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Issues:
1. Entitlement to regularization and equal pay for daily wage helpers in Haryana Roadways. 2. Application of the principle of "equal pay for equal work" in determining the salary of daily wage workers. 3. Interpretation of previous judgments regarding equal pay for equal work principle. 4. Comparison of work done by different employees in different organizations. Analysis: 1. The case involved thirty-five helpers appointed on daily wages in Haryana Roadways seeking regularization and equal pay as regular employees. They claimed entitlement based on the principle of "equal pay for equal work." The High Court directed payment of minimum pay with dearness allowance to the helpers, considering their service duration and nature of work similar to regular employees. 2. The principle of "equal pay for equal work" was contested, with the State of Haryana arguing against the High Court's decision, citing previous legal precedents. The Court acknowledged the challenges in applying this principle, emphasizing the need to consider factors like responsibility, reliability, and confidentiality in determining pay differentiation among employees with similar roles. 3. Previous judgments such as State of U.P. v. J.P. Chaurasia and Harbans Lal v. State of Himachal Pradesh highlighted that the principle of "equal pay for equal work" is not mechanically applicable in all cases. The Court stressed the importance of evaluating various dimensions of a job beyond mere physical activity, requiring expert judgment for fair assessment. 4. The Court referred to Jasmer Singh's case, emphasizing that daily wage workers cannot be equated with regular employees in terms of qualifications, selection process, and service conditions. It was clarified that daily wage workers are entitled to minimum wages prescribed for their category, not the minimum pay scale of regular employees, unless the employer decides otherwise. 5. Ultimately, the Court set aside the High Court's judgment, directing the State to ensure payment of minimum wages to the daily wage helpers. The decision highlighted the need for clear evidence of equivalence and discrimination before claiming equal rights, emphasizing that the concept of "equal pay for equal work" requires substantial identity between employee groups claiming identical pay scales.
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