The Supreme Court examined multiple criminal appeals arising from a violent nighttime ambush that resulted in a fatal gunshot injury to one family member and physical assault on another, addressing the legality of high court acquittals granted to specific co-accused. Partially allowing the appeals filed by the de facto complainant, the bench set aside the acquittal of two accused (A6 and A12) who played active roles in holding the victim and exhorting the shooter, while upholding the acquittal of another co-accused (A13) due to a lack of substantive, consistent evidence. The Court emphasized the legal duty of courts to separate the grain from the chaff rather than applying the blanket doctrine of falsus in uno, falsus in omnibus, validating reliable eyewitness and medical evidence despite minor embellishments regarding peripheral participants.
- Factual Matrix: Seventeen individuals allegedly ambushed a family group returning home after a confrontation near a barn, resulting in the fatal shooting of the deceased at close range and injuries to the informant (PW1).
- Trial and High Court Discrepancies: The Trial Court originally convicted four accused (Al, A6, A12, and A13), but the High Court subsequently acquitted A6, A12, and A13, prompting appeals by the injured eyewitness and de facto complainant.
- Reversal of Acquittal for A6 and A12: The Supreme Court reversed the High Court’s acquittal of Nagendra Singh (A6), who held down the victim, and Dalpratap Singh (A12), who exhorted the shooter, ruling that the High Court’s reasoning regarding hypothetical injuries to the holder was speculative and flawed.
- Sustaining Acquittal for A13: The acquittal of Rajeev Lochan Singh (A13) was upheld because his alleged presence, weapon possession, and threats were missing from the initial First Information Statement (FIS) and early witness accounts before he was belatedly added under Section 319 CrPC.
- Grain from the Chaff Principle: The Court reiterated that the inclusion of exaggerated omnibus allegations against peripheral participants does not discredit the truthful core testimonies of reliable eyewitnesses (such as PW1, PW10, and PW11) when corroborated by medical evidence regarding the gunshot wound.
- Final Orders: The appeals against A6 and A12 were allowed and their conviction and sentence restored with a two-week surrender window, while the appeal concerning A13 and the omnibus acquittals of other general participants were dismissed.
2026 INSC 972
Santosh Singh v. The State of Madhya Pradesh and Ors. (D.O.J. 08.09.2026)



