In the case of Kumar Gaurav vs. State (NCT of Delhi), the Delhi High Court granted regular bail to an individual accused of participating in a conspiracy to cheat students under the pretext of securing college admissions. The prosecution alleged that the applicant was present when victims paid money to the main accused and subsequently received ₹25,00,000 of the cheated funds. Justice Girish Kathpalia observed that the evidence against the applicant was limited to his identified presence during transactions and a disclosure statement from a co-accused. Given that the chargesheet had already been filed and the nature of the evidence was circumstantial, the Court concluded there was no reason to further deprive the applicant of his liberty and ordered his release on a personal bond of ₹10,000.
- Nature of the Case and Allegations
The applicant sought regular bail in connection with FIR No. 674/2025 (PS Subhash Place) involving various sections of the Bharatiya Nyaya Sanhita (BNS) related to cheating and criminal conspiracy. The core of the prosecution’s case is that the main accused, Pranav, collected money from students by falsely claiming he could arrange admissions to colleges in Mumbai. The applicant, Kumar Gaurav, was allegedly a conspirator in this scheme.
- Evidence Against the Applicant
The State, represented by the Additional Public Prosecutor and the Investigating Officer, outlined the specific evidence linking the applicant to the crime:
- Identification of Presence: Complainant students identified the applicant at the police station, stating he was present whenever they paid money to the main accused.
- Disclosure Statement: The main accused, Pranav, stated while in police custody that he had withdrawn ₹25,00,000 from his bank account and handed it over to the applicant.
- The State admitted that apart from these two points, there was no other evidence against the applicant.
- Arguments for Bail
Counsel for the applicant argued for his release on several grounds:
- Innocence: The applicant maintains he is innocent and that there is no legally admissible evidence against him.
- Period of Incarceration: He had been in jail since February 2, 2026.
- Completion of Investigation: Since the chargesheet has already been filed, the applicant’s counsel contended that further detention would serve no investigative purpose.
- Court’s Reasoning and Conclusion
The Court focused on the nature of the evidence relied upon by the prosecution. Justice Kathpalia determined that the specific circumstances and the limited evidentiary link (presence during payments and a co-accused’s statement) did not warrant the continued detention of the applicant.
The Court allowed the bail application and directed the applicant’s release subject to:
- Furnishing a personal bond of ₹10,000.
- Providing one surety in the same amount to the satisfaction of the Trial Court.
- Immediate transmission of the order to the Jail Superintendent to inform the accused.
2026 DHC 5287
Kumar Gaurav V. State (Nct of Delhi) (D.O.J. 02.07.2026)




