In the case of The State of Kerala v. K.A. Abdul Rasheed (2026), the Supreme Court of India set aside a High Court acquittal and restored the conviction of a public servant for bribery, ruling that the “demand” for a bribe can be established even if the complainant gives inconsistent or prevaricating statements during the trial.
Case Background
The respondent, K.A. Abdul Rasheed, was a Taluk Supply Officer (TSO) responsible for supervising Authorized Ration Dealers (ARDs). The complainant, an ARD, alleged that the TSO demanded a bribe of ₹500 to countersign a mandatory quarterly “Abstract” of ration card changes. A trap was laid by the Vigilance Department, and the marked currency was recovered from the TSO’s shirt pocket.
While the Trial Court convicted the TSO, the High Court acquitted him, concluding that the complainant’s (PW1) inconsistent testimony failed to prove the “demand,” which is a necessary ingredient under the Prevention of Corruption Act.
Key Findings of the Supreme Court
The Supreme Court reversed the acquittal based on the following legal determinations:
- Treatment of Hostile/Inconsistent Witnesses: Relying on the Constitution Bench decision in Neeraj Dutta v. State, the Court held that the testimony of a witness who prevaricates or is cross-examined by the party calling them is not “washed off the record” entirely. If a portion of the testimony remains creditworthy and is corroborated by other evidence, the court can act upon it.
- Establishment of Demand: The Court found that although the complainant turned somewhat hostile during cross-examination to help the accused, his initial oral complaint to the vigilance department—affirmed in the presence of independent witnesses—clearly established the demand. The Court noted the complainant’s hesitant demeanor in the witness box and found the “credible portion” of his evidence sufficient to prove the allegation.
- False Explanation by the Accused: The TSO admitted to receiving the money but claimed it was the return of a loan. The Court rejected this as a “deliberate falsehood” and a “compelling circumstance pointing to the guilt of the accused,” noting that the person allegedly involved in the loan transaction also turned hostile and provided inconsistent evidence.
- Corroboration by Trap Evidence: The Court emphasized that the pre-trap and post-trap proceedings were consistently spoken to by the complainant, an independent witness (PW2), and the trap officer (PW17). This collective evidence unequivocally established both the demand and the acceptance of the bribe.
Conclusion
The Supreme Court concluded that the High Court had erroneously ignored creditworthy evidence in favor of technical inconsistencies. Consequently, the Court allowed the appeal, set aside the acquittal, and restored the Trial Court’s conviction. The respondent was sentenced to two years of imprisonment (the statutory minimum) and a fine.
2026 INSC 365
State of Kerala V. K.A. Abdul Rasheed (D.O. J. 15.04.2026)



