In this regular bail petition filed under Section 483 of the Bharatiya Nagarik Suraksha Sanhita, 2023 (BNSS), the Punjab and Haryana High Court addressed the conflict between the statutory embargoes on bail under Section 37 of the Narcotic Drugs and Psychotropic Substances (NDPS) Act, 1985 and the fundamental right to a speedy trial under Article 21 of the Constitution of India. The petitioner, incarcerated for over a year and 23 days for the alleged recovery of 502 grams of heroin (a commercial quantity), sought regular bail on the grounds of trial procrastination, noting that none of the 11 cited prosecution witnesses had been examined. The Court held that prolonged pre-trial detention without justifiable cause violates Article 21, diluting the strict twin-condition rigors of Section 37 of the NDPS Act and warranting the grant of conditional regular bail.
- Background and Arguments: The petitioner was arrested on July 5, 2025, under FIR No. 183 for offenses punishable under Sections 21-C, 25, 29, 61, and 85 of the NDPS Act. While the State strongly opposed the bail application due to the commercial quantity of the contraband and the restrictions imposed by Section 37 of the NDPS Act, the petitioner highlighted procedural delays, including the fact that the trial had failed to progress and no prosecution witnesses had been examined.
- Supremacy of Article 21: The Court emphasized that the right to a speedy trial is an intrinsic and essential component of the right to life and personal liberty enshrined under Article 21 of the Constitution. It ruled that statutory restrictions like Section 37 of the NDPS Act cannot be utilized to keep an undertrial indefinitely behind bars when the delay is not attributable to the accused.
- Precedent and Rationale: Relying on established jurisprudence—including previous rulings such as Kulwinder v. State of Punjab and various Supreme Court judgments—the Court underscored that extended detention transforms pre-trial custody into punitive imprisonment, which runs counter to principles of equity and justice.
- Decision and Safeguards: The High Court allowed the petition and granted regular bail to the petitioner subject to the furnishing of appropriate bail/surety bonds. To ensure the integrity of the proceedings, the Court imposed strict conditions, including prohibitions against tampering with evidence or delaying the trial, mandatory surrender of passport, regular disclosure of active contact numbers, and the submission of monthly affidavits confirming non-involvement in any subsequent criminal activities.
J.O. (Web) 2026 P&H 43
Arjan Singh @ Arjan v. State of Punjab (D.O.J. 03.08.2026)
J.O. (Web) 2026 P&H 43 click here to view full text of judgment




