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1990 (12) TMI 344 - SC - Indian Laws

Issues Involved:
1. Non-Maintainability of Writ Petition No. 5287/83
2. Allegations of Forgery, Fraud, and Misrepresentation
3. Merits of the Case and Arbitrary Actions by TUDA
4. Public Interest Litigation and Allegations of Collusion
5. Compliance with Sanctioned Plan and Construction Permissions

Issue-Wise Detailed Analysis:

1. Non-Maintainability of Writ Petition No. 5287/83
The High Court's decision to dismiss Writ Petition No. 5287/83 was based on the premise that the petition was filed by a non-existent person, M. B. Menon Unnikrishnan (MBUK). However, it was clarified through affidavits and testimonies that the petition was filed by UK's father under a power of attorney, and the name MBUK was an inadvertent error. The Supreme Court found that the High Court erred in conflating non-maintainability with lack of bona fide. The petition was indeed maintainable as the real owner, UK, had authorized it, and the error in the name was minor and inadvertent.

2. Allegations of Forgery, Fraud, and Misrepresentation
The High Court had found that various applications and representations were not signed by the purported persons, leading to allegations of forgery and fraud. However, the Supreme Court held that the High Court failed to appreciate the oral testimonies and did not find any evidence that the signatures were made without the knowledge or authority of the real owners. The Supreme Court emphasized that mere denial of signatures was insufficient to conclude forgery or fraud. The actions were done with the knowledge and implied consent of the real owners, and the High Court's findings of forgery and fraud were not justified.

3. Merits of the Case and Arbitrary Actions by TUDA
The Supreme Court noted that the Trichur Urban Development Authority (TUDA) and the Municipal Council (MC) acted arbitrarily by withholding permission for construction despite the absence of any pending development scheme. The State Government had directed TUDA to grant permission as no scheme was pending, and the High Court failed to recognize that TUDA's refusal was unjustified. The Supreme Court held that TUDA's actions were contrary to the law, specifically Section 15(1)(a) of the Town Planning Act, which restricts construction only after the publication of a notification under Section 8 or 10, which had not occurred at the relevant time.

4. Public Interest Litigation and Allegations of Collusion
The public interest litigation (PIL) filed by the ex-Chief Minister alleged collusion between the appellants and the Government, claiming that the Government's directions to TUDA were motivated and that the appellants had violated the sanctioned plan. The Supreme Court found that the PIL was influenced by public interest but was ultimately swayed by suspicions rather than concrete evidence. The Court dismissed the PIL, except for the direction to the Government to fill non-official vacancies on the TUDA Board.

5. Compliance with Sanctioned Plan and Construction Permissions
The Supreme Court addressed the issue of compliance with the sanctioned plan. The Commissioner's report indicated that the appellants had complied with the requirement of leaving a 6-meter setback, and any minor encroachments could be compounded in accordance with the law. The Court directed that the appellants be allowed to complete the construction as per the permissions granted by the MC and TUDA. Additionally, if the State Government's final scheme necessitates demolition for road widening, the appellants should be compensated at the prevalent market rate.

Conclusion:
The Supreme Court allowed the appeals, quashing the High Court's orders, and directed that the appellants be permitted to complete the construction as per the sanctioned plan. The PIL was dismissed except for the direction to fill non-official vacancies on the TUDA Board. The Court emphasized that the appellants' actions were not fraudulent or misleading and that TUDA's refusal to grant permission was arbitrary and contrary to law.

 

 

 

 

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