Constitution of India, Articles 14, 15, 17, 21, and 23 – Caste Discrimination in Prisons – Right to Equality – Right to Dignity – Prison Reforms – Legislative Framework – In addressing the Writ Petition filed by Sukanya Shantha against caste-based discrimination within Indian prisons, the Supreme Court underscored that the provisions in various State prison manuals permitted practices that violate Articles 14, 15, 17, 21, and 23 of the Constitution. The Court acknowledged that caste discrimination perpetuates systemic inequality and violates the principle of human dignity guaranteed under the Constitution. The judgment emphasized that the Constitution mandates the abolition of untouchability as a fundamental right and prohibits caste discrimination within prisons, necessitating an immediate review and reform of existing prison rules to uphold the rights and dignity of all incarcerated individuals.
(Para 24)
Constitution of India, Article 21- Right to Dignity – Prison Conditions – Incarceration – Dehumanization – Fundamental Rights – The Supreme Court asserted that the right to dignity is an intrinsic aspect of life and personal liberty under Article 21, which extends to all prisoners. The judiciary clarified that prisoners retain fundamental rights, including the right to humane treatment and the right to be free from degrading practices within the prison system. In emphasizing the need for reforms in prison administration, the Court highlighted that practices such as solitary confinement or degrading labor conditions are inconsistent with constitutional guarantees. The ruling reiterated that a humane prison system is crucial in maintaining the dignity of individuals, even while under State control.
(Para 60)
Constitution of India, Articles 14 and 15 – Prohibition of Discrimination – Equality – Caste-Based Practices – Rights of Marginalized Communities – The Supreme Court elaborated on the application of Articles 14 and 15 in the context of caste-based discrimination in prisons. It stated that laws that enforce caste-based classifications violate the fundamental right to equality and non-discrimination guaranteed under the Constitution. The judgment highlighted that any law or practice that fosters a caste hierarchy cannot stand in a constitutional democracy focused on ensuring liberty, equality, and fraternity. The Court mandated a review of prison manuals to eliminate provisions that perpetuate caste discrimination, reinforcing that equal treatment under the law must be upheld consistently in all spheres, including within penal institutions.
(Para 34)
Constitution of India, Article 17 – Abolition of Untouchability – Social Justice – Legal Framework – Marginalized Communities – The judgment reaffirmed that Article 17 of the Constitution abolishes the practice of untouchability, condemning any legal framework that allows caste discrimination in prisons. The court held that practices within prison systems that segregate prisoners based on caste or labeled as habitual or criminal are a continuation of historic injustices and must be expunged from all legal statutes. The Court highlighted the obligation of the state to enact effective measures to uphold the rights of the disenfranchised and marginalized communities, thus transforming the prison environment into one that aligns with constitutional values of equality and dignity.
(Para 49)
Constitution of India, Article 23 – Prisons – Forced Labour – Human Rights – Legislative Responsibility – The Supreme Court discussed Article 23 prohibition of forced labour, elaborating that prisoners, being under the State’s custody, must not be subjected to any form of coerced labour that violates their rights. The Court emphasized that prison labour should not equate to exploitation or be mandated without fair compensation, ensuring prisoners are treated as individuals with inherent rights and dignity. Legislative measures must be enacted to prevent the exploitation of prisoners, particularly members of marginalized communities, thereby reinforcing the rule of law and ensuring justice for all within the penal system.
(Para 68)
Sukanya Shantha V. Union Of India
Supreme Court: 2024 INSC 753: (DoJ 03-10-2024)



