This criminal appeal challenged the judgment and order dated May 20, 2022, passed by the Sessions Court in Sessions Trial No. 201 of 2013, whereby the appellants—Gulabi Devi, Rajendra Chaudhari, and Shivprasad Chaudhari—were convicted under Sections 302 and 201 of the I.P.C. and sentenced to imprisonment. The prosecution case originated from the disappearance of the victim, Ramkishore, in December 2012, whose body was subsequently discovered near the Rapti river, leading to allegations of murder stemming from an alleged illicit relationship. The Allahabad High Court allowed the appeal and set aside the conviction, holding that the prosecution completely failed to establish a coherent chain of circumstantial evidence. The Division Bench based its acquittal on multiple legal flaws: an unexplained, fatal delay in lodging the FIR, unreliable “last-seen” testimony that lacked proximity to the time of death, failure to prove motive, legally invalid recoveries under Section 27 of the Evidence Act due to missing disclosure statements, and a mechanical, legally vitiated examination of the accused under Section 313 of the Cr.P.C. that caused material prejudice.
- Unexplained FIR Delay: The victim went missing on December 16, 2012, but no missing person report was filed by the family, and the FIR was registered only on December 23, 2012, after the body was found, rendering the prosecution timeline an afterthought.
- Defective “Last-Seen” Evidence: The star witness (PW-3) claimed to have seen the deceased with the accused on December 16, 2012, but medical evidence indicated death occurred around December 20, 2012, thereby breaking temporal proximity and leaving a major gap in the chain of events.
- Unproven Motive: The prosecution’s assertion of an illicit relationship as a motive was speculative and unsupported by credible evidence linking all accused parties to the underlying hostility.
- Vitiated Recoveries under Section 27: The recovery of personal effects and a rope from open bushes was conducted without recording the mandatory disclosure statements of the accused under Section 27 of the Evidence Act, violating established legal safeguards.
- Mechanical Section 313 Cr.P.C. Examination: The trial court failed to put specific incriminating circumstances to the accused individually during their Section 313 Cr.P.C. examination, causing serious prejudice and violating principles of natural justice.
- Final Relief and Directions:
- The criminal appeal was allowed.
- The trial court’s judgment and order dated May 20, 2022, convicting the appellants was set aside.
- Appellants Gulabi Devi, Rajendra Chaudhari, and Shivprasad Chaudhari were acquitted of all charges and ordered to be forthwith released from prison unless required in any other case.
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Gulabi Devi and 2 others Versus State of U.P. (D.O.J. 30.07.2026)
J.O. (Web) 2026 ALL 167 click here to view full text of judgment




