In 1978, a legal dispute unfolded in India as the President of India referred
the Special Courts Bill, 1978 to the Supreme Court under Article 143(1) of the
Constitution, seeking an examination of its constitutionality. This reference
sparked a contentious legal debate that questioned not only the specific bill
but also the constitutional boundaries of such references. In the proceedings
that ensued, 18 individuals and 2 State Governments were granted permission to
intervene, adding complexity to the case.
Jurisprudential Theories In The Special Courts Bill V. Unknown AIR 1979
SC 478
Citation: AIR 1979 SC 478, (1979) 1 SCC 380, 1979 2 SCR 476 [1978] INSC 247
Petitioner: Re The Special Courts Bill, 1978
Decided On: 1 December, 1978
Decided By: Supreme Court Of India
Bench: Y Chandrachud, N Untwalia, P Bhagwati, P Shinghal, R Sarkaria, S M Ali, V
K Iyer
Acts Involved: Article 143 of the Constitution, Article 14 of the Constitution,
Article 21 of the Constitution, Code of Criminal Procedure, 1973.
The core contention against the reference emerged from Shri A.K. Sen, the
representative of the State of Karnataka, and Shri Dhirendra Brahmchari. They
vehemently argued against addressing the reference due to its hypothetical and
vague nature. Sen contended that the President's query lacked specificity, as it
failed to outline the precise grounds on which the Special Courts Bill might be
deemed invalid. Moreover, the reference did not elucidate the fundamental rights
that could potentially be violated if the Bill were to be enacted. An intriguing
aspect of this argument was Sen's assertion that the Court lacked the
jurisdiction to review the constitutional validity of legislation before it
became law.
Another facet of the opposition was presented by Shri Shiv Pujan Singh,
representing Shri Jagmohan and Shri P.S.Blunder. Singh contested the competence
of the reference itself, asserting that it ran afoul of key constitutional
articles, including Articles 107(1), 108, and 111. This challenge raised
fundamental questions about the constitutional authority underpinning such
references, setting the stage for a nuanced legal exploration.
This case not only delved into the specificities of the Special Courts Bill but
also grappled with the broader issues of constitutional interpretation,
executive powers, and the judiciary's role in shaping legislative processes. The
ensuing legal arguments and the Supreme Court's eventual ruling would
significantly influence the understanding of constitutional provisions relating
to presidential references, marking a crucial chapter in India's legal history.
Facts Of The Case
On August 1, 1978, the President of India referred the "Special Courts Bill,
1978" to the Supreme Court under Article 143(1) of the Constitution. The
President sought the Court's opinion on whether the bill or any of its
provisions if enacted, would be constitutionally invalid. The reference was made
due to concerns regarding various offences committed by individuals holding high
political and public offices during the period of the Proclamation of Emergency
in 1975.
The Special Courts Bill, 1978, was introduced in response to reports from
Commissions of Inquiry indicating prima facie evidence of offences committed by
individuals, including those holding high public or political offices, during
the Emergency period. The Bill aimed to establish Special Courts for the speedy
trial of these offences. It was contended that ordinary criminal courts were
unable to handle these cases promptly due to congestion and other reasons.
The Bill proposed the creation of Special Courts presided over by sitting judges
of High Courts to try individuals accused of offences during the Emergency. It
outlined the procedures for prosecution and specified that declarations made by
the Central Government regarding prima facie evidence of offences would not be
challengeable in any court.
The President expressed concerns about potential constitutional issues with the
Bill, leading to the reference. The President noted doubts about the Bill's
constitutional validity and anticipated legal challenges if enacted. The
reference aimed to obtain the Supreme Court's opinion on this matter of
significant public importance.
18 individuals and 2 State Governments sought permission to intervene in the
proceedings. Some of these interveners, along with certain Advocates General,
raised a preliminary objection, arguing that the reference was incompetent and
invalid.4 They contended that the reference should be declared maintainable
before the Court proceeds to address the constitutional aspects of the Bill.
Issues Of The Case:
- Whether reference for the said bill should be entertained by the Court or not on?
- Has the Parliament's legislative competence to provide for the creation of Special Courts as enacted by Clause 2 of the Bill?
- Has the Parliament legislative competence to confer appellate powers on the Supreme Court from judgments and orders of Special Courts as provided in Clause 10(1) of the Bill?
- Is it competent for the Parliament to confer jurisdiction on the Supreme Court to entertain and decide appeals and revisions pending before any other court on the date of declaration, as provided in Clause 6 of the bill?
- Whether Parliament had the legislative competence to enact the provisions contained in the Special Courts Bill?
- Whether the Bill or any of its provisions violate the rights guaranteed by Articles 14 and 21 of the Constitution?
