Statutory Misalignment: High Court Quashes Road Infrastructure Notice Due to Jurisdictional Error
In the case of Smt. Rama Gupta v. State of Himachal Pradesh, the High Court of Himachal Pradesh quashed a government notice issued to a citizen, ruling that administrative authorities cannot exercise power under a specific rule for purposes that the rule does not contemplate. The Court found that the State had committed a jurisdictional error by using a provision meant for removing abandoned property to address alleged land encroachment.
The Procedural Conflict
The petitioner was served a notice on January 6, 2026, under Rule 4(1)(b) of the Himachal Pradesh Road Infrastructure Protection Rules, 2004. The notice alleged two specific violations at a location on the SolanJaunajiDharja road:
- Encroachment upon Government land/road infrastructure.
- Extension of a boundary wall towards the roadside.
The notice directed the petitioner to restore the road infrastructure to its original position within a fortnight, failing which the department would initiate the work at her risk and cost.
The Legal Misstep: Misapplication of Rule 4(1)(b)
The petitioner argued, and the Court agreed, that the notice was “ex facie bad in law” because it relied on a statutory provision that did not cover the alleged acts.
- The Specific Scope: Rule 4(1)(b) of the 2004 Rules is explicitly limited to the “removal of abandoned Motor Vehicle or machinery or goods”.
- The Mismatch: The allegations in the notice pertained to land encroachment and structural extensions (a boundary wall), neither of which fall under the category of abandoned vehicles, machinery, or goods.
- Ultra Vires Exercise: The Court held that an authority is legally prohibited from issuing a notice under a specific rule for purposes outside that rule’s explicitly defined scope.
Conclusion and Liberty to the State
Justice Ajay Mohan Goel concluded that the notice was both procedurally and substantively flawed. Consequently, the High Court issued the following orders:
- Quashing of Notice: The impugned notice dated January 6, 2026, was quashed and set aside.
- Liberty to Proceed: While the specific notice was invalidated, the Court granted the State the liberty to proceed against the petitioner under the correct provisions of law.
- Requirement of Fairness: Any future action taken by the State must strictly adhere to the principles of natural justice.
Himachal Pradesh High Court
Smt. Rama Gupta v. State of Himachal Pradesh and another : STPL (Web) 2026 HP 31




