This judgment pertains to an appeal filed by an individual (the “appellant”) challenging the concurrent findings of guilt by the Sessions Court and the High Court. The prosecution’s case alleged that the appellant murdered the deceased, Vikrant Bhinde, and then caused the disappearance of evidence.
Key events and facts presented by the prosecution include:
Approximately eight months before the incident, the appellant borrowed ₹10,000 from one Ravindra.
On 18th July 2003, at around 4:00 PM, the appellant and the deceased were seen together near a field in Shamshabad.
The prosecution contended that the appellant shot the deceased with a gun because the deceased had demanded repayment of the loan and had insulted the appellant.
The deceased’s body was discovered three days later, on 21st July 2003, in a sugarcane field near Akranpally, due to a gunshot injury to his head, which was the cause of death.
Following a search, the appellant was arrested on 21st July 2003.
During the investigation, several items belonging to the deceased were recovered at the instance of the appellant, including a gold chain and a Nokia mobile phone.
A .12 bore gun, the weapon of offence, was also recovered from the appellant’s grandfather’s house where the appellant was staying.
Forensic evidence confirmed the recovered gun was in working condition and that pellets and wads found in the deceased’s brain and skull cavity were fired from this gun.
Law Involved
The appellant was convicted under Sections 302 (murder) and 201 (causing disappearance of evidence) of the Indian Penal Code (IPC), and Sections 4 and 25 of the Arms Act.
The core legal principle applied in this case revolves around conviction based solely on circumstantial evidence. The courts stressed that for a conviction based on circumstantial evidence, the chain of circumstances must be so complete as to rule out any other hypothesis except the guilt of the accused.
The principle of “last seen together” was also a significant legal aspect. This theory posits that if the accused and deceased were last seen together, and the death occurred within a short time frame, it places the burden on the accused to explain the circumstances of the death. However, this inference cannot be drawn if there is a long time gap or possibility of other persons intervening.
Furthermore, the Supreme Court approaches concurrent findings of fact by lower courts with great caution, generally not interfering unless the findings are perverse or demonstrate an ignorance of material evidence.
Reasoning
The Sessions Court and the High Court concurrently found the appellant guilty. The reasoning primarily relied on the circumstantial evidence presented by the prosecution.
The key circumstances considered were:
Last Seen Together: The deceased was last seen alive with the appellant on 18th July 2003, shortly before his death. The time gap between the last sighting and the body’s discovery (three days) was considered by the High Court to be too short to admit the possibility of anyone else’s involvement.
Motive: The prosecution established a motive: the appellant owed money to the deceased and felt insulted when asked for repayment. The Trial Court concluded that this monetary dispute and insult provided the motive for the crime.
Recovery of Incriminating Articles: The recovery of the deceased’s gold chain, mobile phone, and the weapon of offence (a .12 bore gun) from the appellant’s possession or at his instance was deemed highly significant.
Forensic Evidence: The ballistic examination confirmed that the pellets and wads found in the deceased’s body were fired from the gun recovered from the appellant. This provided a material link between the weapon, the victim, and the appellant’s possession.
False Explanation by Appellant: The appellant’s explanations for his possession of the deceased’s articles and the weapon were found to be untruthful or unsatisfactory. For instance, his claim that the deceased’s mobile phone was not recovered from him was proven false. The failure of the accused to offer a reasonable explanation for such damning circumstances further strengthened the case for conviction.
Completeness of Chain of Circumstances: Both lower courts meticulously considered these circumstances, concluding that the chain of evidence was complete and pointed unequivocally to the appellant’s guilt. The Trial Court stated that it had “consolidated all these issues together and considered the same in the light of the evidence adduced and held that the prosecution has proved their case”.
The Supreme Court, in its review, noted its cautious approach to concurrent findings but found no perversity or misapplication of law in the lower courts’ decisions.
Holding
The Supreme Court dismissed the appeal, upholding the appellant’s conviction and sentence as determined by the High Court and Sessions Court. The conviction for murder under Section 302 IPC carried a sentence of rigorous imprisonment for life and a fine, with an additional sentence for default in fine payment. He was also sentenced to rigorous imprisonment for one year for offences under the Arms Act.
Chetan V. State Of Karnataka
Supreme Court: 2025 INSC 793: (DoJ 30-05-2025)