Lakshay Jain v. State Govt. of NCT of Delhi
NDPS Act, 1985 – Sections 20/22/25/29 – Regular bail – Maintainability of successive bail application
Case brief
What is this about?
Delhi High Court (Amit Mahajan, J.; pronounced 05.01.2026) allows regular bail to Lakshay Jain, applicant in FIR No. 205/2023 PS Crime Branch under Sections 20/22/25 NDPS (charge-sheet under Section 20/29), in BAIL APPLN. 3059/2025 — a successive application after Bail Appln. No. 1615/2024 was dismissed on 22.10.2024. Grounds: maintainability on change of circumstances (over one year's further custody); 2+ years incarceration since 09.10.2023 with trial not commenced (40 witnesses, 28 official); delay in trial not fettered by Section 37 NDPS (following Mohd. Muslim v. State (NCT of Delhi) 2023 SCC OnLine SC 352; Rabi Prakash v. State of Odisha 2023 SCC OnLine SC 1109; Man Mandal v. State of W.B. SLP(CRL.) 8656/2023); parity with co-accused granted bail post-22.10.2024, including Sahil Sharma (Bail Appln. No. 3068/2025, judgment dated 03.12.2025), Sonu Sharma, Chandan Kumar Mehto and L. Jicko Meitei; alleged supplier role via Anand Singh @ Andy; 329.7 gms Ganja (small quantity) seized at Foreign Post Office on tracking IDs; financial transactions (Rs. 92,000/- and Rs. 59,000/-) insufficient without chats/transcripts; antecedents (five involvements, two NDPS) not determinative. Precedents on successive bail: Prasad Shrikant Purohit v. State of Maharashtra (2018) 11 SCC 458; Kalyan Chandra Sarkar v. Rajesh Ranjan (2005) 2 SCC 42. Relief: personal bond ₹50,000/- with two sureties, conditions including weekly IO/SHO appearances.