This case involves a criminal appeal filed by the State of Karnataka against an order from the High Court of Karnataka that granted bail to several respondents, including a well-known personality (Accused No. 2, Darshan, an actor). The case originates from a complaint registered on June 9, 2024, after the dead body of an unknown male, aged 30-35, bearing visible injuries, was discovered near drainage in Bengaluru.
Allegations: The prosecution alleged that Accused No. 1 (A1) was in a relationship with A2 and that the deceased, Renukaswamy, had sent obscene messages to A1. Aggrieved by this, A1, A2, A3, and A10 allegedly conspired to kidnap and murder Renukaswamy.
Sequence of Events: The deceased was reportedly lured via Instagram and WhatsApp, then abducted on June 8, 2024, and forcibly taken to a shed in Bengaluru. There, he was allegedly subjected to brutal torture, including beatings with sticks, tree branches, and nylon ropes, electric shock, and kicks to private parts, leading to his death. The postmortem report indicated 39 injuries, including 13 bleeding injuries and 17 fractured ribs, with testicular trauma and electric burns. The accused then allegedly conspired to dispose of the body discreetly and fabricate a false surrender narrative, involving payment to co-accused to suppress evidence.
The Legal Framework: Of IPC and Bail
The case involves serious charges under the Indian Penal Code (IPC) and principles governing bail under the Criminal Procedure Code (Cr.P.C.).
Key IPC Sections: The accused were initially registered under, and later specifically charged with, various sections including:
Sections 120B (Criminal Conspiracy)
Section 364 (Kidnapping or abducting in order to murder)
Section 302 (Murder)
Section 201 (Causing disappearance of evidence of offence)
Sections 143, 147, 148, 149 (Unlawful assembly, rioting, armed with deadly weapon, common object)
Sections 384 (Extortion), 355 (Assault or criminal force with intent to dishonor)
Bail Provisions: The legal framework for granting and canceling bail is primarily governed by Section 439(2) of the Criminal Procedure Code, 1973. Bail can be annulled or cancelled due to legal infirmity in the order or supervening circumstances. Key considerations for bail include the nature and gravity of the offense, the likelihood of the accused tampering with evidence or influencing witnesses, and the risk of the accused absconding.
High Court’s Questionable Rationale
The High Court of Karnataka had granted bail to the respondents, including A2, through a common order dated December 13, 2024. The Supreme Court, in its judgment, heavily criticized the High Court’s reasoning, highlighting several infirmities:
Erroneous Medical Grounds: The High Court granted bail to A2 primarily on medical grounds, relying on an opinion that did not indicate any urgent or life-threatening condition requiring treatment outside jail. The Supreme Court found this reasoning perverse and legally unsustainable, noting that A2 had even attended public events while on bail, contradicting claims of severe illness.
Premature Appreciation of Evidence: The High Court engaged in an “extensive cross-examination” of prosecution witnesses and forensic experts at the bail stage, which is impermissible. It also disregarded crucial forensic and electronic evidence, such as DNA, blood samples, CCTV footage, phone records, and WhatsApp messages, which established a strong prima facie case of conspiracy, abduction, and murder.
Mischaracterization of Offense: The High Court characterized the act of forcibly confining the deceased as Section 362 IPC (abduction) rather than Section 364 IPC (kidnapping for murder), calling the latter a “serious legal lapse”. The Supreme Court found this classification incorrect and highlighted the premeditated and brutal nature of the crime.
Ignoring Tampering and Influence: The High Court failed to adequately consider the likelihood of the accused tampering with evidence or influencing witnesses, despite allegations of orchestrated false surrenders and payments to cover up the crime. A2’s alleged continued influence over police and witnesses was also overlooked.
Delay in Grounds of Arrest: The High Court cited a delay in providing grounds of arrest as a reason for bail. The Supreme Court clarified that while a fundamental right, delay alone cannot be the sole basis for bail, especially when compliance with procedural requirements (like arrest memos) was demonstrated.
Celebrity Status as Mitigating Factor: The High Court’s consideration of A2’s celebrity status as a factor for bail was deemed a “perversity”. The Supreme Court emphasized that celebrity status does not elevate an accused above the law, and in fact, social role models have a greater accountability.
Supreme Court’s Resounding Reversal: Justice Over Stardom
The Supreme Court undertook a comprehensive review of the High Court’s order, emphasizing established legal principles regarding bail:
Gravity of Offence is Paramount: The Court reiterated that the more heinous the crime, the greater the chance of bail refusal. Given the premeditated and brutal nature of the murder, the High Court’s grant of bail was deemed unsustainable.
Evidence and Prima Facie Case: While courts should not conduct a mini-trial at the bail stage, a prima facie assessment of the material on record is essential to determine the presence of a strong case. The Supreme Court found that the High Court overlooked substantial incriminating material, including forensic evidence and witness statements, that clearly pointed to the accused’s involvement in a conspiracy to murder.
Risk to Fair Trial: The Court highlighted that the accused’s actions, including alleged payments to co-accused and immediate return to social events while on bail, posed a serious threat to the integrity of the proceedings and the administration of justice.
Misrepresentation of Medical Grounds: The Court found that the medical condition cited for bail was misrepresented and not genuinely urgent, suggesting the bail was obtained through “misrepresentation or fraud”.
Equality Before Law: The Supreme Court strongly asserted that the Constitution enshrines equality before the law (Article 14), and no individual is exempt from legal accountability based on their popularity, power, or privilege.
The Verdict: Bail Annulled, Custody Restored
After a thorough consideration of the appeals, the Supreme Court held:
The appeals are allowed, meaning the State of Karnataka’s challenge to the High Court’s bail order was successful.The impugned order of the High Court dated December 13, 2024, is set aside, and the bail granted to the respondents/accused is cancelled. All accused persons are directed to be taken into custody forthwith.The trial is to be conducted expeditiously.
Additionally, the judgment directs that all accused persons currently under suspension (if any) and all other officials involved in misconduct related to the case should be placed under suspension.
STATE OF KARNATAKA V. SRI DARSHAN ETC.
Supreme Court: 2025 INSC 979 (DoJ 14-08-2025)