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Issues:
Acquisition of land under the Land Acquisition Act - Challenge to notification and declaration - Compensation determination - Legal fiction of deemed date to notification under Section 4(1) - Possession by development authority - Statutory provisions and judgments interpretation. Analysis: 1. Challenge to Notification and Declaration: The case involved the acquisition of land for the development of a historical town in Madhya Pradesh. After a notification under Section 4(1) of the Land Acquisition Act was quashed in 1980, a fresh notification was issued in 1985, followed by a declaration under Section 6 in 1986. The High Court annulled the notification, but the Supreme Court set aside the judgment due to peculiar circumstances and upheld the acquisition. 2. Compensation Determination: The Supreme Court deemed the notification date to be January 1, 1988, for compensation determination purposes. The court noted the substantial increase in land value due to improvements made post-notification. The appellants were entitled to 25% of the potential value increase, with the development authority allowed to take possession subject to compensation redetermination. 3. Legal Fiction of Deemed Date: The court clarified that the deemed date was solely for enhanced compensation to the appellants and not for other landowners. The legal fiction of the deemed date did not require a fresh declaration under Section 6 or an award under Section 11/11A, emphasizing the redetermination of compensation only. 4. Possession by Development Authority: The court allowed the development authority to take possession under Section 16 without the need for a fresh declaration under Section 6. The compensation redetermination was the focus, and possession was taken after compensation reassessment on 1st January 1998. 5. Statutory Provisions and Judgments Interpretation: The appellants argued against the earlier judgment's validity, citing statutory provisions and case law. However, the court upheld its previous decision, emphasizing the deemed date's purpose for enhanced compensation and the limitations on extending the legal fiction beyond its intended scope. In conclusion, the Supreme Court dismissed the appeals challenging the acquisition proceedings and the cross-appeal by the development authority. The court directed the development authority to pay compensation to the claimants promptly and instructed to decide any pending reference petitions in accordance with the law and previous directions. The judgment highlighted the importance of adhering to statutory provisions and interpreting legal fictions within their intended scope.
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