Prolonged undertrial detention under money-laundering law must yield to personal liberty where trial delay lacks accused fault.
Section 45 of the Prevention of Money Laundering Act cannot justify unreasonably prolonged pre-trial detention when delay is not attributable to the accused and trial is unlikely to conclude within a reasonable time. Article 21 protects personal liberty and the right to speedy trial independently of statutory custody thresholds. Constitutional excessiveness requires a contextual assessment of the possible sentence, trial stage and expected duration, the accused's role, and concrete risks of absconding, witness interference, or evidence tampering. Where investigation is complete and the prosecution relies mainly on secured documentary evidence, continued custody may become disproportionate, warranting regular bail despite statutory bail restrictions.
Issues: Whether prolonged undertrial incarceration and the absence of a realistic prospect of an early trial justified regular bail notwithstanding the twin conditions under the Prevention of Money Laundering Act, 2002.
Analysis: The right to speedy trial is an integral component of personal liberty under Article 21 of the Constitution of India. Although Section 45 of the Prevention of Money Laundering Act, 2002 ordinarily governs bail on merits, its stringent requirements cannot operate to sustain unreasonably prolonged pre-trial detention where delay is not attributable to the accused and trial is unlikely to conclude within a reasonable time. The statutory custody thresholds under Section 436-A of the Code of Criminal Procedure, 1973 and Section 479 of the Bharatiya Nagarik Suraksha Sanhita, 2023 do not exhaust or restrict the constitutional power to protect liberty; whether custody has become constitutionally excessive depends on a contextual assessment of the sentence, the stage and likely duration of trial, the accused's role, and risks of absconding or interference with evidence.
Analysis: The investigation had concluded, the prosecution case depended predominantly on documentary evidence already held by the investigating agency, and the matter remained at the cognizance stage despite extensive proposed evidence. The duration of custody, the foreseeable delay arising from the volume of witnesses and documents, and the absence of tangible material showing flight risk, vulnerable witnesses, or likelihood of evidence tampering established that continued incarceration would be disproportionate. The statutory fetters on bail accordingly stood diluted by the Article 21 guarantee.
Conclusion: The petitioner was entitled to regular bail on the ground that continued custody amid a delayed trial would violate the constitutional right to personal liberty and speedy trial.
Ratio Decidendi: In proceedings under the Prevention of Money Laundering Act, 2002, the rigours of Section 45 must yield to Article 21 where undertrial custody is unduly prolonged, trial is unlikely to conclude within a reasonable time for reasons not attributable to the accused, and no concrete risk to the process of justice is shown.