In the case of Adalat Yadav etc. v. The State of Bihar (2026), the Supreme Court of India upheld the conviction and life imprisonment sentences of a father and son for murder and attempt to murder, emphasizing that the testimony of a single “sterling” witness—especially an injured one—is sufficient to sustain a conviction.
Case Background and Incident
The incident occurred on December 4, 2008, while the complainant (PW-5) and his brother, Ram Sharan Yadav (the deceased), were returning from court. They were surrounded by the appellants and others. The first appellant (Adalat Yadav) abused them for refusing to stop giving depositions in a murder case against another individual, Girdhari Yadav. Adalat Yadav then fired a pistol at the deceased’s head, killing him instantly. The second appellant (Anirudh Yadav) and others also fired weapons; the complainant was shot in the leg during the encounter.
Procedural History
- Trial Court: Convicted four persons, including the appellants, based on the consistent testimonies of five eyewitnesses (PW-1 to PW-5).
- High Court: While confirming the convictions, the High Court discounted the testimonies of PW-1 to PW-4, finding their status as eyewitnesses doubtful. Instead, it relied solely on the testimony of the complainant (PW-5), a singular injured eyewitness, to uphold the guilt of the appellants.
Key Findings of the Supreme Court
The Supreme Court dismissed the appeals and affirmed the High Court’s reasoning based on several legal principles:
- Reliance on a Single “Sterling” Witness: The Court reiterated that the law of evidence weighs the quality rather than the quantity of witnesses. A conviction can be based on the testimony of a single witness if it is of “sterling quality”—meaning it is cogent, consistent, and withstands the test of cross-examination.
- Status of an Injured Witness: The Court held that the testimony of an injured witness (like PW-5) stands on a “higher pedestal” because their injury provides built-in evidence of their presence at the scene of the crime.
- Medical vs. Ocular Evidence: The appellants argued there was a conflict between the post-mortem report and the eyewitness account regarding the exact location of the bullet wound. The Court found the testimonies consistent in substance and ruled that, generally, eyewitness testimony is superior to the expert medical opinion, which is advisory in nature.
- Delay in Filing FIR: The Court found the approximately four-and-a-half-hour delay in filing the FIR was not fatal to the case. It noted that in rural settings, factors such as the time needed for family members to regain tranquility after a tragedy, fear of the accused, and lack of immediate transport can explain such delays.
- Absence of Independent Witnesses: The Court observed that in cases involving “ill-reputed” and violent individuals, it is natural for villagers to hesitate to testify out of fear for their own safety, particularly when the victim was himself killed for being a witness in another case.
Conclusion
The Supreme Court concluded that the testimony of PW-5 clearly established the appellants’ intention to kill and their active roles in the crime. Finding no manifest error in the lower courts’ judgments, the Court dismissed the appeals.
2026 INSC 403
Adalat Yadav Etc. V. State of Bihar (D.O.J. 22.04.2026)




