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Defaulting members are not entitled to notice of election: Supreme Court

SUDHANGEE HANDOO ,
  29 January 2024       Share Bookmark

Court :
CIVIL APPEAL NO. 10846 OF 2018
Brief :

Citation :

CASE TITLE:

ADV BABASAHEB WASADE & ORS. v. MANOHAR GANGADHAR MUDDESHWAR & ORS.

DATE OF ORDER:

JANUARY 23, 2024

JUDGE(S):

JUSTICE VIKRAM NATH & JUSTICEAHSANUDDIN AMANULLAH

PARTIES:

  • APPELLANT(S): ADV BABASAHEB WASADE & ORS
  • RESPONDENT(S):  MANOHAR GANGADHAR MUDDESHWAR & ORS.

SUBJECT: This case deals with disagreements over calling a General Body Meeting, electing the executive body, membership concerns, and objections made by specific individuals within the Shikshan Prasarak Mandal society. The validity of the decisions made during the aforementioned meeting, the applicability of Section 15 of the Societies Registration Act, and the Doctrine of Necessity are among the other issues covered by this case.

IMPORTANT PROVISIONS:

  1. Necessity Doctrine: Invoking this doctrine, the court emphasised how important it is to call a General Body Meeting in the event that important officeholders are not present in order to maintain the society's operations.
  2. The Byelaws' Clause 11: The rights and responsibilities of the Working President were outlined in this clause, which placed special emphasis on the need to follow the President, Executive Body, and General Body of the Shikshan Prasarak Mandal's instructions.
  3. The Societies Registration Act, 1860, Section 15: The definition of a member and the ramifications of not paying membership dues for a period longer than three months were decided by the court based on this clause, especially with regard to voting rights and membership count.

 

  1. The Karnataka Societies Registration Act, 1960, Rule 7-A: The court's allusion to the Hyderabad Karnataka Education Society case suggests the applicability of a comparable clause in a different jurisdiction, even though it isn't stated explicitly.

 

 

OVERVIEW: The disputes in this case are related to the Shikshan Prasarak Mandal society's General Body Meeting and the elections that followed for the executive body. Important matters include the right to call the meeting, objections from specific members, and the implementation of laws like the Societies Registration Act's Section 15 and the Doctrine of Necessity. It delves deeper into issues pertaining to membership status, participation validity, and the society's overall governance structure. The interpretation of the bye-laws of the society is also looked at, with particular attention to the Working President's role and the repercussions of not paying membership dues. The case examines the participation of purportedly invalid members in the elections for the executive committee and the requisition process. The main issue, which affects the validity of the General Body Meeting and ensuing elections, is the appropriate governance of the society.

 

ISSUES RAISED: Whether the Shikshan Prasarak Mandal society's decisions regarding the calling of the General Body Meeting, the elections for the executive body, and other matters adhered to the relevant legal framework with regard to authority, statutes, and bylaw interpretation?

 

ARGUMENTS ADVANCED BY THE APPELLANT:

  1. Necessity Doctrine: The appellant maintained that in order to avoid a protracted vacancy in the executive body, the Working President had to call the General Body Meeting.

 

  1. Authority Bye-laws: The appellant contended that the Working President was obligated to act in accordance with the directives of the President, Executive Body, and General Body, citing Clause 11 of the Bye-laws.

 

  1. Request from Surviving Members: The appellant emphasised that the meeting was formally requested by the 16 surviving members, and that their joint request provided additional justification for the Working President's decision.

 

  1. Insufficient Options: The appellant emphasised that the Working President was the only official in charge of the society's affairs because important office bearers had passed away and there had been no elections to choose their successors.

 

  1. No Decision Error: The appellant argued that holding the meeting was both appropriate and legally justified, citing the Objectors' failure to offer any alternative solutions.

 

  1. Registration Act Section 15: In order to support the non-issuance of notice, the appellant cited Section 15 and claimed that the Objectors were not entitled to vote because they had been in arrears for longer than three months.

