In the case of State of Himachal Pradesh v. Bias Dev (2026), the High Court of Himachal Pradesh upheld the acquittal of an individual accused of cheating students through a private vocational institute.
The following is a summary of the judgment:
Case Background
The respondent, Bias Dev, was originally convicted by a trial court under Section 420 of the Indian Penal Code (IPC). The prosecution alleged that he opened an institute, advertised various diploma courses (such as driving and electrical trades), and collected fees ranging from ₹9,000 to ₹11,200. It was further alleged that he closed the institute shortly after receiving the money without providing the promised training or certificates, thereby jeopardizing the students’ futures.
Key Findings of the Court
The High Court affirmed the First Appellate Court’s decision to acquit the accused based on the following factors:
- Absence of Dishonest Intent at Inception: To prove cheating under Section 420, there must be dishonest intention from the very beginning. The Court found that the accused had genuinely established the institute, hired a building, employed instructors, and provided infrastructure such as a bus and classrooms.
- Voluntary Departure of Students: Multiple prosecution witnesses, including the complainant, admitted during cross-examination that they left the institute voluntarily. Many students reportedly left to join the Indian Army, leaving the institute with no choice but to close due to a lack of enrollment.
- Hostile Witnesses and Contradictions: Most prosecution witnesses turned hostile and did not support the claim of fraud. For instance, the complainant (PW-15) testified that he had only filled out a form, had not paid fees, and that the police had obtained his signatures on blank papers.
- Business Failure vs. Criminal Offense: The Court held that the closure of the institute due to a lack of students constituted a business failure rather than a criminal act of cheating. There was no evidence that the accused “dishonestly induced” students to part with their money with the intent to defraud them.
- Consistency in Evidence: Relying on the Supreme Court’s ruling in C. Magesh v. State of Karnataka, the Court emphasized that criminal evidence must be evaluated on the “touchstone of consistency”. The major contradictions in the witnesses’ statements made the conviction unsustainable.
Legal Conclusion
The High Court concluded that the prosecution failed to prove the essential ingredients of cheating beyond a reasonable doubt. Since the accused had provided adequate staff and infrastructure, and the students left of their own accord, the judgment of acquittal was upheld, and the State’s appeal was dismissed.
STPL (Web) 2026 HP 118
State of Himachal Pradesh V. Bias Dev (D.O.J. 07-03-2026)
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