Statutory Rigor: High Court Rejects Condonation of Delay for Outdated Medical Pleas and Lack of Jurisdictional Defects
In the judgment of M/s Bharti Filling Station v. Rajeev Kumar, the High Court of Himachal Pradesh dismissed an application to condone a delay of 1 year, 11 months, and 5 days in filing an appeal. The Court ruled that the statutory period of limitation cannot be extended without contemporary evidence of “sufficient cause” or a specific finding that a previous proceeding failed due to a lack of jurisdiction.
The Procedural Timeline and Delay
The applicant’s original complaint was dismissed for non-prosecution on July 1, 2022, after the applicant reportedly failed to appear before the Trial Court for over four years. The present petition was not filed until May 24, 2024. To justify this significant delay, the applicant offered two primary arguments:
- Time Exclusion (Section 14): They had previously filed a petition (Cr.MMO No. 890 of 2023) that was withdrawn, and they argued this time should be excluded from the limitation period.
- Medical Hardship: The applicant claimed they were suffering from cancer and undergoing treatment, which prevented them from pursuing the matter.
The Ruling on Section 14: The Jurisdictional Requirement
The Court rejected the request to exclude the time spent on the withdrawn Cr.MMO based on the following legal principles:
- Mandatory Findings: Under Section 14 of the Limitation Act, time can only be excluded if a previous proceeding was terminated due to a “defect in jurisdiction” or a cause of “like nature”.
- The “Ejusdem Generis” Rule: The Court held that “other cause of a like nature” must be interpreted as something analogous to a jurisdictional defect that prevents a court from entertaining a suit.
- Lack of Evidence: There was no mention in the order allowing the withdrawal of the Cr.MMO that the Court lacked jurisdiction to hear it. Therefore, the statutory requirements for time exclusion were not met.
The “Outdated” Medical Defense
The Court found the applicant’s medical plea insufficient to explain the delay:
- Lack of Contemporaneity: The applicant relied on a PET and CT report showing post-surgical changes, but this report was dated September 19, 2018.
- The Gap in Evidence: Because the complaint was dismissed in 2022 and the appeal was filed in 2024, the Court ruled that a 2018 medical report could not justify inaction during the specific period of delay years later. No material was provided to prove the applicant was incapacitated by illness in 2022 or 2023.
Conclusion
Justice Rakesh Kainthla concluded that the delay had not been properly explained and that the applicant failed to establish “due diligence” or “good faith” in pursuing their legal remedies. Consequently, the application for condonation of delay was dismissed, which led to the automatic dismissal of the proposed appeal as being barred by limitation.
Himachal Pradesh High Court
Bharti Filling Station Through Its Proprietor V. Rajeev Kumar (D.O.J 23-02-2026)
STPL (Web) 2026 HP 35






