In the case of Salima v. State of Himachal Pradesh (2026), the High Court of Himachal Pradesh denied a regular bail application to a woman accused of possessing a commercial quantity of charas.
The following is a summary of the judgment:
Case Background
The petitioner was apprehended by the police while driving a scooter without a number plate. During a search of the vehicle’s dicky (storage compartment), which required a mechanic to open because the petitioner claimed the lock was broken, authorities recovered a plastic bag containing 1.402 kg of charas. The petitioner sought bail under Section 483 of the BharatiyaNagarik Suraksha Sanhita (BNSS), arguing that she was falsely implicated due to a matrimonial conspiracy involving her husband and that she was unaware of the contraband’s presence.
Key Findings of the Court
The Court dismissed the bail petition based on several legal and factual considerations:
- Presumption of Conscious Possession: The Court held that since the petitioner was driving the vehicle from which the drugs were recovered, she was in “conscious possession” of the contraband. Under Sections 35 and 54 of the NDPS Act, once possession is established, the burden shifts to the accused to prove they did not have the requisite mental element (awareness), which can only be tested during a full trial.
- Rigors of Section 37 of the NDPS Act: Because the amount recovered was a commercial quantity, the strict conditions of Section 37 applied. This requires the Court to be satisfied that there are “reasonable grounds” to believe the accused is not guilty. The Court clarified that “reasonable grounds” means substantial probable causes, which were absent in this case.
- Rejection of Conspiracy and Sympathy Pleas: The Court found the petitioner’s claim of being a “scapegoat” in a pre-planned conspiracy by her in-laws to be improbable at the bail stage. Furthermore, the Court stated that sympathy for the petitioner’s two young children (aged 17 months and six years) could not override the heinous nature of the offense and its deadly impact on society.
- Bail as an Exception: Reaffirming the principle from Narcotics Control Bureau v. Kashif, the Court noted that in serious NDPS cases involving commercial quantities, “negation of bail is the rule, and its grant is an exception”.
Legal Conclusion
The Court concluded that the petitioner failed to satisfy the mandatory conditions for bail under the NDPS Act. The petition was dismissed, although the Court noted that the petitioner could approach the Special Judge again after the final investigation report (challan) is filed and the material collected is presented.
STPL (Web) 2026 HP 87
Salima V. State of Himachal Pradesh (D.O.J. 17-03-2026)






