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1991 (4) TMI 452 - SC - Indian Laws

Issues Involved:
The judgment deals with the issue of land acquisition under Sections 17 and 19 of the Bangalore Development Act, 1976, and the applicability of Section 11-A of the Land Acquisition Act, 1894, regarding the time limit for making an award.

Land Acquisition Proceedings:
The petitioners' lands were acquired by the respondents under the Bangalore Act, with the acquisition process being governed by the Land Acquisition Act. Section 11-A of the Land Acquisition Act, introduced in 1984, mandates that the Collector must make an award within two years from the date of declaration, failing which the proceedings lapse. The petitioners contended that as awards were not made within two years of the notification, the acquisition proceedings had lapsed. The High Court rejected this contention, along with others, in a judgment being challenged before the Supreme Court.

Timeline and Legal Proceedings:
The notification declaring the acquisition was made on September 20, 1977, and Section 11-A came into force on September 20, 1984. The first proviso to Section 11-A required awards to be made within two years from the commencement of the Amendment Act. The petitioners obtained an interim order from the Supreme Court in 1985, maintaining status quo on possession. Subsequent writ petitions in the Karnataka High Court challenged the acquisition due to awards not being made within the stipulated time. Despite interim stays granted by the High Court, the petitions were dismissed at various levels, leading to the filing of Special Leave Petitions before the Supreme Court.

Suppression of Material Facts:
The Supreme Court noted that the petitioners failed to disclose the interim stay orders obtained during the legal proceedings, which were crucial in determining the Special Leave Petitions. The Court emphasized that full disclosure of facts is essential when seeking relief under Article 136 of the Constitution. The non-disclosure of material facts, such as the interim orders, was considered as suppression of facts, leading to the dismissal of the Special Leave Petitions.

Conclusion:
The Supreme Court dismissed the Special Leave Petitions due to the non-disclosure of material facts regarding the interim stay orders, emphasizing the importance of full disclosure in seeking relief. No costs were awarded in relation to the petitions.

 

 

 

 

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