Case Law Details
Moturu Nalini Kanth Vs Gainedi Kaliprasad (Dead, through LRs.) (Supreme Court)
In the legal case of Moturu Nalini Kanth vs. Gainedi Kaliprasad (Dead, through LRs.), the Supreme Court grappled with a complex dispute. At its core was an appeal by the adopted son against the High Court’s ruling, which had deemed the registered will and adoption deed as lacking authenticity. In its deliberations, the Supreme Court delved into legal intricacies, particularly drawing attention to Section 63 of the Indian Succession Act and Sections 68 and 69 of the Evidence Act, 1872.
The court asserted a critical point – the mere act of registering a will does not confer automatic validity. Instead, it must undergo rigorous scrutiny in accordance with the stipulations outlined in these statutes. A key emphasis was placed on the necessity of proper attestation, requiring not only the act itself but also confirmation by witnesses that the testator had signed the will in their presence. The absence of such confirmation due to the non-examination of attesting witnesses played a pivotal role in the court’s decision.
To buttress its findings, the Supreme Court referred to the precedent set in M. Vanaja vs. M. Sarla Devi, which underscored the mandatory conditions for a valid adoption under the Hindu Adoptions and Maintenance Act, 1956. This includes obtaining spousal consent and providing proof of the actual adoption ceremony. The court also took note of the unusual circumstance wherein the daughter’s son was disinherited, prompting further scrutiny into the naturalness of this occurrence.
The court, in evaluating the adoption aspect, turned its attention to Section 16 of the Hindu Adoptions and Maintenance Act, 1956. This section establishes a presumption in favor of a valid adoption when a registered adoption deed is present. Notably, the court observed a departure from customary practices, as there were no invitations extended to relatives and friends during the adoption ceremony. This departure, coupled with the court’s insistence on evidence supporting adoption being free from doubt, contributed to the ultimate conclusion that the adoption was invalid.
Please become a Premium member. If you are already a Premium member, login here to access the full content.