In the case of Sadek Ali @ Md. Sadek Ali and Anr. v. The State of Assam and Anr. (2026), the Supreme Court of India set aside the convictions and life sentences of 11 individuals, ruling that an “inept investigation” and a “scripted enquiry” had resulted in the wrongful conviction of potentially innocent persons.
Case Background and Incident
The prosecution’s case was that on July 8, 2008, the deceased and five eyewitnesses were returning home on four motorbikes when they were waylaid by a steel wire tied across the road. The assailants allegedly blinded the deceased by throwing chili powder in his eyes and launched a brutal attack with cutting weapons, severing his left hand and inflicting multiple fatal injuries.
Procedural History
- Trial Court: Convicted 12 individuals (one died during the trial) under various sections of the IPC, including Section 302 (murder) and Section 147 (rioting).
- High Court: Upheld the convictions of 11 accused while acquitting one. The High Court relied on the testimony of five eyewitnesses, characterizing an initial General Diary (GD) entry as the “first information” to explain away a significant delay in the formal FIR.
Key Findings of the Supreme Court
The Supreme Court allowed the appeals and acquitted all the appellants, identifying several “lethal” flaws in the prosecution’s case:
- Delayed FIR and “Due Deliberation”: Although police reached the scene within 15 minutes of the incident, a formal FIR naming 13 specific accused was not registered until three days later. The Court found this delay suggested the names were arrayed after “due deliberation” rather than being spontaneous disclosures.
- Unreliable Eyewitnesses: The Court found the presence of the supposed eyewitnesses (all close relatives) at the scene highly improbable. The Investigating Officer (IO), who arrived at the spot immediately, failed to record their statements or even mention their presence in his initial reports.
- Failure to Prove Injuries: Two witnesses claimed to be “injured eyewitnesses,” a status that usually grants higher credibility. However, the prosecution failed to produce wound certificates or reliable medical evidence to prove they actually sustained injuries during the incident.
- Gross Investigative Failures:
- Forensic Neglect: Seized weapons were never sent for forensic analysis, and no attempt was made to collect or match blood samples from the crime scene.
- Evidence Suppression: The motorbikes allegedly used by the witnesses were never produced in court, and the “seizure list” was deemed “alarmingly doubtful”.
- Contradictory Medical Evidence: The ocular accounts of the attack were inconsistent with the findings in the post-mortem report.
Conclusion
The Supreme Court concluded that the investigation was so poorly conducted—whether through ignorance, inefficiency, or malicious motivation—that the crime remained “unresolved”. Criticizing the State for allowing innocent people to suffer long periods of incarceration due to procedural lapses, the Court acquitted the appellants and ordered their immediate release.
2026 INSC 421
Sadek Ali @ Md. Sadek Ali And Anr. V. State of Assam And Anr.(D.O.J. 28.04.2026)




