The Supreme Court of India allowed an appeal filed by the State of Karnataka, setting aside a High Court order that had quashed criminal proceedings under Section 20(b)(ii)(C) of the NDPS Act against an absconding accused (Accused No. 3). A Division Bench of Justice J.B. Pardiwala and Justice K. Vinod Chandran held that precedents such as Tofan Singh, Pallulabid Ahmad Arimutta, Balwinder Singh, and Firdoskhan Khurshidkhan—which rule that confessional/disclosure statements lack evidentiary value for conviction or bail—do not justify the premature quashing of a pending prosecution against an absconder at the initial stage. The Court clarified that co-accused disclosures revealing the identity of a suspect who fled the spot serve as valid investigative leads, and restored the proceedings to the Special Court while granting the accused liberty to seek discharge at the appropriate stage.
- Factual Background:
- Police intercepted a car containing 32.615 kgs of Ganja (commercial quantity) hidden in the dashboard and trunk.
- Two individuals were apprehended on the spot, while a third person fled.
- The apprehended co-accused disclosed the identity of the person who escaped as the respondent (Sadiq Pasha). Because the respondent evaded arrest, a split charge-sheet was drawn naming him as an absconder.
- The High Court quashed the split criminal proceedings (Special Case No. 24 of 2022) relying on Tofan Singh and connected rulings, on the ground that the respondent was neither caught on the spot nor found in physical possession of contraband, and was implicated solely on co-accused statements.
- Distinction of Legal Precedents (Tofan Singh & Subsequent Rulings):
- Scope of Precedents: The Supreme Court emphasized that Tofan Singh and its progeny addressed the evidentiary value of statements under Section 67 or Section 53A of the NDPS Act at the stage of conviction or cancellation of bail, where confessional statements formed the sole substantive evidence.
- Application to Pending Trials/Absconders: These precedents cannot be extrapolated to quash a pending trial at the threshold, especially where an accused fled the crime scene.
- Investigative Utility of Initial Disclosures:
- While confessional or disclosure statements from a co-accused cannot lead to a conviction on their own during a trial, a disclosure made on the spot identifying a suspect who fled is a legitimate investigative lead.
- The Investigating Officer is entitled to use such disclosures to gather further evidence, which must then be tested in a properly instituted trial or evaluated at the stage of framing charges/discharge.
- Supreme Court’s Verdict & Directions:
- The Supreme Court set aside the High Court’s quashing order and restored Special Case No. 24 of 2022 before the Principal District and Sessions Judge / Special Court, Udupi.
- The respondent was directed to appear before the Trial Court within two weeks to seek bail.
- The Court explicitly clarified that the respondent retains the liberty to move a discharge application before the Special Court if the final investigation materials reveal no independent evidence connecting him to the crime.



