In Dr.Rajender Sharma vs. Union of India and Others, the High Court of Himachal Pradesh quashed a departmental order that refused to rectify a pay anomaly between a senior and junior employee. The Court reaffirmed the fundamental principle of service jurisprudence that a senior employee cannot be paid a lesser salary than their junior in the same post and cadre. It clarified that where both employees hold identical qualifications (Ph.D. degrees), a disparity in salary caused solely by a junior receiving more increments under a revised pay scheme constitutes an actionable incremental anomaly that must be rectified through the “stepping up” of the senior’s pay.
- The Pay Disparity Dispute
The petitioner, an Associate Professor of Physics, filed a writ petition challenging the Director of Higher Education’s refusal to step up his pay to match that of a junior colleague (proforma respondent). At the time of the petition, the junior employee was drawing a significantly higher salary despite being in the same cadre.
- Incremental Differences vs. Higher Qualifications
The core of the dispute involved the number of increments granted for obtaining a Ph.D. degree at different times:
- The Petitioner: Obtained his Ph.D. in 1994 and was granted two increments as per the 1996 UGC Pay Scales.
- The Junior Respondent: Obtained his Ph.D. in 2008 and was granted three increments under the revised 2006 UGC Pay Scales. The Department argued that higher pay resulting from additional increments for a qualification does not constitute a legal anomaly for a senior to claim parity.
- Distinction Between Qualification Levels
The High Court rejected the State’s defense, emphasizing that the Department failed to prove the junior possessed a higher qualification than the petitioner.
- Because both parties held the same degree (Ph.D.), the disparity was not “qualification-based” but “incremental”.
- The Court ruled that if a junior had acquired a qualification the senior did not possess, the higher pay might be justified; however, rewarding a junior more for the exact same qualification simply because they earned it later is legally unsustainable.
- Application of Supreme Court Precedents
Relying on the Supreme Court ruling in Gurcharan Singh Grewal v. Punjab State Electricity Board, the Court held that even if a pay gap arises from different incremental benefits within a scale, it is still contrary to law if the senior earns less. Such disparities must not be allowed to continue and must be corrected by the employer.
- Final Outcome and Relief
The High Court allowed the petition and declared the Department’s refusal to step up the pay as bad in law.
- Stepping Up: The respondents were directed to remove the anomaly and step up the petitioner’s pay from the date the disparity first occurred.
- Arrears and Interest: Since the petitioner had already superannuated (retired), the Court ordered the release of all consequential arrears within three months.
- Penalty: Failure to release the arrears within the stipulated timeframe will result in an interest charge of 6% per annum from the date the petition was filed.
STPL (Web) 2026 HP 289
Dr.Rajender Sharma V. Union of India And Others (D.O.J. 21.05.2026)
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