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        <h1>Court upholds validity of CBDT charge sheet, rejects challenge to jurisdiction in departmental proceedings.</h1> The court upheld the validity of the charge sheet issued by the Central Board of Direct Taxes (CBDT) against the petitioner, dismissing the challenge to ... Petitioner has challenged a charge sheet issued to him - There is nothing to suggest, nor has it been argued before us, that anyone in the CBDT acted in a mala fide manner against the Petitioner - it is very difficult for us to hold that because the officers of NAFED had acted in a mala fide manner and had allegedly harassed and victimized the Petitioner - There is nothing to suggest that there was no application of mind by the CBDT before issuing the charge sheet to the Petitioner Issues:Challenge to charge sheet issued by principal employer, jurisdiction to initiate departmental proceedings, mala fide reasons for charge sheet issuance.Analysis:The petitioner challenged a charge sheet issued by the Central Board of Direct Taxes (CBDT), his principal employer, after being on deputation with another organization. The petitioner sought repatriation back to his parent department, but disciplinary proceedings were initiated against him by the organization he was deputed to. The CBDT issued a memorandum of charges to the petitioner, including an opinion from the Central Vigilance Commission. The petitioner contested the charge sheet before the Tribunal, arguing that the CBDT lacked jurisdiction due to the advice from the Central Vigilance Commission. The Tribunal rejected this contention, emphasizing that departmental proceedings should continue unless there are compelling reasons to stop them, as per Supreme Court precedents.The petitioner's counsel cited previous judgments to argue that mala fide reasons for a charge sheet issuance could warrant interference with departmental proceedings. However, the court found that the alleged mala fides were attributed to the organization the petitioner was deputed to, not the CBDT. The court emphasized that mala fides against one entity cannot invalidate actions by another unless specifically proven. The court concluded that there was no evidence of lack of application of mind by the CBDT in issuing the charge sheet, dismissing the petitioner's contentions as unfounded.In the judgment, the court highlighted the importance of rare and clear cases of want of jurisdiction, illegality, or mala fides to justify interference with departmental proceedings. The court found no merit in the petitioner's arguments and dismissed the writ petition without costs, upholding the validity of the charge sheet issued by the CBDT.

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