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The Supreme Court Clarified That The Remarks In Its Order Should Not Be Construed As Statements Or Viewpoints On Substantive Aspects Of The Case, In Digvijaysinh Himmatsinh Jadeja V. The State Of Gujarat And Ors

Ifrah Murtaza ,
  11 December 2023       Share Bookmark

Court :
Hon’ble Supreme Court of India
Brief :

Citation :
Criminal Appeal No. 3259/2023

Case title: 

Digvijaysinh Himmatsinh Jadeja v. The State of Gujarat and Ors

Date of Order: 

29th November, 2023

Bench: 

Hon’ble Mr. Justice Sanjiv Khanna

Hon’ble Mr. Justice S.V.N. Bhatti

Parties: 

Appellant(s): Digvijaysinh Himmatsinh Jadeja

Respondent(s): The State of Gujrat and Ors

SUBJECT:

The instant appeal dealt with by the Hon’ble Supreme Court of India (hereinafter referred to as ‘the Supreme Court or ‘the Court’) involves a legal dispute related to agreements, specifically those concerning the return of 24 karat pure gold bars deposited with Geetanjali Jewellery Retail Limited (GJRL) in a fiduciary capacity. The case includes issues such as the validity of signatures, the authority of individuals involved, the resignation of a signatory, and the quashing of a First Information Report (FIR). The legal contentions may encompass sections of the Indian Penal Code (IPC) and the distinction between civil wrongs and criminal offenses. The Supreme Court set aside the impugned judgment of the High Court.

IMPORTANT PROVISIONS:

The Code of Criminal Procedure, 1973 (CrPC):

  • Section 161
  • Section 164

The Indian Penal Code, 1860 (IPC):

  • Section 406
  • Section 420
  • Section 464
  • Section 465

OVERVIEW:

  • The Supreme Court was considering an appeal against a Gujarat High Court judgment that had quashed a First Information Report (FIR).
  • The case dealt with by the High Court of Gujarat involved a dispute regarding agreements. The private respondent(s) argued that the agreements were not binding on Geetanjali Jewellery Retail Limited (GJRL), a subsidiary of Gitanjali Gems Limited.
  • The High Court examined the disputed factual questions related to the validity of signatures and the authority of individuals involved in the agreements.
  • The High Court considered the argument that one of the signatories had resigned, rendering the agreements unauthorized.
  • The High Court might have addressed concerns raised about contradictions in the appellant's stand, as reflected in different notices.
  • The High Court referred to Sections 406 and 420 of the IPC and explored whether the alleged actions fell under these criminal sections.
  • The specific details of the High Court's judgment, including the legal arguments presented, the reasoning behind the decision to quash the FIR, and any other issues addressed, would be outlined in the full judgment document. Unfortunately, the information provided does not offer a comprehensive view of the High Court's findings on these specific issues.
  • The High Court quashed the FIR, indicating a decision to set aside or cancel the initial complaint filed with the police.

 

ISSUES RAISED:

  • Whether the disputed factual questions include the validity of signatures and the authority of individuals involved in the agreements?

ARGUMENTS ADVANCED BY THE APPELLANT:

  • The agreements in question were valid and binding.
  • Given that the agreements involved the return of 24-karat pure gold bars deposited with GJRL in a fiduciary capacity, the appellants may have asserted the legitimacy of this fiduciary relationship.
  • The appellants pointed out a specific clause in the agreement dated August 13, 2013, acknowledging the agreement dated July 25, 2013, but emphasizing that it did not override the fiduciary relationship concerning the gold bars.
  • It was mentioned that there were disputed factual questions, including the validity of signatures and the authority of individuals involved.
  • The appellants emphasized the need to distinguish between civil wrongs and criminal offenses. The ingredients of a criminal offense should be satisfied.

 

ARGUMENTS ADVANCED BY THE RESPONDENT:

  • The agreements in question were not binding on GJRL, a subsidiary of Gitanjali Gems Limited.
  • One of the signatories had resigned, rendering the agreements unauthorized.
  • There were disputed factual questions, including the validity of signatures and the authority of individuals involved.
  •  The respondents provided justifications for the High Court's decision to quash the FIR, arguing that the FIR was not legally sound or that there were procedural irregularities.
  • The alleged actions fell under sections 406 and 420 of IPC.

JUDGEMENT ANALYSIS:

  • The Supreme Court observed that the High Court should not have examined and recorded conclusions on disputed facts to quash the FIR.
  • The Court noted that, following the registration of the FIR, the investigation had proceeded.
  • The Court declined to examine the requirements of Sections 406 and 420 of the Indian Penal Code in detail. Instead, it emphasized the need to ascertain facts first, including the nature and character of the deposit.
  • Concerns were raised about contradictions in the appellant's stand, but the Supreme Court decided not to delve into these aspects. It stated that such matters should be considered and examined during the investigation.
  • The Supreme Court acknowledged that a wrong may be a civil wrong or a civil wrong and a criminal offense. It stressed the importance of satisfying the ingredients of a criminal offense.
  • The Supreme Court clarified that the observations in its order should not be read as comments or observations on the case's merits. It emphasized that the investigation should continue without being influenced by any findings or observations made in the impugned judgment or the present order.
  • The Supreme Court set aside the impugned judgment, effectively overturning the High Court's decision.

 

CONCLUSION:

The Supreme Court set aside the High Court's decision to quash the FIR, emphasizing that the High Court should not have examined disputed facts at that stage. The Court highlighted the ongoing investigation, and the need to ascertain facts, and refrained from delving into detailed legal sections, emphasizing the importance of distinguishing between civil wrongs and criminal offenses. The judgment underscored that observations should not influence the investigation and directed the Investigating Officers to consider relevant legal interpretations while conducting the inquiry. Overall, the Supreme Court prioritized the unbiased pursuit of facts through investigation over premature legal conclusions, thus allowing the investigative process to proceed unimpeded.

 

 

 
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