The principle of beyond reasonable doubt has been misunderstood to mean any and every doubt in the case of the prosecution. Every instance of acquittal of an actual culprit revolt against the sense of security of the society and acts as a blot on the criminal justice system. Therefore, not only should no innocent face punishment for something that he has not done, but equally, no culprit should manage an acquittal on the basis of unreasonable doubts and misapplication of procedure.
In 2016, a few months after the festival of Holi, the victim, who is the appellant’s daughter, fell unwell. Medical examination on 01.07.2016 revealed she was 3 months pregnant. Upon questioning, the victim disclosed that she had been raped by the respondents, Hare Ram Sah and Manish Tiwari, approximately 3-4 months prior, after Holi. A complaint was lodged on 02.07.2016, leading to an FIR and chargesheet.
Trial Court Verdict: The Trial Court found Respondent Nos. 1 and 2 guilty under Section 376(2) of the Indian Penal Code (IPC) and Sections 4 & 6 of the Protection of Children from Sexual Offences (POCSO) Act, 2012. They were sentenced to rigorous life imprisonment and fines under the IPC and POCSO Act, with sentences running concurrently.
High Court’s Acquittal: The High Court, however, overturned the conviction, finding the prosecution failed to prove its case. It noted several infirmities, including:
The date and time of the alleged incident were not proven.
The victim’s age was not conclusively determined.
There was no proof of abortion.
The charge was improperly framed, recording the offence date as 02.07.2016, whereas the incident occurred 3-4 months earlier.
Crucially, the Trial Court erred in conducting a joint trial for Respondent Nos. 1 and 2, which caused prejudice and led to a miscarriage of justice due to non-compliance with Section 223 of the Code of Criminal Procedure (Cr.P.C.).
Law Involved:
Indian Penal Code (IPC): Primarily Section 376(2) relating to rape.
Protection of Children from Sexual Offences (POCSO) Act, 2012: Sections 4 & 6, dealing with aggravated sexual assault against children.
Code of Criminal Procedure
Section 223: Pertaining to the joint trial of persons, which was a central point of contention.
Section 464: Addressing the effect of omission, absence, or error in framing a charge.
Sections 215 & 216: Concerning the effect and alteration of charges.
Section 164: Regarding the recording of statements by Magistrates.
Precedents: Krishan Kumar Malik v. State of Haryana, Soundarajan v. State, and Nasib Singh v. State of Punjab and another to clarify principles related to identification, framing of charges, and joint trials.
The Supreme Court carefully considered the appellant’s challenge to the High Court’s acquittal.
Victim’s Age: The Court established that the victim was a minor, approximately 12 years old in 2016 (born 03.10.2004), based on medical reports and school records. This contradicted the High Court’s finding that her age was not determined.
Date and Time of Offence & Charge Framing: The victim’s statement and medical reports indicated the incident occurred 3-4 months after Holi. The FIR and the charge framed by the Trial Court incorrectly stated the offence date as 02.07.2016, which was the reporting date. The Court found this mis-framing of the charge to be a serious and prejudicial error, making the incident factually impossible as framed.
Pregnancy and Abortion: The medical reports and a letter from the Bihar State Legal Services Authority confirmed the victim’s pregnancy and the father’s application for abortion. The High Court’s observation that these aspects were not properly proven was deemed incorrect.
Delay in FIR: The delay in lodging the FIR (3-4 months) was found to be understandable, attributed to the victim’s fear and threats from the respondents, a common occurrence in such cases.
The Flawed Joint Trial: It is not a case wherein the joint trial precluded the Respondent Nos. 1 and 2 from presenting a valid defence. It is also not a case wherein separate evidence of the prosecution witnesses could have made any difference to the end result. There is no explanation as to how separate trials could had made any difference to the outcome of the case.
Justice Prevails: Conviction Restored
The Supreme Court held that In the present case, a fairly consistent and creditworthy case of the prosecution has been discarded on what could only be termed as misapplication of procedure. It takes us back to the first principle that procedure is not supposed to control justice..The Supreme Court set aside the impugned judgment of the High Court. The judgment of the Trial Court, convicting and sentencing Respondent Nos. 1 and 2, was restored.
Respondent Nos. 1 and 2 were ordered to surrender before the trial court within two weeks to serve the remaining part of their sentence.
Sushil Kumar Tiwari vs Hare Ram Sah
Supreme Court: 2025 INSC 1061 (DoJ 01-09-2025)