Contentions Of The Petitioners
The petitioners, represented by various counsels including Shri A.K. Sen and
Shri Frank Anthony, contended that the reference made by the President is of a
hypothetical and speculative character. They argued that the Bill was introduced
by a Private Member, Shri Ram Jethmalani, and it may or may not become a law.
Moreover, even if it is passed, its provisions might undergo significant changes
during parliamentary debates. They asserted that the reference lacks
specificity, as it does not particularize the grounds on which the Bill might
become constitutionally invalid.
The petitioners, through Shri A.K. Sen, argued that the reference was vague and
omnibus. They pointed out that the President's question did not specify whether
the potential invalidity of the Bill, if enacted, was due to lack of legislative
competence or violation of fundamental rights. They cited judgments and
precedents to support the contention that specific questions are essential in
references made under Article 143(1) of the Constitution.
Shri Mridul, representing one of the petitioners, argued that the reference was
an isolated and unique case of individual significance, rather than being of
institutional importance. He contended that the President sought the opinion of
the Supreme Court on a purely political question, which the Court should refrain
from answering.
The petitioners, including Shri Frank Anthony, contended that the Supreme Court
should not be asked to act like a Joint Select Committee of Parliament. They
argued that Article 143(1) uses the word "may," allowing discretion to the Court
to answer a reference. They emphasized that the Court does not possess the
expertise or the constitutional mandate to decide on matters of legislation.5
The petitioners argued that the reference made by the President was hypothetical
and speculative because it was made before the Special Courts Bill was
introduced in the Parliament. They contended that the reference lacked
specificity regarding the grounds on which the Bill might be constitutionally
invalid.
The petitioners contended that the reference was vague and omnibus in nature. It
did not specify the particular provisions or fundamental rights that might be
violated if the Bill became law. They argued that such a broad and general
reference made it difficult for the Court to provide a meaningful opinion.
Some petitioners argued that the question of the constitutionality of a bill
falls within the exclusive domain of the Parliament. They contended that the
Court should not interfere in
parliamentary proceedings and that the Parliament has the authority to interpret
the Constitution concerning its legislations.
It was argued that the Court's opinion on the Bill's constitutionality would be
futile because, regardless of the Court's decision, the Parliament could still
pass the Bill. The petitioners implied that the Court's decision would not bind
the Parliament in its legislative process.
The petitioners argued that the Parliament did not have the legislative
competence to provide for the creation of Special Courts as outlined in Clause 2
of the Bill. They contended that the creation of these courts was beyond the
scope of powers enumerated in the Constitution, specifically Articles 124 to
147, which list the powers and jurisdiction of the Supreme Court.
The petitioners asserted that Clause 10(1) of the Bill, which conferred
appellate powers on the Supreme Court from judgments and orders of Special
Courts, was unconstitutional. They argued that this provision exceeded the
powers granted to the Supreme Court under the existing constitutional framework.
The petitioners claimed that Clause 6 of the Bill, which allowed the transfer of
pending appeals and revisions to the Supreme Court, was ultra vires (beyond
legal authority) the provisions of Chapter IV, Part V of the Constitution. They
argued that this clause contradicted the established constitutional scheme and
the jurisdiction of the Supreme Court as defined in Article 136(1)6.
The petitioners contended that the reference made by the President under Article
143 of the Constitution, seeking advisory jurisdiction on the constitutionality
of the Special Courts Bill, did not raise purely legal and constitutional
issues. They argued that the matters under consideration, such as the
establishment of Special Courts and the policy underlying the Bill, were
political questions, not suitable for advisory opinion by the Supreme Court.
The petitioners contended that Clause 10(1) of the Bill, which allowed appeals
from Special Courts' judgments as of right to the Supreme Court, was
unconstitutional. They argued that this provision violated the provisions of
Chapter IV, Part V of the Constitution, which they considered exhaustive
regarding the jurisdiction and powers of the Supreme Court.
The petitioners claimed that Clause 6 of the Bill, which allowed pending appeals
and revisions to be transferred to the Supreme Court, was beyond the competence
of Parliament. They argued that this provision contradicted the established
constitutional scheme and the jurisdiction of the Supreme Court, specifically
Article 136(1).
Contentions Of The Respondents
The respondents, represented by the Advocate General for the State of Karnataka
and others, argued in favour of the validity of the reference. They highlighted
the broad language of Article 143(1), which allows the President to refer
questions of law or facts of public importance to the Supreme Court. They
contended that the existence of the Bill and the possibility of it becoming law
were sufficient grounds for the President to make the reference.
The respondents emphasized that the reference was not speculative as the Bill
was presented before Parliament. They argued that the assumption underlying the
reference is the continued existence of the Bill, and the possibility of future
changes, either in the Bill or in the Constitution itself, does not render the
reference hypothetical.
