This criminal appeal challenged the judgment of conviction and sentence dated 12.07.2024 passed by the Additional Sessions Judge, Sarkaghat, District Mandi, H.P., whereby the appellant (Ashok Kumar) was convicted under Section 302 of the IPC and sentenced to imprisonment for life for allegedly murdering his wife by setting her on fire. The prosecution’s case rested heavily on an oral dying declaration reportedly made by the deceased to her parents while being transported in an ambulance, alongside alternative allegations in the FIR pointing toward suicide or dowry harassment. The High Court of Himachal Pradesh allowed the appeal, setting aside the conviction and acquitting the appellant. The Court held that the prosecution failed to prove its case beyond a reasonable doubt because the First Information Report contained inconsistent and shifting versions (suicide vs. homicide), the oral dying declaration lacked corroboration and credibility, and the couple’s minor son—testifying as a competent child witness—categorically stated that the incident was an accident that occurred while boiling milk rather than an intentional act by his father.
- Contradictory and Unreliable FIR Versions: The FIR lodged by the father of the deceased contained shifting and alternative hypotheses—alternately alleging suicide due to cruelty, or homicide by pouring liquid—which indicated that the family was unsure of the true cause and that the case was built on an afterthought.
- Inconsistent Dying Declarations: At the first instance, the victim gave a statement in the hospital in the presence of a doctor stating that she caught fire accidentally due to a gas leakage while heating milk for her daughter and that her husband tried to save her. The subsequent oral dying declaration alleged to have been made in an ambulance while on oxygen support lacked corroboration and medical/independent witness backing.
- Credible Testimony of the Child Witness: The couple’s minor son (PW-12), who was present at the scene and found competent to testify, stated clearly that his father did not commit any crime and that his mother caught fire accidentally while boiling milk. Because the prosecution neither declared him hostile nor contradicted him with a prior police statement, his testimony remained binding and credible.
- Absence of Forensic Proof for Accelerants: Although partial traces were found, medical and post-mortem reports did not note any characteristic smell or definitive presence of kerosene on the body or clothing of the victim, weakening the prosecution’s theory of accelerant-based murder.
- Extension of Benefit of Doubt: Due to glaring inconsistencies in the prosecution narrative, the unreliability of key family witnesses, and the exculpatory testimony of the child witness, the Court extended the benefit of doubt to the appellant, setting aside his conviction and directing his immediate release.
STPL (Web) 2026 HP 599
Ashok Kumar versus State of Himachal Pradesh (D.O.J. 12.08.2026)
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