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Issues Involved:
The issues involved in this case are the validity of a transfer order of a Garden Curator, the application of Government guidelines in transfer orders, the jurisdiction of the Central Administrative Tribunal, and the legal principles governing transfer of government servants. Transfer Order Validity: The respondent, a Garden Curator, challenged his transfer from Shillong to Pauri, Uttar Pradesh, citing personal reasons such as his wife's employment, children's education, and his health issues. The Central Administrative Tribunal quashed the transfer order, deeming it malafide and discriminatory, based on the Government guidelines of 3.4.1986. However, the Supreme Court held that unless a transfer order is vitiated by malafides or violates statutory provisions, the Court cannot interfere with it. The Court emphasized that guidelines are not legally enforceable rights for government employees. Application of Government Guidelines: The Court highlighted that the power of transfer is not unfettered and must consider guidelines issued by the Government. While the guidelines suggest posting husband and wife at the same place, it does not confer a legally enforceable right. The Court clarified that the authority must consider representations regarding transfers but cannot be compelled to follow guidelines if not feasible administratively. Jurisdiction of Central Administrative Tribunal: The Court emphasized that the Central Administrative Tribunal's jurisdiction is similar to that of the High Court under Article 226 of the Constitution in service matters. The Tribunal cannot act as an appellate authority over transfer orders and must not substitute its judgment for the competent authority's decision. In this case, the Tribunal exceeded its jurisdiction by interfering with the transfer order. Legal Principles Governing Transfer: Fundamental Rules state that a government servant's time is at the disposal of the Government, and the President may transfer them as needed. The Court reiterated that transfer decisions are administrative and must align with statutory provisions. The Court clarified that a transfer order can only be challenged if made malafide or in violation of statutory provisions, not merely for non-compliance with administrative guidelines. In conclusion, the Supreme Court allowed the appeal, setting aside the Tribunal's judgment and emphasizing that transfer orders must align with statutory provisions and not be interfered with unless malafide or in violation of the law.
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