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It is obvious that due to the ban imposed by the Government of India, the aforesaid application bearing the trade mark TikTok cannot be used in India. This would be irrelevant for determining the ...
DNA technology has fundamentally revolutionized the criminal justice system, transforming how forensic investigations are ...
Advancing justice through DNA technology requires adherence to strict quality assurance standards, including laboratory ...
The court established a fundamental distinction that will govern future interpretation of state amendments. Justice Mathur definitively held that state legislative enactments under Article 246 of the ...
The Court emphasized that "such ad-interim reliefs have their own legal implications" and referenced the Srikant Upadhyay & Ors. v. State of Bihar & Anr. (2024) case, which stressed caution in ...
Upon applicability of aforesaid judgments, it is thus evident as has been observed herein above that there is no specific intention indicated in the subsequent enactment of BNSS 2023 to continue with ...
The Maharashtra amendment to Section 438 CrPC is no longer applicable. Recent judicial decisions have clarified that with the repeal of the CrPC and enactment of BNSS 2023, Section 482 BNSS now ...
Courts must apply a systematic analytical framework to determine whether decree components are independent and separable or joint and inseverable. This determination has significant implications for ...
Under Indian law, cross objections and cross appeals serve similar purposes but have distinct procedural characteristics. Here are the key distinctions: ...
The Supreme Court has established specific considerations for granting anticipatory bail in SC & ST Atrocity cases following the 2018 amendment to Section 18 of the Act. Here are the key ...
In Indian criminal law, motive and intention are distinct concepts that serve different purposes in determining criminal liability. While often used interchangeably in casual conversation, they have ...
Based on established legal precedent, an accused person summoned under Section 319 of the Criminal Procedure Code (CrPC) cannot apply for discharge under Section 227 of CrPC.
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