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State of Himachal Pradesh v. Asha Ram
RatioConviction can be based on the sole testimony of the child survivor. Corroboration of the child survivor’s testimony is only a general prudence necessitated in certain circumstances and is not a requirement of law. Minor inconsistencies are immaterial and must not form a ground for throwing out an otherwise reliable prosecution case.
PincitesPara 5, 15-20; Page 5, 8-10
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Imran Shabbir Gauri Vs. State of Maharashtra
RatioThe court held that the concerned authorities of the State Government or Central Government will take some initiative in incorporating certain amendments under relevant laws so as to give status to Section 164 statement as that of examination-in-chief in all eventualities. The trauma that a victim has to undergo, after the incident does not stop…
PincitesPara 48; Page 13, 14
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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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State of Punjab v. Gurmit Singh
RatioCorroborative evidence is not an imperative component of judicial credence in every case of rape. If the testimony of the child is reliable and inspires confidence, courts can convict on the disposition of the child survivor alone. Supposed considerations which have no material effect on the veracity of the prosecution case or even discrepancies in…
PincitesPara 9 and 13 Page 5-7, 10
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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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Phool Singh v. State of MP
RatioConviction can be based on the sole testimony of the survivor, without any further corroboration, provided the testimony is found reliable and trustworthy. Even in the absence of any external or internal injuries on the person of the survivor, the conviction can be sustained.
PincitesPara 4-11, Pages 3-11
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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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Ganesan v. State
RatioIn cases where the child survivor is found to be worthy of credence and reliable even if other witnesses turn hostile, conviction can be based on her sole testimony. No corroboration is required.
PincitesPara 8.1-12, Pages 4-9
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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 Himachal Pradesh v. Sanjay Kumar alias Sunny
RatioThe testimony of a survivor in sexual offences cases is vital unless compelling reasons necessitate corroboration. Courts should find no difficulty to convict on the testimony of the survivor of a sexual assault alone if the testimony inspires confidence.
PincitesPara 31, Page 11