NAVTEJ SINGH JOHAR & ORS v. UNION  OF INDIA THR. SECRETARY MINISTRY OF  LAW AND JUSTICE

Published on: 10th February 2026

Authored By: Laxita Raju Hawelikar
ILS Law College, Pune

Citation: AIR 2018 SC 4321; (2018) 10 SCC 1; Writ Petition (Criminal) No. 76 of 2016

Decided on: 6 September 2018

Bench: Chief Justice Dipak Misra, Justice A.M. Khanwilkar, Justice Rohinton Fali Nariman,  Justice D.Y. Chandrachud, and Justice Indu Malhotra (Five-Judge Constitution Bench)

INTRODUCTION

Navtej Singh Johar v. Union of India stands as one of the most transformative judgments in  Indian constitutional history. The Supreme Court, through this landmark decision, read down  Section 377 of the Indian Penal Code, 1860, thereby decriminalizing consensual sexual  relations between adults of the same sex. This judgment overruled the Court’s previous  decision in Suresh Kumar Koushal v. Naz Foundation (2013) and reaffirmed constitutional  values of equality, dignity, privacy, and individual autonomy. The case demonstrates the  judiciary’s role as guardian of fundamental rights, particularly for marginalized communities  whose voices are often drowned in majoritarian discourse.

FACTUAL BACKGROUND

Section 377 of the Indian Penal Code was enacted in 1861 during British colonial rule,  criminalizing “carnal intercourse against the order of nature with any man, woman or  animal.” The provision prescribed imprisonment for life or up to ten years with fine. For over  a century and a half, Section 377 served as a tool for harassment, blackmail, and systematic  discrimination against members of the LGBTQ+ community.

The first significant challenge emerged when the Delhi High Court in Naz Foundation v.  Government of NCT of Delhi (2009) held that Section 377, insofar as it criminalized  consensual sexual acts between adults in private, was unconstitutional. However, this progressive decision was overturned by the Supreme Court in Suresh Kumar Koushal v. Naz  Foundation (2013), which held that Section 377 did not suffer from constitutional infirmities  and affected only a “minuscule fraction of the country’s population.”

On 27 April 2016, five individuals from the LGBTQ+ community—dancer Navtej Singh  Johar, journalist Sunil Mehra, chef Ritu Dalmia, hoteliers Aman Nath and Keshav Suri, and  businesswoman Ayesha Kapur—filed a fresh writ petition challenging Section 377’s

constitutionality. The matter was referred to a five-judge Constitution Bench, which heard  arguments in July 2018 and delivered judgment on 6 September 2018.

 ISSUES BEFORE THE COURT

The Constitution Bench framed the following principal issues:

1.Whether Suresh Kumar Koushal v. Naz Foundation (2013) should be reconsidered or  overruled.

2.Whether Section 377, insofar as it criminalizes consensual sexual conduct between adults  of the same sex, violates Articles 14, 15, 19, and 21 of the Constitution.

3.Whether constitutional morality should prevail over social morality in determining the  validity of penal legislation affecting minority groups.

CONTENTIONS OF THE PARTIES

Arguments by the Petitioners

The petitioners mounted a comprehensive constitutional challenge, contending that Section  377 was manifestly arbitrary and violated Article 14 by failing to provide intelligible  differentia between “natural” and “unnatural” sexual acts. They argued that the provision  discriminated on the basis of sexual orientation, which is intrinsically linked to sex and  gender identity, thereby violating Article 15.

Drawing from the Justice K.S. Puttaswamy (Retd.) v. Union of India (2017) judgment, the  petitioners contended that the right to privacy encompasses decisional autonomy, including  freedom to make intimate choices regarding sexual partners. Section 377 violated human  dignity by treating LGBTQ+ individuals as criminals for expressing their identity and denied  them the right to live with dignity. They emphasized that constitutional morality must prevail  over social morality and that the Constitution protects minority rights against majoritarian  prejudice.

