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Billu VS State of Punjab - 2002 0 Supreme(SC) 2383 : The court emphasized the importance of medical evidence in determining the nature of injuries sustained by the victim, particularly in distinguishing between culpable homicide and grievous hurt under Section 326/34 of the Indian Penal Code. The judgment explicitly states that the court considered medical evidence and the circumstances of the case to conclude that the accused were not liable for culpable homicide but were guilty of causing grievous hurt with deadly weapons. This demonstrates that a doctor''''s evidence—specifically, medical reports and expert testimony on the nature and cause of injuries—is crucial in establishing whether the injuries amount to grievous hurt under Section 326 IPC, which directly impacts the conviction and sentencing.Checking relevance for Hardial Singh VS State Of Punjab...
Checking relevance for RAJU @ RAJKUMAR S/o NARAYAN GUPTA VS STATE OF MADHYA PRADESH...
RAJU @ RAJKUMAR S/o NARAYAN GUPTA VS STATE OF MADHYA PRADESH - 2022 0 Supreme(MP) 568 : Medical evidence plays a crucial role in cases under Section 326 of the Indian Penal Code, as it supports the classification of injuries as grievous under Section 320 of the IPC. In the case at hand, the court relied on medical evidence to establish that the injuries inflicted with a sword constituted grievous injury, which was essential for conviction under Section 326 IPC. The medical reports, along with injured witness testimony and evidence from the investigating officer, formed the basis of the conviction, demonstrating that medical evidence is a key component in proving the severity of injuries required for prosecution under Section 326 IPC.Checking relevance for Kanai Tudu VS State Of West Bengal...
Kanai Tudu VS State Of West Bengal - 2022 0 Supreme(Cal) 444 : In cases under Section 326 IPC, the evidence of a doctor (medical evidence) plays a crucial role in determining whether grievous hurt has been caused. The Supreme Court has held that when the eye-witness version is supported by medical evidence—particularly expert medical evidence showing a clear fracture visible to the naked eye—the court would not be justified in acquitting the accused. Furthermore, detailed and categorical medical testimony, including medical certificates documenting injuries, is considered highly probative and can sustain a conviction under Section 326 IPC. The court emphasized that medical evidence, especially when it makes ocular testimony improbable or rules out the possibility of the witness''''s account being true, can lead to disbelieving the eye-witness testimony. Thus, doctor''''s evidence is not only important but can be decisive in establishing the charge of grievous hurt under Section 326 IPC.Checking relevance for Hanamanth @ Basavaraj, S/o Hanamanth Chavan vs State Through Gurumitkal PS...
Hanamanth @ Basavaraj, S/o Hanamanth Chavan vs State Through Gurumitkal PS - 2025 0 Supreme(Kar) 180 : Under Section 326 IPC, the prosecution bears the burden of proof and must provide substantive medical documentation to support allegations of grievous injury to sustain a conviction. The absence of corroborative medical evidence, such as original radiological reports, renders a conviction under Section 326 IPC unsustainable, leading to a reduction of charge to Section 324 IPC. Thus, doctor''''s evidence—particularly substantive medical documentation—is essential for establishing grievous injury under Section 326 IPC.Checking relevance for Tirath Prasad Chaudhary S/o Nandlal Chaudhary VS State Of Chhattisgarh...
Tirath Prasad Chaudhary S/o Nandlal Chaudhary VS State Of Chhattisgarh - 2024 0 Supreme(Chh) 367 : The court relied on medical evidence, along with witness testimonies from the complainant, his wife, and daughter, to establish the guilt of the applicant under Section 326 of the IPC. This demonstrates that medical evidence plays a crucial role in proving the nature and extent of injuries sustained, which is essential for conviction under Section 326 IPC, which deals with voluntarily causing grievous hurt.