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Issues Involved:
1. Transfer of Judges of the High Courts under Article 222 of the Constitution of India. 2. Judicial review of the transfer of High Court Judges. 3. Alleged conflict between the Judges' Case-II and Kesavananda Bharati regarding judicial review. 4. Guidelines for exercising the power of transfer under Article 222. 5. Justiciability of the transfer of High Court Judges. Issue-wise Detailed Analysis: 1. Transfer of Judges of the High Courts under Article 222 of the Constitution of India: The matters at hand are a sequel to the decision by a nine-Judge Bench in the Supreme Court Advocates-on-Record Association and Ors. v. Union of India, AIR1994SC268 (Judges Case-II), and concern the transfer of Judges of the High Courts under Article 222 of the Constitution of India. The appellant sought a declaration that High Court Judges are not liable to be transferred, arguing that such transfers could be influenced by extraneous considerations, leading to arbitrariness and erosion of judicial independence. The Andhra Pradesh High Court rejected these contentions, leading to the present appeal. 2. Judicial Review of the Transfer of High Court Judges: The appellant contended that the exclusion of judicial review in the Judges' Case-II conflicts with the decision in Kesavananda Bharati, which held judicial review as a basic feature of the Constitution. The Court clarified that the Judges' Case-II does not exclude judicial review but limits its scope to the constitutional requirement of the Chief Justice of India's recommendation for transfers. The Court emphasized that the transfer of judges is justiciable only on the ground that the transfer was made without the Chief Justice of India's recommendation. 3. Alleged Conflict between Judges' Case-II and Kesavananda Bharati: The appellant argued that the Judges' Case-II's exclusion of judicial review contradicts the larger Bench decision in Kesavananda Bharati. The Court, however, found no conflict, explaining that the Judges' Case-II merely limits the area of judicial review due to the nature of the exercise and the discretion vested in the highest constitutional functionaries. The Court reiterated that the Judges' Case-II does not exclude judicial review but emphasizes its limited scope. 4. Guidelines for Exercising the Power of Transfer under Article 222: The Court referred to the guidelines outlined in the Judges' Case-II, which include ensuring that the power of transfer is exercised in "public interest" for promoting better administration of justice throughout the country. The Chief Justice of India's opinion is determinative in this matter, and the transfer policy includes various checks against arbitrariness, such as consultation with other judges and consideration of personal factors of the concerned judge. The Court highlighted that the norms developed in practice have crystallized into conventions, which guide the exercise of this power. 5. Justiciability of the Transfer of High Court Judges: The Court reiterated that the transfer of judges is justiciable only on the ground that the transfer was made without the Chief Justice of India's recommendation. The decision-making process includes several inbuilt checks against arbitrariness or bias, such as the plurality of judges in forming the Chief Justice of India's opinion and effective consultation. The Court emphasized that the reduced area of justiciability is necessary to prevent unnecessary litigation and to maintain the credibility of judicial decisions. Conclusion: The Court concluded that the points raised in the appeal and the transferred case are adequately covered by the Judges' Case-II. The exercise of the power of transfer under Article 222 is to subserve a public purpose and promote public interest for better administration of justice. The guidelines and norms developed in practice provide sufficient safeguards against arbitrariness. The Court dismissed both matters, affirming the validity of the transfer policy and the limited scope of judicial review in such cases.
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