Arguments by the Respondents

The Union of India adopted a neutral stance, leaving the constitutional validity question to  the Court’s wisdom. Religious and social organizations intervening in opposition argued that  Section 377 targeted acts, not identities, and that the right to privacy could be restricted in the  interest of public morality. They contended that declaring Section 377 unconstitutional would  undermine marriage and family structures and that constitutional morality cannot be divorced  from Indian cultural values.

JUDGMENT AND REASONING

The Supreme Court delivered a unanimous judgment through four separate but concurring  opinions.

Chief Justice Dipak Misra’s Opinion

Chief Justice Misra emphasized transformative constitutionalism and held that constitutional  morality must prevail over social morality. He recognized that dignity lies at the core of all  fundamental rights and that individual autonomy—the right to make intimate choices about  one’s life, identity, and relationships—is intrinsic to human dignity. Section 377 destroyed  individual identity by criminalizing an essential aspect of personality, thereby crushing the  intrinsic dignity that encompasses privacy, choice, and freedom of expression. The judgment  extensively referenced international human rights jurisprudence, demonstrating global  consensus on LGBTQ+ rights.

Justice Rohinton Fali Nariman’s Opinion

Justice Nariman traced Section 377’s origins to Victorian morality and English criminal law,  demonstrating that it was imported into India without consideration of indigenous cultural  contexts. He held that Section 377 was manifestly arbitrary under Article 14 as it criminalized  consensual sexual acts without rational basis, failing to distinguish between consensual and  non-consensual acts. He rejected the argument that public morality could justify restricting  fundamental rights, holding that consensual sexual acts between adults in private neither  disturbed public order nor injured public decency. Significantly, Justice Nariman imposed a  positive obligation on the Union of India to publicize the judgment widely and take  affirmative measures to eliminate stigma against the LGBTQ+ community.

Justice D.Y. Chandrachud’s Opinion

Justice Chandrachud provided the most extensive philosophical analysis, holding that privacy  includes both spatial privacy and decisional privacy—the right to make intimate personal  choices. He recognized sexual orientation as an essential attribute of identity and integral  component of human personality, stating that criminalizing same-sex relationships denies  LGBTQ+ individuals the ability to fully realize their identity and live authentically. Section  377 perpetuated stereotypes and prejudice, violating both formal equality and substantive  equality. In powerful language, Justice Chandrachud stated that history owes an apology to  members of the LGBTQ+ community for centuries of persecution and acknowledged the  judiciary’s own role in perpetuating injustice through the Koushal judgment.

Justice Indu Malhotra’s Opinion

Justice Malhotra unequivocally stated that members of the LGBTQ+ community were  subjected to discrimination because Section 377 lent legitimacy to such treatment. She  acknowledged that history owes the community an apology for the delay in providing justice  and held that the reasoning in Koushal—that constitutional rights could be denied because  they affect only a minority—was fundamentally flawed and contrary to constitutional values.

Unanimous Conclusions

All five judges unanimously agreed that:

1.Section 377, insofar as it criminalizes consensual sexual conduct between adults in private,  is unconstitutional and violative of Articles 14, 15, 19, and 21.

2.Suresh Kumar Koushal v. Naz Foundation (2013) is overruled as constitutionally  unsustainable.

3.Section 377 continues to remain valid for non-consensual sexual acts, sexual acts with  minors, and bestiality.

4.LGBTQ+ individuals possess the same fundamental rights as other citizens, and  discrimination based on sexual orientation is unconstitutional.

RATIO DECIDENDI

The essential legal principles established are:

1.Sexual orientation is a fundamental aspect of identity and privacy: The right to sexual  orientation, sexual autonomy, and choice of sexual partner are integral components of the  right to life and personal liberty under Article 21.

2.Discrimination based on sexual orientation violates Articles 14 and 15: Section 377  discriminated against individuals based on sexual orientation, violating equality before law  and equal protection of laws.

3.Consensual sexual acts between adults cannot be criminalized: The State has no  legitimate interest in regulating consensual intimate conduct between adults in private. Such  criminalization violates rights to privacy, dignity, and autonomy.