The respondents, including Shri Shiv Shankar and Shri O.P. Sharma, contended
that the Supreme Court has the jurisdiction to answer the reference. They cited
past judgments and international precedents where similar references were made
and answered, even when the legislation was at the bill stage.7 They argued that
the Court's role is to interpret the Constitution and offer opinions on
constitutional questions.
The respondents, through various counsels, argued that the Court's opinion does
not undermine Parliament's authority. They contended that the Court's function
is advisory, and the final decision on passing or amending the Bill rests with
Parliament. They maintained that the reference does not interfere with the
legislative process but provides valuable constitutional insights.
The respondents, including the Attorney General, argued that the reference made
by the President was valid under Article 143(1) of the Constitution. They
asserted that the reference was made at a stage when a question of law or fact
was likely to arise and was of public importance, fulfilling the criteria
specified in the Constitution.
The respondents emphasized the constitutional role of the judiciary in
interpreting the Constitution and testing the validity of laws. They argued that
the Court had the authority to provide an opinion on the constitutionality of
the Bill, and this function was distinct from the legislative process of the
Parliament.
While acknowledging the lack of specificity in the reference, the respondents
contended that the Court could still address specific questions related to the
legislative competence of the Parliament and the violation of fundamental
rights. They indicated that despite the broad reference, the Court could limit
its opinion to specific points raised during the arguments.
The respondents suggested that the Court's opinion was essential to preserve the
constitutional balance of powers. They argued that the Court's role in
interpreting the Constitution acted as a check on legislative actions, ensuring
that laws passed by the Parliament adhered to constitutional principles.
The respondents argued that the provisions of Chapter IV, Part V of the
Constitution, which enumerate the powers and jurisdiction of the Supreme Court,
were not exhaustive. They contended that the Parliament had the authority to
legislate on matters falling within Lists I and III of the Seventh Schedule,
subject to the other provisions of the Constitution.8Therefore, they asserted
that Parliament could enlarge the jurisdiction of the Supreme Court
quantitatively and qualitatively.
The respondents relied on entry 11A of List III, which deals with the
jurisdiction and powers of Special Courts, to support the Parliament's
competence to create Special Courts as outlined in Clause 2 of the Bill.
The respondents argued that the Parliament had the power to confer appellate
jurisdiction on the Supreme Court under Article 138(1) of the Constitution. They
contended that Clause 10(1) was a valid exercise of this power.
The respondents contended that the power to transfer pending appeals and
revisions to the Supreme Court was within the ambit of Article 138(1) of the
Constitution and did not violate the constitutional provisions.
The respondents argued that the reference made by the President under Article
143 raised legal and constitutional issues, not political questions. They
asserted that the Supreme Court had the jurisdiction to answer the reference and
provide an advisory opinion on the constitutional validity of the Special Courts
Bill.
The respondents argued that Chapter IV, Part V of the Constitution, which
enumerates the powers and jurisdiction of the Supreme Court, was not exhaustive.
They contended that Parliament had the authority to legislate on matters falling
within Lists I and III of the Seventh Schedule, subject to the other provisions
of the Constitution. Therefore, they asserted that Parliament could enlarge the
jurisdiction of the Supreme Court quantitatively and qualitatively.
The respondents argued that Parliament had the power to confer appellate
jurisdiction on the Supreme Court under Article 77 of List I. They contended
that Clause 10(1) was a valid exercise of this power, allowing appeals from
Special Courts' judgments without the need for special leave.
The respondents contended that the power to transfer pending appeals and
revisions to the Supreme Court was within the ambit of Article 77 of List I and
did not violate the constitutional provisions.
Judgment:
The court emphasized the broad scope of Article 143(1) of the Indian
Constitution, highlighting that it allows the President to refer questions of
law or fact to the Supreme Court. The court clarified that this provision
enables the President to make a reference even before the question has actually
arisen, provided it is likely to arise and holds significant public importance.
It is
the constitutional duty of the Supreme Court to consider such questions and
provide opinions unless the question is improperly framed, in which case, the
court can refuse to answer. This underlines the constitutional basis for the
court's involvement in the case.
The court examined the legislative competence of Parliament in the context of
creating Special Courts. It pointed to Entry11A of the Concurrent List, which
grants the power to establish such specialized courts for the administration of
justice.The court dismissed arguments suggesting that the provisions in Chapter
IV, Part V of the Constitution are exhaustive.
Instead, it affirmed that
Parliament retains the authority to confer additional powers and jurisdiction
upon the Supreme Court. This reaffirmed Parliament's competence in creating
Special Courts and extending appellate jurisdiction to the Supreme Court.
