In the case of Anand Jakkappa Pujari @Gaddadar v. The State of Karnataka (2026), the Supreme Court of India set aside the convictions of two men for murder, ruling that the prosecution failed to prove its case beyond a reasonable doubt based on weak circumstantial evidence and flawed discovery procedures, , .
Case Background
The case involved the disappearance of a woman named Bebakka on March 23, 2013. Following a report of a burnt body found in a forest on March 27, 2013, her brother (Accused No. 1, Kalappa) and three others (including the appellants) were arrested,. The prosecution alleged that Kalappa murdered his sister to avoid repaying a loan and to gain control over family property, and that the other accused assisted him as accomplices,.
The Trial Court and the High Court of Karnataka had previously convicted the appellants under Sections 302 (murder), 364 (abduction), 404 (misappropriation), and 201 (destruction of evidence) of the IPC,.
Key Legal Findings of the Supreme Court
The Supreme Court analyzed the chain of circumstantial evidence and found it insufficient to sustain a conviction:
- Failure of the “Last Seen” Theory: The prosecution relied on the testimony of an eyewitness (PW-7) who claimed to see the deceased in a car with the accused on the day she went missing,,. However, the Court held that the “last seen together” theory is not sufficient by itself to lead to an inference of guilt without corroboration, especially when there is a significant time gap between the sighting and the discovery of the body,,.
- Invalid “Joint Discovery” (Section 27 Evidence Act): The prosecution claimed all four accused simultaneously led the police to the locations where the murder occurred and the body was burnt,,. The Court ruled this evidence was inadmissible against the appellants for several reasons:
- A “joint or simultaneous disclosure” is difficult to rely upon because it is often impossible to determine which specific statement led to the discovery of the fact,, .
- The panch witness (independent witness) did not testify to any specific statement made by the appellants,, .
- Evidence showed the locations were actually pointed out first by the brother, Kalappa (A1), meaning the facts were already known to the police when the appellants supposedly disclosed them,,.
- Lack of Motive: While the prosecution established a clear motive for Kalappa to kill his sister, the Court noted that no motive was attributed to the appellants,.
- Standards for Circumstantial Evidence: The Court reiterated that in cases based on circumstantial evidence, the chain of events must be so complete as to exclude every possible hypothesis except the guilt of the accused,. In this case, the evidence only suggested the case “may be true” rather than “must be true”, .
Conclusion
The Supreme Court concluded that the prosecution failed to establish a complete chain of evidence . Consequently, the Court allowed the appeals, set aside the previous judgments, and acquitted the appellants of all charges, ordering their immediate release .
2026 INSC 417
Anand Jakkappa Pujari @Gaddadar V. State of Karnataka (D.O.J. 27.04.2026)



