In the case of Rajender Singh v. State of Himachal Pradesh, the High Court of Himachal Pradesh dismissed a criminal revision petition, upholding the conviction of a bus driver for rash and negligent driving under Sections 279, 337, and 338 of the IPC,,.
- Factual Background of the Accident
The incident occurred in July 2009 when the accused, while driving a bus, overtook a Gypsy at high speed near a workshop gate in Shamshi,. In doing so, the bus hit a motorcycle coming from the opposite direction on its correct side of the road,. The accident resulted in grievous injuries to the motorcycle rider, including multiple fractures, and simple injuries to the pillion rider,,.
- Absence of a Victim’s Driving License
A primary defense raised by the accused was that the victim was a minor who did not possess a valid driving license at the time of the accident,. The court rejected this argument, establishing several key principles:
- No Presumption of Negligence: The mere absence of a driving license does not raise a legal presumption that the person was negligent or did not know how to drive,,.
- Conduct vs. Status: A driver’s conduct must be judged by their actual actions on the road rather than their licensing status,,.
- Proximate Cause: The court found that the lack of a license did not contribute to the accident; rather, the proximate cause was the accused’s decision to drive on the wrong side of the road while overtaking,,.
- Negligence and Statutory Breaches
The court ruled that the accused committed a clear breach of the Rules of the Road Regulations, 1989,.
- Improper Overtaking: Under Rule 6, a driver must not overtake another vehicle on a curve or when it is likely to cause danger to traffic coming from the opposite direction,,.
- Wrong Side Driving: Evidence from the site plan confirmed the bus was on the extreme right (wrong) side of the road at the time of impact,,. The court noted that driving on the wrong side of the road inherently constitutes negligence,.
- Evidentiary Standards in Criminal Trials
The court addressed the accused’s contention that the prosecution failed to examine independent witnesses despite the accident occurring on a busy road,.
- Quality over Quantity: The court reaffirmed that the law of evidence prioritizes the quality and credibility of witnesses over their numerical quantity,,.
- No Adverse Inference: An adverse inference is not drawn simply because a “repetitive” witness is dropped or if the existing injured eyewitness testimony is robust, consistent, and corroborated by a site plan,,,.
- Rejection of Probation and Final Sentence
The High Court refused to grant the accused the benefit of the Probation of Offenders Act, citing Supreme Court precedents that emphasize deterrence in road accident cases, The court held that professional drivers must maintain constant attentiveness and that benevolent provisions should not typically apply to those convicted of callous driving,,.
Consequently, the court maintained the sentence of six months of simple imprisonment for the most serious offense (Section 338 IPC), ruling that it was not excessive given the grievous nature of the victim’s injuries,,, .
STPL (Web) 2026 HP 253
Rajender Singh V. State of H.P. (D.O.J. 25.05.2026)
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