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2015 (11) TMI 1795 - SC - Indian Laws


Issues Involved:
1. Renewal and appointment of District Government Counsel (Civil and Criminal) in Uttar Pradesh.
2. Validity of the High Court's order quashing the State Government's termination of District Government Counsel appointments.
3. Compliance with Section 24 of the Code of Criminal Procedure and the Legal Remembrancer Manual.
4. Judicial review of the State Government's discretion in appointing counsel.
5. Application of the doctrine of precedent and stare decisis.

Issue-wise Detailed Analysis:

1. Renewal and Appointment of District Government Counsel:
The appeals concern the renewal and appointment of District Government Counsel (DGC) in Uttar Pradesh. The State Government's termination of DGCs was challenged, and the High Court directed reconsideration of renewals in accordance with Section 24 of the Code of Criminal Procedure and the Legal Remembrancer Manual (LR Manual). The LR Manual mandates consultation with the District Judge and the District Magistrate for such appointments.

2. Validity of the High Court's Order:
The High Court quashed the State Government's orders terminating the appointments of DGCs and directed the State to reconsider their renewal. The Supreme Court noted that the High Court's decision sought to perpetuate an illegality by not adhering to the procedural requirements and principles laid down in previous judgments, particularly in the case of State of U.P. v. Johri Mal.

3. Compliance with Section 24 of the Code of Criminal Procedure and the LR Manual:
The Supreme Court emphasized that appointments and renewals must comply with Section 24 of the Code of Criminal Procedure and the LR Manual. The LR Manual, amended in 2008, removed the requirement for consultation with the District Judge, which was a significant point in the decision. The Court reiterated that the State Government must follow the procedures laid down in these regulations.

4. Judicial Review of the State Government's Discretion:
The Court reiterated that the appointment of DGCs is a professional engagement, and the State Government has the discretion to determine the course of action based on the performance and trust in the counsel. The Court must exercise judicial review with caution and not interfere with the State's discretion unless there is a clear deviation from legal principles or mandatory provisions.

5. Application of the Doctrine of Precedent and Stare Decisis:
The Supreme Court underscored the importance of following precedents and the doctrine of stare decisis. The judgment in State of U.P. v. Johri Mal, delivered by a Three-Judge Bench, is binding and must be followed. The Court criticized the High Court for not adhering to this precedent, leading to inconsistency and uncertainty in the law.

Conclusion:
The Supreme Court allowed the appeals, set aside the impugned judgment, and directed the State Government to make fresh appointments expeditiously, in compliance with the principles laid down in Johri Mal and other relevant judgments. The Court emphasized the need for competent counsel with integrity to be appointed to ensure the proper administration of justice.

 

 

 

 

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