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2025 (1) TMI 1535 - SC - Indian Laws


1. ISSUES PRESENTED and CONSIDERED

The core legal questions considered in this judgment include:

  • Whether the conviction and death sentence of the Appellant, based on circumstantial evidence, were justified.
  • The admissibility and reliability of electronic evidence, specifically CCTV footage, without a Section 65-B(4) certificate.
  • The credibility and sufficiency of witness testimonies, particularly those related to the last seen theory and extra-judicial confessions.
  • The validity of the chain of circumstantial evidence presented by the prosecution.
  • The appropriateness of the investigative procedures and the handling of evidence by the police.

2. ISSUE-WISE DETAILED ANALYSIS

Admissibility of Electronic Evidence:

  • The legal framework requires a Section 65-B(4) certificate for the admissibility of electronic records, such as CCTV footage, as evidence.
  • The Court found that the prosecution failed to provide the necessary certificate, rendering the CCTV footage inadmissible.
  • The absence of this certificate was a significant procedural lapse, especially in a case involving capital punishment.

Last Seen Theory and Witness Testimonies:

  • The prosecution relied on testimonies from witnesses who claimed to have seen the Appellant with the deceased or in suspicious circumstances.
  • The Court found inconsistencies and delays in recording these statements, which undermined their credibility.
  • The identification parades were also questioned due to the prior public exposure of the Appellant's images, which could have influenced witness identifications.
  • The Court emphasized that the time gap between the last sighting and the discovery of the body was too wide to conclusively establish the Appellant's guilt.

Extra-Judicial Confession:

  • The prosecution presented an extra-judicial confession allegedly made by the Appellant to a witness.
  • The Court noted that extra-judicial confessions are inherently weak and require corroboration, which was lacking in this case.
  • The witness's credibility was further questioned due to inconsistencies and the circumstances under which the confession was allegedly made.

Chain of Circumstantial Evidence:

  • The prosecution's case was primarily based on circumstantial evidence, which the Court found to be disjointed and insufficient to establish guilt beyond a reasonable doubt.
  • The Court highlighted the need for a complete and unbroken chain of evidence, which was absent in this case.
  • The evidence presented did not exclude the possibility of other hypotheses, failing to meet the stringent standards required for a conviction based on circumstantial evidence.

Investigative Procedures and Evidence Handling:

  • The Court criticized the investigative process, noting procedural lapses and the lack of proper documentation and handling of evidence.
  • The recovery of items allegedly linked to the crime was deemed unreliable due to the absence of corroborative evidence and procedural irregularities.
  • The Court expressed concern over the police's failure to adequately address the defense's challenges to the evidence.

3. SIGNIFICANT HOLDINGS

  • The Court held that the prosecution failed to establish the Appellant's guilt beyond a reasonable doubt, primarily due to the inadequacies in the circumstantial evidence presented.
  • It reaffirmed the necessity of a Section 65-B(4) certificate for the admissibility of electronic evidence, emphasizing its critical role in ensuring the integrity of such evidence.
  • The judgment underscored the principle that extra-judicial confessions require corroboration and should be treated with caution.
  • The Court reiterated the importance of a complete and conclusive chain of circumstantial evidence to sustain a conviction.
  • Ultimately, the Court acquitted the Appellant, setting aside the High Court's judgment and the death sentence, due to the prosecution's failure to meet the required legal standards.

 

 

 

 

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