In this successive regular bail petition filed under Section 483 of the Bharatiya Nagarik Suraksha Sanhita, 2023 (BNSS), the Punjab and Haryana High Court addressed a case arising from FIR No. 222 dated October 20, 2023, regarding the recovery of 12 kilograms of opium. The petitioner, who had been incarcerated for nearly two years while only 2 out of 23 prosecution witnesses had been examined, argued that he was implicated solely on the basis of a co-accused’s disclosure statement without any direct recovery. The Court held that a co-accused’s confession under Section 67 of the NDPS Act is a weak piece of evidence, that past criminal antecedents alone cannot deny bail if a strong case on merits is established, and that prolonged undertrial detention alongside a slow trial pace constitutes a substantial change in circumstances to grant successive regular bail.
- Nature of Evidence and Co-Accused Disclosure:
- The petitioner was nominated in the crime solely through a co-accused’s disclosure statement, with no physical recovery effected from him directly.
- Under Section 67 of the NDPS Act, such a disclosure represents a weak piece of evidence that cannot serve as the sole foundation for a conviction.
- Impact of Criminal Antecedents:
- While the petitioner’s involvement in other FIRs was noted, the Court reiterated that prior criminal antecedents cannot solely justify denying regular bail when the merits of the specific case warrant relief.
- Maintainability of Successive Bail Applications:
- A second or successive regular bail petition is fully maintainable in law, regardless of whether a prior application was dismissed on merits or withdrawn, provided the applicant demonstrates a substantial change in circumstances.
- Extended incarceration of nearly two years combined with the sluggish pace of the trial (examining only 2 out of 23 witnesses) established a valid change in circumstances.
- Relief and Conditions:
- The High Court allowed the petition, granting regular bail to the petitioner upon furnishing appropriate bail and surety bonds.
- The release is subject to stringent conditions, including prohibitions against tampering with evidence, delaying the trial, or committing further offenses, alongside requirements to deposit a passport, provide active contact numbers, and file monthly affidavits confirming a clean record.
J.O. (Web) 2026 P&H 44
Gopal Lal Anjna v. State of Punjab (D.O.J. 03.08.2026)
J.O. (Web) 2026 P&H 44 click here to view full text of judgment




