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2025 (3) TMI 1360 - HC - Customs


ISSUES PRESENTED and CONSIDERED

The Court considered several core legal questions, including:

  • Whether the detention order under the Conservation of Foreign Exchange and Prevention of Smuggling Activities Act, 1974 (COFEPOSA Act) was justified, given the petitioner's release on bail in a related criminal case.
  • Whether the petitioner's detention was based on sufficient evidence and whether his rights under the Constitution were violated.
  • Whether the procedural requirements and safeguards under the COFEPOSA Act and the Constitution were adhered to by the detaining authority.
  • Whether the petitioner's statement under Section 108 of the Customs Act was voluntary or coerced.
  • Whether the past conduct of the petitioner justified the preventive detention order.

ISSUE-WISE DETAILED ANALYSIS

Detention Order Justification

The relevant legal framework includes the COFEPOSA Act, which allows preventive detention to prevent smuggling activities. The Court examined whether the detention was preventive rather than punitive, focusing on preventing future offences rather than punishing past ones. The Court referred to precedents such as Haradhan Saha v. State of W.B., which clarified that preventive detention could be justified even if the person is already facing criminal prosecution.

The Court found that the detaining authority's satisfaction was based on relevant materials, including the petitioner's alleged involvement in a smuggling syndicate. The Court emphasized that preventive detention is not a punishment but a measure to prevent future offences.

Evidence and Procedural Compliance

The petitioner argued that the detention was based on insufficient evidence, particularly the coerced statement under Section 108 of the Customs Act. The Court noted that the petitioner did not retract his statement, and the detaining authority considered it voluntary. The Court also reviewed whether the procedural safeguards, such as informing the petitioner of his rights and timely execution of the detention order, were followed. The Court concluded that the procedural requirements were met, as the detention order was executed promptly, and the petitioner was informed of his rights.

Past Conduct and Future Risk

The Court evaluated whether the petitioner's past conduct justified the preventive detention. The detaining authority relied on the petitioner's involvement in smuggling activities as evidenced by his statement and the intelligence report. The Court referred to Saraswathi Seshagiri v. State of Kerala, which supports considering past conduct as an indicator of future risk. The Court found that the detaining authority was justified in its assessment of the potential future risk posed by the petitioner.

Voluntariness of the Petitioner's Statement

The petitioner claimed his statement was coerced. However, the Court noted that the petitioner did not retract his statement, and there was no evidence to support the claim of coercion. The Court emphasized that the statement was recorded under Section 108 of the Customs Act, which is admissible in preventive detention cases.

SIGNIFICANT HOLDINGS

The Court upheld the detention order, emphasizing the preventive nature of the COFEPOSA Act. The Court stated, "The object of detention under the detention law is not to punish, but to prevent the commission of certain offences." The Court concluded that the detaining authority's subjective satisfaction was based on sufficient material and was not vitiated.

The Court reiterated that preventive detention is justified even if the person is already facing criminal charges, as the two proceedings serve different purposes. The Court highlighted that the procedural safeguards were adhered to, and the petitioner's rights were not violated.

In conclusion, the Court dismissed the petition, affirming the legality of the detention order under the COFEPOSA Act. The decision underscored the balance between individual liberty and the need to prevent activities detrimental to the economic security of the country.

 

 

 

 

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