SYNOPSIS AND LIST OF
DATES
That the present Special Leave Petition is being
filed by the Petitioners impugning the final order/ judgment dated ______
passed by the Division Bench of the Hon'ble High Chhattisgarh, Biliaspur in
Writ Appeal No. _____ of _____, titled ____ & Ors V. __ & Ors, whereby
the Division Bench has reversed the detailed and landmark decision of the
Single Judge which had held that land acquisition was a colourable exercise of
power.
31.10.2001 Energy Policy of __________ Government was notified. Copy of Energy Policy
Notified by _______ Government is annexed as Annexure P1 Page ___ to Page ___.
22.02.2007 R & R Policy 20__ was published by
the State Government.
04.09.2008 The Government of ____ and the
__________ entered into a Memorandum of Understanding with M/S ______________
Limited for setting up of a 500 MW Thermal Power Project. Copy of MOU entered
into between The Government of ______, The Chhattisgarh State Electricity Board
and _______Limited is annexed as Annexure P2 Page ___ to Page ___.
15.05.20__ The Hon'ble Division Bench of High Court of _______ passed common
order against various civil appeals and allowed the Writ Appeals filed by the
Respondents herein.
.09.20__ Hence the present SLP
IN THE SUPREME COURT OF
INDIA
[SCR XXI
RULE 3(1)(a)]
CIVIL APPELLATE JURISDICTION
(Under Article 136 of the Constitution of India)
SPECIAL LEAVE PETITION (C) NO.________________ OF 20__
(Arising out of the final judgment and order dated 15.05.20___ passed by the
Hon'ble High Court of ______ in Writ Appeal No. _____ of and Writ Appeal ____
of 2012)
IN THE MATTER OF:
In High
Court In
Supreme Court
ABC
Respondent
Petitioner No. 1
Versus
Government of
___
Petitioner No. 1 Respondent No. 1
TO,
THE HON'BLE CHIEF JUSTICE OF INDIA AND HIS COMPANION JUSTICES OF THE HON'BLE
SUPREME COURT OF INDIA
THE HUMBLE PETITION ON BEHALF OF THE PETITIONER ABOVE NAMED
MOST RESPECTFULLY SHOWETH:
1. The present Special Leave
Petition has been filed under Article 136 of the Constitution of India against
the judgment and final order dated 15.05.20__ passed by the Division Bench of
Hon'ble High Court of ______ in Writ Appeal No. ___ of ____ and _____ of ____
whereby the appeal filed by the contesting respondents herein against the
judgment of the Ld. Single Judge were allowed.
2. QUESTIONS OF LAW:
A. Whether the land acquisition is for a Private Company or for a public
purpose and whether the acquisition is malafide being in colourable exercise of
power and fraud on the statute and in sheer abuse of power of eminent domain?
B. Whether land acquired by Private Company by violating Section 44B for any
other purpose than the purpose mentioned in Section 40(1)(a) is valid?
3. DECLARATION IN TERMS OF RULE 3(2):
That no other Petition seeking leave to Appeal
has been filed by the Petitioner against the final judgment and order dated
15.05.20__ passed by the Ld. Division Bench of High Court of ____ in Writ
Appeal No. __ of __ and __ of __.
4. DECLARATION IN TERMS OF RULE 5:
That the Annexures filed with the Present
Petition are true copies of the pleadings/ documents forming part of the
records before courts below.
5. GROUNDS:
That the present special leave to Appeal is being
filed on the following, amongst other, grounds without prejudice to each other;
i. Because the Division Bench of the Hon'ble High Court failed to appreciate
that the procedure for acquiring land for a public purpose cannot be adopted
for acquiring land for a private company. The acquisition in the instant case
was clearly an acquisition for a private company as was found by the Single
Judge and the State had undertaken a colourable exercise of power by stating it
to be an acquisition for a public purpose.
6. GROUNDS FOR INTERIM RELIEF
That the Petitioners have a good case on merits
and that there are fair chances of success in the matter before this Hon'ble
Court. The acquisition in the instant case was clearly an acquisition for a
private company as was found by the Single Judge and the State had undertaken a
colourable exercise of power by stating it to be an acquisition for a public
purpose. If no stay is granted then that would cause serious prejudice to the
petitioners. The petitioners are poor farmers and are in current occupation of
the land.
7. MAIN PRAYERS:
In view of the facts and circumstances as
mentioned above, it is most humbly prayed that this Hon'ble Court may
graciously be pleased to;
i. Grant Special Leave to Appeal against the order passed by the Division Bench
of the Hon'ble High ___________ in Writ Appeal No. ____ of ___, titled State of
____ & Ors V. ____ & Ors and in Writ Appeal No. ____ of 2012, titled
____ & Ors V. ____ & Ors.
ii. Pass such other or any further order(s) as may be deemed fit and
appropriate by this Hon'ble Court in the facts and circumstances of the present
case.
8. INTERIM PRAYER
It is, therefore, most respectfully prayed that
this Hon'ble Court be pleased to:
a) stay the impugned judgment dated 15.05.20__
passed by the passed by the Division Bench of the Hon'ble High ______ in Writ
Appeal No. ____ of ___, titled State of ____ & Ors V. ____ & Ors and in
Writ Appeal No. ____ of 2012, titled ____ & Ors V. ____ & Ors;
b) pass such other and further orders as this Hon'ble Court may deem fit and
proper in the interests of justice.
FILED BY:
Advocate for the
petitioner
Drawn By:
Drawn on:
Filed on:
New Delhi
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