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2024 (11) TMI 1335 - HC - Indian Laws


Issues Involved:

1. Applicability of the principles of delay, laches, and limitation in the rejection of the Original Application by the Tribunal.
2. Determination of the appropriate cause of action date for assessing the limitation period.

Issue-wise Detailed Analysis:

I. Applicability of Delay, Laches, and Limitation:

The primary issue addressed by the court was whether the Central Administrative Tribunal correctly applied the principles of delay, laches, and limitation in rejecting the Original Application filed by the petitioner. The Tribunal dismissed the application on the grounds of "acquiescence and laches" and being barred by limitations, citing that the seniority list was prepared on 20.06.2013, and the petitioner approached the Tribunal after six years, which was deemed as delayed.

The court analyzed the principles of delay and laches, emphasizing that these principles apply when the limitation period is not explicitly defined. The Administrative Tribunal Act, 1985, provides a statutory framework for limitation, and the Tribunal is empowered to condone delays if sufficient cause is shown, akin to Section 5 of the Limitation Act, 1963.

The court highlighted that the Tribunal must distinguish between cases where the principle of limitation applies versus those where delay and laches are relevant. The Tribunal's decision was questioned because it did not properly consider whether the limitation period should be calculated from the issuance of a provisional seniority list or the rejection of the petitioner's objections.

II. Determination of the Cause of Action Date:

The court scrutinized the factual timeline to determine the appropriate cause of action date for assessing the limitation period. The petitioner contended that the cause of action arose when the provisional seniority list was issued on 03.06.2019, and objections were invited, which were subsequently rejected on 13.01.2020. The petitioner argued that the application to the Tribunal was filed within one year from the rejection of objections, thus falling within the permissible limitation period under the Administrative Tribunal Act, 1985.

The court agreed with the petitioner, stating that the cause of action should be considered from the date when the objections were rejected, not from the initial preparation of the seniority list in 2013. The court noted that the Tribunal failed to appreciate this distinction, leading to an erroneous dismissal of the application based on delay and laches.

Conclusion:

The court concluded that the Tribunal's decision to dismiss the application based on delay and laches was flawed. It held that the cause of action arose from the rejection of the petitioner's objections to the provisional seniority list, and the application was filed within the appropriate limitation period. The court set aside the Tribunal's order and remitted the matter for fresh consideration, directing the Tribunal to provide an opportunity for a hearing and to decide the matter in accordance with the law. The writ petition was disposed of with these directions.

 

 

 

 

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