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1996 (1) TMI 378 - SC - Indian LawsCondonation of delay - Held that - Appeal allowed. Delay of 109 days in this case has been explained and that it is a fit case for condonation of the delay.
Issues Involved: Condonation of delay, sufficient cause, judicial discretion, government litigation, procedural delays.
Issue-wise Detailed Analysis: 1. Condonation of Delay: The primary issue in this case was whether the delay of 109 days in filing the Letters Patent Appeal should be condoned. The Supreme Court emphasized that Section 5 of the Limitation Act, 1963, allows for the extension of the prescribed period of limitation for filing an application or appeal, provided the appellant shows "sufficient cause" for the delay. 2. Sufficient Cause: The Court reviewed several precedents to elucidate what constitutes "sufficient cause." In *Ramlal & Chhotelal v. Rewa Coalfields Ltd.*, it was held that the appellant does not need to explain the entire period of delay but only the period between the last date of limitation and the actual filing date. The expression "sufficient cause" should receive a liberal construction, as noted in *New India Insurance Co. Ltd. v. Smt. Shanti Misra*. 3. Judicial Discretion: The Court highlighted that judicial discretion under Section 5 should not be rigidly applied. In *Inder Singh v. Kanshi Ram*, the true guide for exercising discretion is whether the appellant acted with reasonable diligence. The Court also referred to *Shakuntala Devi Jain v. Kuntal Kumari & Ors.*, where it was held that unless there is a lack of bona fides or gross negligence, the delay should be condoned. 4. Government Litigation: The Court acknowledged that delays in government litigation are often due to bureaucratic processes. In *G. Ramegowda, Major & Ors. v. Spl. Land Acquisition Officer, Bangalore*, it was noted that government decisions are encumbered by procedural delays, and a pragmatic approach should be taken. The Court reiterated that the State should not be given a "litigant-non-grata" status and that public interest should be considered. 5. Procedural Delays: The Court recognized that procedural delays are inherent in governmental functioning. It cited *Collector, Land Acquisition, Anantrag & Anr. v. Mst. Katiji & Ors.*, where it was held that the expression "sufficient cause" is elastic enough to be applied in a meaningful manner to serve the ends of justice. The Court emphasized that substantial justice should be preferred over technical considerations. Conclusion: The Supreme Court concluded that the delay of 109 days had been sufficiently explained and that it was a fit case for condonation. The Court allowed the appeal, set aside the High Court's order, and remitted the matter to the High Court for disposal on merits, emphasizing a justice-oriented approach. The appeal was allowed with no costs.
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