Reginamary Chellamani v. State rep. by Superintendent of Customs

 Prolonged incarceration of an undertrial under the NDPS Act, coupled with parity with a co-accused already enlarged on bail, justifies grant of regular bail notwithstanding seizure of commercial quantity; trial courts must scrupulously secure the accused’s right to legal representation.

 

Background

The appellant was arrested in connection with an NDPS prosecution arising out of seizure of contraband allegedly exceeding commercial quantity. She was charged under s. 8(c) read with ss. 20(b)(ii)(C), 22(c), 23, 28 & 29 NDPS Act, and s. 135 Customs Act. Her application for regular bail was rejected by the Madras High Court. By the time the appeal was considered, the appellant had remained in custody for over four years. A co-accused travelling on the same flight had already been granted bail by the Supreme Court.

 

Issues Framed

1. Whether prolonged pre-trial incarceration can justify grant of regular bail in NDPS cases involving commercial quantity.
2. Whether parity with a similarly placed co-accused is a relevant consideration for grant of bail.
3. Whether trial courts are under a duty to ensure and record compliance with the accused’s right to legal representation.
 

Court’s Reasoning

(i) Length of Incarceration and Bail under NDPS Act

The Court noted that the appellant had undergone incarceration of 4 years, 1 month and 28 days as an undertrial. Without entering into the merits of the allegations or the rigoursordinarily applicable under s. 37 NDPS Act, the Court held that the duration of custody was a significant factor warranting reconsideration of bail at this stage, particularly when trial was still pending.

(ii) Principle of Parity

A decisive factor was that an identically situated co-accused, apprehended on the same flight, had already been granted bail by the Supreme Court. Denial of similar relief to the appellant would offend parity and consistency in judicial approach. On this ground alone, the Court found it appropriate to extend the same benefit.

(iii) Conditional Bail and Safeguards

While allowing bail, the Court emphasised that the relief was purely interim and conditional, directing that stringent terms be imposed by the trial court, including surrender of passport, cooperation with trial, and avoidance of unnecessary adjournments. The trial court was also directed to endeavour to conclude the trial expeditiously.

(iv) Right to Legal Representation

The Court made significant procedural observations regarding the appellant’s initial failure to cross-examine witnesses, which occurred before she engaged her own counsel. The Court underscored that trial courts are duty-bound to:

• Inform the accused of their right to legal representation and legal aid,
• Record the offer made, the accused’s response, and the action taken, before commencing examination of witnesses.

This safeguard was held to be mandatory and to be followed scrupulously in criminal trials.

(v) Institutional Directions

Recognising the systemic importance of this safeguard, the Court directed that its order be circulated to the Chief Justices of all High Courts, so that appropriate instructions are issued to trial courts within their respective jurisdictions.

 

Decision 

The appeal was allowed. The High Court’s order denying bail was set aside, and the appellant was directed to be released on regular bail on stringent conditions fixed by the trial court. 

 

Ratio

In NDPS prosecutions, prolonged undertrial incarceration and parity with a similarly placed co-accused constitute valid grounds for grant of regular bail, notwithstanding involvement of commercial quantity, and trial courts must mandatorily secure and record compliance with the accused’s right to legal representation before proceeding with evidence.

 

Case Details

• Citation: 2026 INSC 127
• Decided on: 05 February 2026
• Court: Supreme Court of India
• Bench: Sanjay Kumar, J.; K. Vinod Chandran, J.

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