Upto 60% Off on UPSC Online Courses

Avail Now

JMM Bribery Case: SC Says Bribery Not Protected By Legislative Privileges

JMM Bribery Case: SC Says Bribery Not Protected By Legislative Privileges

Context: 

This editorial is based on the news “SC overrules majority verdict in JMM bribery case: ‘corruption and bribery by members of legislature erode probity in public life which was published in the Indian Express. Recently, a seven Judge constitutional bench of the Supreme Court held that legislators do not enjoy immunity from criminal prosecution for bribery charges in connection with their speech and votes made in the Parliament and Legislative assemblies. The Supreme Court overturned its 1998 PV Narsimha Rao judgement.

Relevance for prelims: Supreme Court, Indian Parliament, Parliamentary Democracy, Fundamental Rights (Article 12-35) and Parliamentary Privileges Article 105

Relevancy for Mains: JMM Bribery Case: SC Overturns 1998 Ruling, MP/MLAs to Face Criminal Prosecution: Case Highlights, and Significance.

 

Article 105 of Indian Constitution

  • Deals with “powers, privileges, etc of the Houses of Parliament and of the members and committees.
  • There shall be freedom of speech in Parliament.
  • Members of Parliament are exempted from any legal action for any statement made or act done in the course of their duties.
  • This immunity extends to certain non-members as well, such as the Attorney General for India or a Minister who may not be a member but speaks in the House. 
  • In cases where a Member oversteps or exceeds the contours of admissible free speech, the Speaker or the House itself will deal with it, as opposed to the court.

Key Points of the Supreme Court’s Judgment on  JMM Bribery case

  • Need for Necessity Test or Two-Fold Test: 

    • The Supreme Court said, the individual rights of Parliamentary privileges, has to pass a “necessity test or two-fold test”.
      • Essentiality: It means that for a member to exercise a privilege, the privilege must be such that without it “they could not discharge their functions.”
      • Need to Discharge Duties: Whether the privilege claimed is necessary to the discharge of the essential duties of a legislator.
      • Naturally, accepting bribes cannot be said to be necessary to discharge one’s functions as a lawmaker, unlike, for example, having the right to free speech
  • On Graft-Vote or Vote of Conscience: 

    • Accepting a bribe is an offence as is, and it does not depend on whether the public servant acted differently.
  • Legislative Privileges must conform with Constitutional Parameters: 

  • Parallel Jurisdiction: 

    • Both the judiciary and Parliament can exercise jurisdiction on the actions of lawmakers in parallel
    • This is because the purpose of punishment by the House is different from the purpose of a criminal trial.
  • House Jurisdiction: 

    • The purpose of the proceedings which a House may conduct is to restore its dignity. Such a proceeding may result in the expulsion from the membership of the House.
  • Criminal Trial: 

    • It differs from contempt of the House as it is fully dressed with procedural safeguards, rules of evidence and the principles of natural justice.
  • Erosion of Democracy: 

  • Applicability to Rajya Sabha Elections:  

    • The Court clarified that the principles enunciated by the verdict will apply equally to elections to the Rajya Sabha and to appoint the President and Vice-President of India.
      • Accordingly, it overruled the observations in Kuldip Nayar vs Union of India (2006). Kuldip Nayar us Union of India (2006): It held that elections to the Rajya Sabha are not proceedings of the legislature but a mere exercise of franchise and therefore fall outside the ambit of parliamentary privileges under Article 194.

Significance of the Judgment On  JMM Bribery case

  • Upholding Basic Structure Doctrine: As the judgement upholds the judicial review, one of the souls of Basic Structure Doctrine of the Indian Constitution.
  • Combating Corruption: By eliminating the immunity for legislators facing bribery charges.
  • Promoting Accountability & Transparency: By clarifying that bribery offences are not immune from prosecution, the judgement would ensure accountability and transparency.
  • Strengthening Integrity of the House: It will strengthen the integrity of the house, as accepting bribery to make a speech undermines it.
  • Protection of Fundamental Rights: By ensuring equal treatment under the law by eliminating the special privileges for bribery accused legislators. It is in accordance with the right to equality under Article 14 of the Constitution.

