Summary and Analysis of Konde Nageshwara Rao vs A. Srirama Chandra Murty & Anr
1. Heading of the Judgment
Konde Nageshwara Rao vs A. Srirama Chandra Murty & Anr.
Supreme Court of India
Criminal Appeal No. 555 of 2018
Decision Date: 23 July 2025
2. Related Laws & Sections
Code of Criminal Procedure (CrPC):
Section 482: Inherent powers of High Court to quash criminal proceedings.Scheduled Castes and Scheduled Tribes (Prevention of Atrocities) Act, 1989 (SC/ST Act):
Section 3(1)(viii): Wrongful occupation of land meant for SC/ST beneficiaries.
Section 3(1)(ix): Wrongful dispossession of land from SC/ST persons.
Section 3(2)(vii): Public servant willfully neglecting duties under the Act.
3. Basic Judgment Details
AspectDetailsAppellantKonde Nageshwara Rao (government employee, SC community member).RespondentsA. Srirama Chandra Murty (Sub-Inspector, deceased) & Mandal Revenue Officer (MRO).Lower Court OrderHigh Court quashed SC/ST Act proceedings against respondents (2014).Key IssueWhether criminal proceedings under SC/ST Act against public servants were legally valid or malicious.OutcomeSupreme Court upheld High Court's order quashing proceedings.
4. Explanation of the Judgment
A. Background of the Case
Land Allotment Dispute (1995):
Appellant objected to MRO (Respondent No. 2) allotting plots reserved for SC/ST communities to upper-caste relatives of a theatre owner (Accused No. 3).False Implication:
In retaliation, the appellant was falsely implicated in a criminal case about a clash between two SC groups in Kothamalapalli village (Crime No. 40/1995).
He was suspended from his government job but later exonerated when proven absent during the incident.Complaint Under SC/ST Act:
After his exoneration, the appellant filed a complaint (2003) against the MRO, SI, and theatre owner under SC/ST Act for conspiracy, humiliation, and harassment.
Police investigation supported the complaint, leading to charges (PRC No. 25/2004).
B. High Court's Decision (2014)
The High Court quashed the SC/ST Act proceedings against the respondents under Section 482 CrPC, stating:
No evidence of caste-based malice.
The criminal case against the appellant involved an intra-SC group clash (not caste-based persecution).
The MRO acted on government instructions, not maliciously.
The complaint was delayed by 8 years (1995 incident → 2003 complaint), making it unreliable.
C. Appellant's Arguments in Supreme Court
Excessive Use of Section 482 CrPC:
High Court overstepped by examining evidence (39 witnesses) instead of letting the trial court decide.Strong Prima Facie Case:
Investigation proved conspiracy and wrongful implication under SC/ST Act.
D. Respondents' Arguments
No Malice:
MRO followed government orders for land allotment; departmental proceedings against him were dropped.Delay and Motive:
The 2003 complaint was a vendetta for the appellant's earlier exoneration.Intra-Caste Clash:
The original criminal case involved two SC groups – no caste-based malice existed.
E. Supreme Court's Key Findings
No Caste-Based Malice:
"The SC/ST Act applies only if crimes are committed because of the victim's caste." Here, the appellant’s false implication stemmed from a land dispute, not caste hatred.Delay Undermines Credibility:
Waiting 8 years to file a complaint raised doubts about its genuineness.Public Servants Acted Officially:
MRO and SI performed duties as per superiors’ orders; no proof of personal grudge.Misuse of SC/ST Act:
Citing Masumsha Hasanasha Musalman v. State of Maharashtra (2000): The Act cannot be weaponized for personal vendettas.
Citing Dr. Subhash Kashinath Mahajan v. State of Maharashtra (2018): False SC/ST cases against public servants must be quashed early to prevent harassment.
F. Final Ruling
Proceedings Quashed: Supreme Court upheld the High Court’s order, dismissing the appeal.
Critical Message: While the SC/ST Act protects marginalized communities, it cannot be misused to settle personal scores or harass public servants.
Key Takeaways
Quashing Power (Section 482 CrPC): High Courts can halt proceedings if allegations lack legal merit or show malice.
SC/ST Act Misuse: Courts must intervene when the Act is exploited for vengeance, not justice.
Delay Matters: Unexplained delays in filing complaints weaken the prosecution’s case.




























