In this significant ruling, the Supreme Court addressed the misuse of criminal machinery through retaliatory complaints. The Court held that when a criminal complaint is filed with unexplained delay, suppresses a pre-existing FIR and charge-sheet involving the same incident, and weaponizes a civil land dispute against an entire family (including women household members), it constitutes a manifest abuse of the process of law. Setting aside the High Court’s refusal to interfere, the Apex Court quashed the criminal proceedings to prevent the persecution of the appellants.
Background of the Dispute: A long-standing civil land dispute exists between two branches of a family residing in Village Sohni, District Jaunpur, Uttar Pradesh. The complainant had previously even pursued a Public Interest Litigation regarding the matter.
- The Incident and Initial FIR: On November 9, 2020, an incident occurred, prompting Appellant No. 4 (Sunil Maurya) to lodge FIR No. 405 of 2020 against the respondent-complainant and others. This investigation culminated in a charge-sheet dated November 30, 2020, and led to the commencement of a trial.
- The Retaliatory Complaint: In 2021, the respondent-complainant instituted a private complaint (Complaint Case No. 909 of 2021) regarding the exact same November 9, 2020 incident. This complaint leveled counter-allegations of assault and house-trespass against all eight members of the appellant family—including three women—while deliberately omitting any mention of the prior FIR or charge-sheet.
- Judicial Progression: The Additional Chief Judicial Magistrate summoned the appellants in February 2025, a decision subsequently affirmed by the Revisional Court and later upheld by the High Court under Section 528 of the BNSS, which viewed the matter as raising disputed questions of fact.
- Supreme Court’s Observations:
- Suppression and Delay: The Court noted that a complaint that conceals a pre-existing, charge-sheeted FIR and is lodged with deliberate, unexplained delay bears the clear hallmark of a retaliatory counterblast.
- Civil Substratum: The core controversy is civil in nature concerning land; transforming it into criminal proceedings to harass an entire family is an abuse of process.
- Application of Precedents: Referencing landmark principles from State of Haryana v. Bhajan Lal, Mahmood Ali, Kishan Singh, and Nazibul Rahim Khan, the Court reiterated that courts have a duty to look “in between the lines” when mala fides or oblique motives are apparent.
- Final Verdict: The Supreme Court allowed the appeal, setting aside the High Court’s order and completely quashing Complaint Case No. 909 of 2021 along with its summoning order. The Court clarified that this ruling does not impact the merits of the earlier, separate FIR No. 405 of 2020 or the underlying civil disputes between the parties.


