L. Chandra Kumar vs Union of India (1997)

17 Oct 2025 Landmark Judgements 17 Oct 2025

Case Summary: L. Chandra Kumar vs Union of India (1997)

📄 Citation: (1997) 3 SCC 261 | AIR 1997 SC 1125

🧑‍⚖️ Judges: A. M. Ahmadi (C.J.), S.P. Bharucha, S. Saghir Ahmad, M.M. Punchhi, K.T. Thomas, K. Venkataswami, K. Ramaswamy

📅 Date of Decision: 18 March 1997

🏛️ Court: Supreme Court of India (Full Bench)

📂 Case No: Civil Appeal No. 481 of 1980 etc.

[Judgment Source] https://www.courtkutchehry.com/Judgement/Search/AdvancedV2?docid=280961

Law Points Raised

1. Whether Articles 323A(2)(d) and 323B(3)(d) of the Constitution violate the basic structure by excluding judicial review of High Courts under Articles 226/227 and the Supreme Court under Article 32?

2. Whether tribunals under Articles 323A and 323B have the authority to test the constitutional validity of laws and rules?

3. Whether such tribunals can serve as effective substitutes for High Courts in exercising judicial review?

Ratio Decidendi

The Supreme Court held that the power of judicial review vested in the High Courts and the Supreme Court is a part of the basic structure of the Constitution. Hence, clauses that exclude the jurisdiction of the High Courts under Articles 226/227 are unconstitutional. Tribunals under Articles 323A and 323B cannot be final adjudicators in matters involving constitutional interpretation.

Final Ruling

1. Clause (2)(d) of Article 323A and Clause (3)(d) of Article 323B are unconstitutional to the extent they exclude the jurisdiction of High Courts and the Supreme Court.
2. All decisions of Tribunals will be subject to scrutiny before a Division Bench of the respective High Court.
3. Tribunals can test the constitutional validity of subordinate legislation, but not that of parent statutes.

Relevant Paragraph Numbers

🔹 Para 9–11: Framing of core questions
🔹 Para 79–80: Basic structure and judicial review
🔹 Para 93–95: Role and limits of tribunals
🔹 Para 96–97: Final conclusions

Summary

In this landmark case, the Supreme Court reaffirmed the centrality of judicial review in India’s constitutional framework. The judgment struck down provisions that attempted to bypass High Courts' jurisdiction in matters of administrative justice. It emphasized that tribunals, while useful, cannot replace constitutional courts in matters involving fundamental rights and constitutional interpretation. This decision preserved the balance of power and reinforced the judiciary's role as a guardian of the Constitution.

[Judgment Source] https://www.courtkutchehry.com/Judgement/Search/AdvancedV2?docid=280961

Article Details
  • Published: 17 Oct 2025
  • Updated: 17 Oct 2025
  • Category: Landmark Judgements
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