In the case of Prem Lata Bushahri v. M/s Himachal Pradesh Commercial Corporation (2026), the High Court of Himachal Pradesh set aside an appellate court’s judgment that had affirmed a conviction under the Negotiable Instruments (NI) Act, ruling that a criminal appeal cannot be decided on its merits if the accused is unrepresented.
The following is a summary of the judgment:
Case Background
The respondent filed a complaint under Section 138 of the NI Act, alleging that the petitioner, Prem Lata Bushahri, issued a cheque for ₹1,50,000 to settle business debts, which was subsequently dishonored due to “insufficient funds”. The Trial Court convicted the petitioner, sentencing her to one year of simple imprisonment and ordering ₹3,00,000 in compensation. The petitioner appealed this decision to the Sessions Judge, Shimla (the Appellate Court), who dismissed the appeal and upheld the conviction.
Key Findings of the Court
The High Court focused on the procedural fairness of the appellate proceedings rather than the factual merits of the cheque dishonor:
- Violation of Constitutional Rights: The High Court found that the Appellate Court had decided the case ex parte after hearing only the complainant’s counsel. The Court ruled that pronouncing a judgment against an unrepresented accused violates Article 21 (Protection of life and personal liberty) and Article 22(1) (Right to consult and be defended by a legal practitioner) of the Constitution of India.
- Mandatory Requirement for Legal Representation: Relying on Supreme Court precedents like Mohd. Sukur Ali v. State of Assam, the Court emphasized that “lawyers in criminal courts are necessities, not luxuries”. Even if an accused’s counsel fails to appear due to negligence or choice, the court should not decide the case against them in their absence.
- Duty to Appoint Amicus Curiae: In situations where the accused is not represented, the court is obligated to appoint an Amicus Curiae or a legal aid counsel to ensure the accused’s interests are defended.
- Limited Revisional Jurisdiction: The Court reaffirmed that revisional jurisdiction is supervisory and intended to rectify patent defects or jurisdictional errors rather than re-appreciate factual evidence, unless there is “glaring perversity”.
Conclusion and Remand
The High Court concluded that the Appellate Court erred by hearing the appeal on its merits without ensuring the accused had legal representation. Consequently, the High Court set aside the appellate judgment dated August 21, 2024, and remanded the matter back to the Sessions Judge for a fresh hearing. The Court further directed that if the petitioner remains unrepresented in the future, the Appellate Court must appoint a legal aid counsel to represent her.
STPL (Web) 2026 HP 142
Prem Lata Bushahri V. M/S Himachal Pradesh Commercial Corporation (D.O.J. 23-04-2026)
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