This judgment arises from a regular bail application filed under Section 439 of the Code of Criminal Procedure, 1973, read with Section 20/29 of the Narcotic Drugs and Psychotropic Substances (NDPS) Act in connection with FIR No. 11/2026 registered at Police Station Sunlight Colony. The petitioner, Rabiul, sought regular bail after having been incarcerated since January 17, 2026. While the State vehemently opposed the application—arguing that the petitioner was the mastermind of a drug syndicate accounting for a total commercial recovery of 91.122 kg of ganja from five co-accused persons and invoking the strict bar under Section 37 of the NDPS Act—the High Court of Delhi scrutinized the admissibility and sufficiency of the direct link between the applicant and the recovered contraband. Noting that no recovery was made directly from the petitioner and that the prosecution’s case rested primarily on disclosure statements, Call Detail Records (CDR), and minor financial transactions, the Court granted regular bail, emphasizing that the rigorous dual conditions of Section 37 cannot be mechanically invoked without reliable, legally admissible foundational evidence connecting the accused to the physical seizure.
- Nature of Allegations: The applicant was implicated as part of an alleged drug syndicate following the recovery of 91.122 kg of ganja from five co-accused individuals.
- Zero Direct Recovery: It was an undisputed fact that no contraband or prohibited substances were recovered directly from the possession of the applicant, Rabiul.
- Prosecution’s Evidence: To counter the bail plea, the State relied on co-accused disclosure statements, Call Detail Record (CDR) connectivity between the applicant and co-accused, and small money transfers (ranging from Rs. 800 to Rs. 20,000) sent by the applicant to co-accused persons.
- Inapplicability of Section 37 Bar at Threshold: The Court ruled that while Section 37 twin conditions apply to commercial quantities, courts must first examine whether credible, legally admissible evidence links the specific accused to that recovery. Disclosure statements and weak electronic/financial trails are insufficient at this stage to establish active syndicate leadership.
- Custodial History and Antecedents: The applicant had been in custody since January 17, 2026. Although he was involved in three other criminal cases, none of them pertained to offenses under the NDPS Act.
- Final Relief: The High Court allowed the bail application, directing that the applicant be released on regular bail subject to furnishing a personal bond and a surety bond to the satisfaction of the trial court, along with standard conditions to ensure his availability during trial.
2026 DHC 6521
Rabiul vs. State Govt of NCT of Delhi (D.O.J. 11.08.2026)




