The case of Shankar v. State of Rajasthan (2026 INSC 315) involves a criminal appeal by a husband challenging his concurrent conviction for the murder and wrongful confinement of his wife.
Factual Background
- The Parties: The appellant, Shankar, had been married to the deceased, Sugna Bai, for only about a month at the time of the incident in October 2012.
- The Incident: Within 20 days of marriage, the relationship soured due to the appellant’s excessive alcohol consumption and violent behavior. On October 15, 2012, after demanding his wife return home from her parents’ house to cook for him, a drunk Shankar beat her, poured kerosene on her, and set her on fire.
- Death: Sugna Bai was hospitalized with extensive burns and died four days later, on October 19, 2012, from septicaemia resulting from the injuries.
Evidence and Legal Issues
The prosecution’s case relied heavily on a dying declaration recorded by a Magistrate shortly after the incident.
- Content of Declaration: In her statement, the deceased explicitly stated that her husband poured kerosene on her and set her on fire because he was drunk and suspicious.
- Defense Challenges: The appellant argued that the deceased was not in a fit mental state to give a statement and had been “tutored” by her parents.
- Court’s Findings on Evidence: The Supreme Court rejected these arguments, noting that the Magistrate had obtained a medical certificate of fitness from the duty doctor before recording the statement. The Court found the dying declaration to be consistent, believable, and corroborated by medical evidence, even though some eyewitnesses had turned hostile.
Supreme Court’s Reflections (Postscript)
In a significant postscript to the judgment, the Court reflected on the “paradox” of persistent violence against women in India despite decades of legal reforms and economic progress.
- Legal Progress: The Court cited various landmark judgments (e.g., Shayara Bano, Vineeta Sharma) and legislations (e.g., Dowry Prohibition Act, Domestic Violence Act) intended to protect women’s rights and autonomy.
- Societal Reality: Despite these advancements, the Court noted that patriarchal mindsets remain deeply rooted, as evidenced by nearly 4.48 lakh recorded crimes against women and over 6,000 annual dowry-related deaths. The Court characterized extreme acts of violence like wife-burning as “indications of a disease afflicted social order”.
Conclusion
The Supreme Court found no manifest error in the findings of the lower courts. The appeal was dismissed, and the appellant’s conviction and life sentence were upheld.
2026 INSC 315
Shankar V. State Of Rajasthan (D.O.J.02.04.2026)




