In the judgment of Ram Lal and Ors. v. State of Himachal Pradesh, the High Court of Himachal Pradesh clarified the limitations of an Executive Magistrate’s power under Section 133 of the CrPC (Section 152 of the BNSS). The Court ruled that this provision is intended for the removal of unlawful obstructions from existing public ways, not for the creation of new paths or the settlement of private easement disputes over government property.
Case Background and the SDM’s Order
The petitioners, residents whose houses were adjacent to the playground of Government Senior Secondary School (GMSSS) Janjehli, claimed that their traditional passage had been blocked by the school’s construction of a boundary wall. They filed an application under Section 133 of the CrPC, and the Sub Divisional Magistrate (SDM) subsequently ordered the partial demolition of the boundary wall to create a 2-foot passage and install an iron gate. The Sessions Judge later reversed this order, leading to the current petition before the High Court.
Key Legal Principles Established
The High Court upheld the reversal of the SDM’s order based on several critical findings:
- Removal vs. Creation: The Court emphasized that Section 133 is a summary power meant to clear obstructions from public places or ways. It cannot be used to carve out a new passage or “ensure peace” by granting a new right of way.
- Public Place vs. Government Property: While the petitioners claimed to have used the playground as a path for 30–40 years, the land was recorded as government property (a school playground) rather than a dedicated public path. The Court held that permissive use does not automatically convert such property into a public way for the purposes of Section 133.
- Violation of Natural Justice: The SDM committed a material irregularity by failing to afford the State of Himachal Pradesh, the actual owner of the land, an opportunity to be heard. Instead, only the School Principal was impleaded as a respondent.
- Civil Suit as Proper Remedy: Disputes regarding the right to a passage (easements) over another’s land—including government land—must be decided by a competent Civil Court through a formal suit, not through summary criminal proceedings.
- Protection of Public Assets: The Court noted that the boundary wall was constructed with public money; ordering its demolition without a formal declaration of rights by a court was a grave error.
Conclusion
The High Court dismissed the petition, concluding that the SDM had exceeded his jurisdiction. The ruling reinforces that Executive Magistrates cannot use public nuisance laws to settle private disputes over land use or to dismantle government infrastructure for private benefit.
Himachal Pradesh High Court
Ram Lal AndOrs. V. State of Himachal Pradesh And Ors. (27-02-2026)
STPL (Web) 2026 HP 51






