Narcotic Drugs and Psychotropic Substances Act, 1985, Section 20, 37 – NDPS – Bail – Commercial Quantity – Prosecution Evidence – Hostile Witnesses
The petitioner contended that he was falsely implicated and sought bail due to the delay in trial. The prosecution argued against bail, asserting that the petitioner was found with a significant quantity of charas, thus invoking the stringent provisions of Section 37 of the NDPS Act.
The Court deliberated on the parameters for granting bail as outlined by the Supreme Court, emphasizing the need for prima facie satisfaction of the court, reasonable grounds to believe the accused is not guilty, and considerations of public safety. Citing precedents, the Court underscored the seriousness of NDPS offences and the necessity for stringent bail conditions.
Furthermore, the Court addressed the issue of hostile witnesses, affirming that their testimony, even if contradictory, could be considered alongside other evidence. The presence of hostile witnesses does not inherently invalidate the prosecution’s case.
Concluding, the Court held that the petitioner’s possession of a commercial quantity of charas warranted denial of bail under Section 37 of the NDPS Act. The petition was dismissed, emphasizing that observations made were confined to the disposal of the petition and did not prejudice the merits of the case. (Para 7, 10, 15)
HIGH COURT OF HIMACHAL PRADESH
2023 STPL(Web) 383 HP
[-]
Suraj Kumar Alias Janu Vs. State Of Himachal Pradesh
Cr. MP (M) No. 2844 of 2023-Decided on 8-12-2023
https://stpllaw.in/wp-content/uploads/2024/05/2023-STPLWeb-383-HP.pdf