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2024 (2) TMI 1412 - SC - Indian Laws


Issues Involved:
1. Delay in filing and leave granted.
2. Acquittal of the accused by the High Court.
3. Evaluation of the prosecution's evidence.
4. Presence and credibility of eyewitnesses.
5. Recovery of the weapon.
6. High Court's reasoning for acquittal.
7. Scope of interference by the Supreme Court under Article 136.
8. Acquittal of co-accused.

Detailed Analysis:

1. Delay in filing and leave granted:
The Supreme Court condoned the delay and granted leave to appeal against the High Court's judgment.

2. Acquittal of the accused by the High Court:
The appeals were directed against the High Court's judgment which acquitted the respondents of charges under Section 302 read with Section 34 of the IPC. The High Court disbelieved the prosecution's witnesses and found discrepancies in their testimonies.

3. Evaluation of the prosecution's evidence:
The prosecution relied heavily on the testimonies of Gursewak Singh (P.W.2) and Harmandeep Kaur (P.W.3). The Trial Court found these witnesses trustworthy, supported by medical evidence and the recovery of the weapon, and convicted the accused. The High Court, however, found inconsistencies and acquitted the accused.

4. Presence and credibility of eyewitnesses:
The Supreme Court found the presence of Gursewak Singh (P.W.2) at his house credible as he made a call to the Police Control Room immediately after the incident. The Court also found the High Court's reasoning for disbelieving Harmandeep Kaur (P.W.3) untenable, stating it was natural for her to be at her parental home despite being recently married. The Court emphasized the lack of motive for these witnesses to falsely implicate the accused.

5. Recovery of the weapon:
The weapon used in the crime was recovered from Gurpreet Singh pursuant to his disclosure statement. The Supreme Court found the recovery of the weapon, corroborated by multiple witnesses, credible and significant.

6. High Court's reasoning for acquittal:
The High Court had acquitted the accused on several grounds, including the doubt cast on the presence of the eyewitnesses and the failure to conduct a Test Identification Parade. The Supreme Court found these reasons to be flawed and perverse, particularly regarding the presence of Gursewak Singh and Harmandeep Kaur at the scene.

7. Scope of interference by the Supreme Court under Article 136:
The Supreme Court reiterated that it would intervene in an acquittal if the High Court's decision was based on irrelevant grounds or if it ignored vital evidence. The Court found the High Court's approach perverse and a miscarriage of justice, warranting interference.

8. Acquittal of co-accused:
The Supreme Court upheld the High Court's acquittal of the co-accused (Kashmira Singh, Jagdeep Singh, and Harpreet Singh). The Court agreed that there was insufficient evidence to connect these individuals to the crime, noting discrepancies in the identification and lack of clear motive.

Conclusion and Directions:
The Supreme Court allowed the appeal in part, setting aside the High Court's acquittal of Gurpreet Singh and restoring the Trial Court's conviction and life sentence. The Court directed Gurpreet Singh to surrender and serve the remainder of his sentence. The appeals against the acquittal of the co-accused were dismissed.

 

 

 

 

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