This criminal appeal was filed under Section 374(2) of the Code of Criminal Procedure, 1973 (CrPC) by the sole accused, Mahender Rathore, challenging the trial court’s judgment and sentencing order dated 26.07.2017 and 31.07.2017 respectively, which convicted him under Sections 376 and 506 of the Indian Penal Code, 1860 (IPC). The prosecution alleged that on 23.02.2012, the accused raped the prosecutrix (PW6) at knife-point and threatened to kill her. The High Court of Delhi evaluated the core testimonies, the delay in reporting, police inaction, the defense’s plea of alibi, and additional evidence consisting of prior cross-complaints. Finding the testimony of the prosecutrix cogent and reliable, and noting that minor omissions or police procedural irregularities did not cause a failure of justice, the High Court dismissed the appeal and upheld the conviction and the 7-year rigorous imprisonment sentence.
Core Prosecution Case & Testimonies:
The incident occurred on 23.02.2012 between 2:00 PM and 2:30 PM. When the victim’s husband (PW13) returned home at night, she narrated the ordeal, and they immediately went to the police station, where officers assured action but failed to register an FIR.
- Due to persistent police inaction, the prosecutrix sent a written complaint to senior police officials and subsequently filed a complaint before the Metropolitan Magistrate under Section 200 CrPC, leading to the registration of the FIR.
- The court reaffirmed that a conviction for rape can be sustained on the sole testimony of the prosecutrix if it inspires confidence, noting that her core version remained consistent throughout.
- Evaluation of Defense Arguments & Inconsistencies:
Delay and Medical Examination: The delay in filing the formal complaint and the lack of an immediate medical examination were attributed directly to initial police apathy and inaction rather than any fault of the prosecutrix, which cannot invalidate an otherwise credible testimony.
- Absence of Neck Injuries: The lack of visible cuts or injuries on the victim’s neck was deemed immaterial given that the medical examination occurred nearly seven months later and that the knife was utilized primarily as an instrument of intimidation rather than infliction.
- Plea of Alibi and Call Detail Records (CDRs): The accused’s plea of alibi—relying on CDRs and the testimony of the Investigating Officer (PW14) placing him in the Jahangirpuri Industrial Area—failed because the defense did not adequately examine the Nodal Officer to confirm the user or exact location at the precise hour, and the spot was located close to the scene of occurrence.
- Motive and Counter-Complaints: Although additional documents regarding prior complaints of extortion filed by the accused were taken on record, they revealed inconsistencies in the defense’s stance (shifting from an alleged loan dispute to an extortion threat) and failed to establish false implication.
- Procedural Irregularities:
- The High Court noted that the Magistrate adopted incorrect procedures by calling for police reports under Section 202/156(3) CrPC for an offense exclusively triable by a Court of Session. However, invoking Section 465 CrPC, the Court held that these irregularities did not result in any failure of justice and thus did not vitiate the trial.
- Sentence and Conclusion:
The unamended provisions of Section 376 IPC (prior to the 2013 amendment) applied since the offense occurred in February 2012. Finding no exceptional or extenuating circumstances, the minimum statutory sentence of 7 years of rigorous imprisonment awarded by the trial court was maintained. The appeal was accordingly dismissed.
2026 DHC 6279
Mahender Rathore v. State Govt of NCT of Delhi (D.O.J. 05.08.2026)




