The case of Shyama Kumari v. State of Himachal Pradesh establishes that an unmarried daughter’s eligibility for a compassionate appointment is determined as of the date of her application, and her subsequent marriage does not disqualify her from service.
Factual Background
- The Application: The petitioner’s father, a regular Peon, died in July 2020. In June 2021, while she was unmarried, the petitioner applied for a compassionate appointment.
- The Marriage: She solemnized her marriage on July 25, 2021, shortly after applying.
- The Rejection: In August 2022, the state offered her an appointment with a condition (Condition No. 15) requiring her to produce a marital status certificate at the time of joining. When she later requested maternity leave, the authority rejected her joining on the grounds that she had submitted a “fake certificate” of being unmarried and failed to meet the joining conditions.
The High Court’s Findings
Justice Ajay Mohan Goel quashed the rejection, ruling that the Department’s actions were discriminatory and legally flawed:
- Eligibility is Fixed at Application: The court held that a candidate’s credentials must be evaluated based on the date they applied for the post. If a daughter is unmarried at the time of application, she remains eligible even if she marries before the Department finally processes the appointment.
- Gender Discrimination: The court observed that if an unmarried son had married between his application and his appointment, the Department would not have cancelled his joining. Discriminating against a daughter in the same situation is unconstitutional.
- Procedural Fairness: The court noted that a daughter cannot be expected to “wait for years and years” for an appointment without getting married.
- Correction of “Fake Certificate” Claim: The court found that the Department’s allegation of a “fake certificate” was incorrect because the petitioner was unmarried when she applied and when the initial certificates were issued.
- Reading Down Appointment Conditions: The court “read down” the requirement for a marital status certificate at the time of joining, ruling that such certificates must relate back to the date of application rather than the date of joining.
Conclusion
The Court allowed the petition, directing that the petitioner be treated as appointed from her original joining date in September 2022. She was granted all consequential benefits, including monetary benefits and seniority.
STPL (Web) 2026 HP 187
Shyama Kumari V. State of Himachal Pradesh And Others (D.O.J. 20.04.2026)
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