The applicant/complainant filed an application seeking leave to appeal against the judgment dated November 7, 2024, passed by the Additional Chief Judicial Magistrate, Court No. 1, Kangra, which resulted in the acquittal of the accused under Section 138 of the Negotiable Instruments Act (NI Act). The trial court had dismissed the complaint on the grounds that the statutory legal notice of demand was issued beyond the mandatory 30-day period stipulated under Section 138(b) of the NI Act.
The High Court dismissed the application for leave to appeal, upholding the trial court’s decision. The Court reiterated that while computing the 30-day limitation period for issuing a legal notice following the dishonour of a cheque, the starting date (the date of receipt of the bank intimation/memo) must be excluded. In this case, even after excluding the date of receipt (August 6, 2018), the legal notice issued on September 6, 2018, fell on the 31st day, thereby violating the mandatory statutory requirement and rendering the complaint not maintainable.
- Computation of Limitation Period under Section 138(b) NI Act:
- While computing the 30-day window prescribed under Section 138(b) of the NI Act for issuing a valid legal demand notice, the date on which the complainant receives intimation of dishonour from the bank must be excluded.
- Calculation in the Present Case:
- The bank memo of dishonour was received on August 6, 2018, and the legal notice was dispatched on September 6, 2018.
- Even after excluding the initial date of receipt, the notice was issued on the 31st day, which exceeded the mandatory 30-day statutory limit.
- Maintainability of Complaint:
- Issuance of a legal notice within 30 days of receiving information about the unpaid cheque is an indispensable condition precedent for maintaining a complaint under Section 138 of the NI Act. Because this condition was unfulfilled, the trial court was fully justified in dismissing the complaint.
STPL (Web) 2026 HP 591
Ravinder Kumar v. Anil Kumar (D.O.J. 07.08.2026)
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