In Dimple vs. State of Himachal Pradesh, the High Court of Himachal Pradesh ruled that a Selection Committee is under no legal obligation to award experience marks to a candidate who fails to submit a formal experience certificate. The Court established that internal documents, such as daily attendance records, do not serve as a valid substitute for official certification. Furthermore, the Court characterized the filing of a writ petition based on an afterthought or concocted plea—initiated only after a candidate has failed a selection process due to their own omission—as an abuse of the process of law.
- Factual Background and Relief Sought
The petitioner challenged the selection and appointment of a private respondent (Respondent No. 5) to the post of Para Pump Operator in the Jal Shakti Vibhag. The petitioner sought a Writ of Certiorari to quash the appointment and a Writ of Mandamus to compel the state to offer him the position with seniority, arguing that his prior work experience was wrongfully ignored during the evaluation.
- The evidentiary Dispute: Attendance Sheets vs. Certificates
To establish his working tenure, the petitioner relied on Annexure P-3, which was a copy of a daily attendance record. During the proceedings, the Court noted several critical failures in the petitioner’s case:
- No Official Certificate: The petitioner admitted that no formal experience certificate had ever been issued to him by the competent authority.
- No Application for Proof: The petitioner could not satisfy the Court that he had even applied for a certificate prior to the selection process.
- Legal Insufficiency: The Court held that a daily attendance sheet “does not suffice the purpose” and cannot be used to grant marks for experience in a formal selection process.
- Obligations of the Selection Committee
The Court clarified the administrative boundaries for hiring authorities:
- Statutory Compliance: In the absence of a validly issued and submitted certificate, a Selection Committee has no occasion or legal requirement to allocate marks under the head of experience.
- Candidate Responsibility: The burden lies on the candidate to place the necessary documentation before the evaluation committee at the appropriate time.
- Judicial Censure and Abuse of Process
The High Court took a stern view of the petitioner’s conduct, labeling the litigation an abuse of process.
- Concocted Plea: The Court found the claim that experience was “ignored” to be a concocted afterthought, as the petitioner never provided the committee with the means to award those marks in the first place.
- Frivolous Litigation: While the Court noted it is fully justified in imposing exemplary costs on parties who waste judicial time with such frivolous petitions, it refrained from doing so in this specific instance out of deference to a personal request made by the petitioner’s arguing counsel.
Final Outcome
The writ petition was dismissed in its entirety, with the Court affirming that the selection process was valid and that no legal right of the petitioner had been infringed.
STPL (Web) 2026 HP 315
Dimple V. State of Himachal Pradesh And Others (D.O.J. 15.06.2026)
Loading Viewer...






