In the case of Damini v. State of Himachal Pradesh (2026), the High Court of Himachal Pradesh granted regular bail to a woman accused of involvement in the smuggling of a commercial quantity of charas, emphasizing that constitutional rights to liberty outweigh statutory restrictions when evidence is weak and a trial is delayed,.
The following is a summary of the judgment:
Case Background
The petitioner, Damini, had been in custody since May 29, 2025, in connection with an FIR involving Sections 21, 25, and 29 of the NDPS Act. The case originated on February 5, 2025, when police recovered 2.950 kg of charas from a vehicle occupied by two men, Roop Lal and Raj Kumar. During interrogation, Roop Lal claimed the drugs were to be delivered to the petitioner and that she had remitted ₹20,000 as an advance via UPI to his wife’s bank account,.
Key Findings of the Court
The Court decided to enlarge the petitioner on bail based on the following legal and factual considerations:
- No Direct Recovery: The Court noted that no contraband was recovered from the petitioner, nor was she present in the vehicle or traveling with the main accused at the time of the seizure,.
- Inadmissibility of Co-accused Statements: The petitioner was implicated solely on the disclosure statement of a co-accused,. Relying on the Supreme Court precedent in Tofan Singh v. State of Tamil Nadu, the Court held that a confessional statement made to a police officer cannot be the sole basis for arrest or conviction without independent corroboration,,.
- Weak Link to Conspiracy: The Court found that the ₹20,000 bank transaction was not sufficient “cogent and convincing material” to establish a criminal conspiracy or abetment at the bail stage,.
- Right to Liberty and Speedy Trial: While acknowledging the strict “twin conditions” for bail in commercial quantity cases under Section 37 of the NDPS Act, the Court ruled that these statutory bars must yield to Article 21 of the Constitution,,. Because the trial involved numerous witnesses and was unlikely to conclude soon, the Court held that prolonged pre-trial incarceration would be punitive,,.
- No Risk of Thwarting Justice: The investigation was complete, and the final police report (challan) had already been filed. The State failed to provide evidence that the petitioner was a flight risk or likely to tamper with evidence if released,.
Conclusion and Bail Conditions
The Court concluded that the petitioner was entitled to bail as the accusation appeared prima facie unsustainable at this stage,. She was ordered to be released on a personal bond of ₹75,000 with two sureties, subject to several conditions, including:
- Attending every date of the trial.
- Reporting to the SHO of the concerned police station on the second Sunday of every month.
- Not leaving the country without prior permission from the Court.
- Refraining from any further involvement in criminal offenses.
STPL (Web) 2026 HP 117
Damini V. State of Himachal Pradesh (D.O.J. 23-03-2026)
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