The case of Hem Raj Thakur v. State of Himachal Pradesh involves the quashing of a criminal complaint regarding sub-standard drugs, primarily focusing on the legal protections for licensed traders and the necessity of impleading companies in criminal prosecutions.
Factual Background
In January 2009, a Drug Inspector sampled Chlorpheniramine Maleate tablets from a retail medical store in Hamirpur. Laboratory analysis revealed the drug was “not of standard quality,” containing only 37.25% of the active ingredient instead of the required 95%–105%.
The supply chain was traced from the retailer to a wholesaler, then to M/s Generica India Limited (a trading/stockist firm where the petitioner, Hem Raj Thakur, was the Authorized Signatory), and finally to the manufacturer, M/s Legen Healthcare. A criminal complaint was subsequently filed against individuals including the petitioner.
Key Legal Issues
The petitioner sought to quash the proceedings under Section 528 of the BharatiyaNagarik Suraksha Sanhita (BNSS), 2023, based on two main legal grounds:
- Trader Immunity (Section 19(3) of the Drugs and Cosmetics Act): A licensed trader or stockist who is not the manufacturer is protected from liability if they acquired the drug from a licensed source under a valid invoice, stored it properly, and had no reason to know it was sub-standard.
- Vicarious Liability and Company Impleadment (Section 34): For an individual officer to be held liable for an offense committed by a company, the company itself must be arrayed as an accused.
The High Court’s Findings
Justice Sandeep Sharma quashed the complaint against the petitioner based on the following determinations:
- Statutory Immunity: The court found that M/s Generica India Limited was a licensed stockist that purchased the drug from a licensed manufacturer via a valid invoice. There was no evidence suggesting the drug was stored improperly or that the petitioner knew it was sub-standard.
- Fatal Procedural Lapse: The Drug Inspector failed to implead the companies (M/s Generica India Limited and M/s Legen Healthcare) as accused in the complaint.
- Binding Precedents: Citing Supreme Court rulings like AneetaHada v. Godfather Travels, the court emphasized that prosecuting company officials without prosecuting the company itself is legally impermissible under the doctrine of vicarious liability.
- Abuse of Process: The court concluded that continuing the trial against the petitioner alone would be a “futile exercise” and an abuse of the process of law, as the prosecution was bound to fail due to these legal and procedural defects.
The petitioner was discharged, and the proceedings against him were set aside.
STPL (Web) 2026 HP 172
Hem Raj Thakur V. State Of Himachal Pradesh (D.O.J. 02.04.2026)
Loading Viewer...






