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Issues Involved:
1. Validity of the Waliuddowla Succession Act of 1950. 2. Conflict with fundamental rights under Articles 14, 19(1)(f), and 31(1) of the Constitution. 3. Discrimination and equal protection clause under Article 14. 4. Legislative competence and authority of the Nizam post-Constitution. Detailed Analysis: 1. Validity of the Waliuddowla Succession Act of 1950: The Supreme Court examined the validity of the Waliuddowla Succession Act of 1950, which was passed to resolve disputes regarding the succession to the personal estate of Nawab Waliuddowla. The Act dismissed the claims of Mahboob Begum and Kadiran Begum, along with their children, to participate in the distribution of the matrooka (personal estate) of the late Nawab. The High Court of Hyderabad had declared this Act void under Article 13(2) of the Constitution as it affected the rights of the respondents. 2. Conflict with Fundamental Rights under Articles 14, 19(1)(f), and 31(1) of the Constitution: The respondents challenged the Act on the grounds that it conflicted with their fundamental rights guaranteed under Articles 14, 19(1)(f), and 31(1) of the Constitution. The Supreme Court focused primarily on the violation of Article 14, which ensures equality before the law and equal protection of the laws within the territory of India. 3. Discrimination and Equal Protection Clause under Article 14: The Supreme Court analyzed whether the Act violated the equal protection clause under Article 14. The Court reiterated that mere differentiation or inequality of treatment does not per se amount to discrimination. However, the selection or differentiation must not be unreasonable or arbitrary and should rest on a rational basis with regard to the legislative objective. The Court found that the Act singled out Mahboob Begum and Kadiran Begum, along with their children, from other claimants to the Nawab's estate, preventing them from asserting their rights under the general law. This selection was deemed arbitrary and unreasonable, as it was based solely on an adverse report by the State Legal Adviser without a proper judicial determination. Therefore, the Act was found to be discriminatory and in violation of Article 14. 4. Legislative Competence and Authority of the Nizam Post-Constitution: The Supreme Court acknowledged that before the Constitution came into force, the Nizam of Hyderabad had unfettered sovereign authority. However, post-Constitution, the Nizam, as the Rajpramukh, had limited legislative power, which had to conform to the provisions of the Constitution, including the fundamental rights guaranteed under Part III. The impugned Act, passed by the Nizam as Rajpramukh, was found to be beyond his legislative competence as it conflicted with the fundamental rights guaranteed under the Constitution. Conclusion: The Supreme Court upheld the decision of the High Court of Hyderabad, declaring the Waliuddowla Succession Act of 1950 void to the extent that it dismissed the claims of Mahboob Begum, Kadiran Begum, and their children. The Court concluded that the Act was discriminatory and violated the equal protection clause under Article 14 of the Constitution. The appeal was dismissed with costs.
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