This criminal appeal challenged the judgment of the Himachal Pradesh High Court, which had overturned the trial court’s acquittal of the appellant and convicted him under Section 376 of the Indian Penal Code, sentencing him to ten years of rigorous imprisonment. The prosecution alleged that the appellant had sexually assaulted a four-and-a-half-year-old child. The trial court had initially acquitted the appellant due to major discrepancies in ocular evidence and the complete absence of physical injuries or forensic evidence supporting the sexual assault. The Supreme Court held that the High Court erred in reversing the well-reasoned judgment of the trial court without evaluating crucial medical and forensic reports—specifically the Forensic Science Laboratory (FSL) report which found no blood or semen on the victim’s clothes, and medical examinations confirming zero signs of injury. Consequently, the Supreme Court set aside the High Court’s judgment, restored the appellant’s acquittal, and cancelled his bail bonds.
- Trial Court Acquittal: The trial court originally acquitted the appellant of the offense under Section 376 IPC after finding the testimonies of the prosecution witnesses (the victim, her mother, and her uncle) unreliable and noting that the medical examination revealed no injuries on the victim.
- High Court Reversal: On appeal by the State, the Himachal Pradesh High Court reversed the acquittal and convicted the appellant, holding that the inconsistencies pointed out by the trial court were minor.
- Omission of Key Medical and Forensic Evidence: The Supreme Court observed that the High Court failed to consider vital exonerating evidence, namely the Final Medical Report and the FSL report.
- Contradictory Medical Findings: The initial and final medical reports confirmed that the victim had suffered no injuries, inflammation, redness, or bruising on or near her private parts despite being examined within twelve hours of the alleged incident.
- Negative Forensic Results: Although the victim and her mother insisted there were bloodstains on the victim’s clothes, the FSL report explicitly stated that blood and semen were not detected on the victim’s clothes or the seized items (chatai and baithak) from the alleged site of occurrence.
- Discrepancies in Place of Occurrence: The Investigating Officer noted that the alleged crime occurred in the kitchen, yet admitted there was no cot or bed present there, directly contradicting the victim’s statement that the incident happened on a specific cot.
- Final Outcome: The Supreme Court allowed the appeal, set aside the conviction and sentence imposed by the High Court, and restored the trial court’s judgment acquitting the appellant.
2026 INSC 830
Ram Singh v. The State of Himachal Pradesh (D.O.J. 11.08.2026)
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