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1997 (10) TMI 422 - SC - Indian Laws

1. ISSUES PRESENTED and CONSIDERED

The core legal questions considered by the Court were:

- Whether the plaintiff was in peaceful and cultivating possession of the suit land, entitling him to injunction reliefs.

- Whether the suit for injunction was maintainable in its present form.

- Whether the sale deed (Exhibit D-1) executed in favor of the second defendant's wife and children was valid and binding, particularly given the absence of these vendees as parties to the suit.

- Whether the mutation (Exhibit D-2) and Jamabandi entries (Exhibits D-3 and DW-3/C) relied upon by the defendants were forged or fabricated.

- Whether the High Court was justified in entertaining the second appeal under Section 41 of the Punjab Courts Act, 1918, despite the amendments to Section 100 of the Code of Civil Procedure (CPC) requiring a substantial question of law.

- Whether the findings of the first appellate Court were based on evidence or were perverse and tainted by procedural irregularities.

2. ISSUE-WISE DETAILED ANALYSIS

Issue: Plaintiff's Possession and Entitlement to Injunction

The legal framework governing injunctions requires the plaintiff to establish possession and a prima facie right to prevent unlawful dispossession. The plaintiff claimed peaceful cultivating possession through ancestral sub-leases from evacuee land held by the Central Government's Rehabilitation Department. The defendants denied this, relying on documentary evidence including a registered sale deed (Exhibit D-1) and sanctioned mutation (Exhibit D-2) in favor of the second defendant's family members.

The trial Court found against the plaintiff on possession and entitlement to injunction, while the first appellate Court reversed this, holding that the plaintiff was in possession and that the defendants' documents were forged. The High Court, however, reinstated the trial Court's findings, emphasizing the absence of any documentary evidence produced by the plaintiff to support possession claims, including revenue records or evidence from the Rehabilitation Department. The Court noted that oral evidence alone, contradicting the official records produced by the defendants, was insufficient.

The Court observed that the first appellate Court's findings were based on suspicion rather than evidence, and that it had erred in concluding that the plaintiff was in possession or that forgery had occurred without pleadings or proof. The defendants' documentary evidence, including the sale deed and mutation, was accepted as prima facie valid, especially given that the vendees were not parties to the suit, and no challenge to the deed's validity was raised by the plaintiff.

Issue: Validity and Effect of Sale Deed and Mutation

The plaintiff did not challenge the validity of the sale deed or mutation in his pleadings or reliefs sought. The first appellate Court, however, declared these documents invalid and fraudulent, a finding which the High Court and the Supreme Court found unjustified. The Court held that it was beyond the jurisdiction of the first appellate Court to invalidate the sale deed in the absence of any issue or party contesting it. The mutation was also held to be properly sanctioned, and the alleged forgery claims were dismissed due to lack of evidence and context indicating clerical error by the Patwari.

Issue: Alleged Forgery of Revenue Records

The first appellate Court had found that the Jamabandi entries were tampered with or forged, but the High Court and Supreme Court found no material or evidence on record to support this conclusion. The Court emphasized that adverse remarks or findings against the defendants, including allegations of forgery, were misplaced and amounted to procedural impropriety and miscarriage of justice.

Issue: Maintainability of Second Appeal under Section 41 of the Punjab Courts Act vis-`a-vis Section 100 CPC

The appellant contended that the High Court erred in entertaining the second appeal without a substantial question of law as required under amended Section 100 CPC. The respondents argued that the appeal was filed under Section 41 of the Punjab Courts Act, 1918, which was pari materia with the pre-amendment Section 100 CPC and permitted second appeals on grounds including error or defect in procedure.

The Court examined the legislative provisions, including Section 4 of the CPC which preserves special or local laws, and the Full Bench decision of the Punjab and Haryana High Court holding that Section 41 of the Punjab Courts Act continued to apply despite amendments to Section 100 CPC. The Court accepted that the second appeal was maintainable under Section 41, especially since the first appellate Court had committed substantial procedural errors and jurisdictional excesses.

The Court declined to delve into the conflict between Section 41 and amended Section 100 CPC, since the appellant conceded maintainability under Section 41. It held that the High Court was justified in entertaining the second appeal on grounds of substantial procedural error and misapplication of law by the first appellate Court.

Issue: Procedural Errors and Misapplication of Law by First Appellate Court

The Court found that the first appellate Court had exceeded its jurisdiction by invalidating documents not challenged in the suit, making adverse findings without evidence, and exhibiting apparent bias against the second defendant. This amounted to a substantial error and defect in procedure, justifying interference in second appeal. The Court underscored that procedure is designed to advance justice but must be followed strictly when jurisdiction and powers are conferred by law.

3. SIGNIFICANT HOLDINGS

"The first appellate Court lost sight of the fact that there was no documentary evidence to support the case of the plaintiff... He termed sale deed Exhibit D-1 and sanction of mutation Exhibit D-2 as false documents 'intended to play fraud on the law of registration and are invalid and not binding on the plaintiff'. We do not find any justification for such a finding."

"The High Court also said that the approach of the learned Additional District Judge was not correct inasmuch as it was not for the defendant to show that they were in lawful possession of the land and unless they did so the plaintiff would succeed."

"The whole approach of the first appellate Court was based mere on suspicion and his possible bias against the second respondent then an evidence of which there was none and when there was no issue as well to support his findings."

"It was certainly the case where there was a substantial error of defect in the procedure as prescribed by the Code and the High Court was justified in entertaining the second appeal."

"No doubt procedure is meant to advance justice but when law prescribes as to how jurisdiction is to be exercised and power is conferred for the purpose, it has to be exercised that way."

The Court conclusively determined that the plaintiff failed to establish possession or entitlement to injunction, that the defendants' documents were prima facie valid, and that the first appellate Court's judgment was unsustainable due to lack of evidence and procedural irregularities. The High Court's decision restoring the trial Court's dismissal of the suit was upheld, and the appeal was dismissed with costs.

 

 

 

 

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