Post-search scrutiny assessment remains available where original assessment limitation is unexpired, permitting timely completion under regular assess...
Independent show-cause notices remain separate proceedings, while customs adjudication challenges should ordinarily follow the statutory appellate rem...
Institutional incapacity in customs settlement proceedings excludes non-functional quorum periods from statutory disposal timelines, preventing automa...
HC held that the bail applicant failed to meet the mandatory twin conditions under the PMLA. The Court found prima facie material showing scheduled offences, recoveries, and financial transactions through accounts of the petitioner, family members and the Trust that suggested routing and layering of proceeds of crime. It also accepted that statements recorded under Section 50 of the PMLA are admissible and relied on them along with the prosecution complaint to conclude that reasonable grounds were not shown for believing the petitioner was not guilty or would not reoffend on bail. Bail was therefore refused.
HC held that the bail applicant failed to meet the mandatory twin conditions under the PMLA. The Court found prima facie material showing scheduled offences, recoveries, and financial transactions through accounts of the petitioner, family members and the Trust that suggested routing and layering of proceeds of crime. It also accepted that statements recorded under Section 50 of the PMLA are admissible and relied on them along with the prosecution complaint to conclude that reasonable grounds were not shown for believing the petitioner was not guilty or would not reoffend on bail. Bail was therefore refused.
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