This criminal appeal challenged a judgment and order dated May 8, 1987, passed by the 2nd Additional District & Sessions Judge, Azamgarh, in Sessions Trial No. 185 of 1984, whereby the appellants were convicted under Section 302 read with Section 34, Section 201, and Section 120-B of the I.P.C., and sentenced to life imprisonment alongside other terms. The prosecution case alleged that the deceased was killed by her husband and in-laws in 1979 due to non-fulfillment of a dowry demand for a motorcycle. During the pendency of the appeal, co-appellants Chhote Lal (father-in-law) and Smt. Shanti Devi (mother-in-law) passed away, causing the appeal to abate against them, leaving Triveni (the husband) as the sole surviving appellant. The Allahabad High Court allowed the appeal and set aside the conviction, holding that the prosecution failed to establish the homicidal nature of death beyond reasonable doubt due to conflicting medical evidence (signaling potential electrocution/accidental death), an unexplained and staggering inordinate delay of over four years in lodging the First Information Report, and a broken chain of circumstantial evidence.
- Abatement of Appeal for Deceased Appellants: During the pendency of the appeal, appellant no. 2 (Chhote Lal) and appellant no. 3 (Smt. Shanti Devi) died, resulting in the abatement of the appeal against them and leaving only appellant no. 1 (Triveni).
- Staggering and Unexplained Delay in FIR: The alleged incident took place on June 30, 1979, but the FIR was lodged after a abnormal and unexplained delay of more than four years on November 18, 1983, which cast a grave shadow of doubt and created room for embellishment or a colored version.
- Doubt Regarding Homicidal Death: Medical opinions were sharply divided; the post-mortem doctor noted features of electrocution (such as entrance and exit electric burn points on fingers) matching standard medical textbooks, while the state medico-legal expert disputed it, leaving the core question of whether the death was homicidal, accidental, or suicidal shrouded in unresolved suspicion.
- Failure to Prove Complete Chain of Circumstances: Being a case based on circumstantial evidence, the prosecution failed to conclusively establish the appellant’s active presence, specific overt acts, or a complete and consistent chain of evidence pointing exclusively to his guilt.
- Final Relief and Directions:
- The criminal appeal was allowed, and the conviction and sentence imposed upon the appellant Triveni were set aside.
- The appellant was acquitted of all charges on the ground of benefit of doubt.
- Since he was on bail, his bail bonds were cancelled, and his sureties were discharged.
J.O. (Web) 2026 ALL 164
Triveni And Other Versus State (D.O.J. 30.07.2026)
J.O. (Web) 2026 ALL 164 click here to view full text of judgment




