In State of H.P. vs. Davinder Kumar &Ors., the High Court of Himachal Pradesh upheld the acquittal of respondents charged with assault, ruling that the material concealment of the initial version of an incident by investigating agencies renders the entire prosecution case suspect. The Court established that where a case and a counter-case arise from the same incident, it is a “settled legal obligation” for the police to investigate both impartially and bring both versions to the court’s notice to avoid conflicting findings. Highlighting the importance of crime-scene forensics, the Court held that the total failure to seize blood-stained soil or stones from an alleged site of a heavily bleeding injury—especially amidst long-standing civil litigation between parties—dismantles the credibility of eyewitness accounts and supports a verdict of acquittal.
- Factual Background and Trial History
The case originated from an incident on September 7, 2005, where the informant (Neeraj Thakur) and another witness (Naveen Kumar) were allegedly restrained and beaten by the accused near the informant’s house. It was claimed that when the victim, Ajay Pal Singh, arrived to help, the accused struck him on the head with a stick, causing a heavily bleeding injury. The Trial Court initially convicted the accused under Sections 341, 323, 325, and 506 read with Section 34 of the IPC, but this was subsequently set aside by the First Appellate Court due to material contradictions and procedural lapses.
- Concealment of the Earliest Narrative
The High Court identified a critical discrepancy regarding the “genesis” of the FIR. While the prosecution presented a written application from the informant (Neeraj) as the basis for the case, the official police application for the victim’s medical examination recorded that the victim (Ajay Pal) himself had visited the station to lodge the complaint earlier. The Court held that by suppressing this initial version, the police concealed the earliest narrative of the event, making the subsequent prosecution version highly suspicious.
- Failure to Address Cross-Cases
The Court noted that a counter-FIR (No. 187/2005) had been registered against the informant’s party regarding the same incident, yet the Investigating Officer admitted to not investigating it.
- Legal Obligation: The Court ruled that a case and a counter-case are two versions of the same event and must be verified by the same Investigating Officer.
- Preventing Miscarriage of Justice: Failure to bring both FIRs to the trial court’s notice prevents the court from culling truth from falsehood and risks conflicting judicial findings.
- Material Contradictions in Eyewitness Testimony
The testimonies of the “star” witnesses, Neeraj (informant) and Ajay Pal (victim), failed to corroborate each other on material particulars:
- Inconsistent Site of Incident: The informant claimed the attack happened where their motorcycle was restrained, while the victim alleged he was struck near the gate of the house.
- Contradictory Arrival: The witnesses differed on how and why the victim arrived at the scene, further eroding the reliability of the eyewitness accounts.
- Absence of Forensic Corroboration
Despite medical evidence proving the victim suffered a “heavily bleeding” head injury, the Investigating Officer failed to seize any blood-stained soil or stones from the alleged crime scene. The Court observed that given the significance of forensics in cases involving hostile relations, the total absence of blood traces at the claimed site made it doubtful that the incident occurred where the prosecution alleged.
- Enmity as a “Double-Edged Weapon”
The evidence established that the parties were embroiled in active civil litigation. The Court reiterated that while enmity can be a motive for a crime, it also provides a potent motive for false implication. Under the “rule of caution,” the Court is bound to scrutinize the testimonies of “interested witnesses” with deep care to rule out malicious prosecution.
- Scope of Interference in Acquittals
The High Court reaffirmed that it would only interfere with an acquittal if the judgment suffered from patent perversity or material misreading of evidence. Since the First Appellate Court had taken a “possible and reasonable view” based on the systemic failures of the investigation and witness contradictions, the High Court refused to overturn the verdict.
Final Outcome
Finding that the prosecution failed to prove its case beyond a reasonable doubt, the High Court dismissed the appeal and upheld the acquittal of the respondents.
STPL (Web) 2026 HP 351
State of H.P. V. Davinder Kumar &Ors. (D.O.J. 25.06.2026)
Loading Viewer...





