The Karnataka High Court in Sri Lalji Kesha Vaid v. Sri Dayanand R. reaffirmed that criminal proceedings under Section 138 of the Negotiable Instruments Act, 1881, remain maintainable even if a civil suit for recovery of the same amount has been initiated. Citing Vishnu Dutt Sharma v. Daya Sapra (2009) 13 SCC 729, the court emphasized that civil and criminal proceedings are independent and serve distinct legal purposes—civil suits focus on compensation, while criminal cases under Section 138 aim at deterrence and punishment for dishonoring cheques. The court rejected the petitioner’s claim that concurrent proceedings were untenable, reinforcing that a civil court’s judgment does not bind a criminal court and vice versa. This ruling upholds the integrity of financial transactions by ensuring that a party cannot evade criminal liability for a dishonored cheque merely by facing a civil recovery suit.