This appeal, addressed by Justice Deepak Gupta of the Punjab and Haryana High Court, challenges an award passed by the Motor Accident Claims Tribunal, Jind, which dismissed a claim petition filed under Section 166 of the Motor Vehicles Act, 1988. The claimant sought compensation for injuries allegedly sustained in a vehicular accident involving a Maruti car, asserting that negligence must be judged on a preponderance of probabilities. The High Court evaluated the evidentiary gaps—including an unexplained 35-day delay in obtaining a medico-legal report, the complete absence of contemporaneous hospital records from the initial receiving facility, the failure to examine available eyewitnesses, and a subsequent criminal acquittal—and concluded that the claimant failed to establish a credible nexus between the offending vehicle and his injuries. Consequently, the dismissal of the claim was upheld.
- Standard of Proof vs. Factual Foundation: While motor accident claims are in nature and negligence is evaluated on a preponderance of probabilities rather than beyond reasonable doubt, the claimant must still establish a credible factual foundation for the involvement of the offending vehicle; medical records showing injuries do not automatically prove how those injuries occurred.
- Withholding of Material Eye-Witnesses: Although the claimant testified that two companions (Sukhwinder Singh and Parmod Kumar) were with him and witnessed the accident, and despite the claimant becoming unconscious immediately after the crash, neither companion was examined as a witness without any plausible explanation.
- Absence of Contemporaneous Records & Delayed MLR: The claimant failed to produce any documentation, doctor’s testimony, or casualty records from the Civil Hospital at Safidon where he was allegedly taken first. Furthermore, his medico-legal report (MLR) was obtained after an unexplained delay of roughly 35 days and relied exclusively on his own version, rendering it insufficient to independently prove the vehicle’s involvement.
- Disconnection in Discharge : The discharge from Virk Orthopedic Centre merely confirmed that the claimant received treatment for a fractured leg, but it completely omitted any mention of the date, place, or registration number of the offending vehicle.
Final Conclusion: The cumulative effect of withheld material witnesses, lack of early hospital records, delayed MLR, and an acquittal in the connected criminal complaint rendered the claimant’s version highly doubtful, prompting the High Court to dismiss the appeal.
J.O. (Web) 2026 P&H 21
Janpal Singh v. Om Parkash and Others (D.O.J. 17-07-2026)
J.O. (Web) 2026 P&H 21 click here to view full text of judgment




