Chamber of Advocate Narendra Vishnu Sankpal

Chamber of Advocate Narendra Vishnu Sankpal We guide legally to avoid unwarranted litigations

Husband's Failure To Explain Wife's Death In Matrimonial Home Draws Adverse Inference u/s 106 Evidence Act: Supreme Cour...
22/05/2026

Husband's Failure To Explain Wife's Death In Matrimonial Home Draws Adverse Inference u/s 106 Evidence Act: Supreme Court Upholds Conviction https://www.livelaw.in/supreme-court/husbands-failure-to-explain-wifes-death-in-matrimonial-home-draws-adverse-inference-us-106-evidence-act-supreme-court-upholds-conviction-535190@

The Supreme Court on Thursday (May 21) upheld the conviction of a husband for strangulating his wife to death, observing that once the prosecution establishes that certain incriminating facts were...

POCSO Act | Presumption Of Guilt Under S.29 Does Not Arise On Testimony Of Child Victim Alone If It Is Unreliable: Supre...
07/05/2026

POCSO Act | Presumption Of Guilt Under S.29 Does Not Arise On Testimony Of Child Victim Alone If It Is Unreliable: Supreme Court

The Supreme Court recently held that the presumption of guilt under Section 29 of the Protection of Children from Sexual Offences Act, 2012 will arise only after the prosecution proves the basic facts of the alleged sexual assault, and cannot be applied if the victim child's testimony itself is not fully credible and trustworthy.

A bench of Justice Sanjay Kumar and Justice K Vinod Chandran set aside a judgment of the Calcutta High Court which had reversed the appellant's acquittal and convicted him under Section 8 of the POCSO Act. The Court restored the trial court's acquittal dated March 13, 2019.

“Unless the testimony of a victim child is found to be fully credible and trustworthy, the question of applying the presumption on the strength of such statement alone would not arise. The foundational fact of a sexual assault that would attract the presumption under Section 29 of the POCSO Act would require more than PW-1's statement which, on the face of it, was not credible as what she had stated to her mother was not borne out by her own statement before the trial court”, the Court stated.

The allegation against the appellant, a tuition teacher, was that on July 17, 2017, he sexually assaulted his 14-year-old student by touching her inappropriately after asking other students to leave. The prosecution examined ten witnesses. The child, examined as PW-1, stated that the incident took place at about 9.25 pm and that she informed her mother later that night, with the complaint being lodged the next evening.

In cross-examination, she stated that her mother did not consent to medical examination. She also said that other parents were present in the verandah and that the appellant's wife was in the kitchen at the time.

The mother, examined as PW-2, stated that the incident was disclosed on the same night but admitted that the complaint was lodged only the next day. She also admitted that she refused consent for medical examination and gave no explanation.

The mother stated that her daughter narrated the incident that the appellant had brushed his leg against the child's leg and also touched her chest and pressed her breast. However, when the child deposed before the trial court about eight months later, she did not state that the appellant had brushed his leg against hers. The Court treated this omission as a material discrepancy affecting the reliability of the testimony.

Another witness stated that she had taken her son for tuition on the same day and returned along with the victim's mother. The Supreme Court noted that this aspect was not challenged in cross-examination and treated it as admitted, indicating that another student may have been present at the time of the alleged incident, casting doubt on the victim's story.

The trial court had acquitted the appellant, citing unexplained delay in lodging the complaint, absence of medical examination, and failure of the prosecution to prove the case beyond reasonable doubt. The High Court reversed the acquittal by invoking the presumption under Section 29 of the POCSO Act.

The Supreme Court held that although the High Court correctly stated the law that the burden shifts to the accused once foundational facts are established, it failed to examine whether those foundational facts were proved in this case.

It noted that the delay of nearly a day in lodging the complaint assumed significance, particularly as the child's father was a member of the police force. The Court also held that the refusal to permit even a non-invasive medical examination, without explanation, warranted an adverse inference.

Holding that the child's testimony was not reliable and that the prosecution failed to establish the foundational facts of the alleged assault, the Court said that the presumption under Section 29 could not be invoked. It restored the trial court's judgment, holding that the High Court was not justified in reversing the acquittal.

Case no. – SLP(Crl.) No. 16838 of 2025

Case Title – Debraj Dutta v. State of West Bengal & Anr.

Citation : 2026 LiveLaw (SC) 401

If Right To Speedy Trial Violated, Bail Must Be Considered Regardless Of Crime's Seriousness : Supreme Court
05/05/2026

If Right To Speedy Trial Violated, Bail Must Be Considered Regardless Of Crime's Seriousness : Supreme Court

Observing that the right to speedy trial can't be infringed regardless of the seriousness of the crime, the Supreme Court on Monday (May 4) granted bail to an undertrial accused of murder, noting...

Legal News ::: *In a significant ruling the Supreme Court clarified that medical negligence claims under the Consumer Pr...
05/05/2026

Legal News ::: *In a significant ruling the Supreme Court clarified that medical negligence claims under the Consumer Protection Act survive the death of a doctor. However, any liability will pass only to the extent of the property (estate) inherited by the doctor’s legal heirs.*

Tap Below to Read More👇🏻

Doctor Dies, Case Lives: SC Says Negligence Claims Don’t End With Death

Doctor's Legal Heirs Liable For Medical Negligence Under Consumer Protection Act : Supreme Court
05/05/2026

Doctor's Legal Heirs Liable For Medical Negligence Under Consumer Protection Act : Supreme Court

The liability of the legal heirs is limited to the extent of the doctor's estate which devolves upon them, the Court stated.

Admission Of Claim By Resolution Professional Is Mere Recital Of Debt & Not Acknowledgment Of Liability U/S.18 Limitatio...
30/04/2026

Admission Of Claim By Resolution Professional Is Mere Recital Of Debt & Not Acknowledgment Of Liability U/S.18 Limitation Act: Supreme Court

The Supreme Court was considering an appeal filed under Section 62 of the Insolvency and Bankruptcy Code, 2016.

Husband’s Sister Excludes Deceased Woman’s Brother From Intestate Inheritance U/S 15(1) Hindu Succession Act: Bombay Hig...
25/04/2026

Husband’s Sister Excludes Deceased Woman’s Brother From Intestate Inheritance U/S 15(1) Hindu Succession Act: Bombay High Court

The Court held that Recommendations of 207th Law Commission Report regarding natal heirs cannot override unamended statutory provisions.

Foreign Judgment Passed Without Fair Opportunity To Defend Not Enforceable In India: Supreme Court
21/04/2026

Foreign Judgment Passed Without Fair Opportunity To Defend Not Enforceable In India: Supreme Court

The Supreme Court has held that a foreign judgment rendered in summary proceedings without affording a meaningful opportunity to defend, despite the presence of triable issues, is unenforceable in...

Address

204 Omkar Prarthana Swami Nityanand Marg Andheri East
Mumbai
400069

Opening Hours

Monday 9am - 6pm
Tuesday 9am - 6pm
Wednesday 9am - 6pm
Thursday 9am - 6pm
Friday 11am - 6pm
Saturday 9am - 3pm

Telephone

+918452039240

Website

Alerts

Be the first to know and let us send you an email when Chamber of Advocate Narendra Vishnu Sankpal posts news and promotions. Your email address will not be used for any other purpose, and you can unsubscribe at any time.

Contact The Practice

Send a message to Chamber of Advocate Narendra Vishnu Sankpal:

Share