Tax Management India. Com
Law and Practice  :  Digital eBook
Research is most exciting & rewarding
  TMI - Tax Management India. Com
Follow us:
  Facebook   Twitter   Linkedin   Telegram

Home Case Index All Cases Indian Laws Indian Laws + SC Indian Laws - 2017 (1) TMI SC This

  • Login
  • Cases Cited
  • Referred In
  • Summary

Forgot password       New User/ Regiser

⇒ Register to get Live Demo



 

2017 (1) TMI 1683 - SC - Indian Laws


Issues Involved:
1. Exercise of inherent powers under Section 482 of the Code of Criminal Procedure (CrPC) by the High Court.
2. Restraint on the investigating agency not to arrest the accused during the investigation.
3. Parameters for quashing an FIR.
4. Grant of anticipatory bail under Section 438 CrPC.
5. Judicial precedents and guidelines for the exercise of inherent powers.

Issue-Wise Detailed Analysis:

1. Exercise of Inherent Powers Under Section 482 CrPC by the High Court:
The core issue was whether the High Court, while refusing to exercise its inherent powers under Section 482 CrPC to quash an FIR, can direct the investigating agency not to arrest the accused during the investigation. The Supreme Court emphasized that inherent powers under Section 482 CrPC should be exercised sparingly and with caution, only when justified by the specific tests laid down in the provision. The Court noted that the High Court did not refer to the allegations in the FIR or the progress of the investigation, which was inappropriate.

2. Restraint on the Investigating Agency Not to Arrest the Accused During Investigation:
The High Court's direction to the investigating agency not to arrest the accused amounted to an order under Section 438 CrPC (anticipatory bail) without satisfying the conditions of the said provision. The Supreme Court found this legally unacceptable, as it bypassed the statutory requirements for granting anticipatory bail. The Court reiterated that such directions are not sanctioned by law and should be avoided.

3. Parameters for Quashing an FIR:
The Supreme Court referred to various precedents, including the Constitution Bench decision in Lalita Kumari v. Government of Uttar Pradesh, which mandates the registration of an FIR if the information discloses the commission of a cognizable offense. The Court also cited Bhajan Lal's case, which provided illustrative circumstances where the inherent power under Section 482 CrPC could be exercised to quash an FIR. These include situations where the allegations do not constitute an offense, are absurd, or are manifestly attended with mala fide intentions.

4. Grant of Anticipatory Bail Under Section 438 CrPC:
The Court discussed the principles governing the grant of anticipatory bail, as laid down in Gurbaksh Singh Sibbia v. State of Punjab and other cases. It highlighted that anticipatory bail cannot be granted indirectly through orders that restrain arrest without following the statutory requirements. The Supreme Court disapproved of High Court orders that direct the release of accused on bail upon surrendering, as such directions contradict the established legal framework.

5. Judicial Precedents and Guidelines for the Exercise of Inherent Powers:
The judgment extensively reviewed past decisions to underscore the limited and cautious use of inherent powers. The Court emphasized the need for judicial restraint and adherence to statutory commands. It criticized the High Court's order for deviating from established principles and creating confusion in the legal process. The Supreme Court reiterated that courts must act within the statutory framework and avoid issuing orders that undermine the judicial process.

Conclusion:
The Supreme Court allowed the appeal, set aside the High Court's order, and directed that the investigation should proceed in accordance with the law. It clarified that it had not expressed any opinion on the merits of the allegations in the FIR. The judgment serves as a reminder of the disciplined exercise of judicial powers and the importance of adhering to statutory provisions and judicial precedents.

 

 

 

 

Quick Updates:Latest Updates