Eviction Upheld On Grounds of Personal Bonafide Requirement; High Court Confirms Need of Landlords for Personal Use” – HP High Court

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In a significant ruling, the High Court of Himachal Pradesh has dismissed a revision petition filed by a tenant challenging the eviction order on the grounds of the personal bonafide requirement of the landlords. The High Court, upholding the decisions of both the Rent Controller and the Appellate Authority, affirmed the eviction from the residential premises, emphasizing the genuine need of the landlords to consolidate their residence following an eviction from another tenanted premise.

Legal Background and Facts: The landlords had approached the Rent Controller under Section 14 of the H.P. Urban Rent Control Act, 1987, seeking eviction of the tenant from the first-floor residential premises known as “Set No. 4, 1st Floor, House No.56, Murad Cottage, Sanjauli, Shimla-6”. The grounds cited included personal bonafide requirement and arrears of rent. The eviction was driven by the landlords’ loss of another rented home in Lakkar Bazar, Shimla, which left them in need of consolidating their living space in Murad Cottage, where they already occupied parts of the ground and first floors.

Tenant’s Appeal and Issues Raised: The tenant contested the eviction, alleging that the landlords’ requirement was not bonafide and that they intended to sell the property. This claim was primarily based on an offer purportedly made to the tenant to purchase the property and a previously canceled sale deed involving the landlords.

Judicial Analysis:

Legitimacy of Personal Requirement: The court meticulously evaluated the landlords’ claim to the property based on their imminent need due to the eviction they faced from their previous rental. The argument that the landlords would consolidate their living arrangement on a single floor at Murad Cottage was deemed reasonable and necessary given their family’s size and living conditions.

Validity of Tenant’s Allegations: The tenant’s defense challenging the landlords’ intentions to sell the property was not accepted. The court noted that if the landlords intended to sell, they would likely have initiated similar eviction actions against other tenants. Moreover, the re-letting of another premise recently vacated did not align with a motive to sell the entire property.

Revisional Powers of the High Court: Citing the Supreme Court’s decisions, the High Court clarified its revisional jurisdiction is not to reassess facts but to ensure the legality and propriety of the lower courts’ decisions. The findings of the Rent Controller and the Appellate Authority were found to be legally sound and based on substantial evidence, leaving no room for interference by the High Court.

Decision: The High Court dismissed the tenant’s revision petition, affirming the eviction order based on the established and genuine personal need of the landlords for the residential premises in question. The miscellaneous application(s) filed in this regard were also dismissed.

Date of Decision: April 22, 2024

Daulat Ram Bhaikta vs. Lakhwinder Singh

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