No Bail for Possession of Commercial Quantity of Contraband: Kerala High Court Applies Stringent Measures Under NDPS Act

Share:
Allegations absence Divorced Family Assert Bail File Limitations Knowledge Licensees father DNA Affidavit Evidence Bail 258 Airport Evidence Bail Property Properties Bail Power Land DNA Land CAT Labour Issuance medical drt Application Jurisdiction Public land Bail 138 GST Intelligence Disciplinary SBI bail Family evidence driving Trusteeship 148 Criminal Sexual Assault Case Murder Divorce Woman Pay Scale bail Publication Teachers investigation bail disciplinary Non-Bailable repayment education evidence Acquittal Bail bail

The Kerala High Court, presided over by Mr. Justice C.S. Dias, denied bail to two accused in a significant narcotics case involving possession of a commercial quantity of Methamphetamine. The bail applications, numbered 8777 of 2023 and 5877 of 2023, were filed by Sirajudheen and Riyas Puthusseri, the 2nd and 3rd accused, respectively, under Section 439 of the Code of Criminal Procedure, 1973.

The case pivoted on accusations of possession of 499.28 grams of Methamphetamine. Originally identified as MDMA, the seized substance turned out to be Methamphetamine upon laboratory analysis. This quantity falls under the category of ‘commercial quantity’ as per the Narcotic Drugs and Psychotropic Substances Act, 1985 (NDPS Act).

Defence counsel argued that the accused were falsely implicated, highlighting alleged procedural violations in the seizure, storage, and analysis of the contraband. They pointed to the delay in forwarding the samples to the laboratory as a significant flaw, potentially prejudicing the accused.

The prosecution, however, maintained that the seizure was compliant with NDPS Act requirements. Citing previous Supreme Court and High Court judgments, they argued that the length of detention is irrelevant in cases involving commercial quantities of contraband under the NDPS Act.

In its judicial analysis, the High Court observed that the determination of procedural compliance and resultant prejudice should be assessed at trial. The Court’s focus was on Section 37 of the NDPS Act, given the commercial quantity involved. This section imposes stringent conditions on bail in cases involving commercial quantities of contraband.

Ultimately, the Court denied bail, stating, “After comprehending the nature, seriousness, and gravity of the accusations…I do not find any reasonable ground to hold that the petitioners have not committed the offences alleged against them.” The decision was anchored on the nature of the offence, the quantity of contraband, and the stringent parameters under Section 37 of the NDPS Act. The Court also emphasized that its observations were solely for bail consideration and should not influence the trial court’s decision.

Date of Decision: 1st March 2024

Sirajudheen & Anr. Vs. State of Kerala

Download Judgment

Share: