of the mill's closure and sale, which the Court found credible. The plaintiff's evidence, including bank statements, was insufficient to establish consideration or execution.

Application of Law to Facts: The Court applied the legal principles of burden shifting and found that the defendant successfully discharged the presumption of consideration and execution. The plaintiff's evidence was insufficient to shift the burden back to the defendant.

Treatment of Competing Arguments: The defendant's argument of fabrication was supported by credible evidence, while the plaintiff's reliance on the presumption of consideration and execution was undermined by inconsistencies and lack of evidence.

Conclusions: The Court concluded that the defendant successfully discharged the legal presumption of consideration and execution, and the plaintiff failed to meet the burden of proof.

SIGNIFICANT HOLDINGS

The Court held that the plaintiff failed to establish the passing of consideration and the execution of the promissory note and cheque. The defendant successfully rebutted the presumption of consideration and execution under the Negotiable Instruments Act. The Court set aside the trial court's judgment and decree, dismissing the suit for recovery of money. The Court emphasized the importance of credible evidence in shifting the burden of proof and the role of legal presumptions in negotiable instrument cases.

 

 

 

 

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