Delhi HC: Woman's Right to a Shared Household Does Not Allow Indefinite Occupation of In-Laws' Home  ||  Delhi HC: Director Disputes in a Company Do Not Qualify as Genuine Hardship to Delay ITR Filing  ||  Delhi HC: ECI Cannot Resolve Internal Disputes of Unrecognised Parties; Civil Court Must Decide  ||  Bombay High Court: Senior Citizens Act Cannot be Misused to Summarily Evict a Son  ||  Chhattisgarh HC: Service Tax Refund Can't Be Denied on Limitation When Payment Was Made During Probe  ||  Supreme Court: If Tribunal Ends Case For Unpaid Fees, Parties Must Seek Recall Before Using S.14(2)  ||  SC: Article 226 Writs Jurisdiction Cannot be Used to Challenge Economic or Fiscal Reforms  ||  Supreme Court: Hostile Witness Testimony Can't Be Discarded; Consistent Parts Remain Valid  ||  Supreme Court: GPF Nomination in Favour of a Parent Becomes Invalid Once the Employee Marries  ||  Supreme Court: Candidate Not Disqualified if Core Subject Studied Without Exact Degree Title    

Moodley and Another vs. The State - (20 Jun 2024)

State bears the onus to prove the identity of the Accused and to dispel their alibi defence beyond reasonable doubt

Criminal

The matter involved Dinesh Moodley and Ugresen Perumal who were convicted of murder and sentenced to 25 years in prison on 6 September 2019 by the Gauteng Division of the High Court, Johannesburg (the high court and trial court). The conviction was based on eyewitness testimony that identified the appellants as the shooters who killed Avinash Manjanu. The appellants appealed the conviction, arguing that the identification evidence was unreliable and that they were not present at the scene of the crime. The main issue on appeal was whether the State proved the identity of the assailants beyond a reasonable doubt, particularly in light of the witnesses' prior knowledge of the appellants.

It is trite that the state bears the onus to prove the identity of the appellants and to dispel their alibi defence beyond reasonable doubt. In the circumstances, it is not sufficient for the witness to be honest, as the reliability of the witness must also be tested against opportunity of observation, lighting, visibility and the witnesses’ proximity to the appellant. The alibi defence raised, must be considered with other evidence in totality, together with the impression of the witnesses.

The eyewitnesses' identification of the appellants was reliable and credible, given their prior knowledge of the appellants. The witnesses had ample opportunity to observe the appellants, they knew the appellants personally, the lighting was good and the witnesses were not shaken during cross-examination. Supreme Court referred to Abdullah vs. The State, stating that the degree of previous knowledge and the opportunity for a correct identification are crucial factors in cases of identification. The appellants' alibi defence was false and that the State had proved their guilt beyond a reasonable doubt. Appeal dismissed.

Tags : CONVICTION   IDENTIFICATION   LEGALITY  

Share :        

Disclaimer | Copyright 2025 - All Rights Reserved