In Nitu Devi vs. State of NCT of Delhi, the Delhi High Court granted anticipatory bail to a petitioner accused of financial misappropriation under the Bharatiya Nyaya Sanhita (BNS). Justice Girish Kathpalia observed that the transfer of funds between the petitioner and her son (a co-accused) did not prima facie establish criminal culpability, especially since the complainant company had directly paid the petitioner’s firm for services rendered. Noting that the petitioner had been cooperating with the investigation and that the prosecution failed to produce evidence of any contract prohibiting the transaction, the Court ruled that the matter appeared to be a business dispute rather than a criminal offence.
1. Nature of the Case and Allegations
The applicant sought anticipatory bail regarding FIR No. 36/2026 (PS Subhash Place) involving offences under Sections 316(4), 318(2), and 3(5) of the BNS. The prosecution alleged that a company, M/s Mars Cosmetics Private Limited, hired an employee named Vishwas Kumar to engage social influencers for publicity. It was alleged that Vishwas Kumar diverted ₹1,80,000/- of the company’s money to a firm called “M/s Social Adda,” which was owned by his mother, the petitioner.
2. Arguments by the Parties
- Petitioner’s Defense: The applicant maintained her innocence, arguing that the transaction was a legitimate business arrangement for services provided by her firm and that the police were giving a “colour of criminality” to a simple business matter.
- Prosecution’s Stand: The State opposed bail, asserting that the funds siphoned to “Social Adda” were subsequently withdrawn by the co-accused, Vishwas Kumar.
3. Court’s Analysis and Findings
The Court identified several factors favoring the grant of pre-arrest bail:
- Lack of Culpability: The Court held that the mere transfer of money from the petitioner to her son did not, on its own, suggest criminal intent.
- Direct Payments: The evidence showed that the complainant company had paid the petitioner’s firm directly for services obtained, supporting the petitioner’s claim of a business transaction.
- Absence of Restrictive Contracts: The Investigating Officer (IO) was unable to produce any written contract or instruction from the complainant company that forbade Vishwas Kumar from engaging outside firms like “Social Adda” for influencer marketing.
- Cooperation: The Court noted that the petitioner had consistently joined the investigation as directed by the IO.
4. Final Conclusion and Conditions
Finding no justification to deprive the petitioner of her liberty, the Court allowed the application. It directed that in the event of her arrest, she be released on bail subject to:
- Furnishing a personal bond of ₹10,000/- with one surety of the same amount.
- The satisfaction of the IO/SHO regarding the bond.
The Court clarified that these observations were limited to the bail proceedings and would not influence the final trial.
2026 DHC 5528
Nitu Devi vs. State of NCT of Delhi(D.O.J. 10.07.2026)




