Necessity of Corroboration in Inconsistent Dying Declarations: A New Principle from SURESH v. STATE REP. BY INSPECTOR OF POLICE
1. Introduction
The Supreme Court of India, in its judgment dated March 4, 2025, in the case of SURESH v. STATE REP. BY INSPECTOR OF POLICE (2025 INSC 318), revisited the principles governing homicide trials that hinge on “dying declarations.” Traditionally, Indian courts have considered dying declarations to be highly persuasive pieces of evidence. However, in this case, the Court laid down important guidelines emphasizing that where multiple and inconsistent statements of the victim exist, independent corroboration becomes vital before a conviction can be upheld solely on the basis of these statements.
The accused, Suresh, was convicted and sentenced to life imprisonment by the Trial Court under Section 302 of the Indian Penal Code (IPC) for allegedly setting his wife on fire. This decision was upheld by the High Court of Madras. Suresh then appealed to the Supreme Court of India. The Supreme Court ultimately allowed the appeal, acquitted the accused, and underscored the need to examine the authenticity and reliability of seemingly contradictory dying declarations.
Below is an in-depth look at the background of the case, its key issues, the court’s decision, its analysis of relevant precedents, and the broader ramifications for criminal jurisprudence.
2. Summary of the Judgment
The Supreme Court granted Suresh’s appeal by setting aside the High Court’s affirmation of his conviction under Section 302 IPC. While acknowledging that dying declarations can form the basis for conviction in homicide cases, the Court clarified that, if the deceased has provided contradictory statements about the cause of death, further corroboration is indispensable.
The Court highlighted the following critical points:
- There were multiple statements by the deceased. The earliest statements (to the doctor and to the police constable) indicated that the fire occurred accidentally while cooking, whereas the subsequent judicial statement implicated the husband.
- Discrepancies remained uncorroborated by any independent evidence (e.g., no one confirmed seeing the husband pouring kerosene, and the doctor noticed no smell of kerosene on the victim’s body).
- The judgments of the Trial Court and the High Court failed to adequately consider the contradictory nature of the dying declarations or the lack of corroborative evidence to support the incriminatory statements.
- The Supreme Court found these inconsistencies sufficient to grant the accused the benefit of the doubt, highlighting that cases of conflicting dying declarations warrant close scrutiny.
3. Analysis
3.1 Precedents Cited
In reaching this decision, the Court relied heavily on established rules around “dying declarations” under Indian law. One of the key precedents referred to is Uttam v. State of Maharashtra (2022) 8 SCC 576. In that case, the Supreme Court discussed at length how multiple dying declarations must be tested for consistency and reliability. Where contradictions exist, either in the dying declarations themselves or with other portions of the prosecution case, courts should demand corroborative evidence to ward off miscarriage of justice.
In Uttam, the Supreme Court emphasized that:
“...the question that arises for consideration is as to which of the said dying declarations ought to be believed... The problem becomes all the more knotty when the dying declarations made by the deceased are found to be contradictory... the court would be expected to carefully scrutinise the evidence to find out which of the dying declarations can be corroborated by other material evidence...”
This emphasis on corroboration when the victim’s statements are inconsistent formed the backbone of the Court’s reasoning in the present case as well.
3.2 Legal Reasoning
The Supreme Court’s reasoning can be broken down into the following steps:
- Presence of Multiple and Contradictory Statements: The deceased initially told both the emergency doctor (PW-13) and the investigating policeman (PW-9) that she caught fire accidentally while cooking. Days later, she provided a statement to the Judicial Magistrate (PW-12) implying that the husband deliberately set her on fire.
- Lack of Corroboration: The Court noted that neither physical evidence (kerosene smell, visible presence of a kerosene can at the time of rescue, or external injuries indicative of a struggle) nor witness testimonies conclusively supported the accusation that the appellant deliberately ignited the victim.
- Reliance on the Dying Declaration: While reiterating the general rule that a dying declaration can be strong evidence, the Court emphasized the principle that, if the declaration is “inconsistent or suspicious,” it must be supported by additional evidence to warrant a conviction.
- Benefit of the Doubt: Confronted with contradictory evidence and the possibility of ulterior motives arising from inter-family disputes, the Court found it unsafe to convict the accused in the absence of consistent evidence. It, therefore, acquitted him.
3.3 Impact of the Judgment
This decision will have substantial bearing on how courts evaluate dying declarations in the future. Specifically, it underlines:
- Heightened Scrutiny for Contradictory Dying Declarations: Trial judges must closely scrutinize statements and look for independent corroborative evidence whenever a victim’s statements about the incident shift or conflict.
- Strengthening the Ensuring of Fairness: By reinforcing the rule that contradictory statements cannot be blindly accepted, the Supreme Court has signaled the need to protect suspects from convictions based on suspect or coached testimony.
- Guidance for Police and Prosecutors: Investigators should be meticulous in recording statements and highlight any possible reasons for inconsistencies in victim statements, as these inconsistencies can become crucial to the outcome of the case.
4. Complex Concepts Simplified
Two crucial legal concepts featured in this judgment can benefit from simplification:
- Dying Declaration: It is a statement made by a person who, given the circumstances, expects imminent death and has no motive to lie. Courts usually consider such statements highly reliable. However, if such a statement contradicts other statements by the same person, or if there is doubt about how freely it was made, its reliability drops drastically.
- Benefit of the Doubt: Under criminal law, if there remains reasonable uncertainty about an accused’s guilt after weighing all the evidence, he or she must be acquitted. This is a core principle to ensure that no individual is punished for a crime unless their guilt is proven “beyond reasonable doubt.”
5. Conclusion
In SURESH v. STATE REP. BY INSPECTOR OF POLICE (2025 INSC 318), the Supreme Court has definitively reaffirmed the importance of checking for consistency in multiple dying declarations. The Court’s ruling clarifies that where the victim’s dying declarations appear contradictory, trial courts require adequate corroboration before using such statements as the sole basis for a conviction under Section 302 IPC.
This judgment strengthens the fairness of criminal trials by providing that “benefit of the doubt” cannot be undermined merely because the prosecution claims a dying declaration exists. It ensures that an accused is not found guilty on the sole basis of changing or questionable final statements, thereby upholding both due process and the integrity of the criminal justice system.
Ultimately, this ruling is a reminder that Iaw enforcement, prosecutors, and courts must handle the fragile evidence of a dying declaration with caution and corroborate it when inconsistencies arise. By doing so, justice is served more fairly, and a higher degree of certainty is achieved in criminal adjudication.
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