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1977 (1) TMI 163 - SC - Indian Laws

Issues Involved:

1. Determination of joint family property in a partition suit.
2. Application of res judicata in the context of separate but related suits.
3. Competence of courts and the effect of different jurisdictions on res judicata.

Summary:

1. Determination of Joint Family Property:
The partition suit involved 72 items claimed by the plaintiff to be joint family property. The defendant-appellant argued that certain items were his exclusive property, acquired through his personal income and business efforts. The Trial Court accepted the defendant-appellant's claim for most items, except items No. 35 and part of item No. 52. However, the High Court reversed this finding, citing insufficient evidence regarding the source of funds for the business and relying on documentary evidence, including letter-heads indicating a joint family business.

2. Application of Res Judicata:
The High Court heard and decided appeals in both the partition suit and a related money suit together. The defendant-appellant did not seek leave to appeal the High Court's judgment in the money suit, leading to a preliminary objection on the grounds of res judicata. The Supreme Court considered whether the same issue had been heard and finally decided in both suits. The Court noted that the judgments in the two appeals decided a common issue and resulted in two decrees, thus fulfilling the conditions for res judicata u/s 11 of the Civil Procedure Code.

3. Competence of Courts and Effect of Different Jurisdictions:
The defendant-appellant argued that the two suits were different in nature and filed in different courts, thus not courts of coordinate jurisdiction. However, the Supreme Court held that the actual hearing of both cases in the same court made the initial difference in jurisdictions immaterial. The Court emphasized that the principle of res judicata is based on public policy to prevent endless litigation and ensure finality of decisions. The Court also noted that the competence of a court is determined irrespective of the right of appeal from its decisions.

Conclusion:
The Supreme Court upheld the preliminary objection of res judicata, dismissing the appeal. The Court also rejected the defendant-appellant's application for condonation of delay in seeking leave to appeal against the High Court's judgment in the money suit, emphasizing the need for finality in litigation. The appeal was dismissed with each party bearing their own costs.

 

 

 

 

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