The case of Sajal Bose v. The State of West Bengal and Ors. (2026 INSC 322) involves a criminal appeal by three individuals seeking to quash a charge sheet arising from a neighborhood dispute.
Factual Background
- The Parties: The appellants (Sajal Bose, Chandidas Joardar, and Sautrik Joardar) and the complainant (a 77-year-old former Public Prosecutor) are residents of the same apartment complex.
- The Incident: On October 11, 2022, a dispute erupted over the son of one of the accused forcibly entering the building and issues related to scooter parking near electric meter boxes.
- The Allegations: The complainant alleged that he and his family were manhandled, slapped, kicked, and threatened with dire consequences. He specifically claimed that the accused targeted his pacemaker and used a lathi and sandals during the assault.
- The Charges: A charge sheet was filed under several sections of the Indian Penal Code (IPC), including Section 323 (voluntarily causing hurt), Section 354 (assault on a woman with intent to outrage modesty), and Section 506 (criminal intimidation).
Decisions of the Lower Court
The High Court at Calcutta partially quashed the proceedings. While it quashed the case against the wives of two appellants due to lack of specific allegations, it refused to extend similar relief to the three male appellants, permitting the trial against them to continue.
Supreme Court’s Legal Analysis
The Supreme Court overturned the High Court’s decision, applying established legal parameters for quashing criminal proceedings (Bhajan Lal and Pradeep Kumar Kesarwani cases).
- Unimpeachable CCTV Evidence: Both parties relied on CCTV footage of the incident. Upon viewing the footage, the Court found that the appellants were not present at the scene when the alleged physical assault took place. They arrived only later and were seen attempting to placate the parties and restrain others from further escalation.
- Vague and Generalized Assertions: The Court noted that the FIR and witness statements contained vague allegations without attributing specific overt acts of violence to any individual appellant.
- Abuse of Process: The Court characterized the incident as a “trivial tussle between neighbours” that had been given a “criminal colour” due to prior personal animosity regarding maintenance charges and parking. It held that continuing the prosecution despite the absence of credible material would be a manifest abuse of the process of law.
- Failure of the High Court: The Court criticized the High Court for failing to independently evaluate the CCTV footage—which was part of the investigative record—and for failing to provide a cogent rationale for denying the appellants the same relief granted to their co-accused.
Conclusion
The Supreme Court allowed the appeals and quashed the charge sheet and all related criminal proceedings against the three appellants. The Court concluded that the reliable electronic evidence demonstrably displaced the factual basis of the prosecution’s case.
2026 INSC 322
Sajal Bose V. State of West Bengal And Ors. (D.O.J. 06.04.2026)




