Continuity of Service and the Fallacy of “No Work No Pay”: High Court Upholds Benefits Post-Illegal Termination
In the judgment of Prakash Chand (deceased) v. State of Himachal Pradesh, the High Court ruled that when an employee’s termination is found to be illegal and they are subsequently reinstated, continuity of service and full back wages must follow as a normal rule. The Court rejected the government’s plea of “No Work No Pay,” establishing that an employee cannot be penalized for a period of absence caused solely by an invalid act of the employer.
Case Background: A Career Entangled in Litigation
The petitioner was appointed as a Volunteer Teacher in 1992 and regularized as a Junior Basic Teacher (JBT) in August 1998. However, his career faced significant hurdles:
- Initial Challenge: An unsuccessful candidate (Meeran Devi) challenged his appointment. In 2004, the State Administrative Tribunal quashed his selection based on a factual error—applying the details of a different case to the petitioner.
- Termination and Reinstatement: Following the Tribunal’s order, the petitioner’s services were terminated for 68 days in 2005 before the High Court stayed the order and eventually set aside the Tribunal’s decision.
- Finality: All legal challenges against the petitioner were finally dismissed by a Division Bench in 2014, confirming his appointment as valid from the start.
The Claims: ACP Increments and Back Wages
The petitioner sought two primary reliefs:
- Grant of three ACP (Assured Career Progression) increments for completing 4, 9, and 14 years of regular service.
- Payment of salary for the 68-day period during which he was prevented from working due to the illegal termination.
Rejection of “No Work No Pay”
The State argued that the petitioner was not entitled to salary for the 68 days because he had not physically worked during that time. Justice Jiya Lal Bhardwaj rejected this argument, citing the following principles:
- Faultless Employee: The petitioner was willing to serve but was prevented from doing so by an invalid termination order.
- Constitutional Mandate: Relying on Hindustan Tin Works Pvt. Ltd. v. Employees, the Court held that denying back wages in cases of wrongful termination would subject the employee to a penalty for no fault of their own.
- Status Restored: Reinstatement implies that the termination order is treated as if it “never been,” thus entitling the worker to the earnings they were illegally deprived of.
Entitlement to ACP Benefits
The Court found that the respondents did not dispute the petitioner’s eligibility for the ACP Scheme but had merely delayed the benefits because the termination period was “undecided” due to pending litigation. The Court ruled that once the litigation ended in the petitioner’s favor, the State had no legal ground to withhold these financial upgradations.
Final Ruling and Relief for Heirs
Since the original petitioner passed away during the proceedings, the High Court directed that all benefits be released to his legal heirs to prevent a miscarriage of justice.
The Court’s Mandate:
- ACP Increments: The respondents must grant the three ACP increments from the due dates based on the petitioner’s regular service starting in 1998.
- Back Wages: The salary for the 68-day absence (February to April 2005) must be paid in full.
- Interest: If these arrears are not released within three months, they will carry interest at the rate of 6% per annum.
STPL (Web) 2026 HP 82
Prakash Chand (Deceased) Through His Lrs Arun Kumar And Others V. State Of Himachal Pradesh And Others (D.O.J. 11-03-2026)






