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2025 (3) TMI 1251 - HC - Money Laundering


ISSUES PRESENTED and CONSIDERED

The core legal questions considered in this judgment include:

  • Whether the petitioner qualifies as 'sick or infirm' under the proviso to Section 45(1) of the Prevention of Money Laundering Act, 2002 (PMLA), thereby exempting him from the stringent bail conditions.
  • Whether the petitioner satisfies the triple test for bail, which includes assessing flight risk, potential to influence witnesses, and likelihood of tampering with evidence.
  • Whether the delay in trial proceedings justifies granting bail to the petitioner, considering the constitutional right to a speedy trial.

ISSUE-WISE DETAILED ANALYSIS

1. Applicability of Section 45 of PMLA

The legal framework for bail under the PMLA is governed by Section 45, which imposes stringent conditions for granting bail. The proviso to Section 45(1) provides an exception for certain categories, including women, minors, and those who are sick or infirm.

The Court examined the legislative intent behind the proviso, noting that it was intended to offer leniency to vulnerable groups. The Court referenced precedents such as Devki Nandan Garg v. Directorate of Enforcement and Kewal Krishan Kumar v. Enforcement Directorate, which elucidate the purpose of the proviso as a relaxation for specific categories.

The Court determined that while the petitioner did not meet the criteria for 'sick' as per the medical board's assessment, he did qualify as 'infirm' due to his advanced age and associated health conditions. The Court emphasized a liberal interpretation of the term 'infirm' to align with the constitutional spirit of protecting vulnerable individuals.

2. Triple Test for Bail

The Court applied the triple test for bail, which assesses:

  • Flight Risk: The Court found that adequate restrictions could mitigate any flight risk posed by the petitioner.
  • Influencing Witnesses: The Court noted the lack of evidence supporting allegations that the petitioner influenced witnesses, particularly in relation to the statement of Sunil Kher, which could only be evaluated at trial.
  • Tampering with Evidence: The Court found no substantial evidence of the petitioner tampering with evidence during his interim bail period.

The Court concluded that the petitioner met the triple test for bail.

3. Delay in Trial

The Court considered the significant delay in trial proceedings, noting that the case was registered in 2018 and involved a complex investigation with numerous accused, witnesses, and documents. The Court referenced the constitutional right to a speedy trial as articulated in Manish Sisodia v. Directorate of Enforcement and V. Senthil Balaji v. The Deputy Director, Directorate of Enforcement, emphasizing that prolonged pre-trial detention without a foreseeable trial conclusion infringes on this right.

The Court determined that the delay in trial proceedings, coupled with the petitioner's prolonged incarceration, justified granting bail.

SIGNIFICANT HOLDINGS

The Court held that:

  • The petitioner falls within the ambit of 'infirm' under the proviso to Section 45(1) of PMLA, exempting him from the stringent bail conditions typically required under this section.
  • The petitioner satisfies the triple test for bail, as there is no substantial evidence of flight risk, witness influence, or evidence tampering.
  • The delay in trial proceedings, coupled with the petitioner's right to a speedy trial, warrants the granting of bail.

The Court granted bail to the petitioner under specific conditions, emphasizing that these observations were solely for the purpose of deciding the bail petition and should not affect the case's merits.

 

 

 

 

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