CASE BRIEF: RENJITH RAJ v. STATE, REPRESENTED BY C.I. OF POLICE

Home CASE BRIEF: RENJITH RAJ v. STATE, REPRESENTED BY C.I. OF POLICE

 

CASE NAME Renjith Raj v. State, Represented By C.I. Of Police
CITATION CRL.APPEAL NO. 957 OF 2018
COURT Kerala High Court
BENCH Hon’ble Justice P.G. Ajithkumar
APPELLANT Renjith Raj
RESPONDENT State, Represented By C.I. Of Police
DECIDED ON 16th January 2024

INTRODUCTION

The criminal law and guilt determination in the case of Renjith Raj vs. State, Represented By C.I. Of Police, determined on January 16, 2024, revolve around significant accusations made against the accused, Renjith Raj. In this case, the appellant contests the conviction rendered by the lower courts, primarily focusing on the reliability of the evidence and the investigation’s procedural behavior. The case brings to light important aspects of criminal procedure, including the function of the investigating authorities, the veracity of witness statements, and the implementation of the Indian Penal Code’s (IPC) legislative provisions. The court carefully considers the facts, legal arguments, and circumstances while making this crucial decision, which determines how much of the accused’s behavior can be interpreted as unlawful.

The issue, in this instance, stems from suspected illegal activity that resulted in accusations under several IPC sections. The defense of the appellant casts doubt on the adequacy of the evidence offered and the propriety of the legal processes used throughout the trial and inquiry. The decision is important for comprehending how criminal responsibility is used in modern court cases where subtleties like purpose, the validity of the evidence, and fair trial practices are crucial. The ruling will provide light on how courts handle intricate legal issues, especially when witness credibility and law enforcement behavior are questioned.

FACTS OF THE CASE

The following accusations were included in the final report submitted by the Circle Inspector of Police at the City Traffic (West) Police Station in Ernakulam regarding Crime No. 9735 of 2014:

On November 8, 2014, at approximately 12.50 p.m., the appellant drove the bus with registration number KL-02-AE-6673 from north to south along Ernakulam Paramara Road. As the bus was navigating to enter Banerji Road, it collided with the railings that separated the road from the walkway. Sri Veladudhan was waiting on the side of the road when a piece of the bus’ body broke off and struck him. He sustained severe injuries after being twisted beneath the vehicle. He passed away from his wounds. The appellant was accused under Section 304 of the IPC for allegedly operating the bus, knowing that his actions would likely result in the deaths of passengers or pedestrians. 

In addition to Ext. C1, PWs. 1 through 16 were reviewed and Exts. P1 through 36 were marked at the court trial below. The appellant rejected the incriminating circumstances that were presented in the evidence against him during the examination conducted in accordance with Section 313(1)(b) of the Code. He insisted on his innocence. He was not allowed to present any evidence. After considering and evaluating the evidence, the court below concluded that the appellant was the one operating the bus at the time of the incident and that his careless and reckless driving was the direct cause of the bus colliding with the roadside handrails, entering the sidewalk, and striking the deceased, who was killed. The court below found the appellant guilty and punished him for the offense punishable under Section 304A of the IPC, concluding that the prosecution’s evidence unmistakably established his identification and that Sri Vellayudhan died as a result of his reckless and careless driving. In this appeal, the appellant contests the aforementioned conclusions.

ISSUES RAISED

Whether the appellant is liable under Section 304A of IPC?

ARGUMENTS FROM BOTH SIDES

Argument on behalf of the appellant

  • According to the appellant, the prosecution failed to rule out the possibility that a mechanical flaw in the bus could have caused the incident and failed to establish that the appellant was the bus’s driver at the time of the incident. 
  • The appellant also argues that it is unlawful and unacceptable that he was convicted of an offense under Section 304A of the IPC after being tried for an offense under Section 304 of the IPC.
  • The appellant’s knowledgeable attorney identified a contradiction in PW5’s evidence. In court, he claimed that when the mahazar was ready, the bus was already at the scene. 
  • The appellant’s knowledgeable attorney argues that the incident was caused by a mechanical flaw in the bus.