4.Constitutional morality prevails over social morality: Fundamental rights cannot be  denied merely because a majority disapproves of how a minority exercises those rights.

5.Manifest arbitrariness renders legislation unconstitutional: Section 377 lacked rational  nexus with any legitimate state objective.

 LEGAL SIGNIFICANCE AND IMPACT

Constitutional Jurisprudence

The judgment significantly expanded Article 21’s scope, firmly establishing sexual  orientation and intimate choice as protected facets of life and personal liberty. It moved  beyond formal equality to embrace substantive equality, recognizing that true equality  requires equal concern and respect for all individuals regardless of sexual orientation. The  concept of constitutional morality was robustly articulated, providing a powerful tool for  protecting minority rights.

Criminal Law Reform

By reading down Section 377, the Court removed the threat of criminal prosecution that had  hung over millions for over a century. The judgment clarified that victims of sexual assault  can invoke Section 377 for protection without fear of self-incrimination and mandated  sensitization of police forces to ensure LGBTQ+ individuals are not subjected to harassment  or discrimination.

Social Impact

The judgment helped reduce social stigma and legitimized LGBTQ+ identities in public  discourse. It empowered millions to live authentically without fear, encouraged greater  visibility of sexual and gender diversity, and facilitated better access to healthcare services,  particularly HIV/AIDS prevention and treatment.

Limitations

While historic, the judgment did not extend to recognition of same-sex marriages or civil  unions, leaving questions regarding adoption rights, surrogacy access, and parenting rights  unresolved. Comprehensive anti-discrimination legislation protecting LGBTQ+ individuals  in employment, housing, education, and public services remains absent. Despite legal victory,  societal attitudes change slowly, and many LGBTQ+ individuals continue facing  discrimination in practice.

 CRITICAL ANALYSIS

Strengths

The four separate opinions collectively provided extensive reasoning covering constitutional,  philosophical, historical, and comparative perspectives, making the judgment intellectually  robust. Unlike typical judicial pronouncements, the judgment demonstrated remarkable  empathy and understanding of LGBTQ+ individuals’ lived experiences. By aligning Indian  jurisprudence with international human rights standards, the judgment positioned India  among progressive democracies recognizing LGBTQ+ rights and exemplified purposive  constitutional interpretation.

Limitations

Critics argue that by limiting the decision to decriminalization without addressing marriage  equality and other rights, the Court adopted an excessively cautious approach. Some scholars  contend that basing the judgment primarily on privacy rights may inadvertently reinforce the  notion that same-sex relationships should remain private rather than being publicly celebrated  and normalized. The judgment did not provide detailed implementation guidelines, leading to  continued discrimination in practice.

CONCLUSION

Navtej Singh Johar v. Union of India represents a defining moment in India’s constitutional  journey and the global struggle for LGBTQ+ rights. By reading down Section 377, the  Supreme Court not only removed a colonial relic but also reaffirmed the Constitution’s

transformative promise of equality, dignity, and liberty for all citizens, regardless of sexual  orientation or gender identity.

The judgment’s significance extends beyond its immediate legal effect. It represents a  powerful assertion of constitutional morality over social prejudice, individual rights over  majoritarian sentiment, and human dignity over archaic moral codes. However, the journey  toward full equality remains incomplete, as structural discrimination, social stigma, and legal  inequality persist in areas such as marriage, adoption, and inheritance.

The Navtej Singh Johar judgment stands as testament to the Constitution’s enduring capacity  to protect the most vulnerable sections of society. It demonstrates that constitutional values of  justice, liberty, equality, and fraternity are living principles that must be made meaningful for  every citizen. As Justice Chandrachud eloquently stated, the Constitution exists not merely to 

reflect popular opinion but to transform society by protecting fundamental rights even when  it requires standing against majoritarian prejudice.

This judgment will be remembered not merely for what it struck down but for what it  affirmed: the inherent worth and dignity of every human being, the inviolability of individual  autonomy, and the Constitution’s unwavering commitment to creating a more just, equal, and  compassionate society.

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