Presumption of Innocence Upheld: High Court Rejects Appeal Against Acquittal in Assault Case
In the judgment of State of Himachal Pradesh v. Naresh Thakur and Others, the High Court of Himachal Pradesh dismissed a state appeal against the acquittal of several individuals accused of rioting and causing hurt. The Court ruled that an unexplained delay in filing an FIR, combined with “omnibus” witness statements and a lack of proper identification procedures, created significant doubt regarding the prosecution’s case.
The Dispute: Alleged Assault at a Wedding
The case originated from an incident on November 10, 2009, in Village Paneya during a marriage celebration. The informant (Babu Ram) claimed he was beaten with sticks by the accused after he attempted to rescue his cousin from a similar assault. The accused were charged under Sections 147, 148, 323, and 325 read with Section 149 of the IPC.
The Trial Court acquitted the respondents, citing an unexplained three-day delay in reporting the matter and a lack of reliable evidence regarding the identity of the assailants. The State appealed, arguing that the witness testimonies were consistent and corroborated by medical evidence.
Key Legal and Factual Findings
- Unexplained Delay in FIR: The incident occurred on November 10, but the FIR was not registered until November 13. The Court rejected the informant’s claim that he was too injured to report the matter, noting that his medical records described his injuries as “simple” and did not indicate he was unable to move. The Court emphasized that such delays often lead to “embellishment, concoction and fabrication”.
- Weak Identification Evidence:
- Darkness and Crowd: The incident took place at 9:30 PM in total darkness, with approximately 200–300 people present. One witness admitted that identification was difficult due to a power cut.
- Lack of Test Identification Parade (TIP): The police failed to conduct a TIP during the investigation. The Court ruled that “dock identification” (identifying an accused for the first time in court) is a weak piece of evidence when the accused are strangers to the witnesses.
- Doubtful Genesis of the Case: The informant denied his signature on the written complaint and testified that the document was dictated and written by the police. This admission cast serious doubt on the initial version of events presented to the authorities.
- Inconclusive Medical Evidence: While the victims had injuries, the medical examiner admitted that the wounds could have been caused by a fall rather than an assault. Furthermore, there were no “patterned wounds” typically left by a stick assault.
- Omnibus Witness Statements: The Court found that witnesses used “all-embracing” terms like “accused persons” without attributing specific acts to specific individuals, making it unsafe to base a conviction on their testimony.
Appellate Standard for Acquittal
Justice Rakesh Kainthla reaffirmed the settled legal principle that in an appeal against acquittal, the High Court should not interfere if the Trial Court’s view is “reasonable,” even if an alternative view is possible. Interference is only warranted if the judgment is “patently perverse” or based on a misreading of evidence.
Final Ruling
The High Court concluded that the Trial Court had taken a reasonable view of the material evidence. Finding no grounds for interference, the Court dismissed the appeal and upheld the acquittal of the respondents.
STPL (Web) 2026 HP 92
State of HP V. Naresh Thakur And Others (D.O.J. 18-03-2026)






