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2009 (5) TMI 977 - SC - Indian Laws


Issues Involved:
1. Eligibility of an Additional Judge for appointment as President of the State Consumer Disputes Redressal Commission.
2. Requirement and validity of the consultative process with the Chief Justice.
3. Legality and validity of the appointment against public interest.
4. Issuance of writ of Quo Warranto and writ of declaration.
5. Process of sending a panel of names for appointment.

Issue-wise Detailed Analysis:

1. Eligibility of an Additional Judge for Appointment:
The Supreme Court examined whether an Additional Judge, who was not confirmed as a Permanent Judge, could be appointed as the President of the State Consumer Disputes Redressal Commission under Section 16 of the Consumer Protection Act, 1986. The Court held that an Additional Judge who had demitted office and was not made permanent due to allegations of lack of probity could not be considered eligible for such an appointment. The Court emphasized the need for purposive interpretation over literal interpretation, stating that it would be a travesty of justice to appoint someone found unsuitable for a judicial office to another judicial position.

2. Requirement and Validity of the Consultative Process:
The Court scrutinized whether the consultation with the Chief Justice of the High Court was effective and meaningful. It was found that the Chief Justice recommended the name of the Additional Judge without considering the background and reasons for his non-confirmation as a Permanent Judge. The Court concluded that the process of consultation was vitiated due to the non-consideration of vital aspects, rendering the appointment process invalid.

3. Legality and Validity of the Appointment Against Public Interest:
The Court noted that the records indicated allegations against the Additional Judge, including lack of integrity and honesty. It was held that the appointment was against public interest as the individual was not confirmed as a Permanent Judge due to these allegations. The Court reiterated that a person lacking the necessary qualities for a judicial office should not be considered for any other judicial position.

4. Issuance of Writ of Quo Warranto and Writ of Declaration:
The Court addressed the issuance of a writ of Quo Warranto, which challenges the authority of a person to hold a public office. It was held that such a writ could be issued if the appointment was made in violation of statutory provisions. The Court also acknowledged the issuance of a writ of declaration, stating that it could declare the appointment invalid if the process and eligibility criteria were not met.

5. Process of Sending a Panel of Names for Appointment:
The Court examined the process where the Chief Justice sent a panel of three names to the State Government for appointment. It was held that this process was impermissible as the Chief Justice should have recommended only one name. The practice of sending a panel eroded the primacy of the Chief Justice in the appointment process, which should be based on his sole recommendation to maintain judicial independence.

Conclusion:
The Supreme Court concluded that the appointment of the Additional Judge as the President of the State Consumer Disputes Redressal Commission was invalid due to the lack of effective consultation and the individual's ineligibility. The Court emphasized the need for purposive interpretation of statutory provisions to uphold judicial independence and integrity. The appeals were dismissed, and the appointment was declared illegal.

 

 

 

 

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