 

  1. Termination of Membership Procedure: The appellant acknowledged that there were no provisions for automatic termination; however, it proposed that members who were in default could apply for reinstatement by paying the arrears and completing the required procedures.

 

  1. Related to Prior Cases: The appellant contended that the proviso to Section 15 justified disqualifying defaulting members without notice, citing the Hyderabad Karnataka Education Society case as support.

 

  1. Membership Status Suspended: The appellant justified the lack of notice by arguing that members who default should be considered suspended and not allowed to attend meetings.

 

  1. Power to Schedule Elections In order to address governance concerns, the appellant suggested holding new elections under the Charity Commissioner's supervision, emphasising that the society had been in a protracted deadlock.

JUDGEMENT ANALYSIS:

The ruling provides a thorough examination of the conflicts surrounding the Shikshan Prasarak Mandal society's General Body Meeting and subsequent elections. The following summarises the court's reasoning for its ruling:

 

  1. Authority and Need for Meeting to Be Called: - In light of the requests from the remaining members, the court emphasises how important it is that the Working President call the meeting. It considers this to be both appropriate and legally necessary, since there is no other authority because important officeholders have passed away.

 

  1. The Working President's Role: The ruling explains the bye-laws and highlights the Working President's duty to follow the President, Executive Body, and General Body's instructions. The Working President's decision to call the meeting was approved by the majority of the General Body, according to the court.

 

  1. Status of Membership and Failure to Pay Fees: The court rules that members who are in arrears of fees, as defined by the proviso, are not eligible to vote or be counted in relation to Section 15 of the Societies Registration Act. It is considered justified that, due to their suspended status, these members have not received notice.

 

  1. The court accepts the explanation provided by the signatories on the requisition, citing their appropriate admission in the General Body Meeting or their continued contributions after retirement, as evidence of the requisition's validity. It does not go into great detail about this because it is not clear enough.

 

  1. Contesting Respondent's Locus: The court raises concerns about the contesting respondent's locus, pointing out that they did not appear as objectors before the Assistant Charity Commissioner and that they are not recognised as a legitimate member. The court highlights that there was no proof of Vice President.

 

  1. Guidelines for Upcoming Elections: - In light of the protracted disagreements and the requirement for unambiguous membership status, the court orders the Charity Commissioner to hold new elections in a span of six months. It emphasises how crucial it is to investigate every angle in order to settle membership disputes and guarantee a fair election process.

 

  1. Issues with Membership Status: The ruling raises concerns regarding some members' ambiguous status, particularly those of the retired. It highlights that in order for retired members of the association to continue, certain resolutions must be in place.
  2. Judicial Inspection and Interference: - The ruling exhibits a careful examination of the factual background, societal bylaws, and legal provisions. The court's commitment to good governance in educational institutions is reflected in its intervention to ensure fair and transparent elections.

 

  1. The court's reasoning essentially focuses on following the law, acknowledges the need for swift action when important officeholders are not present, and attempts to clear up membership ambiguities for the purpose of just and open governance. The path towards new elections is a corrective action to guarantee the society's lawful operation.

 

CONCLUSION: To sum up, the ruling in the Shikshan Prasarak Mandal society case offers a careful and thorough settlement of the disagreements pertaining to the General Body Meeting and elections. The court carefully construes the law, highlighting in particular the need to call the meeting when important officials are not present. It answers questions regarding nonpayment of fees, membership status, and the legitimacy of signatories on requisitions.The court's directive for new elections to be held in six months is indicative of its determination to settle enduring conflicts and guarantee open governance. The focus on investigating every facet of membership matters emphasises how important it is to maintain legality and lucidity.

 

Overall, the ruling shows a fair-minded strategy that carefully steps in to protect the right way for society's affairs to be conducted. It not only settles the specific disputes at hand right away, but it also establishes a standard for just and open governance in educational settings. The court's emphasis on legal provisions, the bye-laws of the Society, and the nuances of membership status demonstrates its dedication to maintaining the rule of law within the framework of societal governance.

 
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