Challenges to Address

  • Uncertainty Over Judgments & Laws: Overturning established precedent is one of the major concerns that requires more deep study for symmetrical judgments and rules.
  • Impact on Independence of Legislative: Subjecting legislators to criminal prosecution may impact the independence and effectiveness of legislators in fulfilling their duties.
  • Challenges in Implementation: The effective implementation may pose logistical and procedural challenges for law enforcement agencies and the judiciary.

Conclusion

The Supreme Court’s decision on JMM Bribery case is a significant step towards ensuring transparency and accountability in India’s parliamentary system. It would help in maintaining a delicate balance between upholding legislative independence and combating corruption.

Also Read: Supreme Court Verdict On Chandigarh Mayor Elections

 

Prelims PYQ (2017): 

One of the implications of equality in society is the absence of 

(a) Privileges 

(b) Restraints 

(c) Competition

(d) Ideology

Ans: (a)

 

Mains Question: The ‘Powers, Privileges and Immunities of Parliament and its Members’ as envisaged in Article 105 of Indian Constitution leave room for a large number of un-codified and un-enumerated privileges to continue. Assess the reasons for the absence of legal codification of the ‘parliamentary privileges’. How can this problem be addressed? (200 words, 12.5 marks)

 

Must Read
NCERT Notes For UPSC UPSC Daily Current Affairs
UPSC Blogs UPSC Daily Editorials
Daily Current Affairs Quiz Daily Main Answer Writing
UPSC Mains Previous Year Papers UPSC Test Series 2024

 

Print Friendly, PDF & Email

To get PDF version, Please click on "Print PDF" button.

Print Friendly, PDF & Email

Need help preparing for UPSC or State PSCs?

Connect with our experts to get free counselling & start preparing

 Final Result – CIVIL SERVICES EXAMINATION, 2023.   Udaan-Prelims Wallah ( Static ) booklets 2024 released both in english and hindi : Download from Here!     Download UPSC Mains 2023 Question Papers PDF  Free Initiative links -1) Download Prahaar 3.0 for Mains Current Affairs PDF both in English and Hindi 2) Daily Main Answer Writing  , 3) Daily Current Affairs , Editorial Analysis and quiz ,  4) PDF Downloads  UPSC Prelims 2023 Trend Analysis cut-off and answer key

THE MOST
LEARNING PLATFORM

Learn From India's Best Faculty

      

 Final Result – CIVIL SERVICES EXAMINATION, 2023.   Udaan-Prelims Wallah ( Static ) booklets 2024 released both in english and hindi : Download from Here!     Download UPSC Mains 2023 Question Papers PDF  Free Initiative links -1) Download Prahaar 3.0 for Mains Current Affairs PDF both in English and Hindi 2) Daily Main Answer Writing  , 3) Daily Current Affairs , Editorial Analysis and quiz ,  4) PDF Downloads  UPSC Prelims 2023 Trend Analysis cut-off and answer key

Quick Revise Now !
AVAILABLE FOR DOWNLOAD SOON
UDAAN PRELIMS WALLAH
Comprehensive coverage with a concise format
Integration of PYQ within the booklet
Designed as per recent trends of Prelims questions
हिंदी में भी उपलब्ध
Quick Revise Now !
UDAAN PRELIMS WALLAH
Comprehensive coverage with a concise format
Integration of PYQ within the booklet
Designed as per recent trends of Prelims questions
हिंदी में भी उपलब्ध

<div class="new-fform">







    </div>

    Subscribe our Newsletter
    Sign up now for our exclusive newsletter and be the first to know about our latest Initiatives, Quality Content, and much more.
    *Promise! We won't spam you.
    Yes! I want to Subscribe.