The case of Ajit Singh v. State of Himachal Pradesh involves a regular bail application under Section 483 of the BharatiyaNagarik Suraksha Sanhita (BNSS), 2023, concerning charges of sexual assault against a minor under the POCSO Act and the Bharatiya Nyaya Sanhita (BNS).
Factual Background
The case originated from an anonymous complaint regarding a child marriage. Investigation revealed that the petitioner and the victim—who was approximately 17 and a half years old—had been in a long-term relationship and had “solemnised marriage” in December 2025. A female child was born from this union on December 10, 2025. The victim stated to the Court that she had joined the petitioner of her own volition, was not assaulted against her wishes, and desired to live with him to raise their child.
The Court’s Reasoning
Justice Sandeep Sharma granted regular bail to the petitioner, emphasizing a balance between statutory rigors and “familial welfare”. The Court’s decision was based on several key insights:
- Compassion Over Rigidity: While acknowledging that the consent of a minor is legally immaterial, the Court held that the peculiar circumstances—specifically the marriage and the birth of a child—required a compassionate approach.
- Lust vs. Love: Citing Supreme Court precedent, the Court discerned that the relationship was a result of “love” rather than “lust,” and the victim expressed a strong desire for a stable family life without the petitioner carrying the “indelible mark” of an offender.
- Protection of the Family Unit: The Court noted that continued incarceration would disrupt the family unit and cause “irreparable harm” to the infant child and the victim, who were currently residing in a Bal Ashram.
- Likelihood of Conviction: Because the victim supported the petitioner and did not wish to prosecute him, the Court observed that the chances of a successful conviction were “remote and bleak”.
- Constitutional Rights: The Court reaffirmed that bail is not punitive and that indefinite incarceration before a guilt is proven violates the fundamental right to liberty under Article 21 of the Constitution.
Conclusion
The Court concluded that in this instance, the “law must yield to the cause of justice”. The petitioner was ordered to be released on bail subject to a personal bond of ₹1,00,000 and two local sureties, with conditions that he must not tamper with evidence or leave the country without permission.
STPL (Web) 2026 HP 173
Ajit Singh V. State Of Himachal Pradesh (D.O.J. 06-04-2026)
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