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State of Rajasthan v. N.K
RatioConvictions for rape can be founded solely on the testimony of the survivor, without the need for corroboration. However, if the court finds the testimony insufficiently credible on its own, it may seek additional evidence to bolster the survivor's account. A survivor's testimony under oath should be believed unless the testimony is such as would…
PincitesPara 11, 19 Page 39,42-44
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Smruti Tukaram Badade V. State of Maharashtra & Anr.
RatioThe Court recognised the need and importance of setting up facilities that create a safe environment for recording the evidence of vulnerable witnesses. It provided directions for the setting up of centres for vulnerable witnesses (including minors). It was clarified that the definition of “vulnerable witness” contained in Clause 3(a) of the ‘Guidelines for Recording…
PincitesPara 5; Pages 2, 3
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Vijay Kumar v. State of Himachal Pradesh
RatioConvictions can be sustained on the sole testimony of the child survivor when found cogent and reliable, and corroboration is not necessary.The testimony of the child survivor of a sex related offence must be given the same evidentiary value as that to an injured person in cases of physical violence.
PincitesPara 13, 18; Page 4, 5
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Eera Vs. State (Govt. of NCT of Delhi) and Ors.
RatioThe Court held that the sanguine purpose is to safeguard the interest and well-being of the children at every stage of the judicial proceeding. It should provide for a child-friendly procedure and the atmosphere as commanded by the provisions of the POSCO Act has to be congenial. The protection of the dignity of the child…
PincitesPara 23; Page 23
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Attorney General of India and Ors. v. Satish and Ors.
RatioWhile sexual intent under S. 8 POCSO is a question of fact, the Court is entitled to raise the presumption under S. 30 POCSO with regard to the culpable state of mind of the accused when the court is satisfied with the existence of a fact beyond reasonable doubt.
PincitesPara 36-37, 42; Page 15, 17
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In Re Children in Street Situation
RatioThe Court recognized the difficulties of survivors of trafficking with respect to travelling long distances for the purpose of giving evidence in trial courts, especially during the COVID-19 Pandemic and adopted a Standard Operating Procedure (‘SOP’) for the effective recording of the child’s testimony through video conference. The SOP suggested that testimony of children, who…
PincitesPara 4 and 9; Page 4, 5 and 7
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Pappu v. State of Uttar Pradesh
RatioWhere foundational facts have been established, the presumption under section 29 POCSO becomes operational and the accused is bound to rebut the presumption.
PincitesPara 32; Page 39 & 40.
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Sakshi v Union of India
RatioThe Supreme Court issued directions for vulnerable witnesses in cases of sexual assault. The guidelines state that in holding a trial in the case of child sex abuse or rape: (i) a screen or some such arrangements may be made where the victim or witnesses do not see the body or face of the accused;…
PincitesPara 34; Page 28
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State of Maharashtra v Bandu @ Daulat
RatioThe court reiterated the guidelines laid down in Sakshi v Union of India and mandated their implementation by January 2018. It emphasized the necessity of creating a conducive environment for vulnerable witnesses to provide their statements with special guidelines for child survivors of sexual abuse. It directed that special centres for the examination of vulnerable…
PincitesPara 11, 12; Page 3, 4
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Lalsuonglien and Ors. v. State of Manipur
RatioThe child may have a parent or other trusted person present at the time of testifying and can call for assistance from an interpreter, special educator, or other professional while giving evidence. Further, the Court held that the child is not to be called repeatedly to testify in Court and may testify through a video…
PincitesPara 2, 15, 17, 19, 22; Page 1, 3, 4