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Issues Involved:
1. Constitutional validity of Act XIII of 1960 concerning Article 14. 2. Violation of Articles 19(1)(f) and 31(1) of the Constitution. 3. Rights conferred under the Principal Act and their subsequent withdrawal by the 1960 Act. 4. The impact of specific stipulations in lease deeds on the applicability of the Principal Act. Detailed Analysis: 1. Constitutional Validity of Act XIII of 1960 Concerning Article 14: The appellants argued that the 1960 Act infringes their fundamental right under Article 14 of the Constitution by introducing a classification between non-residential buildings in different municipal areas, providing relief to tenants in some towns while denying it to others. The Court examined whether this classification had a rational relation to the object sought to be achieved by the Act. The object of the Act was primarily to protect tenants of residential buildings but also extended to non-residential buildings in certain towns. The Court held that the classification was based on intelligible differentia, supported by factors like population density, commercial activities, and the number of non-residential buildings, which justified the differential treatment. Therefore, the classification did not violate Article 14. 2. Violation of Articles 19(1)(f) and 31(1) of the Constitution: The appellants contended that the 1960 Act violated their rights under Articles 19(1)(f) and 31(1) by not being a reasonable restriction on their proprietary rights. The Court clarified that Article 19(1)(f) applies to both abstract and concrete rights of property, while Article 31(1) protects against deprivation of property by executive action, requiring a valid law to justify such deprivation. The Court held that the 1960 Act did not infringe these articles as the statutory right to purchase land under the Principal Act did not constitute a property right. The right to apply for the purchase of land was not an interest in immovable property, and thus, the 1960 Act's withdrawal of this right did not violate the appellants' fundamental rights. 3. Rights Conferred Under the Principal Act and Their Subsequent Withdrawal by the 1960 Act: The Principal Act, as amended by Act XIX of 1955, conferred valuable rights to tenants, including compensation for buildings erected and the right to apply for the purchase of the land. The 1960 Act withdrew these rights for non-residential buildings in towns other than the specified ones. The Court held that the statutory right to purchase land did not constitute a property right and, therefore, its withdrawal did not amount to deprivation of property under Articles 19(1)(f) and 31(1). 4. The Impact of Specific Stipulations in Lease Deeds on the Applicability of the Principal Act: The respondents argued that the specific stipulations in the lease deeds, which required the appellants to vacate the lands within a prescribed period, precluded them from invoking the Principal Act. The Court did not express an opinion on this issue, as it was not necessary for the decision. The Court focused on the constitutional validity of the 1960 Act and the nature of the rights conferred under the Principal Act. Conclusion: The Supreme Court upheld the constitutional validity of Act XIII of 1960, holding that the classification between different municipal areas was based on intelligible differentia and had a rational relation to the object of the Act. The Court also held that the statutory right to purchase land under the Principal Act did not constitute a property right, and its withdrawal by the 1960 Act did not violate Articles 19(1)(f) and 31(1) of the Constitution. Consequently, the appeals were dismissed.
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