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Issues:
1. Validity of a sale deed executed by a widow with a limited life estate. 2. Application of Section 41 of the Transfer of Property Act in the case. 3. Rights of bona fide purchasers in transactions with ostensible owners. Analysis: 1. The case involved an allotment of land by the Pepsu government to a widow for maintenance during her lifetime. The widow later executed a sale deed for the land in favor of respondents, who then applied for mutation of their names in revenue records. A dispute arose regarding the validity of the sale deed and the rights of the parties involved. 2. The State of Punjab filed a civil suit challenging the sale deed's legality, arguing that the widow, with only a life estate, could not transfer the land beyond her lifetime. The respondents claimed to be bona fide purchasers under Section 41 of the Transfer of Property Act. The trial court decreed in favor of the State, but the first appellate court and the High Court ruled in favor of the respondents, considering them bona fide purchasers. 3. The Supreme Court analyzed the application of Section 41 of the Transfer of Property Act in such cases. Referring to precedents, the Court clarified that the rule of Section 41 applies only during the limited owner's lifetime and does not protect transferees against reversioners' claims. The Court emphasized that the widow, as an ostensible owner, could only pass on the title she held, which in this case was a life estate. Therefore, after her death, the land's title would revert to the State of Punjab. Accordingly, the Court allowed the appeal, setting aside the High Court's judgment and affirming the trial court's decree. This comprehensive analysis highlights the key legal issues, arguments presented, and the Supreme Court's decision, providing a detailed understanding of the judgment.
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