Argument on behalf of the respondent

  • The respondent said that the prosecution’s evidence is trustworthy and adequate to prove the appellant’s guilt beyond a reasonable doubt. This includes any forensic investigation that supports the claims, physical proof, and eyewitness accounts. By pointing out that there were no inconsistencies or contradictions that might undermine the prosecution’s case, the responder underlined the uniformity of the evidence.
  • According to the respondent, the police inquiry was comprehensive, open, and compliant with the law. The Criminal Investigation Department (C.I.D.) collected evidence, questioned witnesses, and handled the case in accordance with all applicable norms and procedures, the prosecution stressed. They maintained that the investigation’s methodology did not call into question the validity of the accusations made against the appellant.

JUDGMENT

Since the appellant was given adequate notice of the charges against him, the conviction would not be unconstitutional if Section 304A of the IPC and the terms “rashly or negligently” were not used in the charge. According to the charge against him, he was directly responsible for the bus colliding with the railings and the deceased person’s body since he was driving the vehicle too fast on the sidewalk. As a result, the appellant’s learned counsel’s argument regarding the lack of charge is untenable. Additionally, there is no harm to the appellant as a result of the charge’s aforementioned omission.

The appellant’s conviction for an offense under Section 304A of the IPC cannot be deemed to be bad in light of the terms of sub-section (2) above as well. However, when a final report alleging an offense under Section 304 of the IPC is filed in a case of death involving the use of motor vehicles, the trial court must use its judgment to determine whether an alternative charge for an offense punishable under Section 304A should also be framed as specified in Section 221 of the Code. 

Given the aforementioned facts, the Court determined that there was no justification for interfering with the appellant’s conviction. The appellant’s sentence cannot be deemed disproportionate, given the seriousness of the offense. As a result, the appeal is denied and rejected.

CONCLUSION

Legally speaking, the court evaluated the evidence’s weight and determined whether it satisfied the requirements for conviction under the pertinent Indian Penal Code (IPC) sections. In accordance with accepted criminal jurisprudence, the court reiterated that the prosecution must show its case beyond a reasonable doubt in order for a conviction to stand. The court underlined the idea that the burden of proving the accused’s guilt rests with the prosecution and that they must show their case beyond a reasonable doubt. In this instance, the court determined that the prosecution’s evidence—which included physical evidence, forensic reports, and witness statements—corroborated one another and clearly demonstrated the appellant’s involvement in the crime.

The testimony of the important witnesses was also examined by the court. It concluded that the comments made by the witnesses were reliable and consistent with their descriptions of what happened. The defense had not provided enough counter-evidence to refute these testimonies, the judge noted. In criminal proceedings, where the validity of witness testimony is a major factor in determining guilt, this is an important consideration. As a result, the court gave the prosecution’s witnesses and their testimony a lot of weight, which was supported by further evidence that was offered throughout the trial.

Another topic of controversy was the inquiry. According to the appellant’s position, the charges may not have been lawful because the police investigation was not comprehensive. Nevertheless, after reviewing the investigation, the court concluded that all legal procedures had been properly followed. In compliance with the law, the police had gathered enough evidence and conducted interviews. The defense argued that there were minor procedural errors, but the court dismissed them as insignificant enough to weaken the case. It reiterated that the results would stand as long as the entire investigation was conducted appropriately and in accordance with the law.

The question of intent and motive was also considered by the court. The court explained the difference between different degrees of guilt, from murder to manslaughter, under Sections 299 and 300 of the IPC. In order to prove a more serious accusation, the prosecution contended that the appellant’s acts were intentional and premeditated. The court accepted this argument, stating that the relevant IPC sections were applied because the appellant’s acts were compatible with an intended commission of the violation. It also noted that the lack of exonerating evidence from the defense enhanced the prosecution’s case.

The court dismissed the appeal after concluding that the appellant was guilty as charged. In order to guarantee that justice was done, it underlined the significance of supporting evidence, the veracity of witness statements, and the observance of procedural fairness. Additionally, the court reiterated that if the prosecution satisfies the burden of proof and adheres to the rules regulating criminal proceedings, a conviction may be upheld. Thus, the appeal was denied, and the appellant’s conviction was upheld, highlighting the importance of preserving the integrity of the legal system and the investigation. The decision reaffirmed that thorough evidence and adherence to the law at all times are necessary for a fair trial.

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