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Issues Involved:
1. Appointment of a Receiver 2. Validity of Alienations 3. Allegations of Property Mismanagement 4. Previous Litigation and Acquiescence 5. Equitable Relief and Judicial Discretion Issue-wise Detailed Analysis: 1. Appointment of a Receiver: The primary issue is whether a receiver should be appointed for the suit properties pending the resolution of the suit. The court elucidates the role and definition of a receiver, emphasizing that a receiver is an impartial officer of the court appointed to preserve property during litigation when it is not reasonable for either party to hold it. The court relies on established legal principles and precedents, including English and American jurisprudence, to outline the circumstances under which a receiver may be appointed. The court stresses that the appointment of a receiver is a discretionary, equitable remedy that should be exercised with caution, only when there is no other adequate remedy, and when there is a clear, immediate danger to the property. 2. Validity of Alienations: The applicant-plaintiff seeks a declaration that the alienations made in favor of the defendants are not valid and binding. The court notes that the plaintiff has filed multiple suits on similar grounds, none of which have been pursued to conclusion. The allegations in the plaint are deemed inconsistent and misleading, with the defendants asserting that the family members had accepted a family arrangement and had been enjoying the properties accordingly, including making alienations. 3. Allegations of Property Mismanagement: The plaintiff alleges that the respondents are not taking care of the properties, leading to disrepair and reduced rental income. However, the court finds no acts of waste or danger to the property that would necessitate the appointment of a receiver. The defendants argue that they are bona fide purchasers in possession of the properties and have invested significant amounts, including obtaining a rent decree against the plaintiff. 4. Previous Litigation and Acquiescence: The court considers the history of previous litigation, noting that the plaintiff's family has filed multiple suits regarding the same properties, none of which have been pursued to completion. The latest suit is filed in forma pauperis, with exaggerated valuation. The court emphasizes that the conduct of the party seeking the appointment of a receiver is crucial, and parties who have acquiesced in the enjoyment of property against their alleged rights cannot seek a receiver except in special circumstances. The plaintiff's delay and previous withdrawal of suits indicate a lack of bona fides. 5. Equitable Relief and Judicial Discretion: The court reiterates the principles guiding the appointment of a receiver, emphasizing that it is an equitable relief based on judicial discretion. The court must be satisfied that the applicant has a prima facie case with a high chance of success, and that there is an immediate danger to the property. The court finds that the plaintiff has not demonstrated any emergency or danger that would justify the appointment of a receiver. The court concludes that none of the requirements for granting the appointment of a receiver are met in this case. Conclusion: The application for the appointment of a receiver is dismissed with costs, as the plaintiff has failed to establish the necessary conditions for such an appointment, including a clear prima facie case, immediate danger to the property, and absence of other adequate remedies. The court's decision is grounded in established legal principles and the specific facts of the case.
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