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Issues involved:
Jurisdiction of Civil Court to try the suit, Specific enforcement of a contract of service, Prayers in the suit seeking reinstatement and injunction. Jurisdiction of Civil Court to try the suit: The respondent filed a suit against the appellant seeking declaration and permanent injunction. The trial court held that it had no jurisdiction to entertain the suit, and this decision was upheld by the appellate court. However, the High Court allowed the appeal, stating that the suit was maintainable before the Civil Court. The defendant then appealed to the Supreme Court. The plaintiff was appointed by the defendant Company and was transferred, leading to a dispute. The legal question was whether a contract of service can be specifically enforced. Specific enforcement of a contract of service: The appellant argued that the prayers in the suit sought reinstatement of the plaintiff, amounting to specific performance of a contract of personal service, which is barred under the Specific Relief Act. The general rule is that a court will not enforce a contract of personal service, except in specific cases like public servants under Article 311 or industrial disputes. In this case, the relationship was based on a private contract, and the plaintiff challenged the transfer order. The defendant contended that the suit essentially sought enforcement of a contract for personal service, which the law does not permit. Prayers in the suit seeking reinstatement and injunction: The plaintiff sought a declaration that the transfer order was illegal, to continue in service, and an injunction against an inquiry by the defendant. The court analyzed the facts and found that granting these reliefs would amount to enforcing a contract of personal service, which is not permissible under the law. The court held that the suit should be dismissed at the threshold since the reliefs prayed for could not be granted due to the nature of the employment contract. The Supreme Court allowed the appeal, setting aside the High Court's judgment and restoring the decisions of the lower courts to reject the plaint. This case involved a dispute over jurisdiction of the Civil Court to try a suit seeking reinstatement and injunction in a private employment contract. The Supreme Court held that the suit was not maintainable as it essentially sought to enforce a contract of personal service, which is generally not allowed under the law. The court emphasized that unless there is a specific term in the contract, a transfer order is a normal incidence of service, and the management has the right to hold an inquiry if an employee does not comply. Therefore, the reliefs sought by the plaintiff could not be granted, and the suit was rightly rejected by the trial court and affirmed by the lower appellate court.
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