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Issues Involved:
1. Joint Hindu Family Status 2. Mutation Entry Validity 3. Right to Maintenance and Alienation 4. Limitation Period for Filing Suit Issue-wise Detailed Analysis: 1. Joint Hindu Family Status: The primary issue was whether the plaintiffs and Maha Chand constituted a joint Hindu family at the time of Maha Chand's death. The trial court found that the family was joint and had never been disrupted, thus the property was coparcenary. The High Court, however, concluded that the joint family had been disrupted after Ram Narain's death, relying on revenue records and the plaintiffs' conduct. The Supreme Court, upon reviewing the evidence, sided with the trial court, emphasizing the strong presumption in favor of Hindu brothers constituting a joint family. The defendants failed to establish a clear point of severance, and the mutation entries alone were insufficient to prove disruption. 2. Mutation Entry Validity: The plaintiffs contended that the entry of the defendant's name in the Jamabandi papers was incorrect and made by mistake. The trial court agreed, stating the mutation entry in favor of the defendant was wrong. The High Court, however, found the entries indicative of a disrupted family. The Supreme Court held that the mutation entries made when the plaintiffs were minors did not indicate severance and were not made with their knowledge or consent. The entries were for revenue purposes and did not reflect the true nature of the property ownership. 3. Right to Maintenance and Alienation: The trial court declared that the defendant's only right in the property was for maintenance and restrained her from alienating it. The High Court did not specifically address this issue but implied the defendant had ownership rights. The Supreme Court upheld the trial court's view, confirming that the defendant was entitled only to maintenance and could not alienate the property. 4. Limitation Period for Filing Suit: The defendant argued that the suit was barred by limitation, as she had been in possession since 1925. The trial court found the suit within time, as the defendant's adverse claim was first asserted in 1950. The High Court considered the suit time-barred but did not base its decision on this finding. The Supreme Court concluded there was no evidence of adverse possession before 1950, thus the suit was not barred by limitation. Conclusion: The Supreme Court allowed the appeal, set aside the High Court's decree, and restored the trial court's decree, confirming the joint family status, invalidating the mutation entry in favor of the defendant, and recognizing her right to maintenance only. The suit was deemed within the limitation period, and the defendant was ordered to pay the costs of the appellants in the High Court and the Supreme Court.
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