The case of Adhi Atwal v. State of Himachal Pradesh involves a petition for regular bail under Section 483 of the BharatiyaNagrik Suraksha Sanhita, 2023, concerning charges under the Narcotic Drugs and Psychotropic Substances (NDPS) Act, 1985.
Factual Background
The case began in September 2025 when police recovered 518.4 grams of heroin (chitta) from a taxi near Bilaspur. The occupants of the car (Abhi Kumar and Rahul) were arrested and claimed the drugs were for two others, Aditya and Girja Sharma. Upon their arrest, Aditya and Girja Sharma alleged they had purchased the contraband from the petitioner, Adhi Atwal, and that Aditya had deposited ₹1,00,500 into the petitioner’s bank account. Based on these statements and the financial transaction, the petitioner was arrested in December 2025.
Key Legal Issues and Findings
Justice Sandeep Sharma granted bail to the petitioner, emphasizing several critical legal principles regarding drug prosecutions:
- Inadmissibility of Disclosure Statements: The court noted that the petitioner was roped into the case solely based on the disclosure statements of co-accused. Citing the Supreme Court precedent in Tofan Singh v. State of Tamil Nadu, the court reaffirmed that statements recorded under Section 67 of the NDPS Act are inadmissible and cannot be used as a basis for conviction or to conclude guilt at the bail stage.
- Financial Transactions as Evidence: The State argued that the bank deposit proved the petitioner’s involvement in drug peddling. However, the court ruled that financial transactions alone are insufficient to establish “conscious possession” or complicity in a crime. Such transactions must be linked to the sale of narcotics through evidence collected during a trial, and their presence alone does not bar bail.
- Lack of Conscious Possession: It was undisputed that no contraband was recovered directly from the petitioner. The court found that without physical recovery or stronger evidence of a link, there was “reasonable doubt” regarding his involvement.
- Bail is the Rule: Reaffirming constitutional guarantees under Articles 14 and 21, the court held that the object of bail is to secure the accused’s attendance at trial, not to serve as punishment. Since the investigation was complete and no further recovery was needed, indefinite incarceration was deemed unjustified.
Conclusion and Conditions
The Court ordered the petitioner’s release on a bail bond of ₹2,00,000 with one surety. To address the State’s concern that the petitioner might flee (as he is a resident of Punjab), the court imposed stringent conditions, including:
- Mandatory attendance at all trial proceedings.
- A prohibition on tampering with evidence or threatening witnesses.
- A ban on leaving India without prior court permission.
STPL (Web) 2026 HP 183
Adhi Atwal V. State of Himachal Pradesh (D.O.J. 17.04.2026)
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