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Issues Involved:
1. Prospective and retrospective application of amended rules regarding qualifications for promotion. 2. Determination of eligibility based on the date of vacancy occurrence. 3. Validity of qualifications acquired during the period they were recognized. Detailed Analysis: 1. Prospective and Retrospective Application of Amended Rules: The petitioners, Class IV servants in Government Departments, sought promotion to Lower Division Clerks (LDC) based on qualifications equivalent to the Secondary School Examination. The Rajasthan Subordinate Offices Ministerial Staff Rules, 1957, initially recognized these equivalent qualifications. However, amendments effective from June 28, 1985, deleted these equivalences, restricting eligibility to those with a Secondary School Examination certificate from recognized boards. The petitioners argued that the amended rules should not apply retrospectively to disqualify them, as they had acquired the qualifications before the amendment. The judgment referenced several precedents, including the Supreme Court's stance in K.C. Arora v. State of Haryana, which held that retrospective amendments affecting vested rights are invalid. It was concluded that while rules can be amended retrospectively, such amendments cannot take away vested rights. The amended qualifications would apply to vacancies arising after the notification date, but not to those who had already acquired equivalent qualifications before the amendment. 2. Eligibility Based on Date of Vacancy Occurrence: The court addressed whether eligibility should be determined based on the date the vacancy occurred or any anterior date. It was concluded that the qualifications required for promotion should be based on the date of the vacancy. Vacancies occurring before the amendment would be governed by the old rules, as established in Y. V. Rangaiah v. I. Sreenivasa Rao and State of Rajasthan v. R. Dayal. 3. Validity of Qualifications Acquired During Recognition Period: The court examined whether qualifications acquired during their recognition period remained valid after derecognition. The petitioners had acquired qualifications like Rashtra Bhasha Parichay and Prathama before the amendment. The court distinguished between derecognition of specific institutions and general amendments in eligibility criteria. It was stated that removing a qualification from eligibility does not derecognize the degree itself but merely changes the eligibility criteria for a particular post. The judgment cited several cases, including Suresh Pal v. State of Haryana, where the Supreme Court upheld the validity of qualifications acquired during their recognition period. However, it was clarified that this principle applies to specific derecognition cases and not general amendments in eligibility criteria. Conclusion: The court concluded that the amended qualifications would apply to candidates who acquired equivalent qualifications before the amendment. However, the amended rules would not apply to vacancies occurring before the amendment date. The petitions were to be listed before an appropriate bench for decisions in accordance with this interpretation.
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