The High Court of Himachal Pradesh dismissed a criminal appeal filed by the State against the acquittal of respondents accused of causing grievous hurt under Sections 323, 325, and 504 of the IPC. The Court ruled that the acquittal by the first Appellate Court was a “reasonable view” and did not suffer from patent perversity. The decision hinged on two critical legal flaws in the prosecution’s case: a fundamental conflict between ocular testimony and medical evidence regarding the weapon of offense, and the prosecution’s failure to explain injuries sustained by the accused during the same incident. Reaffirming the limits of judicial interference in acquittal appeals, the Court held that when two views are possible, the view favoring the innocence of the accused must prevail.
- The Genesis of the Dispute The case originated from a local quarrel in April 2008 over cattle grazing. The informant, Veena Devi (PW1), alleged that the cattle of the accused, Raj Kumar, entered her wheat fields. When she objected, Raj Kumar allegedly abused her and beat her with kicks and fist blows. When her husband, Parkash Chand (PW2), intervened to rescue her, Raj Kumar reportedly struck him with the sharp side of a darat (a curved blade), causing a fracture in his left arm.
- Procedural History: Conviction to Acquittal
- Trial Court: Based on the testimonies of the husband and wife, the Judicial Magistrate convicted the accused, sentencing them to one year of imprisonment for the grievous injury. The Trial Court relied on the fact that Raj Kumar was armed with a darat.
- Appellate Court: The Additional Sessions Judge set aside the conviction, citing pending civil litigation between the parties, contradictions in witness statements, and the fact that independent witnesses did not support the prosecution. The State then appealed this acquittal to the High Court.
- Medical Evidence vs. Ocular TestimonyThe High Court found a major defect in the prosecution’s narrative regarding the weapon used. While the victim (PW2) testified he was hit by the sharp side of a darat, the medical examiner (PW5) stated that the injury was caused by a blunt object. The Court held that such a “most fundamental defect” discredits the entire case, as there was no incised wound corresponding to a sharp-edged weapon.
- Non-Explanation of Injuries to the Accused The evidence established that the accused, Raj Kumar, had also sustained a bleeding head injury during the altercation. However, the prosecution witnesses denied these injuries or failed to explain how they occurred. The Court ruled that this omission suggests the prosecution suppressed the true genesis of the incident. In the context of a cross-case and strained relations, the failure to explain the accused’s injuries made the prosecution’s version highly suspect.
- Scope of Interference in Acquittal AppealsThe Court reiterated that an appellate court should not overturn an acquittal merely because a different view is possible. Interference is only justified if the lower court’s judgment is patently perverse or ignores material evidence.
- Final Conclusion Finding that the Appellate Court had taken a “possible and reasonable view” based on the medical discrepancies, the lack of independent corroboration, and the history of civil litigation between the parties, the High Court found no perversity in the acquittal. The State’s appeal was dismissed, and the accused were directed to furnish bail bonds as per statutory requirements.
STPL (Web) 2026 HP 388
State of H.P. V. Raj Kumar &Ors. (D.O.J. 20.07.2026)
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