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2025 Supreme(Mad) 3822

BEFORE THE MADURAI BENCH OF MADRAS HIGH COURT
G.K. ILANTHIRAIYAN, J.
D. Kasirajan - Petitioner
Versus
The Sub-Registrar, Thiruppuvanam, Sivagangai District - Respondent
W.P.(MD).No.31369 of 2024 and W.M.P.(MD) Nos.26269 & 26272 of 2024
Decided On : 02-01-2025

Advocates Appeared:
For the Petitioner: Mr. M. Rajendran.
For the Respondent: Mr. S.P. Maharajan Special Government Pleader.

Court ruled that registration of sale deeds cannot be arbitrarily refused for lack of production of original documents when copies are provided and verified.

Headnote:(A) Tamil Nadu Registration Rules, 2000 - Rule 55A - Writ petition challenging refusal to register a sale deed due to non-production of original parent documents - The petitioner was an owner who executed a sale deed but faced registration refusal by the Sub-Registrar for not producing the original deed. The court reiterated the authority of the registration rules and emphasized that the power of registrars must align with statutory legislation. (Paras 1-10)

(B) Transfer of Property Act, 1882 - Sections 6, 7, 41, 42, 43, 48, 53, 54 - The court recognized the validity of successive transfers of property and affirmed that even unauthorized transfers can be valid upon acquiring subsequent interest. Rights must respect prior claims and can't be arbitrarily impeded by registration rules limiting necessary documentation. (Paras 8-9)

(C) Court held that insisting on the production of original parent documents in the context presented was an unlawful exercise of discretion and set aside the refusal, directing registration without requiring original documents. (Paras 5-10)

Findings of Court:
The insistence on the original documents was unwarranted, and reproducing registration copies was sufficient for the Sub-Registrar to proceed with registration. The petitioner allowed to re-present the sale deed for registration.

Result: Writ petition allowed.

Table of Content
1. challenging the refusal of registration. (Para 1 , 2 , 3)
2. legal requirements for registration. (Para 4 , 5 , 6)
3. critical view on rule 55-a's application. (Para 7 , 9)
4. constitutional rights concerning property transactions and the role of regulation. (Para 8)
5. conclusion on registration process. (Para 10)

ORDER :

This writ petition has been filed challenging the impugned refusal check slip dated 20.11.2024 passed by the respondent, thereby refused to register the sale deed executed by the petitioner on the ground that the petitioner failed to produce the original parent document in respect of the property.

2. By consent of both parties, this writ petition is taken up for final disposal at the stage of admission itself. Heard the learned counsel on either side and perused the materials placed before this Court.

3. The petitioner owned the subject property and intended to sell the same. After execution of the sale deed, it was presented for registration before the respondent. However, the respondent refused to register the same on the ground that the petitioner failed to produce the parent deed in respect of the subject property.

4. The learned Special Government Pleader appearing for the respondent submitted that the Hon'ble Division Bench of this Court in W.A.No. 271 of 2024 dated 25.03.2024 held that the first proviso to Rule 55 A of the TAMIL NADU REGISTRATION RULES , 2000 is not at all declared as ultravires by this Court. The provisos to Rule 55 A are intact in Rule Books and therefore, it is to be complied scrupulously, whenever documents are presented for registration. Further, the second and third provisos to Rule 55A of the Registration Rules enumerates procedures to be followed in the event of non-availability of revenue records to be produced for registration. The presentant of a document is bound to comply with the conditions stipulated in Rule 55A for registering a document under the Registration Act.

5. In the case of Federal Bank v. Sub-Registrar reported in (2023) 2 CTC 289, it is held that it is not open to the Inspector General of Registration to take a contra view and notify a subordinate legislation the effect of which is to completely render nugatory to the interpretation made by this Court. Ex-facie, the first proviso to Rule 55-A (i) is clearly illegal and is vitiated by a clear abuse of power.

6. In the case of N. Ramayee vs. The Sub Registrar , in W.P.No.674 of 2020 dated 05.11.2020, the Hon'ble Division Bench of this Court held as follows:-

“29. In the light of the above when we deal with the various provisions of the Transfer of Property Act the question arises as to whether the transfer is restricted to one time in respect of the immovable property, unless the previous transfer or any agreement is set aside in the court of law, and other transfer is permissible? The answer is absolutely “No” for the following reasons:

The property of any kind may be transferred, except as otherwise provided by the transfer of property Act or by any other law for the time being, as provided in Section 6 of the Transfer of property Act.

30. Every person competent to contract and entitled to transferable property, or authorised to dispose of transferable property not his own, is competent to transfer such property either wholly or in part, and either absolutely or conditionally, in the circumstances, to the extent and in the manner allowed and prescribed by any law for the time being in force, as per Section 7 of the Transfer of Property Act. The reading of the above section makes it very clear that even a person not entitled transferable property is competent to transfer such property when he was authorised to dispose of such property.

31. Section 41 of the Transfer of Property Act deals with the power of the ostensible owner to effect the transfer of the property with consent, express or implied of the real owner.

32. From the principle underlined in the Section 41 of the Transfer of Property Act is th

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