The case of The District Collector, Mandi & Another v. VedVatti& Another establishes the vicarious liability of the State for the negligence of its contractors and reaffirms that the duty to ensure road safety is a non-delegable duty.
Factual Background
- The Accident: In May 2009, the plaintiff’s son, Ajay Parshad, was killed while riding his motorcycle on National Highway 20. He struck a stone placed in the middle of the road near a section that had been dug up for repairs.
- Negligence Alleged: The plaintiff argued that half the road was damaged and under repair by a contractor, but no warning signs, barricades, or white-washed guide stones were provided to caution commuters.
- The Defense: The State (Public Works Department) and the contractor argued that the accident was caused by the deceased’s own “rash and negligent driving” and claimed that proper guide stones and warning boards were present.
The High Court’s Findings
Justice Sushil Kukreja dismissed the State’s appeal and upheld the lower court’s award of ₹3,33,000 plus 6% interest, based on several key legal findings:
- Non-Delegable Duty: The Court held that since the road is maintained by the PWD, it is their primary responsibility to ensure it is properly barricaded and illuminated. The State cannot escape liability for omissions by delegating work to a contractor.
- Res Ipsa Loquitur: Applying the principle of res ipsa loquitur (“the thing speaks for itself”), the Court ruled that once the plaintiff proved the accident occurred due to an unmarked “death trap” on a public road, the burden shifted to the State to prove they had taken adequate precautions.
- Suppression of Evidence: The Court noted that the State failed to produce the Measurement Book (MB). This record would have documented any expenditures made for safety measures like signboards or white-washing; its non-production led the Court to conclude such measures were never taken.
- Constitutional Breach: The Court emphasized that the State’s failure to discharge its duty of care resulted in a deprivation of life, which is a violation of the fundamental right to life under Article 21 of the Constitution.
- Photographic Evidence: Photographs of the site revealed that the stones placed in the road were of varying sizes and were not white-washed, making them difficult for motorists to see.
Conclusion
The High Court affirmed that the State is vicariously liable for the negligent acts of its contractor when those acts result in harm to the public. Because the State failed to provide satisfactory evidence of safety measures, the judgment and decree for damages in favor of the mother were upheld.
STPL (Web) 2026 HP 207
The District Collector, Mandi & Another V. VedVatti& Another (D.O.J. 27.04.2026)
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