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Issues Involved:
1. Sufficiency of circumstantial evidence to sustain conviction. 2. Validity of the 'last seen' theory. 3. Conduct of the accused and false explanation. 4. Recovery of the dead body on the showing of the accused. 5. Presence of injuries on the accused's genital and blood stains on his clothes. Detailed Analysis: 1. Sufficiency of Circumstantial Evidence to Sustain Conviction: The Supreme Court emphasized that circumstantial evidence must satisfy three conditions to sustain a conviction: - The circumstances must be cogently and firmly established. - They should unerringly point towards the guilt of the accused. - The circumstances should form a chain so complete that there is no escape from the conclusion that the crime was committed by the accused and none else. The Court referenced the case of Hanumant v. The State of Madhya Pradesh, highlighting the danger of conjecture or suspicion taking the place of legal proof. The Court must ensure that the chain of evidence is complete and rules out any reasonable likelihood of the innocence of the accused. 2. Validity of the 'Last Seen' Theory: The trial court relied on the 'last seen' theory, where the accused was last seen with the deceased. The Supreme Court noted: - P.W.1 and P.W.6 testified that the accused took the deceased towards Bombay Chhak to purchase new clothes. - P.W.2 saw the accused with a minor girl but did not confirm it was the deceased. - The Court found that this evidence was insufficient to conclude that the deceased was last seen in the company of the accused, especially since this circumstance was not noted at the inquest stage. 3. Conduct of the Accused and False Explanation: The trial court observed that the accused attempted to flee and gave a false explanation about the whereabouts of the deceased. The Supreme Court noted: - The accused's explanation that he sent the girl back in a truck was not implausible. - The Court was not convinced that this explanation alone could be deemed false. 4. Recovery of the Dead Body on the Showing of the Accused: The trial court relied heavily on the recovery of the dead body on the showing of the accused. The Supreme Court found: - P.W.1 and P.W.11's testimonies were inconsistent and contradicted each other. - There was no panchnama or mention in the inquest report about the accused showing the place where the body was found. - The Court concluded that this crucial circumstance was not established conclusively, creating doubt about the accused showing the place of occurrence. 5. Presence of Injuries on the Accused's Genital and Blood Stains on His Clothes: The trial court noted the presence of abrasions on the accused's genital and blood stains on his clothes. The Supreme Court observed: - P.W.8, the doctor, found only two pin-head abrasions and no recent sign of sexual intercourse. - The accused's explanation for the blood stains (bleeding gums) was plausible. - The Court found that this evidence, coupled with the 'last seen' theory, did not amount to legal proof of guilt. Conclusion: The Supreme Court held that the prosecution failed to establish the crucial circumstances conclusively. The evidence presented was insufficient to prove the accused's guilt beyond a reasonable doubt. The Court emphasized the importance of not allowing suspicion to replace legal proof and granted the benefit of doubt to the accused. Consequently, the conviction and sentence were set aside, and the accused was ordered to be released.
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