Criminal Procedure Code, 1973 – Section 482 ; Indian Penal Code, 1860 – Sections 406, 420, and 468 – Quashing of FIR – Civil Dispute – Abuse of process; Lack of criminal intention; Criminal proceedings as harassment. The complainants alleged that the petitioner fraudulently obtained compensation for land acquisition, misused a revoked GPA, and obtained awards in his name through forgery. The petitioner argued that the FIR did not disclose a cognizable offence, and thus, the proceedings should be quashed to prevent abuse of the court’s process.
It was highlighted that the prosecution must establish the commission of a cognizable offence to justify the continuation of criminal proceedings. The Court cited precedents to emphasize that an FIR lacking criminal intent or disclosing a civil dispute should be quashed to prevent harassment.
The complaint primarily alleged misuse of a revoked GPA and disputed compensation amounts, which, even if true, did not constitute criminal offences. The Court held that the absence of essential elements of forgery in the complaint warranted quashing of the FIR.
It was reiterated that the criminal process should not be used to adjudicate civil disputes or challenge administrative decisions.Consequently, the Court allowed the petition and quashed FIR No. 73 of 2018 and its consequent proceedings, deeming them an abuse of the court’s process. (Para 26)
HIGH COURT OF HIMACHAL PRADESH
2023 STPL(Web) 347 HP
[Latest HLJ 2023 (HP)(2) 1479 = 2023 HHC 13467]
Laxmi Singh Vs. State Of Himachal Pradesh & Others
Cr.MMO No. 118 of 2018-Decided on 24-11-2023
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