Acknowledgment of Debt is Not a Confession: High Court Upholds Acquittal in Embezzlement Case
In the judgment of State of Himachal Pradesh v. Shankar Dutt, the High Court of Himachal Pradesh upheld the acquittal of a salesman accused of criminal breach of trust. The Court ruled that the mere deposit of a portion of an alleged shortfall and an undertaking to pay the balance does not constitute a confession of criminal guilt, but rather an acknowledgment of civil liability.
The Dispute: Audit Shortfalls and Alleged Embezzlement
The respondent, a salesman for the Sihal Agriculture Cooperative Society, was accused of embezzling ₹1,24,718.32. The trial court originally convicted him under Section 408 of the IPC (Criminal breach of trust by clerk or servant), placing heavy reliance on Exhibit P-8—a document where the accused had deposited ₹46,000 and promised to pay the remainder of the audit shortfall. However, the first Appellate Court set aside the conviction, leading the State to appeal to the High Court.
Audit Inaccuracies and Perished Stock
The High Court found that the prosecution’s case suffered from significant procedural and factual flaws:
- Lack of Physical Verification: The Audit Inspector (PW-6) admitted he never conducted a physical verification of the store’s articles and relied solely on registers provided by the Secretary.
- Unaccounted Perishables: Witnesses for the society admitted that damaged or “perished” items were removed from the store. However, no inventory was prepared for these removals, and the auditor was never informed about them. Consequently, items that were simply thrown away as waste were incorrectly treated as “misappropriated” sales in the audit.
- Procedural Lapses: Despite the management committee knowing about alleged discrepancies over a long period, no formal notices were ever issued to the accused.
Legal Principles: Civil Liability vs. Criminal Offence
The Court emphasized the high burden of proof required for a conviction under Section 408:
- The “Dishonesty” Requirement: Under Section 405, the prosecution must prove that the accused dishonestly misappropriated or converted property to his own use. The Court ruled that there was “no evidence” showing the accused used the articles or money for his personal benefit.
- Rejection of “Confession” (Ext. P-8): The Court held that Exhibit P-8 was merely an acknowledgment of an outstanding amount based on an audit report. Paying a debt or asking for time to clear a liability “cannot be construed as an admission of guilt” for a crime.
- Debt is Not a Crime: The Court clarified that the mere failure to discharge an admitted liability or pay an acknowledged debt is insufficient to prove criminal breach of trust.
Final Ruling
The High Court concluded that the prosecution failed to prove “dishonest intent” beyond a reasonable doubt. Finding no illegality in the appellate court’s decision to acquit, the High Court dismissed the State’s appeal and upheld the respondent’s acquittal.
Himachal Pradesh High Court
State of Himachal Pradesh V. Shankar Dutt (D. O. J. 28-02-2026)
STPL (Web) 2026 HP 57





