SUPREME COURT STRIKE DOWN DISCRIMINATORY RULES ACROSS STATE PRISON MANUALS

THE CONTEXT: The Supreme Court of India delivered a landmark judgment addressing the deep-rooted issue of caste discrimination within the Indian prison system. The verdict declared certain provisions in state prison manuals unconstitutional for perpetuating caste-based labor divisions and reinforcing social hierarchies.

BACKGROUND:

  • The roots of caste-based discrimination in prisons can be traced back to colonial India with the enactment of the Criminal Tribes Act (CTA) of 1871 by the British Raj. This draconian law authorized the colonial administration to declare certain communities as “criminal tribes,” branding them as inherently predisposed to criminal activities.
  • Despite the repeal of the CTA in 1952, the stigma persisted, and these communities became known as Denotified Tribes (DNTs). The National Commission for Denotified, Nomadic and Semi-Nomadic Tribes (NCDNT), in its 2008 report, highlighted the continued social ostracization and economic marginalization faced by DNTs.

KEY POINTS OF VERDICT:

  • Declaration of Unconstitutionality of Discriminatory Provisions: The Supreme Court declared specific provisions in state prison manuals unconstitutional, recognizing that these rules reinforced caste-based labor divisions and violated fundamental rights. For instance, the Madhya Pradesh Jail Manual (1987) explicitly assigned latrine cleaning to prisoners from the ‘Mehtar’ caste, a Scheduled Caste group traditionally associated with sanitation work. Similarly, the West Bengal Jail Code Rules (1967) divided work based on caste, mandating that food be cooked and delivered by prisoner-cooks of a “suitable caste.”
  • Directives for Reform: The Supreme Court issued several directives to eliminate caste discrimination in prisons.
  • Revision of Prison Manuals: All states and Union Territories were ordered to amend their prison manuals within three months to remove discriminatory provisions. This aligns with the recommendations of the Justice Mulla Committee on Prison Reforms (1983), which advocated modernizing prison laws to reflect constitutional values.
  • Amendments to Model Prison Documents: The Centre was instructed to revise the Model Prison Manual (2016) and the draft Model Prisons and Correctional Services Act (2023) to address caste discrimination. This ensures a uniform approach across all jurisdictions, promoting consistency and adherence to constitutional principles.
  • Removal of Caste Identification: The court mandated the removal of the caste column from prisoner admission registers and warrants, as per Section 31 of the Prisons Act, 1894. This move prevents the institutionalization of caste identities within the prison system.

CONSTITUTIONAL PROVISIONS INVOKED:

  • Article 14: Under the Right to Equality, the Supreme Court held that caste-based classification is permissible only when it aims to uplift marginalized groups through affirmative action, as upheld in Indra Sawhney v. Union of India (1992).
  • Article 15: Under the Prohibition of Discrimination, the court observed that the prison manuals directly discriminated against marginalized communities by assigning them menial tasks. In the State of Madras v. Champakam Dorairajan (1951), the Supreme Court emphasized that classifications based solely on caste are unconstitutional.
  • Article 17: The Uttar Pradesh prison manual stated that a convict “shall not be called upon to perform duties of a degrading or menial character unless he belongs to a class or community accustomed to perform such duties.” This perpetuation of caste-based occupational roles within prisons directly violates Article 17 and the Protection of Civil Rights Act of 1955, which penalizes the enforcement of disabilities arising from untouchability.
  • Article 21: It protects life and personal liberty, including the right to live with human dignity, as elaborated in Maneka Gandhi v. Union of India (1978). The Supreme Court held that caste-based labor assignments infringe upon prisoners’ dignity and impede their rehabilitation, thus violating Article 21.
  • Article 23: The court asserted that imposing labor that is considered impure or low-grade upon members of marginalized communities amounts to forced labor. In People’s Union for Democratic Rights v. Union of India (1982), the court expanded the definition of forced labor to include any labor extracted involuntarily or under coercion.

SIGNIFICANCE OF JUDGMENT:

  • Upholding Constitutional Values in Prison Administration: The Supreme Court’s verdict reinforces the Constitution’s supremacy in guiding prison administration. By declaring discriminatory provisions unconstitutional, the court ensures that prison practices align with fundamental rights.
  • Addressing Systemic Discrimination Against Marginalized Communities: The court’s decision resonates with the National Human Rights Commission (NHRC) ‘s observations on eliminating discrimination against SCs and STs in all institutional settings.
  • Promoting Reformation and Rehabilitation of Prisoners: The court’s directives support the principles of reformative justice. The Model Prison Manual emphasizes vocational training and educational programs to aid prisoners’ reintegration into society. Eliminating caste-based labor divisions allows all prisoners equal access to such opportunities, facilitating personal development and reducing recidivism.

THE WAY FORWARD:

  • Comprehensive Review and Amendment of Prison Manuals: All states and Union Territories must thoroughly review their prison manuals to identify and amend any provisions that enable discrimination. Adopting a uniform Model Prison Manual across states can promote consistency.
  • Comprehensive Review and Amendment of Prison Manuals: This process should involve collaboration with legal experts, human rights organizations, and representatives from marginalized communities to ensure that revisions are comprehensive and practical.
  • Regular Monitoring and Audits of Prison Practices: Independent oversight bodies, such as prison visiting committees recommended by the NHRC, can help identify ongoing issues, provide recommendations for improvement, and hold prison administrations accountable for implementing necessary changes.
  • Integration of Reformative Justice Principles in Prison Management: Prison management should prioritize reformative justice principles, focusing on rehabilitation rather than punishment. This includes providing prisoners with educational opportunities, vocational training, and psychological support. Implementing international guidelines, like the Nelson Mandela Rules, can enhance the humane treatment of prisoners.

THE CONCLUSION:

The Supreme Court’s verdict represents a pivotal moment in pursuing social justice and protecting fundamental rights in India. Ongoing vigilance, education, and advocacy are necessary to eradicate caste-based discrimination from all spheres of society, paving the way for a more equitable and just nation.

UPSC PAST YEAR QUESTIONS:

Q.1 Examine the scope of Fundamental Rights in light of the latest judgment of the Supreme Court on the Right to Privacy. 2017

Q.2 What was held in the Coelho case? In this context, can you say that judicial review is of key importance among the Constitution’s basic features? 2016

MAINS PRACTICE QUESTION:

Q.1 Discuss the significance of the Supreme Court’s recent verdict on caste-based discrimination in Indian prisons. How does this judgment uphold constitutional values?

SOURCE:

https://indianexpress.com/article/explained/explained-law/supreme-court-prison-manuals-rules-9606530/

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