In this case, the petitioner-plaintiff challenged an order passed by the Trial Court which dismissed his application seeking an extension of time to deposit a deficient court fee mandated under a decree for specific performance. The petitioner argued that the delay was bona fide and caused by a pilgrimage and subsequent illness. The High Court of Himachal Pradesh dismissed the petition, ruling that the court’s power to extend time is discretionary and cannot be exercised in favor of a party making bald, undocumented assertions of delay. The Court further noted that a seven-month delay in challenging the trial court’s order under Article 227 demonstrated a consistent lack of diligence and negligence.
- Discretionary Power of Court Extension: The power of the court to extend time for paying deficient court fees under Section 148 of the CPC is discretionary and should not be exercised for a party failing to show that the delay was bona fide.
- Need for Documentary Evidence: Bald and unsupported assertions regarding reasons for delay—such as traveling on a pilgrimage or suffering from viral illness—without any corroborative documentary evidence justify the court’s conclusion of negligence.
- Requirement of Strict Compliance: In a suit for specific performance where a decree is conditional upon paying deficient court fees within a set timeframe, strict compliance is required, and failure to act despite having timely notice via counsel constitutes a substantive failure.
- Laches and Lack of Diligence: A party seeking equitable or extraordinary indulgence must show diligence not only in complying with court orders but also in pursuing legal remedies against adverse orders. An unexplained, significant delay (such as waiting seven months to file a petition under Article 227) is a valid ground for the High Court to decline interference.
STPL (Web) 2026 HP 499
Satish Kumar v. Gurdial Singh (D.O.J. 17.11.2025)
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