This criminal transfer petition was filed under Section 407 CrPC challenging an order dated June 29, 2026, passed by the Sessions Judge, Lucknow, whereby a session trial was transferred from the Court of Additional Sessions Judge/Special Judge ATS, Lucknow to the Court of Additional Sessions Judge, Court No. 4/Special Judge Gangsters Act, Lucknow. The transfer was ordered because the presiding officer of the transferee court, Shri Abhinay Kumar Mishra, HJS, had earlier presided over the trial court and recorded the testimonies of nine prosecution witnesses (including all factual witnesses) before being transferred within the same sessions division. The Allahabad High Court held that although the petition was technically maintainable under Section 482 CrPC rather than Section 407 CrPC, the Sessions Judge committed no illegality or error in exercising administrative and statutory powers under Section 408 CrPC. The High Court ruled that keeping a trial before a presiding officer who has already observed the demeanor of key witnesses advances the cause of a fair trial, judicial continuity, and proper appreciation of evidence, thereby dismissing the petition.
- Challenge to Transfer Order: The applicant challenged the order of the Sessions Judge, Lucknow, which transferred Sessions Trial No. 2707 of 2024 to another court within the same sessions division.
- Grounds for Transfer by Sessions Judge:
- The transfer application was originally moved by the opposite party under Section 408 CrPC.
- It was highlighted that nine prosecution witnesses (PW-1 to PW-9) had already been examined by the presiding officer, Shri Abhinay Kumar Mishra, HJS, when he was posted at the ATS court.
- Upon his transfer to the Gangsters Act court within the same division, it was deemed expedient for judicial continuity, fair trial, and proper evaluation of witness demeanor to transfer the trial to his new court.
- Arguments of the Applicant:
- Relying on Section 326 CrPC, the applicant argued that a successor judge has full jurisdiction to continue a trial, and the section does not mandate transferring a case simply because the previous judge moved to another court in the same division.
- Citing Supreme Court precedents like Ranbir Yadav v. State of Bihar and Bhaskar @ Prabhaskar v. State of Kerala, the applicant emphasized that Section 326 was enacted to avoid de novo trials and delays.
- High Court Observations and Findings:
- Procedural Aspect: The High Court clarified that when a Sessions Judge allows a transfer application under Section 408 CrPC, an aggrieved party cannot challenge it via Section 407 CrPC; rather, the challenge should be treated under the inherent powers saved by Section 482 CrPC. However, instead of dismissing it on technicalities, the court evaluated the merits.
- Scope of Judicial Discretion: The High Court noted that both courts possessed competent jurisdiction, but the Sessions Judge exercised discretion to secure the ends of justice.
- Demeanor of Witnesses: The court reaffirmed that giving due consideration to the demeanor of witnesses who have already testified before a specific judicial officer promotes better administration of justice.
- Final Verdict: Finding no abuse of process or failure of justice, the High Court dismissed the petition.
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Satyendra Nath Shukla v. State of U.P. and Another (D.O.J. July 7, 2026)
J.O. (Web) 2026 ALL 7 click here to view full text of judgment




