The case of West Bengal State Electricity Transmission Co. Ltd. & Ors. v. Dipendu Biswas & Ors. (2026 INSC 330) clarifies the legal principles governing horizontal reservations within the “Unreserved” or “Open” category in public recruitment.
Factual Background
The West Bengal State Electricity Transmission Co. Ltd. initiated recruitment for the post of Junior Engineer (Civil) Grade-II. The notification included 30 vacancies, with a specific distribution that included both vertical (social) and horizontal (special) reservations:
- Vertical Reservations: 7 posts for Unreserved (UR), 5 for OBC-A, 1 for OBC-B, and others for SC/ST.
- Horizontal Reservations: 1 post was earmarked for UR (PWD-LV)—Unreserved (Persons with Disabilities – Low Vision).
The recruitment notification contained a note stating: “In case of non-availability of qualified UR (PWD-LV) candidate, the vacancy will be filled up by PWD candidates of other categories as per merit”.
The Dispute
Two candidates competed for the single UR (PWD-LV) post:
- Respondent No. 1 (Dipendu Biswas): An unreserved PWD-LV candidate who scored 55.667 marks.
- Respondent No. 3: An OBC-A candidate who also belonged to the PWD-LV category and scored 66.667 marks.
The appellant authority appointed Respondent No. 3 because he was more meritorious. Respondent No. 1 challenged this, arguing that as a qualified “unreserved” candidate, he had a prior right to the post and that Respondent No. 3 could only be considered if no qualified unreserved candidate was available. The Division Bench of the Calcutta High Court agreed with Respondent No. 1, holding that the “Unreserved” post was meant only for unreserved category candidates.
Supreme Court’s Legal Analysis
The Supreme Court set aside the High Court’s judgment, emphasizing established principles of reservation law:
- Nature of the “Unreserved” Category: The Court reiterated that “Unreserved” or “Open” category posts are not reserved for any specific communal or social group. It is an “open field” meant for all candidates, including those from SC, ST, or OBC categories, provided they qualify on their own merit.
- Horizontal Reservation in UR Category: When a horizontal reservation (like PWD-LV) is applied to the Unreserved category, it remains “open” to every candidate possessing that special attribute (Low Vision), regardless of their vertical social category (SC/ST/OBC).
- Principle of Merit: The Court held that merit is the sole criterion for appointment to an unreserved post. A more meritorious PWD-LV candidate from a reserved social category (like Respondent No. 3) cannot be ignored in favor of a less meritorious candidate simply because the latter belongs to the unreserved social category.
- Clarifying the Notification Note: The Court ruled that the note in the notification (“In case of non-availability…”) merely stated the obvious: that if no eligible PWD-LV candidate was available in the general merit pool, the vacancy would be filled by other merit-based adjustments. It did not create an absolute bar against meritorious reserved-category candidates competing for the unreserved post.
- Qualification and Relaxation: The Court noted that Respondent No. 3 was eligible because he had not availed of any specific relaxations (like age or experience) reserved for his social category to qualify for the unreserved post.
Conclusion
The Supreme Court allowed the appeal, set aside the Division Bench’s order, and restored the Single Bench’s decision. It confirmed that Respondent No. 3, being more meritorious than Respondent No. 1, was rightly appointed to the UR (PWD-LV) post.
2026 INSC 330
West Bengal State Electricity Transmission Co.Ltd & Ors. V. Dipendu Biswas & Ors. (D.O.J. 07.04.2026)




