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Supreme Court Quashes FIR and Charges Under Arms Act, Citing Lack of Evidence for Prohibited Purpose: “Prosecution Cannot Be Allowed to Improve Its Case as Set Out in the Charge-Sheet”

Supreme Court Quashes FIR and Charges Under Arms Act, Citing Lack of Evidence for Prohibited Purpose: "Prosecution Cannot Be Allowed to Improve Its Case as Set Out in the Charge-Sheet"

Supreme Court Quashes FIR and Charges Under Arms Act, Citing Lack of Evidence for Prohibited Purpose: "Prosecution Cannot Be Allowed to Improve Its Case as Set Out in the Charge-Sheet"

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Court’s Decision

The Supreme Court quashed the FIR, charge-sheet, and all related proceedings filed against the appellant under Sections 25, 54, and 59 of the Arms Act, 1959. It held that the prosecution failed to establish the required elements of the offense under the Arms Act and the DAD notification. The Court stated:

“The prosecution cannot be allowed to improve its case as set out in the charge-sheet.”

The Court declared the proceedings an abuse of the process of law and emphasized the lack of evidence to prove that the knife’s possession was for “manufacture, sale, or test.”


Facts


Issues

  1. Applicability of the DAD Notification: Whether the possession of the buttondar knife by the appellant fell within the purview of the Arms Act and the DAD notification.
  2. Prima Facie Evidence: Whether the prosecution had provided sufficient evidence to establish the required purpose (manufacture, sale, or test) to sustain the criminal charges.

Petitioner’s Arguments


Respondent’s Arguments


Analysis of the Law

The Arms Rules, 2016, and the DAD notification impose restrictions on specific knives based on their dimensions and purpose. The notification explicitly states that knives are subject to regulation only if they are:

  1. Designed for “manufacture, sale, or test.”
  2. Exceed specific dimensional thresholds (e.g., blade length of 7.62 cm and breadth of 1.72 cm).

The Court found that:

The Court reiterated that the prosecution must present basic allegations to establish the offense’s essential ingredients. Mere possession of the knife, without evidence of a prohibited purpose, is insufficient to sustain charges under the notification.


Precedent Analysis

The Court relied on established principles:

  1. Prosecution cannot improve its case beyond what is stated in the charge-sheet.
  2. Criminal proceedings should not be initiated or allowed to continue if the allegations fail to establish a prima facie offense.
  3. Abuse of the legal process must be prevented by quashing baseless proceedings.

Court’s Reasoning

  1. The charge-sheet did not allege that the knife was possessed for manufacture, sale, or test as required under the DAD notification.
  2. The notification explicitly limits liability to specific purposes of possession. General possession does not constitute an offense.
  3. The High Court erred in dismissing the petition without addressing these critical issues, leading to a miscarriage of justice.

The Supreme Court observed:

“There is not even a whisper that the possession of the knife was for the purpose of sale or test. The prosecution cannot be allowed to improve its case.”


Conclusion

The Supreme Court quashed FIR No. 477 of 2022, the related charge-sheet, and all proceedings initiated against the appellant under Sections 25, 54, and 59 of the Arms Act. It declared the proceedings an abuse of the legal process, reiterating that the absence of allegations about the purpose of possession invalidated the charges.


Implications

  1. Prevention of Misuse of Prosecution Powers: The judgment reinforces the requirement for clear and specific allegations to sustain criminal proceedings.
  2. Protection of Individual Rights: The ruling safeguards individuals from baseless criminal charges where prosecution fails to meet the essential elements of the alleged offense.
  3. Judicial Oversight: The decision underscores the judiciary’s role in ensuring that criminal cases are not pursued on vague or insufficient grounds.

Also Read – Himachal Pradesh High Court Upholds Interim Bail in Sharp Weapon Assault Case and states that “Custodial Interrogation Not Justified”

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