In Sangeeta vs. State of NCT of Delhi, the Delhi High Court granted regular bail to a petitioner accused of possessing 105 grams of heroin under the NDPS Act. Justice Girish Kathpalia allowed the application, citing a significant lack of interest by the investigating agency, which failed to file a status report or produce the investigation file. The Court expressed serious doubts regarding the genuineness of the recovery, as the contraband was allegedly found at the petitioner’s house only after she had been arrested based on the confessional statements of two other accused persons. Consequently, the Court found no reason to further detain the petitioner, especially given the lack of material evidence connecting her to the other accused.
- Factual Background and Arrest
The petitioner sought regular bail in connection with FIR No. 26/2026 (PS Crime Branch) for offences under Sections 21, 25, and 29 of the NDPS Act. Her arrest on February 24, 2026, was based solely on the confessional statements of two other individuals, Arif and Shikha, who were already in police custody and identified her as the receiver of heroin. Following her arrest, the police allegedly recovered 105 grams of heroin from her residence.
- Legal Classification of the Substance
The Court noted the specific thresholds for heroin under the NDPS Act:
- Small Quantity: 05 grams.
- Commercial Quantity: 250 grams. The 105 grams recovered was classified as an “intermediate quantity,” which carries a maximum punishment of 10 years of imprisonment.
- Doubts Regarding Prosecution Evidence
The Court highlighted several weaknesses in the state’s case:
- Questionable Recovery: The Court found substance in the petitioner’s argument that the recovery of the heroin subsequent to her arrest raised serious doubts about its genuineness.
- Lack of Connectivity: There was no material collected during the investigation to show a clear link between the petitioner and the co-accused (Arif and Shikha).
- Unverified Call Records: While the state alleged nearly 100 phone calls between the petitioner and Arif, there was no record of call interceptions or recordings to ascertain the nature of their conversations.
- Investigative Apathy: The investigating officer failed to appear or file a status report, and the prosecution was unable to show the case material to the Court because the IO had reportedly taken the investigation file out of Delhi.
- Decision and Bail Conditions
Given the lack of interest from the investigating agency and the absence of convincing evidence to justify continued detention, the Court allowed the bail application. The petitioner was directed to be released subject to:
- Furnishing a personal bond of ₹10,000/-.
- Providing one surety in the like amount to the satisfaction of the Trial Court.
The Court further ordered that a copy of the judgment be transmitted to the Jail Superintendent for the petitioner’s information.
2026 DHC 5381
Sangeeta vs. State of NCT of Delhi(D.O.J. 06.07.2026)




