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2007 (3) TMI 826 - SC - Indian Laws

Issues Involved:
1. Is the suit maintainable?
2. Is the respondent guilty of cruelty as alleged?
3. Is the petitioner entitled to a decree of divorce as claimed?
4. To what other relief or reliefs is the petitioner entitled?

Detailed Analysis:

1. Is the suit maintainable?
The trial court found the suit to be maintainable as this issue was not pressed by the respondent.

2. Is the respondent guilty of cruelty as alleged?
The trial court concluded that the respondent was guilty of mental cruelty based on several facts:
- Respondent's refusal to cohabit with the appellant.
- Unilateral decision by the respondent not to have children.
- Humiliation and virtual eviction of the appellant from the Minto Park apartment.
- Respondent cooking only for herself, forcing the appellant to eat out or cook for himself.
- Lack of care during the appellant's prolonged illness and bypass surgery.
- Humiliation and eviction of the appellant's loyal servant-cum-cook, Prabir Malik.

The High Court, however, reversed this decision, stating that:
- The respondent had the right to decide when to have a child.
- The appellant failed to disclose when the respondent decided not to have a child.
- The appellant condoned the acts of cruelty by continuing to live with the respondent.
- The High Court disbelieved the appellant on the issue of refusal to cohabit due to lack of specific dates.
- Sleeping in separate rooms did not necessarily mean non-cohabitation.
- Refusal to cook did not amount to mental cruelty considering the respondent's professional status.
- Not meeting the appellant during his illness did not constitute mental cruelty.

The Supreme Court criticized the High Court's approach, emphasizing that the respondent's refusal to cohabit, unilateral decisions, and neglect during illness constituted mental cruelty. The Supreme Court noted that the High Court failed to appreciate the evidence correctly and placed undue emphasis on the respondent's professional status.

3. Is the petitioner entitled to a decree of divorce as claimed?
The Supreme Court analyzed the concept of mental cruelty in detail, referencing various legal definitions and precedents. It concluded that the respondent's conduct, including refusal to cohabit, unilateral decisions, neglect, and humiliation, amounted to mental cruelty. The Supreme Court emphasized that mental cruelty must be assessed based on the entire matrimonial relationship and the cumulative effect of the respondent's conduct. The Court found that the marriage had irretrievably broken down, with the parties living separately for over sixteen and a half years and no interaction between them.

4. To what other relief or reliefs is the petitioner entitled?
The Supreme Court restored the judgment of the learned Additional District Judge, granting the decree of divorce. The Court noted that any further effort to preserve the marriage would be counterproductive and that the High Court erred in reversing the well-reasoned judgment of the trial court. The appeal was disposed of, with each party bearing their own costs.

 

 

 

 

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