Case brief
What is this about?
Circumstantial evidence acquittal; five golden principles / Panchseel test; Sharad Birdhichand Sarda v. State of Maharashtra (1984) 4 SCC 116 applied; memorandum statement of accused a weak form of evidence; hostile memorandum/seizure witnesses (PW-3, PW-6); absence of FSL report and fingerprints; weak/implausible motive; no eyewitness; benefit of doubt; appeal under S.374(2) CrPC; convictions under S.460, S.394/397 and S.302 IPC set aside; homicidal death by asphyxia — strangulation with throttling; bail bonds effective six months under S.437-A CrPC / S.481 BNSS 2023; Chhattisgarh High Court Bilaspur; CRA No. 833 of 2016; Sessions Trial No. 96/2015, Sessions Judge Balod; deceased Jugabai; accused/appellant Deep Kumar s/o Madho Kunjam; advocates Vipin Tiwari and Priyank Rathi.
What did the court decide?
Appeal allowed; the judgment of conviction and order of sentence dated 09.03.2016 passed by the learned trial Court set aside; appellant Deep Kumar acquitted of the charges; the appellant, who is on bail, need not surrender, and his bail bonds shall remain effective for six months under S.437-A Cr.P.C. {S.481 BNSS, 2023}.