BEFORE THE MADURAI BENCH OF MADRAS HIGH COURT
M.S. RAMESH, M. NIRMAL KUMAR, JJ.
Lalitha – Appellant
Versus
The Additional Chief Secretary to Government, Home, Chennai & Others – Respondents
H.C.P.(MD)No. 106 of 2023
Decided On : 20-07-2023
Habeas Corpus - Detention Order - Procedural safeguards and inordinate delay in considering representation
Fact of the Case:
The petitioner, wife of the detenu, challenged the detention order of her husband, who was held as a 'Goonda' under Tamil Nadu Act 14 of 1982. The main argument focused on the gross violation of procedural safeguards due to inordinate and unexplained delays in considering the petitioner's representation.
Finding of the Court:
The court found that there was an inordinate and unexplained delay in submitting remarks by the Detaining Authority and considering the representation by the Hon'ble Minister, which rendered the detention illegal. Citing relevant case laws, the court held that such delays vitiated the detention order.
Issues: The main issue was the gross violation of procedural safeguards, particularly the inordinate and unexplained delays in considering the petitioner's representation, which was argued to vitiate the detention order.
Ratio Decidendi: The court relied on case laws emphasizing the importance of procedural safeguards and the impact of inordinate and unexplained delays in considering representations, ultimately leading to the quashing of the detention order.
Final Decision: The Habeas Corpus Petition was allowed, and the detention order was set aside, directing the release of the detenu unless his detention was required in connection with any other case.
JUDGMENT
(Prayer: Petition filed under Article 226 of the Constitution of India to issue a writ of Habeas Corpus, calling for the records relating to the detention order passed by the 2nd respondent in P.D.No.157/2022, dated 19.11.2022 and quash the same and direct the respondents to produce the body or detenu, namely, Muthukumar, S/o.Pandian, aged about 30 years now detained at Central Prison, Tiruchirappalli before this Court and set him at liberty.)
M.S. Ramesh, J.
1. The petitioner is the wife of the detenu viz., Muthukumar, S/o.Pandian, aged about 30 years. The detenu has been detained by the second respondent by his order in P.D.No.157/2022, dated 19.11.2022, holding him to be a "Goonda", as contemplated under Section 2(f) of Tamil Nadu Act 14 of 1982. The said order is under challenge in this Habeas Corpus Petition.
2. We have heard the learned counsel appearing for the petitioner and the learned Additional Public Prosecutor appearing for the respondents. We have also perused the records produced by the Detaining Authority.
3. Though several grounds have been raised in the Habeas Corpus Petition, the learned counsel appearing for the petitioner would mainly focus his argument on the ground that there is gross violation of procedural safeguards, which would vitiate the detention. The learned counsel, by placing authorities, submitted that the representation made by the petitioner was not considered on time and there was an inordinate and unexplained delay.
4. The learned Additional Public Prosecutor strongly opposed the Habeas Corpus Petition by filing his counter. He would submit that though there was delay in considering the representation, on that score alone, the impugned detention order cannot be quashed. According to the learned Additional Public Prosecutor, no prejudice has been caused to the detenu and thus, there is no violation of the fundamental rights guaranteed under Articles 21 and 22 of the Constitution of India.
5. The Detention Order in question was passed on 19.11.2022. The petitioner made a representation dated 28.11.2022. Thereafter, remarks were called for by the Government from the Detaining Authority and the remarks were duly received. Thereafter, the Government considered the matter and passed the order rejecting the petitioner''s representation on 19.12.2022.
6. It is the contention of the petitioner that there was a delay of 7 days in submitting the remarks by the Detaining Authority, of which, 2 days were Government Holidays and hence, there was inordinate delay of 5 days in submitting the remarks. It is the further contention of the petitioner that the remarks were received and there was a delay of 9 days, in considering the representation by the Hon''ble Minister for Electricity, Prohibition and Excise Department after the Deputy Secretary dealt with it, of which, 4 days were Government Holidays and hence, there was inordinate delay of 5 days in considering the representation.
7. In Rekha vs. State of Tamil Nadu (2011 (5) SCC 244), the Honourable Supreme Court has held that the procedural safeguards are required to be zealously watched and enforced by the Courts of law and their rigour cannot be allowed to be diluted on the basis of the nature of the alleged activities undertaken by the detenu.
8. In Sumaiya vs. The Secretary to Government (2007 (2) MWN (Cr.) 145), a Division Bench of this Court has held that the unexplained delay of three days in disposal of the representation made on behalf of the detenu would be sufficient to set aside the order of detention.
9. In Tara Chand vs. State of Rajasthan and others, reported in 1980 (2) SCC 321, the Honourable Supreme Court has held that any inordinate and unexplained delay on the part of the Government in considering the representation renders the very detention illegal.
10. In the subject case, admittedly, there is an inordinate and unexplained delay of 5 days in submitting the remarks by the Detaining Authority and unexplained delay of 5 days in consider
Procedural safeguards, including timely consideration of representations, are crucial in determining the legality of a detention order.
Procedural safeguards, including timely consideration of representations, are crucial in detention orders, and any inordinate and unexplained delay can render the detention illegal.
The main legal point established is that any inordinate and unexplained delay in considering a representation can render a detention order illegal.
Any inordinate and unexplained delay on part of Government in considering the representation renders the very detention illegal.
Procedural safeguards, including timely consideration of representations, are crucial in determining the legality of a detention order.
The central legal point established in the judgment is the significance of procedural safeguards and the impact of inordinate and unexplained delays in considering representations on the legality of ....
The main legal point established in the judgment is the significance of procedural safeguards in detention orders and the consequences of inordinate delays in considering representations, which can r....
Procedural safeguards, including timely consideration of the detenu's representation, are crucial, and any inordinate and unexplained delay in this process renders the detention illegal.
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