July 7, 2025
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Bail Cancelled. The Appellant filed a complaint alleging that on 11 August 2023, around 11:30 PM, they received a call about the Respondents (accused) and 6-7 others being present on the Appellant’s land in Village Karial, Haripur.
It was alleged that the Respondents used abusive language, threatened the Appellant, and dismantled a barbed wire fence on his property.
Later, when the Appellant, his driver (Anil Thatheria – the deceased), and others went to the land, the Respondents allegedly rammed their car into the Appellant’s car.
When the Appellant exited his car, Accused No. 1 (along with others) allegedly hit the deceased (Anil Thatheria) with their car and threw him down, then hit the deceased on the head with a wooden stick.
All the accused were reportedly armed with wooden sticks.
The deceased was taken to the hospital where he was declared dead.
An FIR was registered, and subsequently, a chargesheet and a supplementary chargesheet were filed by the Police.
The Respondents sought regular bail from the Trial Court, but their applications were dismissed.
The High Court then granted regular bail to the Respondents via an order dated 06 October 2023.
The Appellant subsequently filed an appeal before the Supreme Court challenging the High Court’s bail order.
Law Involved:
The case involved offences under various sections of the Indian Penal Code (IPC) and considerations under the Code of Criminal Procedure (Cr.P.C.):
IPC Sections: The FIR and chargesheets included sections such as 302 (murder), 307 (attempt to murder), 120-B (criminal conspiracy), 34 (acts done by several persons in furtherance of common intention), 147 (rioting), 148 (rioting, armed with deadly weapon), 149 (unlawful assembly guilty of offence committed in prosecution of common object), 323 (voluntarily causing hurt), 504 (intentional insult with intent to provoke breach of peace), and 506 (criminal intimidation).
Cr.P.C. Sections: The respondents’ applications for bail were made under Section 439 (special powers of High Court or Court of Session regarding bail) of the Cr.P.C.. The High Court’s order also included a direction to the Trial Court to adjourn proceedings under Section 309 of the Cr.P.C..
Reasoning
The Supreme Court noted that the High Court had set aside the Trial Court’s order which had refused regular bail to the Respondents.
Despite previously dismissing bail applications by the Respondents, the High Court later allowed their petition, leading to their enlargement on bail.
The High Court granted bail even though Accused No. 1 was identified as a “habitual offender” with eight other criminal cases registered against him.
The Supreme Court highlighted that the High Court’s order was “cryptic” and lacked sufficient reasoning to justify the grant of bail, especially given the gravity of the offences.
The reasoning provided by the High Court was considered “inadequate” and did not establish a proper case for granting bail.
The Supreme Court found that the High Court’s order suffered from a “patent non-application of mind”.
Furthermore, the Supreme Court stated that the High Court’s direction to the Trial Court to adjourn proceedings beyond a fixed date (25 October 2023) constituted interference with the trial process.
Holding
The Supreme Court, in its judgment dated 08 November 2023, set aside the High Court’s order dated 06 October 2023, which had granted regular bail to the Respondents.
Consequently, the effect of the High Court’s bail order was reversed.
The Supreme Court directed the Respondents (accused) to surrender and be taken into custody by the police on or before 16 June 2025.
They were also directed to deposit their passports at the Police Station.
The Supreme Court clarified that its decision to set aside the bail order should not influence the merits of the case during the trial.
The Trial Court was directed to proceed with and conclude the trial without being swayed by the Supreme Court’s order, and to endeavour to conclude the trial within one year and eight months.
Baljnder Singh Alias Aman V. State Of Punjab
Supreme Court: 2025 INSC 796: (DoJ 16-05-2025)
2025 INSC 796 Download Supreme Court File