The petitioner challenged her non-selection and the appointment of the private respondent as an ASHA Worker for Gram Panchayat Jhandutta, claiming priority on the basis of her BPL/IRDP status, prolonged village residency, and personal hardship stemming from her husband’s illness. The High Court of Himachal Pradesh dismissed the writ petition, holding that belonging to the BPL category or facing personal hardships does not confer an automatic right to public employment or override a selection process conducted on the basis of merit. The Court reiterated that the principle of “preference” applies only when the merits of competing candidates are equal, and it cannot be invoked to bypass comparative merit when an applicant secures lower marks in the evaluation.
- No Automatic Appointment Based on BPL Status:
- Merely belonging to the BPL or IRDP category does not confer an automatic right of appointment, nor does the ASHA Workers Policy permit bypassing the regular selection process.
- Residency Requirements Under the Scheme:
- Where the governing policy only requires a candidate to be a “resident of the village” under the concerned Gram Panchayat without prescribing a minimum duration, a candidate cannot unilaterally carve out additional residency restrictions to disqualify a selected opponent.
- Personal Hardships and Priority Claims:
- Personal background factors or hardships—such as the sickness of a spouse—not expressly contemplated under the statutory ASHA Workers Policy do not grant a candidate any legal right or priority in appointment.
- Application of the Principle of “Preference” in Selection:
- The principle of giving preference to marginalized categories applies strictly when the merits of two or more candidates are equal.
- It cannot be invoked when candidates’ merits are unequal or at variance to bypass the selection committee’s evaluation or override comparative merit.
STPL (Web) 2026 HP 544
Suman Kumari Versus State of Himachal Pradesh & Others (D.O.J. 03.07.2026)
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