The court delved into the classification system outlined in the Special Courts
Bill. It identified a specific class of offences and offenders: those offences
committed during the emergency period and individuals holding high public or
political offices. The court found this classification rational, considering it
directly related to the Bill's objective of ensuring swift trials. Offences
during the emergency period and individuals in significant offices were grouped
together due to their unique characteristics, justifying their classification
under the Bill. This analysis validated the fundamental structure of the Special
Courts Bill.
The court scrutinized the procedural aspects of the Bill and found several
deficiencies. It noted the absence of provisionsfor transferring cases from one
Special Court to another, which could potentially compromise the impartiality of
the trials. Additionally, the court highlighted the issue of appointing retired
judges without security of tenure, which could affect their independence.
The
court also raised concerns about appointments made without the concurrence of
the Chief Justice of India, emphasizing the importance of maintaining the
judiciary's integrity and independence. These procedural shortcomings were
identified as violations of Article 21, which guarantees the right to a fair
trial and personal liberty under the Indian Constitution.
The court upheld Parliament's legislative competence to establish Special Courts
and extend the appellate jurisdiction of the Supreme Court. The classification
system within the Special Courts Bill was deemed valid due to its rationality
anddirect relevance to the Bill's objectives. However, the court emphasized the
necessity of addressing the procedural deficiencies
identified, as they impinged upon the constitutionally guaranteed right to a
fair trial and personal liberty.
Theories Of Jurisprudence:
- Legal Positivism: Legal positivism emphasizes the importance of written law and the authority of the state. In this case, the court's decision is heavily grounded in the constitutional provisions, legislative competence, and the explicit legal framework provided by the Constitution of India. The court interprets the legality of the Special Courts Bill based on the clear text of the Constitution and relevant statutes.
- Natural Law: Natural law theory asserts that there are universal principles of justice and morality that transcend human-made laws. In this case, arguments related to fundamental rights and principles of justice underlie the discussion. The court likely considered the natural justice aspects when evaluating the constitutionality of the Special Courts Bill, ensuring it did not infringe upon fundamental rights.
- Utilitarianism: Utilitarianism focuses on maximizing overall happiness or utility. While not explicitly mentioned, the court's decision can be seen as indirectly aligning with utilitarianism. By upholding the Special Courts Bill, the court might have considered the utility of expediting justice for cases involving high public or political offices. A swift trial for alleged crimes during a period of emergency could be seen as maximizing societal utility by ensuring justice and accountability.
- Legal Realism: Legal realism emphasizes the role of judges' discretion and societal context in decision-making. In this judgment, the court takes into account the practical implications of the legislation, ensuring that legal provisions align with the broader legal system and societal needs. The court might have considered the real-world consequences of its decision on the functioning of the legal system and the administration of justice.
Analysis
The provided case represents a crucial juncture in India's legal history where
the delicate balance between the powers of the Parliament and the sanctity of
the judiciary is tested. The
judgment exemplifies the Indian judiciary's commitment to upholding
constitutional principles, especially the independence of the judiciary, as
enshrined in the Constitution. By vehemently rejecting attempts to create
parallel or subordinate courts without constitutional sanction, the judgment
reaffirms the foundational ethos of the Indian legal system. This approach
ensures stability and prevents undue interference, safeguarding the integrity of
the judiciary.
In my opinion, the judgment reflects a judicious interpretation of the
Constitution. The stringent stance against attempts to dilute the authority of
the judiciary is commendable. Upholding the sanctity of established legal
processes and preventing unauthorized bodies from exercising judicial powers is
essential for maintaining public trust in the justice system.
Furthermore, the judgment's emphasis on the separation of powers, preserving the
delicate balance between the legislature, executive, and judiciary, is
fundamental. It underscores the principle that the judiciary must remain
insulated from external influences, ensuring fairness and justice in every case.
However, while protecting the existing legal framework is crucial, it is
essential to remain open to necessary reforms. The legal system should evolve to
meet the ever-changing needs of society. Efforts to enhance efficiency,
accessibility, and the overall quality of justice delivery should be welcomed,
as long as they do not compromise the foundational principles of the
Constitution.
The judgment exemplifies a robust defence of constitutional values. It
highlights the judiciary's role as the guardian of the Constitution, ensuring
that the democratic fabric of the nation remains intact. While upholding
tradition and legal integrity, it is vital to strike a balance, allowing for
progressive reforms that can enhance the legal system's effectiveness and
responsiveness to the evolving needs of Indian society.
Reference:
- Constitution of India, 1950
- Mahajan, N. (2020, August 28). Re: The Special Courts Bill, 1978
- In Re, The Special Courts Bill v. Unknown AIR 1979 SC 478
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