In the case of Aman Singh & Anr. v. State of Bihar (2026), the Supreme Court of India stayed the execution of a death sentence and issued comprehensive mandatory guidelines to ensure that mitigating circumstances are systematically evaluated at the earliest stages of capital punishment cases.
Orders Specific to the Case
The Court issued several immediate directions regarding the appellants, Aman Singh and Sonal Singh, currently lodged in Buxar Jail:
- Stay of Execution: The death sentence is stayed pending the final disposal of the appeal.
- Mandatory Reports: The State of Bihar must submit reports from Probation Officers, and the Jail Superintendent must report on the appellants’ conduct and work.
- Psychological Evaluation: The Court ordered a psychological evaluation of the appellants by a Government Medical Hospital.
- Mitigation Investigation: The Court permitted mitigation experts from NALSAR University to conduct in-person interviews and collect comprehensive records (medical, educational, and vocational) to submit a Mitigation Investigation Report.
General Guidelines for Death Penalty Cases
The Court noted a “troubling trend” where crucial material regarding mitigating and aggravating circumstances is only sought at the appellate stage, leading to delays and imbalanced sentencing. To rectify this, the Court issued the following national directions:
- Mandatory Inquiry by Trial Courts: Trial Courts must now call for reports on aggravating and mitigating circumstances as a matter of course after conviction but before sentencing.
- High Court Oversight: If a Trial Court fails to do so, the High Court must mandatorily call for these reports when admitting a death sentence confirmation reference.
- Dedicated Legal Teams: For every death reference, the Legal Services Committee must assign a dedicated legal team—comprising one Senior Counsel and at least two advocates with minimum seven years of experience—to ensure high-quality representation and a balanced perspective on sentencing.
- NALSA Guidelines: The National Legal Services Authority (NALSA) is directed to frame guidelines for gathering detailed information on a convict’s socio-economic background, mental health, and potential for reformation through fieldwork and professional interaction.
Judicial Rationale
The Court emphasized that reformation is a foundational goal of criminal punishment. It observed that without a structured framework to collect mitigating data, sentencing often slips into a “purely retributive response” driven solely by the brutality of the crime. By mandating these inquiries early, the Court aims to ensure a more “meaningful, informed, and constitutionally compliant” sentencing exercise that respects the potential for rehabilitation.
2026 INSC 424
Aman Singh & Anr. V. State of Bihar (D.O.J. 27.04.2026)




