Jharkhand State Mineral Development Corporation through Its Managing Director v. Nirmal Singh
Condonation of delay refused – Section 5, Limitation Act
Case brief
What is this about?
Condonation of delay dismissed; Section 5 Limitation Act; 870 days delay; Letters Patent Appeal; L.P.A. No. 410 of 2024; I.A. No. 7280 of 2025; Jharkhand State Mineral Development Corporation v. Nirmal Singh and other caveator-respondents from Palamu and Garhwa; gross negligence by State instrumentality; procedural formalities and bureaucratic delay held insufficient; limitation binds the Government; 30-day limitation for LPA; judgment dated 12.04.2022 in W.P.(S) No. 2835 of 2014; Postmaster General v. Living Media India (2012) 3 SCC 563; Union of India v. Jahangir Byramji Jeejeebhoy 2024 INSC 262; Shiv Amma v. Karnataka Housing Board Civil Appeal No. 11794 of 2025; State of MP v. Ramkumar Choudhary; appeal consequently dismissed; neutral citation 2025:JHHC:28115-DB.
What did the court decide?
Between the date of the Single Judge's judgment (12.04.2022) and the sending of the file to the Advocate General there was a gap of more than two years, with no steps taken to secure the opinion needed to file the appeal within the 30-day limitation; there was gross negligence on the part of the applicant-appellants in taking steps expeditiously for filing the L.P.A.