Summary and Analysis of Mini vs CBI/SPE Cochin
1. Heading of the Judgment
Mini vs CBI/SPE Cochin
Criminal Appeal No(s). _____ of 2025 (Arising out of SLP(Crl.) No. 11212/2022)
Supreme Court of India
Decided on August 13, 2025
Coram: Justices Manoj Misra and Ujjal Bhuyan
Citation: Mini v. CBI/SPE Cochin, (2025) INSC 980.
2. Relevant Laws and Sections
The judgment interprets:
Sections 7 and 13(1)(d) read with 13(2) of the Prevention of Corruption Act, 1988: Deal with bribery by public servants.
Section 313 of the Code of Criminal Procedure, 1973 (CrPC): Requires courts to examine the accused to explain incriminating evidence.
Principle of Benefit of Doubt: If evidence creates reasonable doubt, the accused must be acquitted.
3. Basic Case Details
Parties:
Appellant: Mini (widow of deceased convict Mohanachandran N.K.).
Respondent: Central Bureau of Investigation (CBI).
Core Charges:
The deceased accused, a clerk at Passport Office, Thiruvananthapuram, was convicted for demanding ₹500 as bribe (over ₹1000 passport fee) to expedite a passport application.
Trial Court & High Court: Convicted him based on trap evidence.
Key Issue:
Can conviction stand if the complainant turns hostile and the defense plausibly explains the incriminating circumstances?
4. Explanation of the Judgment
Prosecution Case
The complainant (PW1) alleged the accused demanded ₹500 extra for urgent passport processing.
A trap was laid: Complainant gave ₹1200 (₹1000 fee + ₹200 bribe) at the accused’s residence.
Accused was caught; tainted money recovered from him.
Defense & Trial
Complainant turned hostile: Denied bribe demand during trial.
Accused’s statement (Sec. 313 CrPC):
He received only ₹1000 (passport fee) and documents.
Was unaware that two ₹100 notes (₹200) were hidden between ₹500 notes.Trial Court ignored defense: Convicted accused based on trap evidence. High Court upheld conviction.
Supreme Court’s Reasoning
Hostile Complainant:
PW1 retracted his initial complaint, claiming a CBI employee misled him to trap the accused.
No independent proof of bribe demand.Unreliable Recovery:
₹1000 was lawful fee; only ₹200 was alleged bribe.
No evidence accused counted money or knew about extra ₹200.Defense Ignored by Lower Courts:
Accused’s explanation under Sec. 313 CrPC was plausible:
Complainant approached him via an advocate for help.
He received money assuming it was only passport fee.
Courts failed to consider this defense seriously.Benefit of Doubt:
Prosecution could not prove:
Demand of bribe.
Accused’s awareness of excess money.
Conviction set aside: Accused entitled to benefit of doubt.
Decision
Supreme Court allowed the appeal and acquitted the deceased accused.
Lower courts’ judgments set aside.
Key Quote:
"When the complainant disavows the bribe demand and the defense plausibly explains recovery, conviction cannot stand. Benefit of doubt must prevail."