In the case of Ramesh v. The H.P. State Co-operative Agriculture & Rural Development Bank Ltd. (2026), the High Court of Himachal Pradesh ruled that a criminal appeal involving personal liberty cannot be dismissed for default or want of prosecution due to the non-appearance of the appellant or their counsel.
The following is a summary of the judgment:
Case Background
The petitioner, Ramesh, had filed a criminal appeal under Section 415 of the BharatiyaNagarik Suraksha Sanhita (BNSS) against a lower court judgment. On November 29, 2025, the learned Additional District Judge dismissed the appeal “in default” because neither the petitioner nor his counsel appeared when the case was called multiple times. The petitioner approached the High Court seeking to set aside this dismissal and restore the appeal.
Key Findings of the Court
The High Court set aside the dismissal based on the following constitutional and legal principles:
- Violation of Article 21: The Court held that dismissing a criminal appeal for non-appearance violates the right to life and personal liberty guaranteed under Article 21 of the Constitution. Liberty must be adjudicated through a fair, reasonable, and just procedure, which requires a decision on the merits of the case rather than a summary dismissal.
- Negligence of Counsel: Relying on the Supreme Court precedent in Md. Sukur Ali v. State of Assam, the Court emphasized that an accused should not suffer for the fault or negligence of their counsel. The “guiding hand of counsel” is considered a constitutional necessity for a fair hearing.
- Mandatory Alternatives to Dismissal: The Court noted that if an appellant or their counsel fails to appear, the appellate court is duty-bound to take one of the following actions instead of dismissing the case:
- Adjourn the matter to a later date.
- Issue fresh notice to the appellant or their counsel.
- Appoint an Amicus Curiae (legal aid counsel) to represent the accused and argue the case on its merits.
- Duty of the Court: The Court reaffirmed that judicial obligation requires ensuring proper legal representation to serve the ends of justice, as a layman often lacks the skill to establish their innocence without professional aid.
Legal Conclusion
The High Court concluded that the order dismissing the appeal was legally unsustainable. Consequently, the Court quashed the dismissal order and restored the appeal to its original number and position. The parties were directed to appear before the lower appellate court on April 30, 2026, to proceed with the case on its merits.
STPL (Web) 2026 HP 84
Ramesh V. The H.P. State Co-Operative Agriculture & Rural Development Bank Ltd. (D.O.J. 16-03-2026)






