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2013 (9) TMI 1272 - SC - Indian Laws

Issues involved: Challenge to conviction and sentence u/s 498A/304B of the Indian Penal Code.

Issue 1: Conviction and sentence under Sections 498A/304B of the Indian Penal Code

The Appellant, the second accused in the case, challenged the conviction and sentence under Sections 498A and 304B of the Indian Penal Code. The prosecution's case revolved around the death of the daughter-in-law due to alleged harassment for dowry. The Sessions Court convicted both accused under Section 498A for two years and under Section 304B for ten years, which was reduced to seven years by the High Court on appeal. The requirement of proving the death occurred within seven years of marriage was crucial for the application of Section 304B. The prosecution failed to establish this fact, leading to the setting aside of the conviction under Section 304B while confirming the conviction under Section 498A. The Appellant's age was considered in limiting the substantive sentence to the period undergone during investigation/trial.

Issue 2: Legal provisions and amendments related to dowry deaths

The judgment highlighted the legal provisions related to dowry deaths, specifically under Sections 498A and 304B of the Indian Penal Code. The introduction of these sections aimed to address cases of cruelty to married women and dowry deaths effectively. The amendments under the Evidence Act, particularly Sections 113A and 113B, created presumptions to make the provisions more stringent and effective. The mandatory presumption under Section 304B shifts the burden of proof to the prosecution once all the offense's ingredients are established. The judgment emphasized the importance of proving crucial facts, such as the death occurring within seven years of marriage, for the application of Section 304B.

Separate Judgment by Justice Kurian Joseph

Justice Kurian Joseph, in delivering the judgment, focused on the crucial aspect of establishing the timeline of the marriage for the application of Section 304B of the Indian Penal Code. The lack of clarity regarding the date of marriage and the death occurring within seven years led to the setting aside of the conviction under Section 304B. The judgment underscored the necessity of proving essential facts to invoke specific legal provisions accurately.

 

 

 

 

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