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GHANSHYAM. VS. YOGENDRA RATHI

Author: Avishi Saini, a student at University Institute of Legal Studies, Panjab University, Chandigarh.

Details of the Case:

Brief Facts of the Case:

  1. The respondent filed a suit to evict the defendant-appellant from the property at H-768, J.J. Colony, Shakarpur, Delhi. The suit also sought mesne profits (compensation for wrongful occupation).
  1. The respondent claimed ownership based on an agreement to sell dated 10.04.2002, a power of attorney, a memo of possession, a receipt of payment, and a will bequeathing the property to him.
  1. The respondent took possession as per the agreement and later allowed the appellant to occupy part of the property as a licensee for 3 months. Despite the license period expiring and a termination notice issued on 18.02.2003, the appellant did not vacate.
  1. The appellant contested the suit, claiming the documents were manipulated but did not dispute their execution, the possession memo, or the payment of the sale consideration.
  1. The trial court framed three issues: manipulation of documents, the right to evict, and entitlement to mesne profits. 
  1. The trial court found no evidence of fraud or manipulation, confirmed the plaintiff-respondent’s right over the property, and granted a decree of eviction and mesne profits at Rs. 1000 per month.
  1. The appellant appealed, questioning whether the documents conferred any title to the respondent. The High Court ruled that the issue was not raised in the lower courts and thus could not be considered on appeal, finding no substantial question of law.
  1. The High Court upheld the trial court’s decision, supporting the plaintiff-respondent’s eviction and mesne profits. The appellant then appealed to the Hon’ble Supreme Court.

Issues of the Case:

  1. Whether the respondent is entitled to a decree of eviction against the appellant based on the termination of the license and the possessory rights claimed under the agreement to sell, memo of possession, and receipt of payment?
  1. Whether the respondent is entitled to recover mesne profits from the appellant for the period during which the appellant continued to occupy the suit premises after the termination of the license?

Concerned Provisions: 

  1. Section 53A of The Transfer of Property Act, 1882
  2. Section 54 of The Transfer of Property Act, 1882

Rationale:

  1. The agreement to sell does not constitute a document of title or a deed of transfer under Section 54 of the Transfer of Property Act, 1882, and thus does not confer absolute ownership upon the respondent. However, the respondent’s possession of the suit property, supported by the agreement itself, the full payment of consideration as documented, and the possession memo, establishes de facto possessory rights. These rights are protected under the principle of part performance, despite the lack of formal transfer of title. The appellant’s subsequent entry onto part of the property merely as a licensee of the respondent does not grant him ownership rights. His occupancy remains subordinate to the respondent’s possessory title. Therefore, the respondent is entitled to a decree of eviction against the appellant based on the termination of the license and the possessory rights claimed under the agreement to sell, memo of possession, and receipt of payment.
  1. Mesne profits are monetary compensation awarded to the rightful owner of property for the period during which another party wrongfully occupied or retained possession of that property. In this case, the respondent established their possessory rights over the suit property through an agreement to sell, supported by the payment of sale consideration and documented possession. The appellant continued to occupy the property beyond the period agreed upon in the license agreement. Despite the termination of the license, the appellant failed to vacate the premises, thereby wrongfully depriving the respondent of their rightful possession. Hence, the respondent is legally entitled to mesne profits as compensation for the appellant’s wrongful occupation of the property beyond the agreed license period.

Crux of the Judgment:

Conclusion:

FAQs (Frequently Asked Questions):

  1. What is the significance of an “agreement to sell” in property transactions?
  1. How does possession under an agreement to sell differ from ownership?
  1. What role do documents like a power of attorney or a will play in property disputes?
  1. How does the judgment address claims of fraud or manipulation regarding property documents?
  1. What are mesne profits, and why were they awarded in this case?
  1. What broader legal principles does this judgment illustrate?
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