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Issues:
1. Pre-emptive purchase of an immovable property in Chennai. 2. Valuation of the property based on comparison with other properties. 3. Treatment of building as scrap for valuation purposes. 4. Validity of the authority's decision and the need for re-examination. Analysis: 1. The High Court of Madras addressed a case involving the pre-emptive purchase of a property located at Door No. 50, North Usman Road, T. Nagar, Chennai. The property, with a 70-year-old building, was agreed to be sold for Rs. 1,20,00,000 as per an agreement dated March 7, 1997. The appropriate authority issued a show-cause notice to the petitioners, questioning the valuation of the property due to its location in a mixed residential zone and comparing it with another property auctioned earlier. 2. The petitioners objected to the show-cause notice, arguing that the property used for comparison was not truly comparable. The authority considered various sale transactions in the area to determine the market value per ground of the petitioners' property. However, discrepancies arose in the valuation methodology, particularly in treating the building on the auctioned property as scrap without sufficient evidence of its intended use. The court emphasized the importance of comparing truly comparable properties and deducting the depreciated value of buildings to ascertain the land value accurately. 3. The court criticized the authority's decision to treat the building as scrap for valuation purposes without establishing the intention behind the purchase of the auctioned property. The petitioners highlighted that the building was being used by a bank for office purposes, indicating its usability and value. The court ruled that such treatment of the building led to an artificially boosted land value, which was unjustified. 4. Ultimately, the High Court set aside the authority's order, finding it unsustainable. The court directed the authority to re-examine the matter, furnish relevant details of other sales transactions, and allow the petitioners to provide additional material for consideration. The decision emphasized the need for a fair and accurate valuation process based on comparable properties and proper deduction of building values to determine land prices effectively. The case highlighted the importance of just and transparent valuation methods in property-related disputes.
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