In State of Himachal Pradesh v. Kamal Kishore &Ors., the High Court of Himachal Pradesh dismissed the State’s appeal against the acquittal of respondents charged with bigamy, rape, and criminal conspiracy,. The Court ruled that for establishing charges under Sections 493, 494, and 495 of the IPC, the prosecution must strictly prove the valid solemnization of the subsequent marriage, which it failed to do due to major contradictions in the prosecutrix’s testimony and a lack of cogent evidence,. Furthermore, the Court determined that the prosecutrix’s version was highly improbable, as she claimed to have concealed a life-altering event like marriage from her mother despite living in the same vicinity and meeting her frequently,. Reaffirming the “double presumption of innocence” afforded to an acquitted person, the Court held that the trial court’s findings were neither perverse nor unsustainable, as the medical evidence refuted the allegation of forceful sexual intercourse,.
- Prosecution Case and Allegations
The case originated from a 2012 complaint by the prosecutrix (PW-1), who alleged that the respondents hatched a conspiracy to marry her to Kamal Kishore while concealing his existing 2004 marriage to another woman,. She claimed the marriage was solemnized in July 2012 and that she only discovered the truth a month later when her mother informed her of the first marriage,. The State charged the respondents under various sections, including Section 376 (Rape) and Sections 494/495 (Bigamy and concealment of marriage),.
- Failure to Prove the Second Marriage
The High Court emphasized that the “primary and essential ingredient” for bigamy charges is the proof of a valid subsequent marriage, which was not established in this case,:
- Material Contradictions: In her initial written complaint, the prosecutrix stated the marriage occurred in a “hotel” in Shimla, but in court, she claimed it was performed at Lakshmi Narayan Mandir, Totu, according to Hindu rites,,,.
- Lack of Records: The temple priest (PW-17) admitted that no marriage certificate was issued and no register was maintained by the temple,,.
- Photographic Evidence: Photographs of the alleged ceremony were not proved according to law, as the negatives and photographer were never produced, and no independent witnesses were associated with their recovery,,.
- Improbability of the Concealment Claim
The Court found the allegation that the marriage was kept a secret from the prosecutrix’s family to be “unbelievable”,:
- Frequent Contact: The prosecutrix was a 21-year-old adult who met her mother frequently, as they lived only 50 to 250 meters apart,,.
- Hearsay Testimony: The State “gave up” the prosecutrix’s mother as a witness, leaving the claims of concealment unsupported except by hearsay evidence from other villagers,,.
- Prior Knowledge:Defense witnesses (DW-1 and DW-3) testified that the villagers and the prosecutrix herself had prior knowledge of the accused’s first marriage and children,,.
- Rejection of Rape and Conspiracy Charges
The medical evidence provided no support for the charge of forceful sexual relations,. The examining doctor (PW-3) noted that the hymen rupture was old and healed (likely more than six months old), and chemical analysis found no blood or semen in the samples,. The Court concluded that the intimacy between the parties likely developed during their shared acquaintance while the prosecutrix was pursuing her studies, rather than through criminal inducement or force, .
- Appellate Standard for Acquittal
The High Court reiterated that in an appeal against acquittal, the respondents enjoy a fortified presumption of innocence. An appellate court cannot interfere simply because a different view is possible; it must find the trial court’s judgment demonstrably perverse or unconscionable. Finding no such grounds and noting that the prosecution’s story was riddled with “natural improbabilities,” the Court dismissed the appeal and discharged the bail bonds, , .
STPL (Web) 2026 HP 305
State of Himachal Pradesh. V. Kamal Kishore &Ors. (D.O.J. 02.06.2026)
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