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2004 (12) TMI 734 - SC - Indian Laws

Issues:
1. Appeal against High Court's judgment and order remanding the matter for amending pleadings and additional evidence.
2. Appeal against High Court's order dismissing the review petition.
3. Dispute over eviction based on reasonable requirement and bona fide need.
4. Compliance with Section 100 of the Code of Civil Procedure regarding formulation of substantial question of law.

Analysis:

Issue 1:
The appellant, a landlord, filed a suit for eviction against the respondent based on reasonable requirement and bona fide need. The Trial Court initially dismissed the suit, but the appeal was allowed by the Additional District Judge, decreeing eviction. However, the High Court remanded the matter for amending pleadings and additional evidence. The appellant argued that the finding of fact regarding her personal need was supported by evidence, and there was no need for further amendments or evidence. The Supreme Court noted that the High Court failed to formulate a substantial question of law as required by Section 100 of the Code of Civil Procedure. Consequently, the Supreme Court set aside the High Court's judgment and remitted the matter back for compliance with Section 100.

Issue 2:
The second appeal by the appellant was against the High Court's order dismissing her review petition. Since the Supreme Court set aside the judgment passed in the second appeal, the order in the review petition was also set aside. The appellant contended that there was no justification for the High Court's decision to remand the matter for amending pleadings and recording further evidence, as the facts were already before the court and known to the parties. The Supreme Court emphasized the importance of complying with the procedural requirements under Section 100 of the Code of Civil Procedure.

Issue 3:
The suit for eviction was based on the appellant's claim of bona fide personal need due to health reasons following an accident. The Trial Court initially dismissed the suit, but the appeal was allowed based on the appellant's established plea of bona fide personal need. The High Court allowed the second appeal by the respondent and remanded the matter, leading to the Supreme Court's intervention to ensure compliance with procedural requirements.

Issue 4:
The Supreme Court highlighted the necessity for the High Court to formulate a substantial question of law under Section 100 of the Code of Civil Procedure before disposing of the second appeal. Failure to comply with this requirement led to the setting aside of the High Court's judgment and remittance of the matter for proper consideration. The Court stressed the importance of adhering to procedural mandates to ensure fair and just adjudication.

 

 

 

 

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