This miscellaneous application was preferred by the applicant, Sudesh Pal, seeking a modification of a 2023 Supreme Court judgment that had confirmed his life imprisonment sentence arising from a 2003 murder case. The applicant sought relief on the grounds of old age, good conduct, prolonged incarceration (exceeding twenty-four years with remissions), and specifically on the principle of parity with a co-accused named Madan. Co-accused Madan—who originally faced the death penalty alongside the applicant at the trial stage—had his sentence modified by the Supreme Court to a fixed term of twenty years, leading to his release.
The Supreme Court accepted the applicant’s plea for parity. Although the State argued that Madan received a fixed term due to medical reasons, the Court observed that since the applicant had already undergone over twenty-four years of imprisonment with remissions and both were originally subject to the death penalty before subsequent commutations, equity and parity dictated that the applicant’s sentence should also be restricted to a fixed term of twenty years, enabling his release.
- Background and Procedural History:
- An FIR (No. 197 of 2003) was registered at Police Station Babri, Muzaffarnagar, under various provisions of the IPC, leading to the conviction of the applicant and co-accused Madan and Ishwar by the Sessions Court, where the applicant and Madan were initially sentenced to death.
- The Allahabad High Court partly allowed the applicant’s appeal by converting his death penalty to life imprisonment, while upholding Madan’s death sentence.
- Upon further appeal, the Supreme Court confirmed the applicant’s life sentence but converted Madan’s death penalty to a fixed term of twenty years without remission, resulting in Madan’s release.
- Application of the Principle of Parity:
- The applicant sought a modification of his sentence to a fixed term of twenty years, noting he had already completed over twenty-four years of imprisonment with remissions.
- The State contested this, claiming Madan’s relief was tied to specific medical conditions not present in the applicant’s case.
- The Supreme Court dismissed the State’s objection, ruling that the core nature of their original punishments (both having faced the death penalty) justified extending the benefit of parity to the applicant.
- Final Relief:
- The Court found that restricting the applicant’s life imprisonment to a fixed term of twenty years was equitable since co-accused Madan received the same benefit and was released.



