1) The Appellant was arrested and remanded to judicial custody in August 2018 for alleged offenses under the NDPS Act. After 180 days in custody, he applied for bail under Section 167(2) of the CrPC since charges had not been filed. The Trial Court granted bail.
2) The Respondent filed an appeal in the High Court to cancel bail. The High Court allowed the appeal, canceling bail. The Appellant appealed to the Supreme Court.
3) The key issue is whether the Appellant was entitled to default bail after 180 days as provided in Section 167(2) of the CrPC, or if the subsequent filing of an additional complaint defeated his right to bail.