The case of Priyanka Sharma and Others v. State of Himachal Pradesh involves a legal challenge to the recruitment process for Homeopathic Medical Officers, specifically focusing on whether the recruitment should be entirely direct or split with batch-wise appointments.
Factual Background
- The Advertisement: On February 29, 2024, the State issued an advertisement inviting applications for 22 posts of Homeopathic Medical Officer (Class-I Gazetted) on a contract basis through 100% direct recruitment.
- The Challenge: The petitioners, registered Homeopathic practitioners, challenged this advertisement, arguing that it violated Recruitment and Promotion (R&P) Rules. They claimed the posts should be filled 50% by direct recruitment and 50% on a batch-wise basis.
Key Legal Issues
The primary dispute centered on which set of R&P Rules governed the recruitment process for Homeopathic Medical Officers.
- Petitioners’ Evidence: The petitioners relied on a set of R&P Rules (Annexure P-4) that supported their 50/50 split argument.
- State’s Counter: The State argued that the petitioners were citing rules intended for Ayurvedic Medical Officers, not Homeopathic Medical Officers.
The High Court’s Findings
Justice Ajay Mohan Goel dismissed the petition, establishing that the recruitment was legally sound based on the following findings:
- Cadre Distinction: The Court confirmed that the rules cited by the petitioners (Annexure P-4) pertained to a completely different discipline—Ayurvedic Medical Officers.
- Adherence to Statutory Rules: The actual governing R&P Rules for Homeopathic Medical Officers, notified on September 15, 2010, explicitly mandate that these posts be filled 100% by direct recruitment.
- Validity of Advertisement: Since the advertisement was in strict consonance with the specific rules framed under the Proviso to Article 309 of the Constitution, it was held to be valid.
Court’s Criticism of the Petitioners
The Court strongly criticized the petitioners for their lack of transparency, noting that they had attempted to mislead the Court by concealing the relevant rules for their own cadre and instead presenting rules from a different discipline. The Court emphasized that petitioners have a duty to be fair and provide the correct statutory framework when seeking judicial relief.
Conclusion: The Court found no merit in the petition and dismissed it, affirming that recruitment must be governed by cadre-specific statutory rules.
STPL (Web) 2026 HP 179
Priyanka Sharma And Other V. State of Himachal Pradesh And Another (D.O.J. 08.04.2026)
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