This criminal appeal challenges the judgment and order dated August 24, 2016, passed in Sessions Trial No. 1912 of 2012, whereby the appellants were convicted for offenses including murder under Section 302 read with Section 149 of the IPC. The Allahabad High Court allowed the appeals and set aside the conviction after finding catastrophic flaws in the prosecution’s case. The Court held that the dock identification of the accused—who were total strangers to the witnesses—was legally vitiated in the absolute absence of a prior Test Identification Parade (TIP) and proper judicial precautions. Furthermore, the Court discredited the testimonies of chance witnesses who claimed to overhear incriminating conversations near a noisy railway station, criticized significant delays in recording statements, noted that vital material exhibits and recovery memos were never legally produced or proved during the trial, and ruled that the recoveries failed to satisfy the mandates of Section 27 of the Evidence Act. Consequently, the appellants were given the benefit of the doubt and acquitted of all charges.
- Prosecution Case Overview: The first informant alleged that on May 22, 2012, four armed persons opened fire and killed his brother Chatar Singh near the State Veterinary Hospital in Pilkhua, Hapur, while fleeing and looting mobile phones.
- Unreliable Chance Witnesses: The testimonies of PW-2 and PW-4—who claimed they overheard the seven accused persons confessing and discussing their crime while waiting at a busy, noisy railway platform with an approaching train—were dismissed by the Court as inherently incredible and untruthful. Furthermore, the 12-day unexplained delay by the Investigating Officer in recording their statements severely damaged the prosecution’s credibility.
- Contradictions Among Eye-Witnesses: While the FIR and PW-1 stated that only four persons were involved, subsequent eyewitness testimony (PW-3) abruptly claimed there were seven accused persons who assaulted and detained him. These material contradictions severely undermined the reliability of the eyewitness accounts.
- Vitiated Dock Identification: The Court emphasized that since the accused were strangers to the witnesses, the failure to conduct a Test Identification Parade (TIP) rendered their first-time dock identification during trial completely valueless. The trial court also failed to follow mandatory procedural safeguards and record judicial satisfaction during dock identification.
- Defective Recoveries and Missing Material Exhibits: The crucial material exhibits—such as the recovered mobile phones and firearms—were never produced or proved before the trial court. References were improperly drawn from recovery memos of entirely separate criminal proceedings without authentication, and alleged weapon recoveries failed to comply with Section 27 of the Evidence Act.
- Deficient FSL Reports: Forensic science laboratory reports concerning bloodstains on soil and apparel lacked scientific reasoning, details of testing methods, and compliance with expert opinion standards set under Section 45 of the Evidence Act.
- Final Acquittal: Concluding that the prosecution completely failed to prove its case beyond a reasonable doubt, the High Court set aside the trial court’s judgment, acquitted all seven appellants (Amiruddin, Sonu, Karim Khan, Deva, Manoj, Irfan @ Phanu, and Rizwan), and ordered their immediate release unless required in other cases.
J.O. (Web) 2026 ALL 186
Amiruddin and 5 others v. State of U.P. (D.O.J. 06.08.2026)
J.O. (Web) 2026 ALL 186 click here to view full text of judgment




