The Supreme Court allowed the criminal appeal filed by Dhanraj, setting aside the concurrent judgments of the Rajasthan High Court and the Special POCSO Court which had sentenced the appellant to life imprisonment. The Apex Court based its acquittal on critical investigative lapses, including the complete failure of the prosecution to secure a substantive dock identification of the accused by the child victim during trial, material contradictions regarding the age of the victim’s injuries as noted by the medical jurist, and the withholding of key evidence like the police-sketches.
- Case Background: The FIR was lodged by the victim’s father on December 7, 2016, alleging that his 5-year-old daughter went missing on December 5, 2016, and was later found bleeding from her private parts. The appellant was arrested nearly two months later on February 5, 2017, and subsequently convicted under Sections 363, 323, 376, and 376(2)(i)(j) of the IPC and provisions of the POCSO Act, which the High Court later affirmed.
- Medical Discrepancies: The medical officer (PW-7) testified that the wounds contained foul-smelling pus and maggots and were 5 to 7 days old upon examination on December 7, 2016. This timeline severely contradicted the prosecution’s claim that the assault occurred two days prior on December 5, 2016.
- Absence of Substantive Identification: Although the trial Court and High Court relied heavily on the Test Identification Parade (TIP), the Supreme Court noted that the child victim failed to identify the accused in court (dock identification), and admitted that the police had previously disclosed the accused’s name to her.
- Investigative Lapses: The Investigating Officer failed to probe political rivalry complaints submitted by the appellant’s family, and omitted the vital police sketch prepared with the victim’s assistance from the chargesheet.
- Final Verdict: Noting that the appellant had already remained incarcerated for over nine years, the Supreme Court ruled that the cumulative infirmities went to the root of the matter, giving the appellant the benefit of the doubt and ordering his immediate release.
2026 INSC 958
Dhanraj v. State of Rajasthan (D.O.J. 07.09.2026)



