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Issues Involved:
1. Legislative Competence of the Amendment 2. Constitutional Validity of the Principal Act and Amendments 3. Severability of Invalid Provisions 4. Retrospective Effect of Corrective Amendments Issue-wise Detailed Analysis: 1. Legislative Competence of the Amendment: The core issue was whether the legislative amendment made by the Rajasthan State Legislature in 1973, which sought to impose tax on both lands and buildings, was beyond its legislative competence. The Principal Act of 1964 originally levied tax only on urban lands. The Amendment Act No. 15 of 1973 extended this tax to buildings, which was within the legislative competence of the State Legislature as per Entry 49, List II of the 7th Schedule of the Constitution. However, the amendment was challenged on the grounds that it effectively imposed a tax on the total assets of a person, which falls under Entry 86 of List I, a domain reserved for the Union Legislature. 2. Constitutional Validity of the Principal Act and Amendments: The Principal Act of 1964 was held to be constitutionally valid as it was fully covered by Entry 49, List II. The controversy arose with the Amending Act No. 15 of 1973, which introduced provisions that were beyond the legislative competence of the State Legislature. The State Government realized the flaws and issued Ordinance No. 6 of 1973, later replaced by Amending Act No. 18 of 1973, to correct these provisions. The amendments were made effective retrospectively from April 1, 1973. The court held that the Principal Act, as originally enacted, was valid and that the amendments made by Act No. 15 of 1973, although initially flawed, were corrected by subsequent amendments, thus restoring the validity of the legislation. 3. Severability of Invalid Provisions: The court examined whether the invalid provisions introduced by the Amending Act No. 15 of 1973 could be severed from the rest of the Act. The learned Single Judge and the Division Bench of the High Court both held that the invalid portion, specifically the last proviso to Section 3(1), was severable from the rest of the Act. The deletion of this proviso by the Amending Act No. 18 of 1973 rendered the remaining provisions of Section 3 workable and valid. The court emphasized that the intention of the legislature is the determining factor in assessing severability. Since the valid and invalid portions were distinct and separable, the invalidity of a portion did not affect the enforceability of the rest of the Act. 4. Retrospective Effect of Corrective Amendments: The court addressed whether the corrective amendments made by Ordinance No. 6 of 1973 and Amending Act No. 18 of 1973, which had retrospective effect, could cure the defects of the Amending Act No. 15 of 1973. The court held that these corrective amendments effectively removed the unconstitutional elements and restored the validity of the Principal Act. The insertion of Sub-section (1)A to Section 3 clarified that the tax would be levied on lands and buildings separately as units, thus aligning with the legislative competence of the State Legislature under Entry 49, List II. Conclusion: The Supreme Court concluded that the Principal Act of 1964 was valid and within the legislative competence of the Rajasthan State Legislature. The amendments made by Act No. 15 of 1973, although initially flawed, were effectively corrected by subsequent amendments, rendering the entire legislation enforceable. The court dismissed the appeals, upholding the validity of the Principal Act and the amendments, and ruled in favor of the State of Rajasthan. The appeals were dismissed with no order as to costs.
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