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Power to Sell Trust Property Includes Power to Develop, Singly or Jointly, Subject to Sec 36 MPTA: Bombay High Court - 2025-05-03

Subject : Civil Law - Trust Law

Power to Sell Trust Property Includes Power to Develop, Singly or Jointly, Subject to Sec 36 MPTA: Bombay High Court

Supreme Today News Desk

Bombay High Court: Trustees' Power to Sell Includes Power to Develop Property for Slum Rehabilitation

Mumbai: The Bombay High Court, in a significant ruling concerning the administration of trust properties, has held that the power vested in trustees to sell trust property implicitly includes the power to undertake development activities, either independently or jointly with a partner, subject to statutory approvals. Justice AbhayAhuja delivered the judgment in an Originating Summons filed by the A. H. Wadia Trust .

Case Background

The A. H. Wadia Trust , a public charitable trust established under a Will dated 1882, approached the High Court seeking guidance on its powers regarding property development. The Trustees, Plaintiffs No. 2 to 5, sought the court's opinion under Rule 238 of the Bombay High Court (Original Side) Rules, 1980, specifically asking:

Whether the Trustees could undertake development activities, particularly Slum Rehabilitation Schemes (SRS), on trust lands threatened with acquisition by the Slum Rehabilitation Authority (SRA)?

If yes, could the Trust, lacking development expertise, collaborate with a joint venture partner for such schemes?

The need for the court's opinion arose after the SRA issued notices in 2015 threatening to acquire the Trust's vast landholdings in Mumbai if SRS proposals were not submitted within a stipulated time. The Trust engages in significant charitable activities funded partly by income generated from its properties, including occasional land sales.

Arguments Presented

Plaintiffs ( A. H. Wadia Trust & Trustees): * Senior Advocate Pankaj Sawant argued that the 1882 Will granted the Trustees the "fullest discretionary power" to manage the estate, including the power to "sell and convert into money" immovable properties for charitable purposes. * He contended that the broader power of sale inherently encompasses the power to develop the property, especially given the modern context of SRA regulations and the need to maximize returns for charitable objects. * The Trust Deed could not have anticipated the current issues of slum encroachments and the concept of slum rehabilitation prevalent today. * Section 36A(2) of the Maharashtra Public Trusts Act, 1950 (MPTA) empowers trustees to do all things necessary for prudent and beneficial management and achieving trust objects. * Developing the lands, possibly with an experienced partner due to the Trust's lack of expertise, was crucial to prevent loss of land via SRA acquisition (which would yield meagre compensation) and to generate funds for its charitable work. * The Plaintiffs clarified they were not pressing for a direction regarding the Charity Commissioner's sanction under Section 36 of the MPTA at this stage, acknowledging it would be sought separately. They also highlighted that the validity of the SRA notices was challenged in a separate pending writ petition.

Defendant (Charity Commissioner / State): * Represented by Additional Government Pleader Mohit Jadhav, the State filed a written statement primarily emphasizing the necessity of obtaining prior sanction from the Charity Commissioner under Section 36 of the MPTA for any alienation (including development leading to transfer) of trust property.

Court's Analysis and Decision

Justice Ahuja examined the scope of an Originating Summons under Rule 238, confirming its suitability for determining questions arising in trust administration.

The Court reviewed the relevant clauses of the 1882 Will establishing the Trust, noting the explicit grant of "fullest discretionary power" to trustees regarding the estate and its application for charitable purposes, including a broad power of sale.

Key Findings:

Power to Sell Includes Development: The Court reasoned, "In my view, the power to sell is a much wider power which would include the power to develop singly or jointly subject to the provisions of the Public Trusts Act and applicable law and regulations including the Slums Act." (Para 33)

Adaptation to Changed Circumstances: The Court acknowledged that the 1882 Will could not have foreseen modern challenges like extensive slum encroachment and development potential under SRA schemes. It recognised the need for the Trust to adapt to generate funds for its substantial charitable activities. "…in order to achieve the charitable objects of the Trust it may become necessary for the Plaintiff Trust to develop the lands, either singly or also jointly if the Plaintiff Trust lacks experience and expertise..." (Para 34)

Statutory Powers: The Court also referred to Section 36A(2) of the MPTA, which supports trustees taking necessary actions for prudent management and achieving trust objectives.

Conditions: The power to develop is subject to other provisions of the Trust Deed, Section 36 of the MPTA (requiring Charity Commissioner's sanction for alienation), and other applicable laws like the Slum Act.

Final Ruling:

Answering questions (b) and (c) raised in the Originating Summons in the affirmative, the Court held:

> "...subject to the other provisions of the Trust Deed and subject to the provisions of Section 36 of the Public Trusts Act and subject to the other applicable laws and regulations including the Slum Act, the Trustees of the Plaintiff Trust are as a consequence of power to sell, empowered to undertake development activities on its lands, singly or jointly." (Para 35)

The Originating Summons was decreed accordingly, clarifying the Trustees' power to pursue development options, including joint ventures, for slum rehabilitation on their lands, provided they obtain the necessary statutory sanctions, particularly under Section 36 of the MPTA, for any specific project involving alienation or transfer of interest.

#TrustLaw #PropertyDevelopment #BombayHC #BombayHighCourt

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