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Issues involved: Suit for eviction based on alleged sub-letting of premises by tenant.
Summary: The appellant, a landlord, filed a suit for eviction of the respondent tenant, a firm with four partners, alleging sub-letting of the premises. The tenant denied sub-letting, stating that after dissolution of the firm, one partner continued the business in the same premises. The trial court decreed eviction, but the High Court overturned this decision, finding no sub-letting as one partner retained legal possession. The Supreme Court considered whether such transfer of tenancy rights without landlord's consent constitutes sub-letting. The appellant argued that after dissolution, all rights were transferred to one partner who continued as owner, questioning if this constituted sub-letting. Referring to legal precedents, the Court emphasized that in a partnership, the tenant retains legal possession, and mere partnership for business does not amount to sub-letting unless control and possession are transferred. As one partner continued in possession, the Court upheld the High Court's decision of no sub-letting and dismissed the eviction suit. In conclusion, the Supreme Court found no merit in the appeals and dismissed them accordingly.
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