In this petition filed under Section 482 of the Cr.P.C., the Punjab and Haryana High Court addressed the maintainability of a criminal complaint under Section 138 of the Negotiable Instruments Act against a joint account holder who did not sign the disputed cheque. Justice N.S. Shekhawat allowed the petition, quashing the complaint and summoning order solely with respect to the petitioner. Relying on authoritative Supreme Court precedents, the court ruled that criminal liability under Section 138 cannot be extended to a non-signing joint account holder merely on the basis of joint liability or a shared loan, as only the actual drawer of the cheque can be prosecuted.
- Factual Background: The respondent-complainant filed a complaint under Section 138 of the NI Act against the petitioner and his wife after a cheque drawn on their joint account—signed exclusively by the petitioner’s wife—was dishonored for “account closed”.
- Core Legal Question: The court evaluated whether a non-signatory joint account holder can be prosecuted under Section 138 of the NI Act on the ground of a joint underlying debt or loan liability.
- Statutory Interpretation and Precedents: Citing landmark Supreme Court rulings such as Alka Khandu Avhad v. Amar Syamprasad Mishra and Aparna A. Shah v. M/s Seth Developers Pvt. Ltd., the court reiterated that criminal liability under Section 138 is strictly restricted to the drawer of the cheque. Joint liability does not extend criminal culpability to a joint account holder who did not sign the instrument, and Section 141 of the NI Act has no application outside corporate entities or firms.
- Maintainability of Section 482 Petition: Rejecting the respondent’s objection regarding the bar of a second revision, the court affirmed that the High Court’s inherent powers under Section 482 Cr.P.C. remain available to prevent a miscarriage of justice, even if a prior revision petition before the Sessions Court was dismissed.
- Final Relief: The criminal complaint, the summoning order, and all consequential proceedings were quashed exclusively concerning the petitioner.
J.O. (Web) 2026 P&H 30
Mukesh Kumar vs. Harminder Singh (D.O.J. 23-07-2026)
J.O. (Web) 2026 P&H 30 click here to view full text of judgment




