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Issues Involved:
1. Rule of reservation in promotions in Railway service. 2. Determination of seniority between general and reserved category candidates. 3. Application of reservation once the quota is filled. 4. Specific cases of promotion and seniority disputes. Summary: 1. Rule of reservation in promotions in Railway service: The appeals and writ petitions address the rule of reservation in promotions within the Railway service, particularly how it affects the seniority between general candidates and candidates from reserved categories (Scheduled Castes and Scheduled Tribes). The rule of reservation applies not only at the initial recruitment stage but also at every subsequent promotion stage. 2. Determination of seniority between general and reserved category candidates: The Tribunal held that the seniority in the promoted category should be based on the initial seniority in Grade 'C'. Reserved category candidates promoted earlier due to reservation should not gain seniority over general candidates promoted later. The Railway Board's circulars support this view, stating that seniority should be governed by the panel position in the initial grade, not by the date of promotion to higher grades. 3. Application of reservation once the quota is filled: The Tribunal and the Supreme Court referred to the Constitution Bench decision in R.K. Sabharwal v. State of Punjab, which held that once the reserved posts in a cadre are filled, the rule of reservation should not be applied further. The percentage of reservation should be worked out concerning the total number of posts, not vacancies. 4. Specific cases of promotion and seniority disputes: In the case of Sri D. Williams, the Tribunal directed that seniority in the grade of Rs. 2000-3200 should be revised based on the date of actual promotion for general candidates and the date reserved candidates would have been promoted without reservation. The Supreme Court upheld the Tribunal's decision, emphasizing the need to adhere to the Railway Board's circulars and the principles enunciated. In the case of Sri Mohd. Sabir, the Tribunal directed the Railway authorities to promote general community members according to their seniority, as the reserved category representation had exceeded the prescribed percentage. The Supreme Court dismissed the appeal, reiterating that the rule of reservation should not be applied once the quota is filled. In another case, the Tribunal directed that the remaining vacancies in the category of Head Clerks should go to general candidates as the reserved category representation had already exceeded the prescribed percentage. The Supreme Court upheld this decision, emphasizing that the rule of reservation should be applied to posts, not vacancies. Conclusion: The Supreme Court affirmed that the rule of reservation in promotions should be applied in a manner that does not confer seniority to reserved category candidates over general candidates promoted later. The representation of reserved categories should be based on the total number of posts, and once the quota is filled, the rule of reservation should not be applied further. The Tribunal's decisions in specific cases were upheld, emphasizing the need to follow the Railway Board's circulars and the principles enunciated by the Supreme Court.
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