In the judgment of Parma Nand v. State of H.P. & Ors., the High Court of Himachal Pradesh dismissed a writ petition challenging concurrent ejectment orders, ruling that a Revenue Officer is not mandatorily required to convert into a Civil Court simply because an encroacher raises a plea of adverse possession.
Case Background: Alleged Encroachment and Demarcation
The case began when the Assistant Collector First Grade issued an eviction notice to the petitioner for encroaching on government land in Tehsil Karsog, District Mandi. The petitioner raised two primary defenses:
- Adverse Possession: He claimed his family had been in continuous and peaceful possession of the land for approximately 60 years, asserting that his title had ripened into ownership.
- Procedural Errors in Demarcation: He argued that the demarcation was invalid because it was conducted by a Field Kanungo rather than a higher-ranking officer and that the prescribed procedure (fixing “pucca” triangle points) was not followed.
Key Legal Finding: The Discretionary “May” vs. Mandatory “Shall”
The core of the legal dispute centered on the interpretation of Section 163(3) of the H.P. Land Revenue Act, 1954.
- The 2000 Amendment: The Court clarified that while an older version of the Act used the term “shall proceed,” an amendment in the year 2000 (Act No. 15 of 2000) replaced it with “may proceed”.
- Judicial Discretion: Justice Jyotsna Rewal Dua established that the Revenue Officer now has the discretion—rather than a mandate—to convert proceedings into a Civil Court to determine questions of title. This discretion must be exercised judiciously based on whether the plea of adverse possession is supported by foundational facts and tangible substance in the pleadings.
- Standalone Assertions are Insufficient: The Court held that a “mere standalone assertion” or a one-line claim in a reply is not enough to force a Revenue Officer to act as a Civil Court.
Lack of Evidence and Procedural Validity
The Court found the petitioner’s claims to be without merit for several reasons:
- Failure of Proof: The petitioner failed to produce any substantive or credible evidence to support his claim of possession for more than 30 years.
- Counsel’s Admission: During the hearing, the petitioner’s counsel admitted to the Court that the petitioner possessed no evidence whatsoever to reflect adverse possession for the required 30-year period.
- Validity of Field Kanungo’s Role: The Court upheld the demarcation, noting that Field Kanungos are authorized to perform these duties under general state instructions issued by the Principal Secretary (Revenue).
Final Ruling
Finding no illegality in the concurrent orders passed by the Assistant Collector, Sub Divisional Collector, and Divisional Commissioner, the High Court concluded that the petitioner had failed to demonstrate any prejudice. The writ petition was dismissed, and the orders for the petitioner’s ejectment from government land were upheld.
STPL (Web) 2026 HP 106
Parma Nand V. State Of H.P. & Ors. (D.O.J. 17-03-2026)
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