Published On: February 5th 2026
Authored By: Aayesha Gupta
Kirit P. Mehta School of Law, Narsee Monjee Institute of Management Deemed to be University (NMIMS), Mumbai
- Case Title: State of Punjab v. Gurmit Singh
- Citation: (1996) 2 SCC 384; AIR 1996 SC 1393
- Court: Supreme Court of India
- Bench: Jayachandra Reddy and S.C. Sen, JJ.
- Date of Judgment: January 16, 1996
- Relevant Statutes / Key Provisions:
- Article 21 of the Constitution of India
- Section 327 of the Code of Criminal Procedure, 1973
- Indian Penal Code provisions relating to rape
Brief Facts
The case arose out of a rape trial conducted in an open courtroom, where the survivor was compelled to narrate intimate details of sexual violence in the presence of strangers. The atmosphere of the trial subjected her to further humiliation, emotional distress, and psychological trauma. The question before the Court was not about the occurrence of the crime alone, but about how the legal system itself treated the victim in the process of seeking justice.
Issues Involved
- Whether rape trials should be conducted in open courts as a matter of routine.
- Whether compelling a survivor to testify publicly violates her right to life and dignity under Article 21.
Arguments
Appellant’s Arguments:
- Open court trials ensure transparency and fairness in criminal proceedings.
- Conducting proceedings in camera may compromise public confidence in the justice system.
Respondent’s Arguments:
- Public trials in rape cases subject survivors to further trauma and social stigma. • The right to dignity and privacy of the victim must outweigh procedural formalities.
Judgment
The Supreme Court held that rape trials must ordinarily be conducted in camera. The Court recognised that the criminal process itself can become a second site of violence if it forces survivors to relive trauma publicly. Justice, the Court observed, cannot demand humiliation as its price. Open trials in such cases deter victims from coming forward and undermine the very purpose of criminal law.
Ratio Decidendi
The right to life under Article 21 includes the right to dignity and privacy, and compelling a rape survivor to testify in an open court violates this constitutional guarantee. Rape trials should therefore be conducted in camera as a rule.
Obiter Dicta
The Court emphasised that the law must not become an instrument of cruelty, and that judicial sensitivity is as essential to justice as legal correctness.
Final Decision
The Court directed that rape trials be held in camera and reaffirmed the duty of courts to protect the dignity, privacy, and psychological well-being of survivors during criminal proceedings.




